One of the special conditions, stated that "This construction permit authorizes the mounting of an antenna on a directional tower of the AM station identified below. Prior to installation of the antenna, the permittee shall notify the AM station licensee so that, if necessary, the AM station may determine operating power by the indirect method (see Section 73.51 of the Commission’s Rules) and request a Special Temporary Authorization pursuant to Section 73.1635 of the Commission’s Rules to operate with parameters at variance. The permittee must conduct a partial proof of performance as defined in Section 73.154 of the Commission’s Rules both before and after construction to show that the AM station has not been adversely affected. If the operating parameters of the AM station differ from licensed values following the antenna installation, the results of the partial proof of performance shall be filed with the Commission by the AM station licensee using form FCC 302-AM. (See Section 1.30003 of the Commission’s Rules.) The permittee must submit confirmation of completion of the requirements of this condition in the application for license to cover this construction permit. Station WMNA(AM), Gretna, VA, Fac. ID No. 65518." However, the antenna is not being mounted on a directional tower of the AM station WMNA(AM). It is being mounted on a utility pole that is 157 meters from one of the directional antennas and 183 meters from the other. The antenna was mounted on an existing wooden pole in place of a similar antenna that had been in place there for more than forty years. The distance between the wooden pole and the towers in the directional array is too far to make any difference in the pattern. In addition, WMNA(AM) is on an STA, BESTA-20210604AAG, for 250 Watts and can not make any directional measurements.