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A before the Federal Communications Commission, no violation <br />of FCC regulations was adjudicated. <br />Based upon our review of the information provided, it <br />would appear that the Commission or Cities could not reason- <br />ably withhold approval of the transfer based upon the legal <br />or character qualification of Notth Central or its prin- <br />cipals. <br />B. Technical Ability <br />The technical ability factor relates to the technical <br />expertise and experience in operating and maintaining a <br />cable system. This analysis focuses upon the current and <br />fcrmer experience of the proposed Transferee. Since North <br />Central is a newly -created entity, it has not directly owned <br />or operated any cable systems. Therefore, the ability of <br />its managing principals must be reviewed. Information has <br />been provided concerning such other individuals' and enti- <br />ties' experience in owning, operating, and managing cable <br />systems. <br />Hauser Cable of Minnesota, Inc., as one-half owner of <br />North Central, will be primarily responsible for the manage- <br />ment of North Central by virtue of its control of two <br />directors' seats of North Central. Moreover, North Central <br />has stated that it intends to enter into a standard manage- <br />ment agreement with Hauser Communications, Inc. ("HC") to be <br />responsible for the day-to-day supervisory management of <br />North Central and the cable systems. <br />