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Report to Congressional Requesters:

United States General Accounting Office:

GAO:

May 2004:

SPECTRUM MANAGEMENT:

Better Knowledge Needed to Take Advantage of Technologies That May 
Improve Spectrum Efficiency:

GAO-04-666:

GAO Highlights:

Highlights of GAO-04-666, a report to congressional requesters

Why GAO Did This Study:

Recent advances in technologies that rely on the use of the radio-
frequency spectrum have turned science fiction of the past into 
reality. Cellular telephones, wireless computer networks, global 
positioning system receivers, and other spectrum-dependent technologies 
are quickly becoming as common to everyday life as radios and 
televisions. Further, these technologies have become critical to a 
variety of government missions, including homeland security and 
strategic warfare.

However, with the increased demand, the radio-frequency spectrum—a 
resource that once seemed unlimited—has become crowded and, in the 
future, may no longer be able to accommodate all users’ needs. As a 
result, there has been a growing debate among spectrum policy leaders 
about how to use spectrum more efficiently. To help inform these 
debates, GAO was asked to look at agencies’ investments in spectrum 
efficient technologies and how the nation’s spectrum management system 
may affect the development and adoption of these technologies.

What GAO Found:

The nine federal agencies that GAO reviewed—which are among the 
largest users and investors in technologies and systems impacting 
spectrum use—have made some investments in technologies that provide 
improved spectrum efficiency. However, these investments have tended 
to occur when agencies needed to make greater use of available spectrum 
to meet a mission requirement—not by an underlying, systematic 
consideration of spectrum efficiency. For example, as a result of 
growing spectrum constraints, the Department of Defense (DOD), the 
Federal Aviation Administration, and the National Aeronautics and Space 
Administration began investing in technologies that would increase the 
throughput of information while using smaller segments of their 
available spectrum. However, agencies also consider other factors—
including cost and technical and operational concerns—that may dissuade 
them from investing in spectrum efficient technologies. For example, 
DOD may need to use more spectrum to meet an operational requirement to 
field a jam-proof and accurate radar for military aircraft.

The current structure and management of spectrum use in the United 
States does not encourage the development and use of some spectrum 
efficient technologies. Because the spectrum allocation framework 
largely compartmentalizes spectrum by types of services (such as 
aeronautical radio navigation) and users (federal, nonfederal, and 
shared), the capability of emerging technologies designed to use 
spectrum in different ways is often diminished. For example, software-
defined cognitive radios—radios that adapt their use of the spectrum to 
the real-time conditions of their operating environments—could be used 
to sense unused frequencies, or “white spaces,” and automatically make 
use of those frequencies. It may also be possible to use software-
defined cognitive radios to exploit “gray spaces” in the spectrum—areas 
where emissions exist yet could still accommodate additional users 
without creating a level of interference that is unacceptable to 
incumbent users—to increase spectrum efficiency. Currently, however, 
the spectrum allocation system may not provide the freedom needed for 
these technologies to operate across existing spectrum designations, 
and defining new rules requires knowledge about spectrum that spectrum 
leaders do not have. At the same time, there are few federal regulatory 
requirements and incentives to use spectrum more efficiently. While 
the National Telecommunications and Information Administration (NTIA) 
is responsible for managing the federal government’s use of spectrum 
and ensuring spectrum efficiency, NTIA primarily relies on individual 
agencies to ensure that the systems they develop are as spectrum 
efficient as possible. Agencies’ guidance and policies, however, do 
not require systematic consideration of spectrum efficiency in their 
acquisitions. The lack of economic consequence associated with the 
manner in which spectrum is used has also provided little incentive to 
agencies to pursue opportunities proactively to develop and use 
technologies that would improve spectrum efficiency governmentwide.

What GAO Recommends:

GAO is making six recommendations intended to facilitate greater 
investment by federal agencies in spectrum efficient technologies. 
Overall, the agencies indicated their commitment to promoting greater 
flexibility and more efficient use of radio spectrum.

www.gao.gov/cgi-bin/getrpt?GAO-04-666.

To view the full product, including the scope and methodology, click on 
the link above. For more information, contact Katherine V. Schinasi at 
(202) 512-4841 or schinasik@gao.gov.

[End of section]

Contents:

Letter:

Results in Brief:

Background:

Agencies' Decisions to Invest in New Technologies Are Generally Driven 
by Factors Other Than Achieving Spectrum Efficiency:

Federal Spectrum Management System May Limit the Development and 
Adoption of Spectrum Efficient Technologies:

Conclusions:

Recommendations for Executive Action:

Agency Comments and Our Evaluation:

Appendix I: Comments from the Department of Commerce:

Appendix II: Comments from the Federal Communications Commission:

Appendix III: Comments from the Department of Homeland Security:

Tables:

Table 1: Five Steps Associated with the Command-and-Control Approach to 
Spectrum Management:

Table 2: Descriptions and Key Examples of Existing or Emerging 
Technologies That Can Improve Spectrum Utilization:

Table 3: Agency Research and Development Investments in Technologies 
That May Improve Spectrum Efficiency:

Figure:

Figure 1: NTIA's Spectrum Measurement Van:

Abbreviations:

AGILE: Advanced Generation of Interoperability for Law Enforcement:

DARPA: Defense Advanced Research Projects Agency:

DHS: Department of Homeland Security:

DOJ: Department of Justice:

FAA: Federal Aviation Administration:

FCC: Federal Communications Commission:

FCS: Future Combat Systems:

GHz: gigahertz:

IWN: Integrated Wireless Network:

JTRS: Joint Tactical Radio System:

KHz: kilohertz:

NSF: National Science Foundation:

NTIA: National Telecommunications and Information Administration:

NEXCOM: Next Generation Air/Ground Communications:

OMB: Office of Management and Budget:

TTNT: Tactical Targeting Network Technology:

TSAT: Transformational Satellite:

UWB: ultra-wideband:

United States General Accounting Office:

Washington, DC 20548:

May 28, 2004:

The Honorable Tom Davis: 
Chairman, Committee on Government Reform: 
House of Representatives:

The Honorable Adam Putnam:
Chairman, Subcommittee on Technology, Information Policy, 
Intergovernmental Relations, and the Census: 
Committee on Government Reform: 
House of Representatives:

Over the past several decades, the development and use of 
telecommunications and information technology has expanded 
dramatically, greatly increasing the use of the radio-frequency 
spectrum. Cellular telephones, wireless computer networks, and global-
positioning-system receivers are quickly becoming as common to everyday 
life as radios and televisions. Wireless communications have become 
critical to private industry and a variety of government missions--
ranging from scientific research and public safety to homeland security 
and strategic warfare. As a result, the radio-frequency spectrum, which 
once seemed unlimited, has become crowded and, in the future, may no 
longer be able to accommodate all users' needs.

Because of the growing demand for spectrum, there has been increased 
attention in spectrum management policy debates on ways to improve the 
efficient and effective use of spectrum. This has led to a growing 
interest in technologies that can provide more efficient use of 
spectrum. Therefore, you asked us to (1) determine whether federal 
agencies are investing in developing spectrum efficient technologies 
and the key factors they consider in making these investments and (2) 
determine the extent to which the nation's system for managing 
government and private sector use of spectrum facilitates the 
development and adoption of these technologies.

Our review focused on federal agencies that are among the largest users 
of technologies and systems impacting spectrum use--the Department of 
Defense (DOD), the Federal Aviation Administration (FAA) within the 
Department of Transportation, the Department of Homeland Security 
(DHS), the Department of Justice (DOJ), and the National Aeronautics 
and Space Administration (NASA)--as well as the National Science 
Foundation (NSF), which funds research on spectrum-related 
technologies. To determine whether agencies were investing in 
technologies that might improve spectrum efficiency, we reviewed agency 
budget and investment planning documents and sought additional 
information from agency officials on specific programs and projects. To 
assess the key factors that influenced agency investment decisions, we 
interviewed agency officials and reviewed various documents and 
studies.

To determine the extent to which the nation's spectrum management 
system facilitates the development and adoption of these technologies, 
we interviewed officials at the two agencies responsible for spectrum 
management in the United States--the Federal Communications Commission 
(FCC) and the Department of Commerce's National Telecommunications and 
Information Administration (NTIA)--and reviewed these agencies' 
spectrum management policies and procedures. We reviewed processes 
established by the federal spectrum management system and individual 
agencies for addressing new technologies. We also met with officials at 
the agencies we reviewed to discuss the challenges of developing and 
adopting new technologies under the current spectrum management system. 
In addition, we interviewed experts and reviewed studies from private 
sector organizations that are examining spectrum policies and 
technologies--including the Center for Strategic and International 
Studies and the National Academy of Sciences--and attended several 
private-and government-sponsored conferences and forums on national 
spectrum management issues and new spectrum technologies.

We performed our work from June 2003 through May 2004 in accordance 
with generally accepted government auditing standards.

Results in Brief:

The agencies that we reviewed have made some investments in 
technologies that provide improved spectrum efficiency. However, these 
investments have been primarily driven by the imperatives of their 
individual missions--not by an underlying, systematic consideration of 
spectrum efficiency. For example, as a result of growing spectrum 
constraints, DOD, FAA, and NASA began investing in technologies that 
would increase the throughput of information while using smaller 
segments of their available spectrum. These investments were needed to 
meet mission-specific requirements and goals, such as DOD's need for 
enhanced communications capabilities to meet its goal of information 
superiority and network-centric war-fighting, and FAA's need to meet 
growing demands for air traffic control communications. In addition to 
mission requirements, agencies consider other factors and tradeoffs--
including cost and technical and operational concerns when making 
investment decisions. However, some of these considerations may 
dissuade agencies from investing in spectrum efficient technologies. 
For example, to meet an operational requirement to field jam-proof and 
accurate radar for military aircraft, DOD may need to use more 
spectrum.

