[real-eyes] Fw: Television Accessibility, Is Accessible TV Viewing Finally on Its Way?

  • From: "Reginald George" <adapt@xxxxxxxxx>
  • To: <real-eyes@xxxxxxxxxxxxx>, <nutkc@xxxxxxxxxxxxxxx>, "Adaptive technology information and support." <ati@xxxxxxxxxxx>
  • Date: Thu, 12 Feb 2015 04:39:07 -0800

I apologize for the cross post.  This is a long article, but do persevere if 
you want to know the current state of accessible TV in the US. It’s as short 
as it can be given all the information it contains.
Reginald George
Adaptive Technology specialist
adapt@xxxxxxxxx
                This article significantly lifts my spirits regarding not only 
Television accessibility, but also access in to visual media overall.  I look 
forward to future follow-up information as suggested in the final line "Stay 
Tuned."
 
Dan Thompson



"Television Accessibility

Is Accessible TV Viewing Finally on Its Way?

Bill Holton

http://www.afb.org/afbpress/pub.asp?DocID=aw160105

 

In the August issue of AccessWorld , found here:

http://www.afb.org/afbpress/pub.asp?DocID=aw150803

we described the new voice guide features available on new Samsung TVs. More 
recently, Comcast has announced the availability of its own talking TV 
interface.  More specifics can be found at the ComCast page rregarding " 
Accessibility Services" found here:

http://customer.comcast.com/help-and-support/accessibility

 

There certainly has been a lot of activity on the accessible media front. 
Here's why: the Twenty-First Century Communications and Video Accessibility Act 
of 2010 (CVAA) includes a number of provisions regulating the production and 
availability of accessible broadcast media and devices—television sets, 
set-top boxes, digital video recorders (DVRs) and descriptive video for 
broadcast and non-broadcast channel programing.

To help provide a better understanding of the rapidly changing landscape of 
video accessibility, AccessWorld spoke with Brian Charlson, Director of 
Technology at the Carrolle Center and member of the FCC Video Programming 
Accessibility Advisory Committee, which helped draft the CVAA.

*Defining the Issues

We began by asking Brian Charlson to help us more clearly understand the 
problem of accessibility for broadcast media.

"These days a television is a lot more than an on/off switch, volume control, 
and channel up and down buttons," he began. "There are so many new and exciting 
things a television can do, and as consumers who are blind or visually 
impaired, we are not always even aware of what they are."

Ask many blind individuals if they watch TV, and they say yes, definitely. But 
when you ask them about their viewing habits they may say something along the 
lines of, "I turn it on for the 6 o'clock news on Channel 4. Then I watch 
"Friends" repeats on Channel 12, and after that I turn to Channel 10 to watch 
CBS prime time shows."

"For this individual, and many like him or her, TV watching is done by 
rote—memorizing what is on when and on which channel, and then sticking to 
that schedule," Charlson says. "This worked fine back in the days of 3 
channels, maybe 4 but today, with 300 or 400 channels to choose from, those old 
ways simply don't work anymore."

Sighted people can flip through the channels, and most over-the-air channels 
and cable and satellite providers will flash the network name and show title on 
the screen for identification. A blind person may need to wait several minutes 
for a commercial to end, and then a few more trying to figure out what show is 
on. Multiply this by an ever-growing channel lineup and it's easy to see that 
channel surfing is not a workable option for those with visual impairments.

"Sighted users also have a program guide channel to show them what's on 
currently, and, even more useful at times, what is going to be on starting in 
30 minutes, an hour, or even tomorrow afternoon," Charlson says. True, this 
information is available online, or via a smartphone app, but this requires the 
individual to develop and maintain computer skills just to find and watch TV.

"Elderly, newly blind individuals are the fastest growing segment of the blind 
community. In general, they tend to be frequent TV viewers. They are also the 
ones who are least likely to have developed the skills to operate an accessible 
PC or smartphone," adds Charlson.

