Cover Letter (Mar 01, 1996)

4797-EX-ML-1995 Text Documents

COMSAT RSI, INC.

1999-07-21ELS_11274

                                           KELLEY DRYE & WARREN
                                         A PARTNERSHIP INCLUDING PROFESSIONAL ASSOCIATIONS



                                                 1200 19TH STREET, N.W.

  nEw YORK, N.Y.                            .   WASHINGTON, D. C. 20036                                FACSIMILE
 LOS ANGELES, CA.                                                                                   (202) 955—9792

     MIAM1, FL.                                          (202) 9s5—9600

   CHICAGO, IL.

  STAMFORD, CT.

 PARSIPPANY, N.J.



BRUSSELS, BELGIUM

    HONG KkONG                                        March 1, 1996
 AFFILIATED OFFICES
                                                                                              EDWARD A. YORKGITIS, JR.
 NEW DELHI, INDIA
  TOKYO, JAPAN                                                                                DIRECT LINE (202) 955—9668




     Ms. Kimberly M. Baum
     Office of Engineering and Technology
     Federal Communications Commission
     2000 M Street, NW
     Room 230
     Washington, DC 20554

                  Re:    COMSAT RSI, Inc.
                         File No. 4797—EX—ML—95 and 4798—EX—ML—95

     Dear Ms. Baum:

                  For your reference, I am enclosing herewith a copy of COMSAT RSI, Inc.‘s
     ("CRST‘s") Supplemental Filing to its Consolidated Petition for Limited Reconsideration
     ("Consolidated Petition") of the Commission‘s Grants—in—Part associated with the above—
     referenced file numbers. The Supplemental Filing provides engineering analyses relevant to
     CRSI‘s request for use of 1088 and 1213 MHz in its Consolidated Petition. The analyses
     demonstrate the extremely small potential for the proposed operations to cause interference to
     other users of these frequencies.

                  In addition, the Consolidated Petition also requested that the FCC reconsider its denial
     of CRSI‘s request to use the 1520—1535 MHz band (in addition to the 1535—1670 MHz band,
     which was granted) for the testing of mobile satellite antennas. As we discussed earlier, in
     order to use the 1520—1525 MHz band for this purpose, CRSI requires a coordination letter
     from the Aerospace and Flight Test Radio Coordinating Council. (You indicated that the — \7
     coordination for 1525—1535 MHz would be done within the FCC.) Attached is a copy of                      &
     CRSI‘s letter request for such coordination.                                                             {       \
                                                                                                          T




                                                                                                        %(;7(@/(’(/ .


     ## DCO1/YORKC/21164.41


                                 KELLEY DRYE & WARREN



Ms. Kimberly M. Baum
March 1, 1996
Page 2



          Within the attached coordination request is a description of CRSI‘s proposed mobile
satellite antenna operations in the 1520—1525 MHz range. The description also applies to
CRSI‘s proposed operations in the 1525—1535 MHz band (and, indeed, the 1535—1670 MHz
band). Please note that the statement in the Consolidated Petition (pp. 5—6) regarding the
EIRP proposed within 1520—1535 MHz should be changed and made consistent with the
description in the attached request for coordination.

          Please contact me if you have any questions.

         Thank you for your attention to this matter.

                                                           Very
                                                            yours
                                                                truly

                                                                                         L      Pog



                                                           Edward
                                                            YorkglA.             UJr.
                                                           Counsel for COM        RSI, Inc.



Enclosures




## DCOL/YORKC/21164 41



Document Created: 2001-08-21 11:13:31
Document Modified: 2001-08-21 11:13:31

© 2024 FCC.report
This site is not affiliated with or endorsed by the FCC