The current structure and management of spectrum use in the United 
States may limit the development and use of some spectrum efficient 
technologies. Because the spectrum allocation structure largely 
compartmentalizes spectrum by types of services (such as aeronautical 
radio navigation) and users (federal, nonfederal, and shared), the 
capability of emerging technologies that are designed to use spectrum 
in different ways is often diminished. For example, technologies like 
software-defined cognitive radios can be adapted to operate in 
virtually any segment of spectrum and, in the future, may be able to 
adapt to real-time conditions and make use of underutilized spectrum in 
a given location and time. Currently the spectrum allocation system, 
however, may not provide the freedom needed for these technologies to 
operate across existing spectrum designations. Moreover, defining new 
rules to accommodate these emerging technologies requires knowledge 
about spectrum use that is not currently available. For example, NTIA 
and FCC do not have a sufficient understanding of the spectrum 
environment, including how and how much spectrum is used, and lack 
agreed-upon models to assess spectrum efficient technologies. At the 
same time, there are few federal regulatory requirements and incentives 
for agencies to use spectrum more efficiently. While NTIA is 
responsible for managing the federal government's use of spectrum and 
ensuring spectrum efficiency,[Footnote 1] NTIA primarily relies on 
individual agencies to ensure that the systems they develop make as 
efficient use of the spectrum as possible. Agencies' guidance and 
policies, however, do not require systematic consideration of spectrum 
efficiency in their acquisitions. The lack of economic consequence 
associated with the manner in which spectrum is used has also provided 
little incentive to agencies to pursue opportunities proactively to 
develop and use technologies that would improve spectrum efficiency 
governmentwide.

We are making six recommendations to help facilitate greater 
consideration and investment by federal agencies in spectrum efficient 
technologies. Specifically, we are recommending that the NTIA 
Administrator and the FCC Chairman jointly take actions to build more 
flexibility into the spectrum allocation system where feasible and gain 
a better understanding of the current spectrum environment and spectrum 
efficient technologies to increase the use of these technologies. We 
are also recommending that the NTIA Administrator take actions to 
encourage agencies to use spectrum more efficiently. In commenting on 
the draft report, FCC supported our recommendations. The Department of 
Commerce also commented on the draft, though it did not specifically 
address our recommendations.

Background:

The radio-frequency spectrum supports a vast array of government and 
commercial services, including radio and television broadcasts, 
personal communications services, satellite communications, wireless 
local area networks, public safety communications, air traffic control, 
scientific research, and radar-based weather forecasting. The radio 
spectrum spans a range of frequencies within the electromagnetic 
spectrum from about 3 kilohertz (kHz) to 300 gigahertz (GHz), but most 
of its use is concentrated in the lowest 1 percent of these 
frequencies--sometimes referred to as the "beachfront property" of the 
radio spectrum.[Footnote 2] Advances in technology have greatly 
expanded the usable portions of the radio-frequency spectrum and have 
led to more efficient means of using the available spectrum. 
Simultaneously, these advances have created opportunities to provide 
new spectrum-dependent services, which have led to even greater demand 
on the limited available spectrum.[Footnote 3]

The spectrum is managed to maximize the benefits derived from this 
limited resource, while mitigating interference among various 
users.[Footnote 4] Within the United States, the spectrum is managed 
jointly by the NTIA, within the Department of Commerce, and the FCC. 
NTIA is principally responsible for developing and articulating 
domestic and international telecommunications policy[Footnote 5] and 
for managing the federal government's use of the radio spectrum. FCC 
has authority over all nonfederal spectrum use, including the use of 
the spectrum by state and local governments.

In managing the spectrum, FCC and NTIA have largely used a "command-
and-control" approach, which dictates how each segment of the radio 
spectrum can be used and who can use it. This approach generally 
involves five steps: allocation, adoption of service rules or technical 
standards, certification, assignment, and enforcement. Table 1 
describes each step.

Table 1: Five Steps Associated with the Command-and-Control Approach to 
Spectrum Management:

Step: Allocation; 
Actions taken by FCC and NTIA: Particular segments, or "bands," of the 
radio spectrum are designated for specific types of services--for 
example aeronautical radio navigation--with bands of varying widths.

Step: Adoption of service rules or technical standards; 
Actions taken by FCC and NTIA: Rules and standards specify the required 
technical and operational characteristics of the radios (or other radio-
frequency devices) that will use the allocated band, such as radiated 
power limits, channel bandwidth and location, levels of acceptable 
interference, and other service-specific or band-specific rules.

Step: Certification; 
Actions taken by FCC and NTIA: Major federal systems that directly use 
the radio-frequency spectrum must be certified by NTIA, as required by 
the Office of Management and Budget (OMB) Circular A-11, to be assigned 
a bandwidth. An agency first determines if the system it proposes to 
field is "major"--that is, the system could cause significant impact on 
the radio-frequency spectrum- -then conducts the necessary technical 
studies of the proposed system, selects potential frequency bands, 
coordinates with other agencies involved, and prepares and files a 
certification application to NTIA for review. FCC similarly certifies 
nonfederal systems.

Step: Assignment[A]; 
Actions taken by FCC and NTIA: Once service rules and technical 
standards have been established, portions of the allocated band are 
assigned--typically, to individual users or service providers operating 
within a certain geographic area through a variety of mechanisms.

Step: Enforcement; 
Actions taken by FCC and NTIA: Spectrum monitoring, interference 
reporting, and other regulatory mechanisms are used to enforce 
allocations, technical standards and service rules, and unique 
geography-based assignments. 

Source: GAO.

[A] Not all spectrum use requires an assignment. For example, many 
familiar "unlicensed" wireless devices--such as cordless phones, baby 
monitors, garage door openers, and wireless Internet access devices--
are allowed to operate within certain spectrum bands provided they do 
not cause harm to assigned users and accept any interference received.

[End of table]

NTIA and FCC implement the command-and-control approach differently 
because of differences in their missions. For example, NTIA assigns 
spectrum resources through an administrative process that emphasizes 
interdepartmental advice and coordination among federal agencies, while 
FCC has used a number of administrative processes including comparative 
hearings and lotteries as well as its authority to assign spectrum 
through auctions.[Footnote 6] However, because so much of the spectrum 
is shared between federal and nonfederal users, FCC and NTIA must 
coordinate their management of spectrum.[Footnote 7]

For many decades, command-and-control has been the most commonly used 
approach for managing the spectrum. However, as both the usage of and 
demand for spectrum have exploded over the past decade, the 
disadvantages of the command-and-control approach have become 
increasingly apparent. For example, in October 2001, the FCC Chairman 
noted that it is becoming difficult for government officials to 
determine the best use for spectrum and to repeatedly adjust 
allocations and assignments of spectrum to accommodate new spectrum 
needs and new services. The President has similarly noted that the 
existing legal and policy framework for spectrum management has not 
kept pace with the dramatic changes in technology and spectrum use and 
can discourage the introduction of new technologies.

In June 2002, the FCC Chairman established a Spectrum Policy Task Force 
to help identify and evaluate changes in spectrum management policy and 
to provide specific recommendations to FCC for ways to evolve from the 
current command-and-control approach to a more integrated, market-
oriented approach. In November 2002, the Task Force reported its 
findings and recommendations to FCC.[Footnote 8] While noting that no 
single regulatory model should be applied to all spectrum, the Task 
Force recommended that FCC pursue a spectrum management policy that 
includes both exclusive spectrum usage rights granted through market-
based mechanisms and creates open access to spectrum "commons," with 
command-and-control regulation used in limited circumstances. In 
January 2003, we issued a report recommending a commission be 
established to conduct a comprehensive examination of current U.S. 
spectrum policy. [Footnote 9] In May 2003, the President signed an 
executive memorandum establishing the federal government's "Spectrum 
Policy Initiative" to develop recommendations for improving spectrum 
management policies and procedures for the federal government and to 
address state, local, and private spectrum use.[Footnote 10]

Although work under the President's initiative is ongoing, the 
initiative recognizes, along with the findings of the 2002 FCC Task 
Force, that existing and emerging technologies create the potential for 
future radios and other radio-frequency devices and systems to use 
spectrum more efficiently.[Footnote 11] Efficiency may be accomplished 
through improvements to a broad set of technologies and applications. 
Table 2 provides descriptions and key examples of such technologies and 
applications that can improve the utilization of spectrum.

Table 2: Descriptions and Key Examples of Existing or Emerging 
Technologies That Can Improve Spectrum Utilization:

Technology: Radio frequency component-level; 
Description: Encompasses a broad set of radio-frequency components--
transmitters, receivers, and antennas (and their enabling 
technologies)--that can improve spectrum utilization; 
Key examples: 
* "Smart" antennas that can selectively amplify desired signals while 
canceling out competing signals; 
* Modulation and channel coding can also influence how much spectrum 
is needed to transfer encoded voice data.

Technology: Other component-level; 
Description: Encompasses a broad set of other (non-radio frequency) 
radio components including digital processors and associated algorithms 
to compress data, and batteries for handheld devices; 
Key examples: 
* More advanced algorithms to encode and digitally compress a human 
voice can greatly reduce the radio's data transfer requirements; 
* Improving the efficiency of a handheld radio's battery can allow it 
to accomplish more sophisticated data compression, modulation and 
coding, and thus indirectly, influence the radio's ability to use 
spectrum more efficiently.

Technology: Network-level; 
Description: Technologies and related network or spectrum management 
practices that can significantly improve information transfer and 
spectrum efficiency as well as mission effectiveness; 
Key examples: 
* Improvements to an ad-hoc network's routing strategies can enable 
more efficient use of available network resources, including spectrum 
resources; 
* Advanced quality of service algorithms may enable a diverse set of 
network users with very different requirements and mission-driven 
priorities, to operate on a single network and share the spectrum 
resources of the entire network; these algorithms can grant high 
priority to the rapid transmission of critical communications and lower 
priority to routine message traffic.

