Radio Goldfield Broadcasting Inc

KGFN-LP

P. O. Box 279

Goldfield, NV 89013

March 20, 2007

Joe Kaufman

Associate General Counsel

Administrative Law Division

Office of General Counsel

Dear Mr. Kaufman

This cover letter to be submitted as more detail to the email that was

Sent to the FCC, March 5, 2007.

Goldfield is an Isolated area, situated in a bowl, high desert elevation of 5,690 feet. State Route 95 a major artery connecting Las Vegas 168 miles to the south to the North Nevada State Capitol Carson City.

Goldfields high elevation is a gradual climb from Las Vegas, travelers not realizing they are climbing to such an elevation, are surprised to see that sometimes chains are required over the Goldfield Grade to the south, and from the North SR95 has a chain up area passing through the Saw Tooth mountains out of Tonopah.. KGFN-lp signal covers both chain up areas South and North. Over the years there has been many auto crashes on SR-95’s high elevation mountainous area with snow and black ice. Goldfield Nevada, 100 years ago was the largest city in Nevada with a population Exceeding 30,000, but due to several Fires and Floods was reduced to

Today’s population of full time residents around 200. Other then KGFN-Lp There is no local coverage to alert motorist and residents in the high desert region. None of the many clients (broadcast entities) of

Leventhal Senter & Lerman PLLC, serve this area, either because its to

Remote or, because there is not but a few local business to provide income for a commercial station, in either case none of the commercial

entities represented by this law firm are serving this area.

KGFN-LP is a community supported station evident by half the towns people helped in putting up the 26 meter (85.3 inch) tower that the FCC

Required in the STA authorization requirements. I Rod Moyes, did not by an alter-ego arbitrarily feel he could do a better job then any other station in the area, as so many LPFM want to be broadcasters would claim! But because there was no other station serving Goldfield area! When the two FCC enforcement agents arrived on a Saturday night 8pm June 10th 2006, I was asked to shut down and did just that. I told the Two FCC agents it would be off by the time they got back to their car. And remained off until the STA authorization Jan 29th 2007. I stated to the two agents, “the town of Goldfield won’t be happy”, FCC agents replied SHUT IT DOWN, and I did, witness by the Two FCC agents, one named Noe out the Pleasanton, Ca. FCC office.

As a result, a “Complaint and Petition”, was signed by the people of

Goldfield and sent to the FCC in Washington D.C. as well as all elected

Government official of Nevada.

The FCC did not issue a “STA” to an individual (Rod Moyes), as

Stated in Leventhal Senter & Lerman PLLC “Petition for Reconsideration” In the heading of the petition “LS&L” states

, “In the Matter of”

Radio Goldfield Broadcast, Inc., then changes in the body of the petition

That the FCC granted an “Individual” Rod Moyes an “STA”, this was

Not the case, I was told Goldfield would have to form a non-profit entity

Which was done to comply with FCC requests. A, Nevada non-profit corporation, with Rod Moyes Seated as the President. The FCC application that we were told to download From the FCC web site form 318 dated march 2000, which carried a redemption clause, question 8 subsection (b) LS&L claims that there was another updated form 318 that does not contain a redemption clause (subsection B)Dated, May 2001. If there is a May 2001 form 318, it was not made available to the Goldfield Broadcast group. “RGB, Inc” If it had been available I, Rod Moyes would not have been a part of “RGB, Inc” Therefore a board meeting convened March 16, 2007, to announce to RGB, Inc), that I Rod Moyes would resign from RGB inc. If the FCC makes such a ruling. The board members not pleased with my announcement, agreed to wait on a final decision from the FCC. I don’t want to stand in the way of a means of communications for the “Life; Safety and Welfare of the people of Goldfield. Not supported by any of the Broadcast

entities represented by Leventhal Senter & Lerman PLLC!

This letter in accordance with ex parte rules (47 C.F.R. 1.1200-16) to

be included in the proceedings for administrative or judicial review.

Sincerely,

Rod Moyes, President

Radio Goldfield Broadcasting Inc.

KGFN-lp

P. O. Box 279

Goldfield, NV 89013

Notarized “Proof of Service” by registered USPS mail return receipt on the below

Federal Communications Commission

Washington, D.C. 20554

% Joe Kaufman

Associate General Counsel

Administrative Law Division

Office of General Counsel

Diane P. Cohen, Esq.

Leventhal, Senter & Lerman PLLC

Suite 600

2000 K Street, N.W.

Washington, D. C. 20006

Certificate of Service

I, ______certify that a true and correct copy of the foregoing Answer to the “Petition for Reconsideration” was sent by USPS registered return receipt mail this 20th day of March, 2007 to the following

Federal Communications Commission

Washington, D.C. 20554

% Joe Kaufman

Associate General Counsel

Administrative Law Division

Office of General Counsel

Diane P. Cohen, Esq.

Leventhal, Senter & Lerman PLLC

Suite 600

2000 K Street, N.W.

Washington, D. C. 20006

______

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