United States v. Southwestern Cable Co.
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United States v. Southwestern Cable Co., 392 U.S. 157 (1968), is a case in the development of American administrative law. Legal principleThe scope of authority held by an agency is determined by the agency's organic statute. Where Congress grants an agency the power to maintain and regulate an area guided by the "public interest, convenience, or necessity," such a grant of power can include the regulation of areas not explicitly contemplated by the organic statute, as long as they are within the scope of the purpose of the original statute. Where agency action is necessary to fulfill the agency's ultimate goal, the Court may not prohibit such action. Note: The approach in this case takes a much more expansive approach than the earlier case of ICC v. Cincinnati, New Orleans and Texas Pacific Railway Co. which provided for more limited powers for administrative agencies. Specifically, ICC held that regulative powers must be expressly granted by statute and not implied, while NBC v. US, 319 U.S. 190 (1943), held that the issuance of regulations, though not expressly granted, are an acceptable way for the agency to fulfill its statutory obligations to serve the "public interest, convenience, or necessity." Facts and procedural postureThe FCC established regulations over community antenna television (CATV, or "cable"), and issued an order on the basis of those new regulations. Southwestern Cable filed an action to review the order, arguing that the regulations were impermissible. The Court of Appeals ruled for Southwestern Cable. The Supreme Court reversed, ruling for the FCC that the regulations were permissible. AnalysisThe FCC's authority stemmed from the Communications Act of 1934, as amended. The Act provided that the Commission's responsibilities were to
Further, the FCC was given:
Southwestern Cable argued that the Communications Act, properly understood, does not permit the regulation of CATV, because
The Court then notes Commission reports indicating the importance of regulating CATV, because the failure to do so, the benefits of CATV would be "placed in jeopardy by the unregulated explosive growth of CATV." The Court notes finally that court precedents indicate that the Court may not, "in the absence of compelling evidence that such was Congress' intention ... prohibit administrative action imperative for the achievement of an agency's ultimate purposes." See alsoFurther reading
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