Technology: Other enabling technologies; 
Description: Includes investments in various technologies that may 
yield improvements to spectrum utilization and efficiency; 
Key examples: 
* Advancements in microelectronics and semiconductors have enabled 
greater processing power in smaller lighter weight packages. These 
advancements continue with the development of semiconductor 
technologies that may greatly improve upon the performance of today's 
radio-frequency components; 
* Research directed toward improving models of the ionosphere can lead 
to more efficient use of some frequency bands.

Technology: Off-loading technologies; 
Description: Technologies that are being developed, which would 
facilitate "off-loading"--that is, relocating certain communications 
requirements from highly congested radio-frequency spectrum to higher 
radio-frequency bands and non-radio- frequency portions of the 
electromagnetic spectrum; 
Key examples: 
* Research is under way to further the use of lasers to communicate at 
very high data rates. 

Source: GAO.

[End of table]

Many spectrum efficient technologies have both component-level and 
network-level attributes. For example, some "smart" antennas can 
pinpoint the source signal and selectively amplify it while canceling 
out competing signals. In addition, because smart antennas direct 
transmitted power toward desired receivers, the level of interference 
experienced by other spectrum users is reduced. This adaptive behavior 
may be controlled by local sensors but may also be cued by information 
provided through the radio's network. Similarly, software-defined 
radios, unlike traditional radios, have operating parameters (such as 
the operational frequency and modulation type) that are determined by 
software, meaning they can be programmed to transmit and receive on 
many frequencies and to use any desired modulation or transmission 
format within the limits of their hardware designs; as with smart 
antennas, the programmed operating parameters of the radio may be 
controlled internally or may be cued through the radio's network.

FCC and NTIA are both charged with promoting the efficient and 
effective use of the radio spectrum. NTIA has told us that ensuring 
efficient use of the spectrum is a major NTIA goal reflected throughout 
most of its spectrum management processes, which include:

* setting standards for equipment that use the radio spectrum,

* certifying that proposed new systems conform with existing spectrum 
allocations and associated standards, and:

* requiring justification of frequency assignment requests and 
continuous review of existing frequency assignments.

Additionally, NTIA is responsible for conducting spectrum analyses and 
research to keep abreast of the latest spectrum efficient technologies 
that are appropriate for government use and for developing and adopting 
automated information systems that support the spectrum management 
processes and facilitate appropriate spectrum conservation measures.

Agencies' Decisions to Invest in New Technologies Are Generally Driven 
by Factors Other Than Achieving Spectrum Efficiency:

Federal agencies have made some investments in technologies that may 
provide improved spectrum efficiency. However, their decisions to 
invest in those technologies are primarily driven by their individual 
missions--not by an underlying, systematic consideration of spectrum 
efficiency. Agencies generally do not identify spectrum efficiency as a 
distinct category of technology investment. Other considerations that 
influence agencies' technology decisions include technical and 
operational concerns and costs that may make spectrum efficient 
technologies impracticable.

Agency Mission Is a Key Factor in Determining Investments in New 
Technologies:

Determining investments that may improve spectrum efficiency is 
difficult because agencies do not clearly identify spectrum-related 
investments in their budgets. However, using published budget and other 
information provided to us by each of the nine agencies, we identified 
projects that might result in improved spectrum efficiency and spoke 
with agency officials about their technology investments. Based on this 
review, we identified 335 fiscal year 2004 federally funded projects 
that potentially included funding for spectrum efficient 
technologies.[Footnote 12] Funding for these projects totaled 
approximately $1.8 billion.[Footnote 13] These investments cover a wide 
range of technologies that can affect spectrum use, including the 
compression of raw source data, advanced radios, and network 
improvements. The military services and Defense Advanced Research 
Projects Agency (DARPA) combined are by far the largest federal 
investors in new technologies that use the spectrum. In contrast, the 
Departments of Justice and Homeland Security have small research and 
development budgets and tend to rely on technologies that are 
commercially available. Table 3 provides the total fiscal-year-2004 
funding identified for each agency's projects related to spectrum 
efficiency and highlights major areas of investment.

Table 3: Agency Research and Development Investments in Technologies 
That May Improve Spectrum Efficiency:

Agency: DARPA; 
Areas of major investment related to spectrum efficiency: Antenna 
technologies, laser communications, transistor technologies, and 
cognitive communications; 
Total funding for fiscal year 2004: $339.7.

Agency: U.S. Air Force; 
Areas of major investment related to spectrum efficiency: Software 
defined radio/laser communications; 
Total funding for fiscal year 2004: $649.4.

Agency: U.S. Army; 
Areas of major investment related to spectrum efficiency: Software 
defined radio; 
Total funding for fiscal year 2004: $381.9.

Agency: U.S. Navy/Marine Corps; 
Areas of major investment related to spectrum efficiency: Software 
defined radios; 
Total funding for fiscal year 2004: $172.4.

Agency: NASA; 
Areas of major investment related to spectrum efficiency: Optical 
(laser) communications; 
Total funding for fiscal year 2004: $41.8.

Agency: DOJ; 
Total funding for fiscal year 2004: 0[A].

Agency: DHS; 
Total funding for fiscal year 2004: 0[B].

Agency: FAA; 
Areas of major investment related to spectrum efficiency: Air traffic 
control communications and digital radar; 
Total funding for fiscal year 2004: $165.8.

Agency: NSF; 
Areas of major investment related to spectrum efficiency: Interference 
avoidance and measurement, networking, antenna technologies, data 
compression, error correction, and cognitive radio research; 
Total funding for fiscal year 2004: $14.8[C]. 

Source: GAO.

[NOTE:] Investments include amounts invested in projects undertaken 
with a stated goal of improving radio-frequency spectrum and projects 
where spectrum efficiency is not a stated goal but a possible outcome 
(including enabling technologies like software defined radios). These 
investments also include projects to off-load/achieve communications in 
non-radio portions of the electromagnetic spectrum, for example, laser 
communications. Because of the difficulty identifying relevant projects 
and quantifying relevant investments in projects where spectrum 
efficiency may be only a small component, actual investment numbers may 
be higher or lower.

[A] DOJ focuses on the acquisition of commercial-off-the-shelf 
equipment.

[B] While DHS is not currently funding research and development into 
technologies to provide improved spectrum efficiency, it expects to in 
the future.

[C] NSF grants funded in fiscal year 2003. According to agency 
officials, NSF has recently initiated a number of spectrum efficiency 
projects, including a study of programmable wireless networking, on 
which it plans to allocate at least $8 million per year.

[End of table]

Agency investments in technologies that provide greater spectrum 
efficiency have tended to occur when agencies need to make greater use 
of available spectrum to meet a mission requirement and the additional 
spectrum is not readily available, as is the case with DOD. 
Specifically, DOD systems are requiring greater bandwidth to transmit 
intelligence and surveillance information, facilitate enhanced 
communications capabilities, and conduct electronic warfare--which DOD 
considers essential to meeting its key strategic goal of information 
superiority. As a result, DOD has made significant investments in new 
systems that, in part, address problems related to insufficient 
spectrum, as the following examples illustrate:

* Joint Tactical Radio System (JTRS): To address key communications 
shortfalls and significantly improve military capabilities, DOD has 
begun to make significant investments in software-defined radios, which 
offer the potential of more efficient spectrum use in the future 
without the need for expensive and complex hardware changes. In 1997, 
DOD initiated the JTRS program to develop and apply this technology and 
to bring together separate service-led programs into a joint software-
defined radio development effort. JTRS radios are intended both to 
interoperate with existing radio systems and to provide military users 
with more flexible communications capabilities in the future.

* Air Force's Transformational Satellite (TSAT) Program: The Air Force 
is exploring new technologies that enable communications in higher 
radio-frequency bands, which are much less congested, and in non-radio-
frequency portions of the electromagnetic spectrum. Non-radio-
frequency technologies will enable next-generation military satellites 
to communicate at very high data rates using lasers. As a result, 
information can be transferred without relying on the radio-frequency 
spectrum.

* DARPA's Tactical Targeting Network Technology (TTNT) Program: TTNT 
program aims to demonstrate a high-capacity sensor data system that 
could enable networks of strike aircraft to accomplish their missions. 
In particular, certain missions require the rapid sharing of targeting 
sensor data among a large ad-hoc network of strike aircraft. Currently, 
the U.S. military's airborne tactical data links cannot support a large 
network of aircraft simultaneously due to spectrum constraints. TTNT is 
expected to provide a data rate 10 to 25 times higher than the current 
airborne tactical data link in an equivalent amount of spectrum.

Other agencies have made some investments in spectrum efficient 
technologies, and like DOD, these investments were largely driven by 
agency mission, as in the following examples:

* NASA's Mars Laser Communications Demonstration Project: NASA 
anticipates a significant increase in the near future in demand for 
long-haul communications services from deep space to Earth. As a 
result, it has undertaken the Mars Laser Communications Demonstration 
Project--a joint project with the Massachusetts Institute of 
Technology's Lincoln Laboratory--to develop a laser-based 
communications system that would transfer information without relying 
on the radio-frequency spectrum. Such a system would facilitate 
bandwidth-hungry instruments, such as imaging systems and radar to be 
used in deep space exploration.

* Federal Aviation Administration's Next Generation Air/Ground 
Communications (NEXCOM) Initiative: In 1990, FAA began the NEXCOM 
initiative in response to growing demands for air-to-ground air traffic 
control communications. By replacing current analog radios with digital 
radios, the program is expected to achieve greater spectrum capacity 
using the same spectrum currently allocated for air traffic control 
communications. Each of NEXCOM's 25 kHz channels will support four 
voice circuits, instead of the one circuit supported by the current 
system.

* DOJ's Integrated Wireless Network (IWN) System: While Justice is not 
investing directly in research and development into technologies to 
improve spectrum efficiency, it has undertaken a joint effort--the IWN 
system--with the Departments of Homeland Security and Treasury to 
provide improved interoperability of communications within the federal 
law-enforcement community. New equipment being acquired under the IWN 
system, such as new land mobile radios, will significantly increase 
spectrum efficiency.

