The fcc wants to know what regulations you want repealed. Now is the time for you to tell them to remove the probations on gmrs linking.

Here is the FCC PDF for you to read

Through a series of Executive Orders, President Trump has called on administrative agencies to unleash prosperity through deregulation and ensure that they are efficiently delivering great results for the American people.

By this Public Notice, the Federal Communications Commission (Commission or FCC) is taking action to promote the policies outlined by President Trump in those Executive Orders. Specifically, we are seeking public input on identifying FCC rules for the purpose of alleviating unnecessary regulatory burdens. We seek comment on deregulatory initiatives that would facilitate and encourage American firms’ investment in modernizing their networks, developing infrastructure, and offering innovative and advanced capabilities. The Communications Act directs the FCC to regularly review its rules to identify and eliminate those that are unnecessary in light of current circumstances, recognizing that in addition to imposing unnecessary burdens,3 unnecessary rules may stand in the way of deployment, expansion, competition, and technological


We encourage commenters to consider certain policy factors, as described below and consistent with standards and objectives set forth in recent Presidential orders as well as statutory and regulatory retrospective review standards. We also invite more general comment on rules that should be considered for elimination on other grounds. Submissions should identify with as much detail and specificity as possible the rule or rules that the commenting party believes should be repealed (or modified) and the rationale for their recommended action. Commenters whose comments raise issues related to other open Commission dockets should file their comments in all relevant dockets.


Electronic Filers: Comments may be filed electronically using the Internet by accessing the ECFS: https://www.fcc.gov/ecfs/.

I have submitted a version of this Here is the PDF

[Your Name]
[Your Address (Optional)]
[Your Call Sign (If Applicable)]
[Your Email (Optional)]
[Date]

Federal Communications Commission
445 12th Street SW
Washington, DC 20554

Subject: Request for Deregulation of Outdated Linking Restrictions and Amateur Repeater Coordination Reform (Docket No. 25-133)

To Whom It May Concern,

I am writing in response to the FCC’s public notice (DA-25-219, Docket No. 25-133) seeking comment on outdated regulations that should be eliminated to alleviate unnecessary regulatory burdens. Specifically, I urge the FCC to:

  1. Repeal restrictions on linking General Mobile Radio Service (GMRS), Multi-Use Radio Service (MURS), Citizens Band (CB), Business Radio, and Amateur Radio repeaters to the public switched telephone network (PSTN) or the internet.
  2. Address the issue of unused coordinated amateur radio repeaters, which occupy spectrum but provide no benefit to the community.

1. Repeal of Outdated Linking Restrictions

Several FCC rules prohibit interconnection of radio services to the PSTN or the internet. These rules were originally implemented to prevent toll bypass under the Bell System monopoly. However, with the deregulation of the telecommunications industry, the elimination of long-distance toll charges, and the widespread use of VoIP and mobile networks, these restrictions no longer serve any purpose.

The following FCC rules should be reviewed and repealed:

  • GMRS: 47 C.F.R. § 95.1733(a)(8) , § 95.349 and § 95.1749 prohibit GMRS repeaters from being interconnected to the internet or PSTN. This restriction was never put up for public comment or approved by Congress and unjustifiably limits the modernization of GMRS.
  • MURS: 47 C.F.R. § 95.2709 restricts MURS users from interconnecting to the telephone network, preventing MURS from being used for legitimate business and public safety applications.
  • CB Radio: 47 C.F.R. § 95.933 prohibits interconnection of CB radios to the PSTN, despite CB being widely used for business and emergency communications where such linking would be beneficial.
  • Business/Industrial Radio Services (Part 90): Many business radio users, including Red Dot frequencies, are restricted from linking their networks to the PSTN or internet, despite the clear need for integrated communication solutions.
  • Amateur Radio: While amateur operators have more flexibility, outdated Part 97 restrictions and interpretations still discourage linking to PSTN in ways that would be useful for emergency services and public service communications.

2. Allow Experimental Digital Communication in GMRS

As communication technology advances, GMRS users should have access to modern digital systems such as Digital Mobile Radio (DMR). I urge the FCC to allocate experimental channels within GMRS for digital communication, allowing licensees to implement access control features and reduce unauthorized use by Family Radio Service (FRS) users.

4. Address Privacy Concerns in FCC Licensing

The current FCC database publicly lists all GMRS and amateur licensee addresses, creating privacy concerns for many individuals. The FCC should allow licensees to use a public-facing alternative address or redact their personal information to prevent harassment or misuse of personal data.

5. Modernize Amateur Radio Licensing and Testing

The amateur radio licensing process discourages many potential operators due to outdated testing requirements. The FCC should:

  • Introduce a Novice No-Test Amateur License, allowing GMRS users to gain access to basic amateur bands (e.g., 70cm and 2m) without an initial exam.
  • Move testing to an FCC-controlled online system, eliminating the need for third-party Volunteer Examiner (VE) groups, reducing bias, and improving accessibility.

