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Ofcom Workplan 2025 Consultation

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In the coming weeks I will be working with Better Media, a members-based organisation that campaigns for more inclusive and representative forms of independent, community, and professional media, to submit a response to the consultation by Ofcom on their Workplan for 2025/26.

The deadline for consultation responses is 29th January 2025

Under the heading ‘Media We Can Trust and Value’, Ofcom focuses on ensuring audiences across the UK can access various trusted, high-quality broadcast and online media content. The main areas of work in this priority for 2025/26 include:

Implementation of the Media Act

Public Service Media (PSM) Review

BBC Regulation

Advertising of Less Healthy Foods (LHFs)

Ongoing Activities

Ofcom’s work aims at safeguarding media plurality, protecting audiences, and ensuring fair competition among media providers while upholding freedom of expression.

Raising Questions About Ofcom’s Media Workplan: Is It Truly Serving All Citizens and Communities?

As Ofcom sets out its priorities for 2025/26, we must ask whether its workplan adequately addresses the needs of all citizens, particularly those who remain underserved by current media platforms. For listeners and viewers who depend on diverse, inclusive, and trusted media content, significant gaps persist—especially in the provision of local and community-based broadcasting.

A key concern lies in Ofcom’s apparent lack of focus on reopening FM and AM radio licencing. These traditional, cost-effective platforms have the potential to radically improve access to media for underserved communities, particularly in areas where digital infrastructure is insufficient or unaffordable. By failing to make FM and AM licences available to new entrants, Ofcom may be missing an opportunity to foster greater diversity and purposefulness in broadcasting.

For minority communities and underrepresented groups, this is not a minor oversight. Radio remains a vital medium for connecting people, sharing local stories, and reflecting the unique cultural identities of communities across the UK. The affordability of FM and AM broadcasting offers a lifeline for smaller operators who lack the resources to compete on DAB or online platforms but have the passion and commitment to serve their audiences.

Some critical questions for Ofcom are:

Ofcom’s stated commitment to media audiences is welcome, but it risks being undermined if it does not address the structural inequities in how broadcasting licences are allocated. A fairer, more inclusive approach would recognise the continuing importance of FM and AM as accessible, reliable platforms for reaching and empowering communities across the UK.

This is not just about the technology; it is about giving a voice to the voiceless and ensuring that no community is left behind. Will Ofcom take the bold step to rethink its priorities and make this a reality?

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