Other Factors That Influence Agencies' Investment Decisions:

Besides mission objectives, several other factors, such as technical 
and operational considerations and cost-effectiveness, influence 
agencies' technology investments. In considering these factors, 
agencies may determine that using more spectrum efficient technologies 
is impractical.

If an agency developed a system solely to minimize spectrum usage or 
optimize spectrum efficiency, the system may also include other less 
desirable or unacceptable operational characteristics--that is, 
characteristics that are incompatible with accomplishing an agency 
mission. For example, the Army's Future Combat Systems (FCS)[Footnote 
14]--the centerpiece of the Army's plan to transform to a lighter, more 
agile, and more capable force--will rely on superior information to see 
and hit the enemy first. Future Combat Systems' capabilities depend, in 
part, on the ability of the Army's network to collect, process, and 
deliver vast amounts of information such as imagery and communications 
that will require much higher spectrum usage. Operational 
considerations also can affect radar aboard military aircraft. Such 
radars must operate in unfriendly and stressed conditions, including 
exposure to enemy jamming capabilities and flight speeds of up to 1800 
to 2000 kilometers per hour. Aircraft radars must also function while 
the aircraft is conducting evasive maneuvers to avoid threats such as 
enemy missiles. According to DOD officials, the bandwidth used by 
aircraft radars is directly related to the radar's accuracy. As a 
result, limiting the radar's bandwidth could result in the aircraft 
engaging a wrong target or other unwanted consequences. Also, some 
federal agencies that intend to operate spectrum-dependent systems 
outside of the United States may have to compromise the application of 
more efficient technologies in order to acquire spectrum access in 
other countries. For example, in developing communications and radio 
navigation systems for aircraft, FAA is largely limited to using 
globally allocated bands that are designated for aeronautical services.

In addition, agencies need to make tradeoffs between spectrum 
efficiency and cost. For example, a new type of smart antenna, called 
an adaptive array, can extend the range of communications systems and 
minimize interference. Although more efficient in its use of spectrum, 
this new technology is generally more expensive than traditional 
antenna technology, and, as a result, these technologies may not be 
considered or developed unless justified by mission needs. Similarly, 
the Department of Justice's Advanced Generation of Interoperability for 
Law Enforcement (AGILE) program is coordinating the efforts of federal, 
local, state, and regional public safety organizations to achieve 
interoperable communications. However, local, state, and regional 
organizations may lack funding to replace their legacy radio systems 
and radio infrastructure with the most efficient systems available. As 
a result, these interoperability and funding concerns may dictate what 
technologies can be selected for use in new federal systems and may 
limit the degree of spectrum efficiency achieved.

Agencies' Technology Planning Processes Do Not Identify Spectrum 
Efficiency as an Investment Area:

To help manage their investment decisions, some agencies have 
established science and technology planning processes to identify long-
term technological needs, establish research and technology priorities, 
and coordinate research activities. These processes enable policy 
makers and implementers to adjust the allocation of agency resources to 
meet changing requirements for fulfilling agency missions. However, the 
agencies' science and technology planning processes that we reviewed do 
not specify spectrum efficient technologies as an investment area. For 
example, FAA's research and development strategy does not focus 
specifically on achieving spectrum efficiency; rather, it emphasizes 
improving the overall efficiency of the nation's air traffic control 
systems--which may require making better use of the spectrum. 
Similarly, the military services' science and technology planning 
processes emphasize achieving overall operational efficiency and 
effectiveness, which may or may not result in improved spectrum 
efficiency. A DOD official within the Office of the Assistant Secretary 
of Defense for Networks and Information Integration acknowledged that 
spectrum efficiency does not receive the same level of attention as 
science and technology efforts to improve more conventional weapons 
systems' performance requirements such as lethality and survivability.

However, DOD has taken initial steps to consider spectrum efficiency by 
revising its policy and guidance on spectrum management. Specifically, 
DOD's Electromagnetic Spectrum Management Strategic Plan--which was 
issued in December 2002 --has five core principles, including one that 
recognizes the need to invest in new spectrum efficient technologies. 
In addition, the strategic plan established a goal to improve spectrum 
utilization through technological innovation. As part of developing a 
strategy for DOD, the Defense Spectrum Office[Footnote 15] has begun to 
study emerging technologies and future war fighter requirements. In 
addition, DOD convened a group of technologists last year to discuss 
spectrum technologies and how to link them more directly to DOD's 
science and technology planning process. Because these efforts are in 
their early stages, they have not yet resulted in policy changes or 
modifications to investment plans. Similarly, NASA is working on an 
electromagnetic spectrum management strategy, which is in the final 
stages of review before release.

Federal Spectrum Management System May Limit the Development and 
Adoption of Spectrum Efficient Technologies:

The current structure and management of spectrum in the United States-
-allocating bands of spectrum to certain users for specific uses--may 
limit the development and adoption of some emerging technologies that 
promise improved spectrum efficiency. However, redefining this 
structure and management of spectrum to take full advantage of future 
opportunities to improve spectrum efficiency could be difficult due, in 
part, to the lack of flexibility in the spectrum allocation system, 
policy makers' limited knowledge about spectrum use and new and 
emerging technologies, as well as a lack of agreed-upon models to 
assess these technologies. At the same time, there are few regulatory 
requirements and incentives to encourage agencies to develop and use 
spectrum more efficiently. The current federal regulatory framework and 
system certification process tend to focus only on major systems that 
directly use the radio spectrum and their compliance with existing 
standards to avoid interference--not on spectrum efficiency. A lack of 
incentives to achieve spectrum efficiency also limits agencies' 
consideration of spectrum efficient technologies in the acquisition of 
systems. However, providing such incentives is challenging, in part, 
because financial considerations must be balanced with mission needs.

Current Spectrum Structure and Management Could Constrain Efforts to 
Use Spectrum More Efficiently:

To manage the use of the radio-frequency spectrum in the United States, 
FCC and NTIA allocated the spectrum into federal, nonfederal, and 
shared bands and designated specific bands for specific uses, such as 
broadcast radio and television. Historically, this structure has served 
a valuable function. In addition to seeking to avoid interference among 
users, the structure has enabled spectrum leaders to balance government 
and commercial interests, provide stability and design certainty for 
equipment manufacturers, and accommodate a certain level of increased 
demand by apportioning spectrum for future uses. However, the current 
allocation structure has proven effective largely because technologies 
operated within a fairly narrow range of spectrum. While emerging 
technologies that use wider segments of spectrum or move across 
segments of spectrum may be able to operate within current 
demarcations, greater efficiencies may be achievable if these 
technologies were allowed to operate in an environment that provides 
more operational freedom than the current structure.

With nearly all of the spectrum allocated and access rights granted to 
users, such freedom tends to require increased "sharing" of the 
spectrum[Footnote 16]--that is, allowing more than one user to transmit 
radio signals on the same frequency band.[Footnote 17] In working to 
increase spectrum sharing, spectrum leaders will need to carefully 
consider the impacts on incumbent users' operations and define 
appropriate rules to mitigate those impacts.

However, attaining agreement on such rules may be difficult and could 
result in operational constraints that reduce the promise of increased 
spectrum efficiency. For example, radios that are largely defined by 
their software components could provide greater efficiencies if 
software enabled them to operate in a shared environment--as DOD hopes 
to do with JTRS. Currently, DOD is developing 34 waveforms[Footnote 18] 
for use in JTRS radios. Of these, 33 waveforms are to be operationally 
identical to their respective, already fielded, traditional radio 
counterparts and, consequently, will be able to operate in the current 
spectrum structure. However, these waveforms will be no more efficient 
than their existing radio counterparts. While the remaining waveform 
promises to achieve greater spectrum efficiency in providing voice, 
video, and data services, it requires access to a wider swath of the 
spectrum, which JTRS program officials believe will challenge the 
current spectrum structure and certification process because it could 
impact other users' operations. JTRS program officials stated that for 
the near term, some of the concerns associated with the new waveform 
could be addressed by using software "lockouts" to ensure that 
sensitive bands are protected. However, to achieve greater efficiency, 
JTRS program officials believe that spectrum sharing issues will need 
to be worked out, and spectrum policies and rules will need to be 
adjusted.

As software-defined radios become more sophisticated, the challenge in 
employing them will become even greater. For example, software-defined 
cognitive radios--radios that adapt their use of the spectrum to the 
real-time conditions of their operating environments--could be used to 
sense unused frequencies, or "white spaces," and automatically make use 
of those frequencies. According to FCC, many portions of the radio 
spectrum are not in use for significant periods of time and that 
tapping into these white spaces--both temporal and geographic--could 
significantly increase spectrum available for use.[Footnote 19] It may 
also be possible to use software-defined cognitive radios to exploit 
"gray spaces" in the spectrum--areas where emissions exist but that 
could accommodate additional users without raising the overall noise 
level in a band to a level unacceptable to incumbent users--to increase 
spectrum efficiency.[Footnote 20]

However, employing the technologies needed to exploit these spaces 
could present significant problems of interference. Currently, FCC is 
exploring a new approach to cognitive radios and interference control 
and management[Footnote 21] based on the concept of measuring 
"interference temperature."[Footnote 22] Under this concept, the 
interference temperature in a given band would be measured, and devices 
receiving these measurements would restrict their operations in order 
to maintain the interference temperature at or below a prescribed limit 
for that band. In the simplest case, the entire process would take 
place within an individual device, such as a software-defined cognitive 
radio capable of measuring the interference temperature at its location 
and making a decision to transmit or not transmit based on this 
measurement plus its own contribution of radio-frequency energy. 
However, the interference temperature concept is controversial and in 
the view of many has yet to be successfully demonstrated in a practical 
context. NTIA believes that more study is needed to determine what 
might be the "correct" tool for quantitatively controlling interference 
between mobile and unlicensed transmitting devices that share spectrum 
with existing telecommunication facilities.