Requested Actions

I respectfully urge the FCC to:

  1. Repeal 47 C.F.R. § 95.1733(a)(8), § 95.1749, § 95.2709, § 95.933, and any similar restrictions that prohibit repeater linking via PSTN or the internet.
  2. Allocate experimental digital channels within GMRS to allow for DMR and other digital technologies.
  3. Allow GMRS and amateur radio licensees to redact personal addresses in the FCC database.
  4. Modernize amateur radio licensing by introducing a Novice No-Test License and transitioning to FCC-controlled online testing.

These regulatory updates will align with modern telecommunications advancements and encourage broader participation in radio services. Thank you for your time and consideration.

Sincerely,
[Your Name]
[Your Call Sign (If Applicable)]


[[Your Name]
[Your Address (Optional)]
[Your Call Sign (If Applicable)]
[Your Email (Optional)]
[Date]

Federal Communications Commission
445 12th Street SW
Washington, DC 20554

Subject: Removal of Outdated Linking Restrictions and Modernization of GMRS, MURS, CB, and Business Radio Rules

To Whom It May Concern,

I am writing in response to the FCC’s public notice (DA-25-219, Docket No. 25-133) seeking comment on outdated regulations that should be eliminated to reduce unnecessary regulatory burdens. Specifically, I urge the FCC to:

  1. Repeal restrictions on linking General Mobile Radio Service (GMRS), Multi-Use Radio Service (MURS), Citizens Band (CB), Business Radio, and Amateur Radio repeaters to the public switched telephone network (PSTN) or the internet.
  2. Modernize GMRS to allow experimental digital communication and improve privacy protections for license holders.

1. Repeal of Outdated Linking Restrictions

Several FCC rules prohibit interconnection of radio services to the PSTN or the internet. These rules were originally implemented to prevent toll bypass under the Bell System monopoly. However, with the deregulation of the telecommunications industry, the elimination of long-distance toll charges, and the widespread use of VoIP and mobile networks, these restrictions no longer serve any purpose.

The following FCC rules should be reviewed and repealed:

  • GMRS: 47 C.F.R. § 95.1733(a)(8) and § 95.1749 prohibit GMRS repeaters from being interconnected to the internet or PSTN. This restriction was never put up for public comment or approved by Congress and unjustifiably limits the modernization of GMRS.
  • MURS: 47 C.F.R. § 95.2709 restricts MURS users from interconnecting to the telephone network, preventing MURS from being used for legitimate business and public safety applications.
  • CB Radio: 47 C.F.R. § 95.933 prohibits interconnection of CB radios to the PSTN, despite CB being widely used for business and emergency communications where such linking would be beneficial.
  • Business/Industrial Radio Services (Part 90): Many business radio users, including Red Dot frequencies, are restricted from linking their networks to the PSTN or internet, despite the clear need for integrated communication solutions.
  • Amateur Radio: While amateur operators have more flexibility, outdated Part 97 restrictions and interpretations still discourage linking to PSTN in ways that would be useful for emergency services and public service communications.

2. Allow Experimental Digital Communication in GMRS

As communication technology advances, GMRS users should have access to modern digital systems such as Digital Mobile Radio (DMR). I urge the FCC to allocate experimental channels within GMRS for digital communication, allowing licensees to implement access control features and reduce unauthorized use by Family Radio Service (FRS) users.

3. Address Privacy Concerns in FCC Licensing

The current FCC database publicly lists all GMRS and amateur licensee addresses, creating privacy concerns for many individuals. The FCC should allow licensees to use a public-facing alternative address or redact their personal information to prevent harassment or misuse of personal data.

4. Requested Actions

I respectfully urge the FCC to:

  1. Repeal 47 C.F.R. § 95.1733(a)(8), § 95.1749, § 95.2709, § 95.933, and any similar restrictions that prohibit repeater linking via PSTN or the internet.
  2. Allocate experimental digital channels within GMRS to allow for DMR and other digital technologies.
  3. Allow GMRS and amateur radio licensees to redact personal addresses in the FCC database.

These regulatory updates will align with modern telecommunications advancements and encourage broader participation in radio services. Thank you for your time and consideration.

Sincerely,
[Your Name]
[Your Call Sign (If Applicable)]



So here’s my update letter. Ive added some things. No ones saying you should send the same thing just write your own. If you cant just tell chat gpt what you want in a letter and it will write it for you.

[Your Name]
[Your Address (Optional)]
[Your Call Sign (If Applicable)]
[Your Email (Optional)]
[Date]

Federal Communications Commission
445 12th Street SW
Washington, DC 20554

Subject: Request for Deregulation of Repeater Linking, Experimental GMRS DMR Channels, Novice No-Test Ham License, and Improved Privacy & Testing Procedures

To Whom It May Concern,

I am writing to formally request the Federal Communications Commission (FCC) to repeal outdated regulations that prohibit radio repeaters from being linked via the Public Switched Telephone Network (PSTN). These rules were originally created to prevent individuals from bypassing long-distance telephone charges under the Bell System monopoly. However, with the breakup of Bell and the widespread availability of free long-distance calling, these regulations are now obsolete and unnecessary.