There is also the equipment itself. "In my house we have four TVs, each in 
different rooms. And not one of them uses the same remote with the same button 
layout," Charlson reports. "Add a digital cable box or a DVR to each set and 
it's no wonder so many blind persons do not take full advantage of their 
equipment or available programming."

 

*CVAA Device Standards

Here is a summary describing the upcoming accessible device standards required 
of all new TV sets, cable boxes, and DVRs manufactured after December 2016.

The following functions must be made accessible if the feature is included in 
the device at the time of manufacture. If these functions are delivered via a 
text menu or guide, they must be made audibly accessible, which is to say the 
device must "speak" the menu or guide. If a feature is not delivered through a 
menu or guide—for example, turning a set on or off—there is no audible 
accessibility requirement, but it still must be made accessible to those who 
are blind or visually impaired. 

  a.. Power on/off: an accessible method to turn a device on or off must be 
available. 
  b.. Volume adjust and mute: an accessible method to adjust and mute the 
device's volume must be available. 
  c.. Channel/program selection: users must be able to accessibly select 
channels and programs via physical numeric or channel up/channel down buttons 
or via on-screen guides and menus. This includes the ability to select 
non-linear programming such as VOD and recorded DVR programming, and the 
ability to launch applications such as Netflix. 
  d.. Display channel/program info: users must be able to accessibly display 
current channel or program information. 
  e.. Configuration, setup: users must be able to accessibly access and change 
configuration or setup options, such as configuration of video display and 
audio settings, selection of preferred language for on-screen guides or menus, 
etc. 
  f.. Configuration, video description control: users must be able to 
accessibly enable or disable the output of video description, which is to say 
to change from the main audio to the secondary audio stream that contains video 
description and from the secondary audio stream back to the main audio. This 
rule only pertains to equipment that includes Secondary Audio Programming 
(SAP), which is not required but which most set manufactures provide. 
  g.. Configuration, CC options: users must be able to accessibly modify the 
display of closed caption data, including configuration of the font size, font 
color, background color, opacity, etc. 
  h.. Configuration, CC control: users must be able to accessibly enable or 
disable the display of closed captioning. 
  i.. Display configuration info: users must be able to accessibly display how 
user preferences are currently configured. 
  j.. Playback functions: users must be able to accessibly control playback 
functions, including pause, play, rewind, fast forward, stop, and record for 
DVR and video on demand. 
  k.. Input selection: users must be able to accessibly select their preferred 
input source, such as the port connected to an Apple TV or Chromecast.
The new regulations also specify that these accessibility features may not be 
restricted to a manufacturer's highest-end, which is to say their most 
expensive, models. "If a set maker's lineup includes 32-inch, 45-inch and 
60-inch models, for example, each of the different screen sizes must have an 
accessible model available, and for no additional cost," states Charlson.

Along with equipment manufacturers, the new guidelines also affect broadcast 
and cable networks, as well as service providers, including cable and satellite 
TV companies.

*Requirements for Broadcast and Non-Broadcast Networks

Currently, the top four broadcast networks—ABC, CBS, Fox, and NBC—are 
required to provide 50 hours of video-described prime time or children's 
programming per calendar quarter, or approximately 4 hours each week. Same-week 
rebroadcasts do not count toward the 50 hours.

The requirement to provide 50 hours per calendar quarter of video-described 
programming also applies to the top five cable networks, which are currently 
USA, Disney Channel, TNT, Nickelodeon, and TBS. These rankings will be 
reassessed in July of 2015.

*Requirements for Local TV Stations

Today, local ABC, CBS, Fox, and NBC affiliates in the top 25 US markets are 
required to own and operate the equipment to broadcast video description. They 
must also provide 50 hours of video-described prime time or children's 
programming per quarter. This is the minimum. If the network provides even more 
video description, the local affiliate must pass it through. There is no 
requirement for non-network affiliated local stations.

Some smaller network affiliates do not currently have the equipment to 
broadcast the video description signal. Others have the equipment but choose to 
use it to add an additional language channel. As of July 1, 2016, the 
regulations will expand to cover local network affiliates in the top 60 US 
markets.