Lack of Knowledge and Varying Perspectives about Spectrum May Further 
Constrain the Use of More Spectrum Efficient Technologies:

The extent to which emerging and future technologies, such as those 
that would exploit white and gray spaces, could be utilized to increase 
spectrum efficiency is dependent on the degree of freedom these 
technologies would be provided to operate across the spectrum. While 
unconstrained operation may not be realistic--given the sensitivity of 
certain uses of spectrum--it may be possible to develop policy-based 
rules to maintain some constraints, such as blocking the use of certain 
frequency bands, while allowing greater freedom in other areas of 
spectrum. Defining such rules, however, requires a level of 
understanding of the spectrum environment--including how and how much 
spectrum is used--and spectrum efficient technologies that NTIA and FCC 
do not currently have. For example, in 2002, the FCC's Spectrum Policy 
Task Force noted that in order to define rules for the implementation 
of the interference temperature concept, additional knowledge--
including the need to acquire data on the current ambient noise levels 
for different frequency bands and geographic regions--would be 
required.[Footnote 23] To that end, the Task Force recommended a 
systematic study of the spectrum environment.

Currently, NTIA has the capability to capture knowledge needed to 
better understand the radio spectrum environment through a radio 
spectrum measurement program, which it established in 1973 to assess 
whether spectrum is being used in accordance with applicable 
regulations and to provide information to prevent or resolve 
interference problems involving federal government systems.[Footnote 
24] However, the measurement program is limited to measuring and 
recording radio signals between 10 kHz and 20 GHz at selected sites 
through equipment housed in a single van (see fig. 1)[Footnote 25] and 
in portable suitcases. As such, the van has been used primarily to help 
reach consensus on difficult or unusual interference and spectrum 
sharing problems having a high national importance. For example, such 
measurements have assisted in reaching some consensus on the use of 
ultra-wideband (UWB) devices, expanded 5 GHz unlicensed device 
operation, and broadband over power lines. According to NTIA, all of 
these activities directly support the Administration's goals related to 
facilitating emerging technologies. However, the last compliance-type 
measurements were conducted in the mid-1980s. According to NTIA, these 
measurements were discontinued because of a lack of resources and 
generally low benefits provided to national spectrum management. NTIA 
has also discontinued its broadband spectrum surveys--which covered the 
spectrum from about 100 MHz to 20 GHz.[Footnote 26] The last broadband 
survey measurements were made in the San Francisco area in 1995 with 
results reported in 1999.

Figure 1: NTIA's Spectrum Measurement Van:

[See PDF for image]

[End of figure]

In addition, NTIA lacks sufficient information to more accurately model 
and test the impact of emerging technologies to determine their likely 
operational characteristics. For example, NTIA must typically rely on 
federal agencies to provide information on the technical 
characteristics of their radio communication systems. According to NTIA 
officials, this information has been insufficient to perform detailed 
analyses of some technologies. Furthermore, since NTIA and FCC have 
different spectrum management responsibilities--federal and 
nonfederal, respectively--they have different perspectives on spectrum 
use. NTIA tends to focus on protecting the federal government's use of 
the spectrum from harmful interference--especially in areas critical to 
national security and safety--while FCC tends to focus on maximizing 
public access to and use of the spectrum. As a result, NTIA and FCC 
have different perspectives on the assumptions and operational 
scenarios that should be used to assess potential interference from new 
technologies. This divergence can lead to difficulties in establishing 
agreed-upon service rules and technical standards, resulting in delays 
in accommodating new technologies.

The effect of limited knowledge and varying perspectives on defining 
policy-based rules is demonstrated in the government's recent efforts 
to accommodate commercially developed low-power UWB devices,[Footnote 
27] which offer greater utilization of the spectrum in a shared 
environment. Potential uses include radar imaging of objects buried 
underground or behind walls and short-range, high-speed data 
transmissions. Because UWB devices transmit over large swaths of 
spectrum and emit into spectrum used by both federal and nonfederal 
users, NTIA and FCC have shared responsibilities in their use. However, 
there has been considerable debate over how much interference UWB 
devices would cause to other spectrum users--with particular concern 
for protecting the Global Positioning System and public safety systems. 
For example, NTIA was concerned that allowing UWB systems to emit 
intentionally into certain bands would cause potential interference to 
vital federal government services. To assess the potential impact of 
introducing UWB devices into the spectrum environment, NTIA had to make 
assumptions about the devices' characteristics and simulate their 
transmissions because commercial UWB devices were not available for 
testing.

In February 2002--after substantial debate among NTIA, FCC, and other 
interested parties--FCC established rules to allow the development and 
marketing of unlicensed, low-power UWB devices in a limited frequency 
range and with power limitations, based in large measure on standards 
recommended by NTIA.[Footnote 28] However, FCC has expressed its intent 
to revisit the adopted standards eventually because of its concern that 
the standards may be overly stringent--reflecting technical analyses of 
"worst case" scenarios, not real-life operating conditions--and could 
unnecessarily constrain development of UWB technology.[Footnote 29] 
Conversely, some federal agencies remain concerned that not enough is 
known about how UWB interacts with existing systems, including the 
aggregate effect of large numbers of UWB devices. According to FCC 
officials, UWB device manufacturers expressed concerns that their 
investments in components that comply with the adopted standards would 
be lost if a less restrictive order is adopted too soon. In February 
2003, FCC made minor changes to UWB regulations but opted not to make 
any significant changes to the existing UWB technical parameters, 
citing the lack of experience with UWB devices and concerns that any 
major changes to the rules for existing UWB product categories would be 
disruptive to current industry product development efforts.

Federal Requirements to Invest in Spectrum Efficient Technologies Are 
Limited:

NTIA is responsible for promoting the efficient and effective use of 
spectrum that has been assigned to federal users. However, the current 
regulatory framework and system certification process for federal 
spectrum use tend to focus on compliance with existing standards to 
avoid interference, not on spectrum efficiency. Furthermore, agency 
regulations do not systematically require the consideration of spectrum 
efficiency in the development and acquisition of systems.

While NTIA's certification process helps avoid interference, it does 
not directly consider whether the fielded system would use too much 
spectrum or could incorporate other technologies to improve spectrum 
efficiency. In general, NTIA's certification process focuses on 
maintaining the integrity of the current spectrum structure by ensuring 
that:

* fielded systems operate in a frequency band allocated for the type of 
service they provide, such as maritime mobile radio;

* frequency assignments are available for systems to operate in their 
intended operational environment; and:

* the technical characteristics of fielded systems are compatible with 
the operation of other systems, that is, they will not significantly 
interfere with others.

NTIA's ability to influence spectrum use is also somewhat limited 
because it only receives and reviews spectrum certifications for 
"major" federal systems that directly use the radio-frequency spectrum-
-that is, systems that could have significant impact on other users of 
the radio spectrum--with each agency determining which of its systems 
are major. In addition, systems that utilize spectrum, but are not 
direct transmitters or receivers of radio waves, such as network 
routing strategies, are not subject to the certification process and 
therefore not within NTIA's influence. Finally, NTIA officials told us 
that in general, individual agencies have not identified and reported 
their long-term requirements for spectrum. These officials also 
indicated that telecommunication investments are not easily 
identifiable because agency budget submissions do not break out or 
otherwise provide the ability to readily identify investments for 
systems that require spectrum. Although agencies must obtain spectrum 
certification prior to submitting budget proposals to OMB for approval, 
as required by OMB Circular A-11, NTIA officials told us that OMB does 
not routinely receive this information from NTIA nor systematically 
review and coordinate intended spectrum use during its review of agency 
budget submissions. Because agency investment in radio spectrum 
dependent systems cannot be readily identified, NTIA officials also 
stated that NTIA has generally had to react to spectrum demands as they 
become apparent through the certification process as opposed to 
planning for future spectrum use.

NTIA has generally relied on agencies to ensure that their systems are 
as spectrally efficient as possible.[Footnote 30] However, the 
acquisition guidance and policies of the agencies we reviewed do not 
require the systematic consideration of spectrum efficiency in the 
design and development of systems. Similar to NTIA's certification 
process, these agencies' internal certification procedures tend to 
focus on avoiding significant interference among systems. For example, 
FAA's policy for the use of radio spectrum identifies spectrum 
efficiency as a broad objective, but its certification process focuses 
mainly on equipment characteristics and compliance with NTIA standards 
and national and international spectrum allocation rules. While DOD's 
acquisition policies and procedures require system developers and 
acquirers to consider spectrum supportability, they do not specifically 
require consideration of spectrum efficiency. Ensuring spectrum 
supportability could ultimately result in some spectrum efficiencies. 
However, we have previously reported that DOD's weapons programs often 
failed to obtain, consider, or act on spectrum supportability knowledge 
during the early stages of acquisition,[Footnote 31] as required by DOD 
policy. Several weaknesses underlie this failure, including program 
managers' lack of awareness of spectrum certification requirements, 
out-of-date and unclear spectrum management publications, competing 
demands of program mangers, and a lack of effective enforcement 
mechanisms for existing spectrum certification requirements.[Footnote 
32]

Creating Incentives to Encourage the Development and Use of Spectrum 
Efficient Technologies Is Challenging:

The fact that spectrum is virtually cost free may influence whether 
agencies consider spectrum efficiency and invest in spectrum efficient 
technologies. Currently, agencies have little or no economic incentive 
to use the radio-frequency spectrum more efficiently because they pay 
only small administrative fees for its use. Once it is allocated and 
users gain access to the spectrum, there are generally no financial 
incentives for them to consider accommodating other users, or in many 
cases, even to move to more efficient technologies. Incentives--both 
governmentwide and agencywide--could theoretically go a long way in 
encouraging agencies to proactively develop and use spectrum efficient 
technologies. However, incentives may not be appropriate, desirable, or 
feasible in all circumstances.

