Modification Purpose

0277-EX-ML-2015 Text Documents

Harris Corporation

2015-12-04ELS_170080

                                                              HARRIS CORPORATION
                                                 EXPERIMENTAL LICENSE APPLICATION
                                                            FILE NO. 0277-EX-ML-2015

                       EXHIBIT I – PURPOSED OF MODIFICATION

       Harris Corporation ("Harris") hereby requests modification of its FCC experimental
license authorized under Call Sign WI2XBM (File #0562-EX-PL-2015). This experimental
license was granted to Harris on November 12, 2015 to conduct product integration and field
testing of a tactical LTE cellular system operating in the 700 MHz 3GPP Band Class 14
spectrum currently owned FirstNet.        As noted in the initial application, testing would be
conducted at Harris’ facility located in Rochester, New York and three other field test locations
in upstate New York. These are: Geneso, NY (Consensus Lake Site), Penn Yan, NY (Finger
Lakes Site), and Piseco, NY (Adirondacks Site).

       This modification only proposes to correct the ERP for the fixed base station
frequency range 758-768 MHz at each of the four locations from 200mW to 15.0 W. The
output power remains at 5.0 W, however with the antenna gain factored in the ERP is
approximately 15.0 Watts. No other changes are proposed.

       As noted in the original experimental license request:
-Harris understands utilization of the FirstNet Band 14 spectrum is conditioned, and hereby
agrees to the following conditions which have been placed on other public applications for
similar use and purpose:
-All network traffic resulting from this testing will be simulated traffic only, solely for evaluation
purposes and not for the purpose of providing network data communications services to user
stations.
-Harris acknowledges that it must coordinate with, and accept interference from FirstNet or any
other user of Band 14 and that all operations are on a secondary basis.
- Harris acknowledges that FirstNet has the right to monitor its operations.

       Harris will continue to adhere to the FCC Special Conditions placed on the authorization.

      The “kill switch” contact for this testing remains Chris Ossont, Tactical Cellular
Systems Engineer at Harris, tel: (585) 242-3172, e-mail: cossont@harris.com

       Because the equipment is technically incapable of providing station identification, Harris
respectfully requests a waiver of the station identification provisions of Section 5.115 of the
Commission's rules, 47 C.F.R. § 5.115.

       Harris submits that a grant of this application is necessary and in the public interest
because it will facilitate LTE technology development.



Document Created: 2015-12-04 10:55:15
Document Modified: 2015-12-04 10:55:15

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