Additionally, the FCC recently extended this prohibition to internet-based linking for GMRS repeaters, further restricting users from utilizing modern technology for network coverage and emergency communication. This decision was made without Congressional approval, without public comment, and without technical justification. Preventing repeater linking over the internet hinders emergency preparedness, disaster relief efforts, and general communication advancements in the GMRS and amateur radio communities. The FCC should immediately repeal these unnecessary restrictions and allow licensed users to link their repeaters freely.

Request for more channels for GMRS and Experimental DMR or digital

As technology advances, GMRS users should have access to modern digital voice communication systems. I urge the FCC to allocate new channels for growth and allow experimental DMR (Digital Mobile Radio) use. Assigning a small portion of GMRS spectrum for experimental digital use would foster innovation and allow operators to test new communication methods without interfering with existing analog operations. DMR or digital codes would allow licensed operators to control and who uses there repeaters and stop FRS unlicensed use on the repeaters.

Request for a Novice No-Test Amateur License

I also request the FCC to introduce a Novice No-Test Amateur License. Many individuals are interested in amateur radio but are discouraged by the testing process. A no-test license would encourage new participants, increase interest in radio communications, and serve as a stepping stone toward more advanced licensing. Perhaps allowing GMRS users to become Amateurs with access to at least 70cm. and 2M.

Privacy Concerns and Testing Security Issues

Many potential licensees are afraid to obtain an GMRS or Amateur radio license due to the lack of privacy in the FCC database. Currently, all licensee addresses are publicly listed, and the FCC does not allow redaction. To address this concern, I urge the FCC to allow operators to redact their personal addresses or provide a public-facing alternative to protect their privacy.

Additionally, the current amateur radio testing process raises security risks. Volunteer Examiners (VEs) are not employees of the FCC causing privacy concerns and potential identity theft risks. To resolve this issue, I propose that the FCC take over amateur radio testing directly through its website, ensuring a standardized, secure, and accessible process. Many government agencies already offer online testing, and amateur radio licensing should follow this modernized approach.

Requested Actions

I respectfully request the FCC to:

  1. Eliminate outdated restrictions on repeater linking via PSTN or the Internet as they serve no purpose in today’s telecommunications environment.
  2. Reverse the recent prohibition on GMRS internet linking, as it lacks justification and was implemented without public input.
  3. Allocate new channels for GMRS and experimental DMR use, encouraging digital communication advancements and growing GMRS.
  4. Introduce a Novice No-Test Ham License, making amateur radio more accessible to new users.
  5. Allow GMRS & Amateur operators to redact their personal addresses from the FCC database, improving privacy and security.
  6. Require the FCC to handle amateur radio testing directly through its website, eliminating the need for third-party testing groups.

I appreciate the FCC’s time and consideration of these requests and look forward to its response.

Sincerely,
[Your Name]
[Your Call Sign (If Applicable)]


So here’s a extra one just for others that only want to comment about radio linking.

[Your Name]
[Your Address (Optional)]
[Your Call Sign (If Applicable)]
[Your Email (Optional)]
[Date]

Federal Communications Commission
445 12th Street SW
Washington, DC 20554

Subject: Request to Allow GMRS Repeater Linking via Phone and Internet

To Whom It May Concern,

I am writing to formally request that the FCC remove restrictions on linking GMRS repeaters via telephone networks and the internet. The current prohibition on these linking methods is outdated and unnecessary.

Historically, the FCC restricted linking over the Public Switched Telephone Network (PSTN) to prevent people from bypassing long-distance charges under the old Bell System monopoly. However, long-distance calling is now free or extremely cheap, and the Bell System no longer exists. This rule serves no practical purpose today and only limits the capabilities of GMRS users.

Additionally, the FCC has extended this restriction to internet-based linking for GMRS repeaters, preventing licensed users from using modern technology to improve coverage and communication reliability. This decision was made without public comment, without Congressional approval, and without any technical justification.

Allowing GMRS repeater linking via phone and internet would:

  1. Improve emergency communication – Linked repeaters provide better coverage for disaster response and community preparedness.
  2. Enhance public safety – Many GMRS users rely on linked systems for off-grid and family communication.
  3. Encourage innovation – The restriction blocks technical advancements that could improve GMRS services.

I urge the FCC to immediately remove these outdated restrictions and allow licensed GMRS users to link their repeaters via telephone and the internet.

Sincerely,
[Your Name]
[Your Call Sign (If Applicable)]

By MIke

Electronics Tec and programer.

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