In the private sector, the goals of maximizing profits can be a strong 
incentive to increase efficiency and utilization of the spectrum. For 
example, firms offering cell phone service may use various 
technologies, such as modulation techniques, to increase the number of 
cell phone users in a particular band. While market-based incentives 
promote efficiency, this model is not easy to apply to the federal 
sector--largely because government agencies need to balance their 
missions of providing public benefit with achieving economies and the 
difficulty of finding ways to apply these economies.

For more than a decade, NTIA and others have considered the use of 
market-based incentives to promote spectrum efficiency in the federal 
government. In its 1991 report U.S. Spectrum Management Policy: Agenda 
for the Future, NTIA suggests exploring with FCC various fee proposals 
that would invoke the forces of supply and demand to create market-
based mechanisms for spectrum management. Following this report, NTIA 
imposed agency fees to cover its administrative costs, which amount to 
about $55 per assignment. In November 2002, FCC's Spectrum Policy Task 
Force Report also discussed the use of fees to improve spectrum 
efficiency in the public sector where market forces may be inadequate 
to spur efficiency. In October 2003, the Center for Strategic and 
International Studies reported that market approaches such as licenses 
that can be traded or sold would allow the market to determine the most 
efficient use of the spectrum.[Footnote 33] The President's Spectrum 
Policy Initiative, chaired by the Secretary of Commerce, is currently 
examining issues of spectrum efficiency. Adopting market-based 
incentives to encourage spectrum efficiency is not limited to the 
United States. To varying degrees, Australia, Canada, and the United 
Kingdom have put in place mechanisms to reflect the opportunity costs 
associated with government spectrum use. These mechanisms include 
auctions and incentive-based fees, more flexible licenses, and 
secondary markets. The three countries have reported more flexibility 
in reassigning and allocating spectrum to its most efficient use.

However, creating viable economic incentives to achieve spectrum 
efficiency in the U.S. federal government may be difficult. As we have 
previously reported,[Footnote 34] NTIA could face several challenges if 
it decides to use such incentives. First, implementing a market-based 
approach may be difficult for some agency functions that are critical 
and unique, such as public safety and national defense. Second, 
incentives that would require greater flexibility among license holders 
of spectrum may ultimately result in problems of interference. Although 
flexibilities have resulted in improved spectrum efficiency in other 
countries, these flexibilities may not apply to the United States 
because of the unique and worldwide missions of the U.S. military and 
the divided structure and missions of the U.S. spectrum management 
system. Third, it is unclear whether licensees would have the right to 
buy and sell spectrum, and what rights would be conferred and under 
what circumstances rights would be granted. Finally, while it may be 
possible to impose fees on federal agencies' use of assigned spectrum, 
it is far from obvious how such fees or other economic incentives could 
be applied to agencies' opportunistic use of white and gray spaces in 
the spectrum--as would be the case with software-defined cognitive 
radios, which adapt their use of the spectrum in real time. In its 2002 
report, FCC also acknowledged that there are instances where 
regulation, as opposed to a market-oriented approach, is more 
appropriate.

Conclusions:

With the rapid advances in telecommunications technology and the 
increasing demand--both public and private--for radio-frequency 
spectrum, NTIA and FCC are faced with the daunting task of achieving 
greater spectrum efficiency while maintaining the level of services 
that users have come to expect. Further development and use of spectrum 
efficient technologies may provide an answer to this dilemma without 
negatively affecting the ability of agencies to carry out their 
missions; however, users have not actively pursued these technologies 
because there are few regulatory requirements or incentives to do so 
and because factors associated with the nation's current spectrum 
management system may not encourage the use of these technologies. To 
ensure the most efficient use of spectrum, it will be necessary to 
rethink the current environment in which spectrum is managed, define 
requirements, and examine the requirements and incentives needed to 
encourage agencies to promote new and emerging technologies for 
achieving spectrum efficiency. Efforts currently under way at the 
national level, such as the President's Spectrum Policy Initiative, 
provide an opportunity to establish appropriate policies and 
mechanisms, including incentives, to facilitate greater consideration 
of spectrum efficiency and create a more flexible, adaptable spectrum 
management environment that allows emerging technologies to fulfill 
their potential of spectrum efficiency. Without greater flexibility and 
incentives, efficiency may remain an unmet promise, and the growing 
demand for spectrum may soon threaten agencies' ability to meet their 
missions.

Recommendations for Executive Action:

We are making six recommendations to help increase the development and 
adoption of spectrum efficient technologies. Specifically, we recommend 
that the NTIA Administrator and the FCC Chairman jointly:

* assess and determine the feasibility of redefining the spectrum 
allocation system to build in greater flexibility where appropriate to 
facilitate emerging technologies;

* develop and implement plans to gain a more thorough and on-going 
understanding of the current spectrum environment; and:

* strengthen efforts to develop jointly accepted models and 
methodologies to assess the impact of new technologies on overall 
spectrum use and increase opportunities to permit testing of those 
technologies.

To better ensure federal agencies consider and invest in spectrum 
efficient technologies, we further recommend that the NTIA 
Administrator:

* establish guidance for agencies to determine and report their future 
spectrum requirements;

* strengthen NTIA's spectrum certification process to more directly 
address spectrum efficiency; and:

* determine approaches, where appropriate, for providing incentives to 
agencies to use spectrum more efficiently and then pilot and measure 
the effectiveness of those approaches.

Agency Comments and Our Evaluation:

We provided a draft of this report to the agencies that we reviewed. 
The Department of Commerce, FCC, and DHS provided written comments 
(reprinted as appendixes I, II, and III, respectively), and DOD, DOT, 
NASA, and NSF provided oral comments. DOJ did not have comments.

FCC in commenting on the draft report supported our recommendations and 
indicated it would work with NTIA to incorporate the report's findings 
and recommendations in future work. FCC also emphasized a number of 
actions it has taken to encourage and facilitate new technologies that 
might improve spectrum efficiency. The Department of Commerce did not 
comment on our recommendations but noted that NTIA and FCC "have met 
regularly to explore areas of common focus in spectrum management." 
While we agree that meeting regularly is an important step toward 
building a more cohesive spectrum management process, it is not clear 
that these discussions have addressed or will address our 
recommendations to improve spectrum efficiency. Continued difficulty in 
reaching consensus between NTIA and FCC will hinder opportunities to 
accommodate new technologies and users and improve spectrum efficiency.

Several of the agencies' comments indicated their commitment to 
promoting greater flexibility and more efficient use of radio spectrum. 
Overall, the comments from agencies, other than NTIA and FCC, were 
generally technical in nature and were incorporated where appropriate. 
In addition, the agencies provided a few comments relating to our 
findings and recommendations. Most notably as follows:

* NSF observed that future use of spectrum through software-defined 
cognitive radios could adversely affect the operation of sensitive 
radio telescopes that NSF supports. We agree that this is a valid 
concern because these systems are "passive"--or receive only--and their 
use of spectrum could go unnoticed. As noted in this report, when 
seeking to increase spectrum sharing, spectrum leaders will need to 
carefully consider incumbent users operations and define appropriate 
rules to obviate those impacts.

* NSF, as well as DHS, also commented on our recommendations directed 
to the NTIA Administrator. Specifically, NSF noted that incorporating 
spectrum efficiency measures into the certification process of major 
systems could prove difficult and suggested either deleting or 
modifying the recommendation to focus on incentives. However, our 
recommendation does not call for the creation of measures but rather 
emphasizes the need for NTIA to focus on efficiency when considering 
certification. But in doing so, NTIA may determine that measures are an 
appropriate means to help increase spectrum efficiency and may be 
applicable in some cases. Further, we have recommended that NTIA take 
action to determine appropriate incentives for agencies to use spectrum 
more efficiently. Therefore, we did not modify our recommendations. 
Contrary to NSF, DHS stated that incentives do not apply to the 
government. While we recognized that incentives may not be applicable 
or desirable in all circumstances, we believe that there may be 
opportunities to use incentives to promote consideration of spectrum 
efficiency, and therefore recommended that such opportunities be 
explored.

We are sending copies of this report to the Acting Assistant Secretary 
of Commerce for Communications and Information and Administrator of the 
NTIA, the Chairman of the Federal Communications Commission, the other 
agencies we reviewed, and interested congressional committees. We will 
also make copies available to others upon request. In addition, the 
report will be available at no charge on the GAO Web site at http://
www.gao.gov.

If you or your staffs have any questions about this report, please 
contact me at (202) 512-4841 or John Oppenheim at (202) 512-3111. Other 
individuals making key contributions to this report are Bruce Thomas, 
Jay Tallon, Gary Middleton, Karen Sloan, and Allison Bawden.

Signed by: 

Katherine V. Schinasi: 
Managing Director, Acquisition and Sourcing Management:

[End of section]

Appendix I: Comments from the Department of Commerce:

May 18, 2004:

THE SECRETARY OF COMMERCE 
Washington, 0.C. 20230:

Ms. Katherine V. Schinasi:

Managing Director, Acquisition and Sourcing Management: 
United States General Accounting Office:

Washington, DC 20548:

Dear Ms. Schinasi:

Thank you for providing the Department of Commerce with an opportunity 
to comment on the General Accounting Office's (GAO) draft report 
entitled "Spectrum Management: Better Knowledge Needed to Take 
Advantage of Technologies That May Improve Spectrum Efficiency."

I commend GAO for its efforts to examine the complex public policy 
issues surrounding our Nation's spectrum management procedures. As you 
are aware, the Department of Commerce is also addressing spectrum 
efficiency at the direction of President Bush as part of his Spectrum 
Policy Initiative. The President's initiative defines two courses of 
action: first, the establishment of a Federal Government Spectrum Task 
Force to focus on improving spectrum management policies to stimulate 
more efficient use of Federal Government spectrum; and second, to 
conduct broad outreach to encourage the public to express its views on 
improvements to our spectrum management policies. These initiatives are 
complete, and I will soon be forwarding t the President two reports 
outlining recommendations for improving the management of both Federal 
Government and non-Federal Government spectrum.

