Home |
Search |
Today's Posts |
#1
![]() |
|||
|
|||
![]()
Go Riley! Take the idiot Baxter to court! Let's put that POS behind
bars. Glenn Baxter is an a-hole and is destroying amateur radio with idiotic playing of his phone answering machine on the radio. His AARU is a joke and nothing more than a way for him to make money. What a scam - what abuse of the radio - confiscate his equipment, fine him big, put him in jail. Lloyd wrote: "Mo-Fo" wrote in message om... K1MAN BULLETIN - B041014A GLENN BAXTER, K1MAN, RESPONDS TO RILEY HOLLINGSWORTH, K4ZDH CERTIFIED MAIL 7099 3400 0015 4631 9236 To: W. Riley Hollingsworth, Esq. FCC Gettysburg, Pa. 17325-7245 From: Glenn A. Baxter, P.E., K1MAN Registered Professional Engineer Date 14 October 2004 Subject: Your letter to K1MAN dated 15 September 2004 and received 28 September 2004 Thank you for your letter and your interest in K1MAN. The legal opinions in your letter referenced above are not correct and the various allegations are false. K1MAN is in full compliance with all FCC rules, state laws, and federal laws. I encourage you to take "enforcement actions" and look forward to seeing you in court(s). * * * * * * * * * * * Regarding your request, I hereby certify that: 1. No corrective actions are necessary at K1MAN. 2. No changes are needed with regard to station control which is in full compliance with all FCC rules. Good listening! GL and 73 de K1MAN (signed) Glenn A. Baxter, P.E., K1MAN September 15, 2004 Mr. Glenn A. Baxter RR 1 Box 776 Belgrade Lakes, ME 04918 Warning Notice--Amateur Radio License K1MAN Case #EB-2004-07 Dear Mr. Baxter: On April 14, 2004, the Commission notified you of two areas of operation of your Amateur Radio station that, if not corrected, would lead to enforcement action against your licenses and/or designation of your renewal application for a hearing to determine if you are qualified to remain a licensee. Those we 1) deliberate interference resulting from your commencing operation on top of ongoing communications, in violation of Sections 97.101(a) and (d); and 2) use of your Amateur station for pecuniary interests, in violation of Sections 97.113(a)(2)and (3). We warned you that your transmissions start up on top of existing communications. We warned you that your publishing a "transmission schedule" does not give you the right to begin transmitting on a certain frequency at a certain time if there are ongoing communications on that frequency. Regarding use of an Amateur station for pecuniary interest, we warned you you're your Amateur radio program transmissions regularly advertise your web pages at www.K1man.com, and on those pages you advertise items for sale, sales commissions and "overrides" that your State Directors and Section Managers can receive, and detail ways in which your Section Managers can earn money by recruiting members, selling hats, name badges or T shirts. Not only have these violations not been corrected, but your web site that you continue to advertise offers credit cards and discounts for AARA card holders, in addition to the items and commissions mentioned above. Additionally, you advertised a physics conference and hotel rooms on June 6, 2004. Additionally, we have received approximately a dozen complaints that your Amateur radio transmissions started on top of ongoing communications of individual operators, as well as on top of ongoing communications of the Salvation Army Team Emergency Radio Net, which handles health and welfare traffic for this season's hurricane victims. Section 308(b) of the Communications Act of 1934, as amended, 47 U.S.C. Section 308(b), gives the Commission the authority to obtain information from applicants and licensees regarding the operation of their station and their qualifications to retain a Commission license. Accordingly, you are requested to respond to this letter within 20 days from receipt of this letter certifying: 1) what action you are taking to correct these deficiencies in the operation of your station; and 2) specifying what method of station control you have implemented for your Amateur radio transmissions. Failure to correct the violations will subject you to enforcement action against your station and operator licenses. In an inquiry of this type we are required to notify you that a willfully false or misleading reply constitutes a separate violation made punishable under United States Code Title 18, Section 1001. (signed) W. Riley Hollingsworth CC: FCC Northeastern Regional Director FCC Boston Office District Director Honorable Paula D. Silsby, United States Attorney, U. S. Department of Justice, District of Maine David Collins, Assistant U.S. Attorney and Chief, Civil Division, U. S. Department of Justice, District of Maine |
Reply |
Thread Tools | Search this Thread |
Display Modes | |
|
|