This is their target deadline for installing the necessary equipment and 
joining the top 25 markets in broadcasting at least 50 hours of described 
content per quarter.

*Requirements for Cable and Satellite Companies

Cable and satellite companies, known as multichannel video programming 
distributors (MVPDs) that serve 50,000 or more subscribers must also own and 
operate the equipment necessary to broadcast video description. They, too, must 
provide 50 hours of video description per calendar quarter during prime time or 
children's programming on each of the top five national non-broadcast networks 
that they carry: USA, the Disney Channel, TNT, Nickelodeon, and TBS.

Smaller MVPD systems are not currently required to install the equipment or 
pass through video description. If they do provide this service, however, they 
must offer everything that is available. For example, the History Channel is 
not currently required to provide video-described programming because it is not 
in the top 5. However, if the History Channel airs a video-described program, 
any cable or satellite company that offers described video must include the 
show in their service.

For cable companies, adding more descriptive video presents few challenges. 
Unfortunately, it's a different matter for satellite companies. For them, each 
new video description stream requires the use of limited satellite resources.

"We have to maintain a level playing field, so that blind consumers receive the 
same amount of accessible programming, regardless of whether they subscribe to 
cable or satellite service," notes Charlson. "This is why the amount of 
required described programming was not immediately increased."

According to the FCC, however, if the commission determines that the need for 
and benefits of providing video description for television programming outweigh 
the technical and economic costs, the Commission has authority two years after 
a June 30, 2014 Report to Congress to adopt additional regulations, including 
increasing the 50-hours-per-quarter requirement by up to 75 percent. This would 
result in roughly 7 hours per week of descriptive video programming per 
provider, which could be implemented on June 30, 2016 at the earliest.

*What It All Means

The good news is that if you are currently in the market for a new TV, you will 
soon have several models to choose from that offer many, but not all, of the 
new accessibility requirements. The bad news is that it's not uncommon for 
newer releases of accessibility software to run only on newer sets, which means 
after December of 2016 you may be left with a set that will not run a full 
roster of these features.

Of course, this assumes that all parties implement the services properly. If 
the devices are not accessible in time, the manufacturer must show the FCC all 
of the steps they have taken toward making them accessible. To date, however, 
no fines or other penalties for non-compliance have been determined.

As for video description, the new regulations will not immediately increase the 
amount of described video available. It will merely codify what is already 
being done. There is the hope, but not the promise, of more to come.

Another potential issue is that, based on the way the regulations are written, 
providers must file paperwork every year evaluating their success in 
implementing accessibility. However, it is up to us, the consumer, to report 
problems, and, notes Charlson: "Unlike for closed screen captioning, there is 
no mandated complaint office or hotline where we can report problems with 
network[s] or your local cable company or broadcast channels' described video 
or other accessibility features."

Another still unresolved issue is the accessibility of streaming services, such 
as Netflix and Hulu. "Launching the apps must be made accessible, but the 
waters are still rather muddy as to whether or not actually being able to use 
these services accessibly falls under the new regulations," says Charlson.

One last issue Charlson brings up is the learning curve for sight-impaired TV 
consumers. "Many of the soon-to-be available features and capabilities have 
been added gradually, over the years, allowing sighted consumers to build on 
previous knowledge and experience. "For us it will be like stepping into a 
rapidly flowing river," he says. "For example, until now it has been all but 
impossible for us to set a DVR to record a program so we can watch it later. 
Now we'll want to know not only how to record "M.A.S.H.," but also how to 
instruct our DVR to record all of the episodes being played at any time and on 
any channel, but not the ones I've already seen." It is not likely we will be 
able to request DVR training from our local rehab agency. And as of now the FCC 
has yet to determine whether to impose information, documentation, and training 
requirements on manufacturers and service providers.

Stay tuned."

 

 

 

Verse of the Week:

“The fear of the LORD is the beginning of wisdom, and the knowledge of the 
Holy One is understanding” (Proverbs 9:10). 

 

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