With respect t the draft GAO report, I note that it is recommended that 
the NTIA Administrator and the FCC Chairman "jointly" work t improve 
spectrum management procedures. It should be noted that the NTIA 
Administrator and the FCC Chairman are directed by statute to meet 
biannually to conduct joint spectrum:

planning with respect to, among other things, "actions necessary to 
promote the efficient use of the spectrum, including spectrum 
management techniques to promote increased shared use of the spectrum 
that does not cause harmful interference as a means of increasing 
commercial access."[NOTE 1] During this Administration, the NTIA 
Administrator and the FCC Chairman have met regularly to explore areas 
of common focus in spectrum management, particularly spectrum 
efficiency. NTIA and the FCC, as co-managers of the radio frequency 
spectrum, will continue to work together on important spectrum 
management issues.

I hope this information is helpful. If you have any additional 
questions concerning the Department of Commerce's comments on the 
report or any issue involving spectrum management, please contact 
Acting Assistant Secretary for Communications and Information Michael 
D. Gallagher at (202) 482-1830.

Signed by: 

Donald L. Evans:

NOTE: 

[1] See 47 U.S.C § 922. 

[End of section]

Appendix II: Comments from the Federal Communications Commission:

Federal Communications Commission 
Washington, D.C. 20554:

May 21, 2004:

Ms. Katherine V. Schinasi 
Managing Director, Acquisition and Sourcing Management:
U.S. General Accounting Office 
Washington, DC 20548:

Dear Ms. Schinasi:

Thank you for sharing the General Accounting Office's ("GAO's") draft 
report, entitled "Spectrum Management: Better Knowledge Needed to Take 
Advantage of Technologies That May Improve Spectrum Efficiency." 
Chairman Powell has asked me to provide comments on the draft report. I 
will focus on your recommendations in response to the second of the two 
requests GAO received to explore possible steps to facilitate 
consideration and investment by federal agencies as well as others in 
spectrum-efficient technologies. In particular, GAO's draft report sets 
out three recommendations for joint action by the Administrator of the 
Department of Commerce's National Telecommunications and Information 
Administration ("NTIA") and the Chairman of the Federal Communications 
Commission ("FCC"). We value GAO's analysis as a way to build upon our 
existing work and cooperative efforts already underway with the NTIA.

Under Titles I and III of the Communications Act, the FCC is charged, 
among other things, with adopting policies for non-federal spectrum use 
that make wireless communication services available to all Americans, 
that provide for national defense, and that promote the safety of life 
and property. In fulfilling these responsibilities, the FCC has been 
undertaking various groundbreaking steps to encourage the use of new, 
more spectrum-efficient technologies. As the GAO draft report 
recognizes, in 2002 FCC Chairman Powell established a Spectrum Policy 
Task Force ("SPTF") staffed by senior agency personnel to identify 
outmoded procedures and policies, and evaluate changes in spectrum 
policy, that could increase the public benefits derived from the use of 
the radio spectrum. The SPTF's work resulted in a report published in 
November of that year setting out many new recommendations for spectrum 
policy reform.

GAO's draft report specifically notes the SPTF's recommendation that 
the Commission should adopt, where feasible, a more quantitative 
approach to interference management based on the concept of the 
"interference temperature." Under this approach, a "cognitive" or 
"smart" radio would sense the use of a given frequency band in a 
particular location. The radio then would utilize the band only to the 
extent possible without exceeding the "interference temperature" limit 
prescribed for that band. In that way, a radio could use spectrum that 
would otherwise have to lie fallow before the advent of such 
technologies. The SPTF Report recognized that the FCC required better 
information about actual use of different bands before it could set 
"interference temperature" limits for specific bands and, as a result, 
recommended that the Commission 
undertake a systematic study of the radiofrequency ("RF") noise floor.	
Since the issuance of that SPTF Report, the Commission has adopted a 
Notice of Proposed Rulemaking that seeks further comment on the 
"interference temperature" concept, on how best to obtain more 
systematic data on the RF noise floor, and on two proposals for rule 
changes that would facilitate deployment of such technologies in two 
satellite bands.

As the draft report recognizes, we also have worked closely with the 
NTIA in the FCC's consideration and reform of its rules to allow the 
use of ultra-wideband ("UWB") unlicensed devices. UWB devices are able 
to use sophisticated processing capabilities to provide communications 
at very low power across wide swaths of spectrum without causing 
interference to current spectrum licensees - federal and non-federal - 
that are authorized to use those spectrum bands at much higher power 
levels. UWB technology is another example of new cutting-edge 
technologies that allow use of spectrum for communications.

I wanted to note as well that the FCC has been aggressively adopting 
and considering other changes to its rules to facilitate the use of the 
latest technologies to encourage more efficient spectrum use. The use 
of "software-defined radios" and "cognitive radios," for instance, is 
not limited to situations in which the "interference temperature" 
metric can be employed. As one example, the FCC late last year adopted 
rules that allow the more efficient use of spectrum in the 5 GHz band 
by unlicensed devices with cognitive features. These devices do not 
have to comply with an "interference temperature" limit, but only have 
to avoid using a frequency in real time whenever a licensee is using 
that frequency. Similarly, the FCC is seeking comment on other 
proposals that do not require setting specific "interference 
temperature" limits, but would allow radios with certain cognitive 
features to use currently unutilized or underutilized spectrum: (1) in 
rural areas, (2) in the 3650-3700 MHz band, and (3) in the "white 
spaces" in the TV bands. As yet another example, the FCC has sought 
comment on possible reforms of its rules that would facilitate the use 
of "smart radio" features by licensees to enable more opportunities for 
part-time leasing of spectrum. The goal of all these proposals is to 
facilitate the use of more spectrum-efficient technologies while we are 
continuing to pursue the "interference temperature" construct. Finally, 
we are working with our Technological Advisory Committee and in other 
forums to explore other approaches for assessing and increasing the 
deployment of spectrum-efficient technologies.

As the draft reports rightly notes, these and other new technologies 
potentially enable new approaches for the sharing of spectrum between 
federal and non-federal users. For instance, new technologies now allow 
the use of "millimeter wave" spectrum at 70/80/90 GHz. In close 
consultation with NTIA, the FCC has adopted an innovative regulatory 
approach providing for the registration of individual links in federal 
and non-federal databases. This approach should permit a speedier and 
more efficient sharing of spectrum by both federal and non-federal 
users than would otherwise be possible.

There undoubtedly is other spectrum not being used today, or being 
underutilized, that could be more efficiently used if new spectrum-
efficient technologies were deployed 
and if more flexible approaches to spectrum allocations were used. I 
would note, however, that the Communications Act of 1934, as amended, 
specifically provides that the FCC licenses non-federal radio stations. 
In contrast, radio stations owned or operated by the Federal Government 
obtain their frequency designations from the President, or his 
designate. Therefore, in response to your first recommendation for 
joint NTIA-FCC collaboration, the FCC will be happy to work with NTIA 
within those statutory limits to explore approaches for facilitating 
the use of new technologies to permit non-federal users to use spectrum 
formally allocated to federal users, as well as federal users to use 
spectrum formally allocated to non-federal use.	And we will continue our 
recent policy of generally adopting flexible allocations for non-
federal spectrum to help facilitate the use of spectrum-efficient 
technologies.

We also are supportive of your second recommendation for joint FCC-NTIA 
activity-developing and implementing plans to gain a more thorough 
understanding of the current spectrum environment. A greater 
understanding of spectrum use holds the potential of allowing even more 
efficient use of spectrum than is possible with greater use of new 
spectrum-efficient technologies alone.

Finally, we will continue ongoing efforts with the NTIA to develop 
jointly accepted models and methodologies to assess and test the impact 
of new technologies. Successful development of such models and 
methodologies can only expedite the consideration and approval of new 
spectrum-efficient technologies.

I commend you and your staff for your hard work in helping to develop 
ideas for improving U.S. spectrum management policies in a manner that 
ensures that the radio resource will be effectively and efficiently 
employed for the benefit of the American people. We support any effort 
to continue to improve our policies in this area, and will work with 
our colleagues at NTIA to assess how best to incorporate the report's 
findings and recommendations in our future work.

Sincerely, 

Edmond J. Thomas, 
Chief:
Office of Engineering and Technology: 

[End of section]

Appendix III: Comments from the Department of Homeland Security:

U.S. Department of Homeland Security 
Washington, DC 20528:

Homeland Security:

May 18, 2004:

Ms. Katherine V. Schinasi 
Managing Director, Acquisition and Sourcing Management 
U.S. General Accounting Office 
Washington, DC 20548:

Re: SPECTRUM MANAGEMENT - Better Knowledge Needed to Take Advantage of 
Technologies That May Improve Spectrum Efficiency," GAO-04-666, May 
2004; GAO Case 120254:

Dear Ms. Schinasi:

The Department of Homeland Security (DHS) appreciates the opportunity 
to review and comment on the General Accounting Office (GAO) draft 
report to the Honorable Tom Davis and the Honorable Adam H. Putnam, 
Committee on Government Reform, House of Representatives, entitled 
"SPECTRUM MANAGEMENT - Better Knowledge Needed to Take Advantage of 
Technologies That May Improve Spectrum Efficiency," GAO-04-666, May 
2004.

The draft report does not include any specific recommendations 
regarding DHS. However, we submit the following comments for your 
consideration:

The Department applauds the ongoing and continuing research into 
advanced technologies that will expand the better utilization of scarce 
spectrum allocations and recommends an active role by both the National 
Telecommunications and Information Agency (NTIA) and the Federal 
Communications Commission (FCC) in encouraging migration to spectrum 
efficient technologies, particularly research being conducted by the 
Department of Defense. We furthermore consider such actions as positive 
in respect to the goals of the President's Spectrum Policy Initiative.

