Confidential Treatment Letter

0276-EX-CN-2017 Text Documents

Harris Corporation

2017-04-17ELS_190583

ms                                                                             HARRIS CORPORATION


                                                                                             Forrest Pierson
                                                                                        7821 Orion Avenue
                                                                                  Van Nuys, CA USA 91406
                                                                                       phone 1.818.901.2457
                                                                                          fax 1.818.901,2536
                                                                                  forrest.plerson@harris.com



April 12", 2017

Federal Communications Commission
Office of Engineering and Technology
445 12"" Street SW
Washington DC 20554


Dear FCC/OET,

Per requirement, this letter lists the answers to the nine questions per CFR 47, Part 0.459(b) on
information to be withheld from public inspection. This confidentiality is in reference to two
submitted documents:

    1.) Exhibit A, AARSS Description — NEC ver.pdf

    2.) Exhibit B, Narrative Statement — NEC ver.pdf


Purpose for submitting documents is to assist OET to better understand our overall technical
design so we are able to meet submittal requirements.

Harris Corporation regards this information as commercially sensitive.

In conformity with Section 0.459(b) of the Commission‘s rules, 47 C.F.R. § 0.459(b), Harris
Corporation submits the following:

    1.) Identification of the specific Information for which confidential treatment is sought;
        Harris requests confidential treatment of the attachments:
        "Exhibit A_ASRSS Descrip — NEC ver, and Exhibit B Narrative Statement — NEC ver".


    2.) Description of the commission proceedings in which the information was submitted or a
        description of the circumstances giving rise to submission;
       Harris provided this information to assist in the approval of our OET license application
       for AARSS (Air to Air Radar SubSystem).


    3.) Explanation of the degree to which the information is commercial or financial, or contains
        a trade secret or is privileged:
        The detailed description data of the Air to Air Radar Sub—System (AARSS) contains
        confidential and technical information not made available to the public or competitors.
        The combination and use of commercial and customized subsystems that make up the
        air to air radar subsystem are unique to Harris design.




                                                                                  assuredcommunications‘


    4.) Explanation of the degree to which the information concerns a service that is subject to
        competition;
        Similar to applications for equipment authorization whose contents are kept confidential
        until the authorization is granted, this application is part of a design concept whose
        premature disclosure to potential competitors would be highly damaging to the success
        of the program. Subsequently, technical and commercially sensitive information
        regarding our systems could be divulged and abused by competitors resulting in
        significant financial impact.


    5.) Explanation of how disclosure of the information could result in substantial competitive
        harm;
        The military and commercial application of the AASRR concept has considerable value
        regarding future success of the design. Public disclosure would effectively penalize
        Harris for its early developmental efforts and progress in moving the design forward.
        Harris Corporation needs to remain exclusive in order for us to continue to be
        competitive in the radar system business.



    6.) Identification of any measure taken by the submitting party to prevent unauthorized
        disclosure;
        Documentation in question is physically marked with restrictions from transfer to various
        embargoed countries under U.S. laws and regulations.


    7.) Identification of whether the information is available to the public and the extent of any
        previous disclosure of the information to third parties;
        This data is/and has not been publicly available. It is only released to our prime
        contractor for self—maintenance/service of their specific airborne system.


    8.) Justification of the period during which the submitting party asserts that material should
        not be available for public disclosure;
        To prohibit violation of US Government Rules and Regulations and Harris Corporation,
        Proprietary information, specific data should be withheld from public disclosure.




Sincerely,



Boelo—
Forrest Pierson
Frequency Manager
818.901.2457
Forrest.Pierson@harris.com



Document Created: 2017-04-12 14:24:39
Document Modified: 2017-04-12 14:24:39

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