Narrative

0762-EX-ST-2017 Text Documents

T-Mobile USA, Inc.

2017-06-19ELS_193866

                                                             T-Mobile USA, Inc.
                                                Request for Part 5 Experimental
                                                  Special Temporary Authority
                                                 ELS File No. 0762-EX-ST-2017

                         NARRATIVE STATEMENT

Pursuant to Sections 5.3 (j) and Section 5.61 of the Commission’s rules, 47
C.F.R. §§ 5.3(j), 5.61 (2016), T-Mobile USA, Inc. (“T-Mobile”) hereby
respectfully requests experimental special temporary authority (“STA”) from
June 28, 2017 to December 28, 2017, to evaluate the technical performance of
pre-commercial LTE-U equipment. The experiments will operate in AWS-1
spectrum licensed to T-Mobile as well as in unlicensed 5 GHz spectrum (in a
downlink-only mode). The testing will be in a highly controlled field
environment that will help T-Mobile to allow the pre-commercial testing of new
products outside of a lab environment but in a controlled and managed manner.

A.     Purpose of Operation and Need for STA:

T-Mobile is working with equipment vendors to conduct product testing of new
LTE-U equipment. The trials at the various locations listed below will allow
T-Mobile to test prototype equipment in outdoor and indoor setting prior to
equipment certification. The trials will consist of up to 10 small cells and access
points that will use the transmission parameters detailed below in Section C.
Mobile units will operate within the RF coverage area of the small cell stations.
The mobiles will be receive-only in the unlicensed 5 GHz band but will also
include an LTE transmitter that will operate in the AWS-1 spectrum. T-Mobile
anticipates using as many as 20 mobile units at each location.

B.     Location of Proposed Operation:

T-Mobile intends to conduct testing in 25 locations with the address and
approximate reference coordinates (in Datum: NAD83) of each of the fixed
locations:

Address                                      Latitude                Longitude
5810 Pineland Dr, Dallas, TX                  32° 52' 37.2"            96° 45' 23.0"
7225 Fair Oaks Ave, Dallas, TX                32° 52' 26.8"            96° 45' 24.1"
8401 Park Lane, Dallas, TX                    32° 52' 16.3"            96° 45' 35.3"
8567 Park Lane, Dallas, TX                    32° 52' 13.1"            96° 45' 17.3"
6050 Melody Lane, Dallas, TX                   32° 52' 2.6"            96° 45' 34.9"




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Address                                     Latitude                Longitude
6250 Ridgecrest Rd, Dallas, TX                32° 52' 1.6"         96° 45' 18.4"
6741 Eastridge Rd, Dallas, TX                 32° 52' 3.7"          96° 45' 2.9"
6801 Larmanda St, Dallas, TX                  32° 52' 0.5"        96° 44' 49.92"
6392 123rd Ave N, Largo, FL                   27° 53' 0.7"         82° 43' 31.4"
6455 118th Ave N, Largo, FL                  27° 52' 44.9"         82° 43' 32.9"
7519 SR-688, Largo, FL                       27° 53' 39.8"         82° 44' 31.2"
7105 SR-688, Largo, FL                       27° 53' 38.9"          82° 44' 8.2"
7253 142nd Ave N, Largo, FL                   27° 54' 5.0"         82° 44' 23.6"
1388 CR-501, Largo, FL                       27° 54' 22.4"         82° 44' 44.5"
134 ½ 5th Street, Montebello, CA              34° 0' 29.4"         118° 6' 18.0"
1208 E Burnett St., Long Beach, CA            33° 48' 2.8"        118° 10' 33.6"
3737 ½ 15th St, Long Beach, CA                33° 47’ 9.0”         118° 8' 52.8"
3000 184th Street SW, Lynnwood, WA           47° 49' 47.9"        122° 16' 22.5"
1717 Litton Drive, Stone Mountain, GA        33° 49' 58.3"         84° 11' 35.0"
3700 Mansell Road, Suite 100,                 34° 2' 17.5"         84° 17' 42.4"
Alpharetta, GA
600 Town Center Dr., Dearborn, MI            42° 18' 44.1"          83° 13' 4.3"
575 Bellevue Square, Bellevue WA             47° 36' 56.2"        122° 12' 13.5"
5186 Avenue U, Brooklyn, NY                  40° 36' 35.8"         73° 55' 10.9"
1300 W Sunset Rd, Las Vegas NV                36° 3' 49.8"         115° 2' 23.6"
655 W Craig Rd North, Las Vegas, NV          36° 14' 18.9"          115° 9' 2.1"
1181 S Concord St, Los Angeles, CA           34° 01' 21.8"        118° 12' 25.8"
3033 E 8th St, Los Angeles, CA               34° 01' 28.2"        118° 12' 39.9"
1257 W 59th Pl, Los Angeles, CA              33° 59' 12.5"        118° 17' 52.8"
6210 Raymond Ave, Los Angeles, CA            33° 58' 59.4"        118° 17' 52.8"
1257 W 60th Pl, Los Angeles, CA               33° 59' 6.4"        118° 17' 52.9"

C.    Technical Specifications:

      1.     Frequencies Desired

      T-Mobile will be using AWS-1 spectrum for the testing as well as
      unlicensed 5 GHz spectrum. Specifically, T-Mobile will be transmitting
      in accordance with the table below:




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       2.      Equipment To Be Used

       T-Mobile will be using prototype equipment that has not yet received
       FCC certification. This equipment will be provided by a number of
       vendors.

D.     Protection Against Causing Interference:

T-Mobile is requesting use of the AWS-1 and unlicensed 5 GHz spectrum bands.
T-Mobile will only operate AWS-1 in bands that it has licenses for in the
different locations. T-Mobile understands that it must accept any interference
from any users of this band and that all operations by T-Mobile will be on a
secondary basis. T-Mobile has established a point of contact identified below
with “kill switch” authority should any interference occur to primary licensed
services. Should interference occur, T-Mobile will take immediate steps to
resolve the interference, including, if necessary, arranging for the discontinuance
of operation.

E.     Restrictions on Operation:

T-Mobile is not seeking authority to perform a market study under the requested
STA. Moreover, no fees will be charged to entities using the equipment during
this test. Entities will be advised in accordance with Section 2.803 of the
Commission’s rules, 47 C.F.R. §2.803, that any unapproved devices which have
not been authorized as required by the FCC are not being offered for sale or
lease, or sold or leased, until authorization is obtained.

F.     Public Interest:

T-Mobile submits that issuance of the STA as requested is in the public interest,
convenience, and necessity. Grant of an STA will help T-Mobile to develop and
test innovative equipment to provide service to consumers.

G.     Contact Information:

       Technical Contact and “Stop Buzzer/Kill Switch:”

               David Jones
               T-Mobile USA, Inc.
               david.jones@t-mobile.com

               Chris Wieczorek
               T-Mobile USA, Inc.
               601 Pennsylvania Ave., NW
               Washington, DC 20004
               202-654-5913
               christopher.wieczorek@t-mobile.com


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FCC Legal Counsel/Contact:

      Tom Dombrowsky
      Senior Engineering Advisor
      DLA Piper LLP
      500 8th Street, NW
      Washington, DC 20004
      Telephone: 202.799.4039
      Thomas.Dombrowsky@dlapiper.com




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Document Created: 2017-06-19 09:23:06
Document Modified: 2017-06-19 09:23:06

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