We recommend that the NTIA and FCC proceed with caution and closely 
monitor the development of the Software-Defined Cognitive Radio (SDCR) 
and the determination of spectrum utilizations by licensees within the 
spectrum. Furthermore, we recommend that the FCC conduct an in-depth 
study into the interference temperature concept that is considered 
controversial and will be used as a potential baseline in the 
establishment of a noise floor. Protection must be in place for 
incumbent users. The terms "white spaces" and "gray spaces" as they 
pertain to SDCR technologies must be well defined. We also recommend 
that all spectrum assigned to public safety first responders be 
restricted and protected from SDCR devices by use of spectrum lockout 
capabilities or other suitable solution.

* In regard to the current structure and management of spectrum used 
within the United States, we recommend that both the NTIA and FCC 
identify spectrum that can be set aside and protected for future 
technology testing and evaluation.

* With the ongoing interference temperature initiative within the FCC, 
we recommend that the enforcement avenues within the FCC be expanded to 
allow for the identification of sources of interference and the 
enforcement aspect of protecting incumbent licensees or users.

* The use of incentives to encourage agencies to develop and use 
spectrum more efficiently does not apply at the federal government 
level. The use of incentives may have some functionality in other 
environments, but does not apply to the government. A more appropriate 
means for governmental spectrum efficiency is a mandated migration 
process similar to the ongoing wide-band to narrow-band transition in 
the VHF and UHF federal bands.

* We recommend that the FCC and the NTIA work more closely and 
proactively in all issues surrounding spectrum management.

Thank you again for the opportunity to comment on this draft report. If 
you have questions or need clarification regarding our comments, please 
contact Mr. Thomas Krones, (202) 401-5861, or e-mail: 
Thomas.krones@dhs.gov.

Sincerely,

Signed by: 

Anna F. Dixon: 
Director, Bankcard Programs and GAO/OIG Liaison: 

[End of section]

FOOTNOTES

[1] FCC has authority over all nonfederal spectrum use, including the 
use of spectrum by state and local governments.

[2] Radio waves are a form of electromagnetic energy, propagating 
through space at the speed of light. The number of waves that pass a 
given point per second defines the frequency of a radio wave in cycles 
per second, or hertz. Kilohertz (kHz), megahertz (MHz), and gigahertz 
(GHz) describe frequencies of thousands, millions, and billions of 
hertz, respectively. The radio spectrum above 100 MHz and below 3 GHz 
has propagation characteristics that are well suited for services such 
as mobile phones, radio and television broadcasting, some satellite 
communication systems, radars, and aeronautical telemetry systems.

[3] Nearly 30 years ago, GAO reported that technology was creating 
demands for spectrum faster than it was creating methods to meet those 
demands. See U.S. General Accounting Office, Information on Management 
and Use of the Radio Frequency Spectrum--A Little-Understood Resource, 
B-159895 (Washington, D.C.: Sept. 13, 1974).

[4] Interference occurs when two or more radio signals interact in a 
manner that disrupts or degrades the ability of these signals to convey 
information successfully to their intended receivers. However, the 
extent and impact of interference depends on the technologies used both 
to transmit and receive radio signals, and the types of services and 
applications supported.

[5] Each country makes its own allocations of spectrum use; therefore, 
allocation decisions may differ in other regions of the world and in 
other countries. However, because radio wave propagation obeys the laws 
of physics and cannot be forced to respect national borders, spectrum 
management decisions (particularly allocation decisions) generally 
have been coordinated internationally. The International 
Telecommunication Union (ITU), a specialized agency of the United 
Nations, holds World Radiocommunication Conferences every 3 to 4 years 
to coordinate spectrum decisions and address other pressing 
international spectrum management issues.

[6] 47 USC § 309(j).

[7] For more information on how spectrum is managed, see U.S. General 
Accounting Office, Telecommunications: Better Coordination and 
Enhanced Accountability Needed to Improve Spectrum Management, 
GAO-02-906 (Washington, D.C.: Sept. 30, 2002).

[8] Federal Communications Commission, Spectrum Policy Task Force 
Report; ET Docket No. 02-135 (Washington, D.C.: Nov. 2002).

[9] U.S. General Accounting Office, Telecommunications: Comprehensive 
Review of U.S. Spectrum Management with Broad Stakeholder Involvement 
Is Needed, GAO-03-277 (Washington, D.C.: Jan. 31, 2003).

[10] The initiative consists of two courses of spectrum-related 
activity: (1) an interagency task force to focus on improving spectrum 
management policies and procedures to stimulate more efficient and 
beneficial use of government spectrum and (2) a series of public 
meetings that will assist the Department of Commerce in developing a 
detailed set of recommendations for improving policies and procedures 
for use of spectrum by state and local governments and the private 
sector, as well as the spectrum management process as a whole.

[11] In addition, the NSF is currently sponsoring a study at the 
National Academy of Sciences on wireless technology advances and 
associated implications for spectrum management policy.

[12] Amounts included for NSF are based on funds provided grantees in 
2003. 

[13] We did not verify the reliability of the funding information, 
however, it comes from published agency budget documents and program 
officials.

[14] FCS is an information network linking a suite of 18 new manned and 
unmanned ground vehicles, air vehicles, sensors, and munitions.

[15] The Defense Spectrum Office has the responsibility within DOD for 
supporting the Assistant Secretary of Defense for Networks and 
Information Integration in establishing national and international 
strategies for new technologies that may affect how spectrum is used, 
occupied, or managed by the department.

[16] Greater freedom could also be achieved through "band clearing"--
moving incumbent users to other parts of the spectrum. Because this 
reallocation could take significant time and funding to accomplish, 
band clearing is difficult to implement.

[17] In a shared spectrum allocation, "primary" users have priority 
over the use of a frequency and "secondary" users must defer to the 
primary user. Users may also be designated as "co-primary," in which 
the first operator to obtain authority to use the spectrum has priority 
to use the frequency over another primary operator.

[18] A waveform is the representation of a signal that includes the 
frequency, modulation type, message format, and/or transmission system. 
In general usage, the term waveform refers to a known set of 
characteristics, for example, frequency bands (VHF, HF, UHF), 
modulation techniques (FM, AM), message standards, and transmission 
systems. In JTRS, the term waveform is used to describe the entire set 
of radio functions that occur from the user input to the radio-
frequency output and vice versa. A JTRS waveform is implemented as a 
re-useable, portable, executable software application that is 
independent of the JTRS operating system, middleware, and hardware. 

[19] FCC Spectrum Policy Task Force Report; ET Docket No. 02-135 
(Washington, D.C.: Nov. 2002).

[20] DOD's DARPA has a major effort under way (the Next Generation 
Communications Program) to develop enabling technologies and system 
concepts to dynamically use the spectrum through real-time sensing of 
the spectrum environment and adjustment of radio operations to take 
advantage of white and gray space opportunities. Its goal is to 
increase spectrum access by a factor of 10.

[21] FCC Notice of Proposed Rulemaking and Order In the Matter of 
Facilitating Opportunities for Flexible, Efficient, and Reliable 
Spectrum Use Employing Cognitive Radio Technologies; FCC 03-322 (Dec. 
30, 2003); FCC Notice of Inquiry and Notice of Proposed Rulemaking in 
the Matter of Establishment of an Interference Temperature Metric to 
Quantify and Manage Interference and to Expand Available Unlicensed 
Operation in Certain Fixed, Mobile and Satellite Frequency Bands; FCC 
03-289 (Nov. 28, 2003). 

[22] "Temperature" refers to a measure of the undesired radio-frequency 
power in a particular band and location. FCC's Spectrum Policy Task 
Force developed the concept of an interference temperature to 
characterize and quantify undesired (interfering) transmitters' 
contributions to radio-frequency energy at a receiver's location. 

[23] Under the proposed approach, an interference temperature metric 
would establish maximum permissible levels of interference, thus 
characterizing the "worst case" environment in which a receiver would 
be expected to operate. Different threshold levels would then be set 
for each band, geographic region or service based on an understanding 
of the radio frequency environment. 

[24] FCC and FAA also have spectrum-monitoring capabilities.

[25] In fiscal year 2002, NTIA received $2.1 million to replace the 
van. The replacement van was used for the first time in the summer of 
2003.

[26] The term "broadband" used in this context refers to a survey of 
multiple radio frequency bands. The use of the term here does not refer 
to technologies that encompass all evolving high-speed digital 
technologies that provide consumers integrated access to voice, high-
speed data, video-on-demand, and interactive delivery services.

[27] UWB devices employ very narrow or short duration pulses to create 
wideband transmissions.

[28] NTIA has also established similar rules governing federal use of 
low-power UWB devices.

[29] The lack of technologies capable of providing users with real-time 
knowledge of spectrum environments has required an approach to spectrum 
management based on worst-case assumptions to minimize interference.

[30] A few NTIA policies and technical standards do specifically 
require federal agencies to improve efficiency in a few portions of the 
spectrum. For example, in 1992, the Congress directed NTIA to adopt and 
implement a plan for federal agencies with existing mobile radio 
systems to use more spectrum efficient technologies. In response, NTIA 
required all federal agencies to upgrade their land-based mobile 
systems through narrowbanding, a process for reducing the amount of 
spectrum needed to transmit a voice signal, by 2008. NTIA also 
established a trunking program for land mobile systems in certain areas 
of the country. The trunking technique allows systems to share a common 
set of voice radio channels to conserve spectrum. For more information 
on NTIA's efforts to promote efficiency through its narrowbanding and 
trunking policies for land mobile radios, see GAO-02-906.

[31] U.S. General Accounting Office, Spectrum Management in Defense 
Acquisitions, GAO-03-617R (Washington, D.C.: Apr. 30, 2003).

[32] In our April 30, 2003, report, we made several recommendations 
aimed at addressing these weaknesses.

[33] Center for Strategic and International Studies, Spectrum 
Management for the 21st Century: A Report of the CSIS Commission on 
Spectrum Management, (Washington, D.C.: Oct. 2003).

[34] GA0-03-277.

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