Attachment 2003MSV-surrender li

2003MSV-surrender li

SURRENDER OF AUTHORIZATION submitted by MSV

surrender

2003-06-20

This document pretains to SAT-AMD-19960301-00041 for Amended Filing on a Satellite Space Stations filing.

IBFS_SATAMD1996030100041_807287

          MSV
II"

      l
 Mobile Satellite Ventures                                                                                   |




                                                     June 30, 2003
                                                                         RECEIVE
          Via Hand Delivery                                                                        D
          Ms. Marlene H. Dortch                                             JUN 3 0 2003
          Secretary
          Federal Communications Commission                          Federal Communications Commission
          445 12th Street, S.W.               .                              Office of Secretary
          Washington, D.C. 20554
                                                                                                   RECEIVEp
                 RE:      Mobile Satellite Ventures Subsidiary LLC                                     JUL
                         Voluntary Surrender of Licenses for Satellites at                           15 2003
                         62°W and 139°W Orbital Locations                                      MED;A ByREA
                                                                                                                  U
          Dear Ms. Dortch:

                  Mobile Satellite Ventures Subsidiary LLC ("MSV*") hereby voluntarily surrenders its
          licenses for first—generation satellites at the 62°W and 139°W orbital locations.‘ As the
          Commission has acknowledged, it "has not been able to coordinate sufficient L—band spectrum
          for AMSC [the predecessor to MSV] to support a three satellite U.S. system.""

                  In 1995, MSV‘s predecessor, American Mobile Satellite Corporation ("AMSC"),
          launched its first satellite ("AMSC—1") into orbit at 101°W in full compliance with the
          Commission‘s milestones. AMSC planned to use the satellites at the 62°W and 139°W orbital
          locations as "wing" satellites for its first—generation MSS system. MSV continues to believe that
          a multiple—satellite system is essential to provide the most reliable service possible in the L—band.



                  ‘In 1989, the Commission authorized MSV‘s predecessor, American Mobile Satellite
          Corporation ("AMSC"), to construct, launch, and operate a first—generation Mobile Satellite
          Service ("MSS") system using frequencies in the L—band from three space stations located at
          62°W, 101°W, and 139°W. See Memorandum Opinion, Order and Authorization, 4 FCC Red
          6041 (1989), Final Decision on Remand, 7 FCC Red 266 (1992), affd sub nom., Aeronautical
          Radio, Inc. v. FCC, 983 F.2d 275 (D.C. Cir. 1993). The first—generation satellites at the 62°W
          and 139°W orbital locations were authorized to use feeder link frequencies in the 11.7—11.8 GHz
          and 14.0—14.1 GHz bands. See Memorandum Opinion, Order and Authorization, 4 FCC Red
          6041, T 76. MSV has requests pending at the Commission for extensions of the milestones
          applicable to its satellites at 62°W and 139°W. The latest request was filed on March 1, 1996.
          See File No. SAT—AMD—19960301—00041 and —00042. These requests are now moot.
                  *AMSC Subsidiary Corporation, Order and Authorization, 13 ECC Red 12316, 15
          (March 13, 1998); see id. at | 2 (noting that AMSC "has yet to launch another satellite, and
          international coordination problems may preclude it from operating additional satellites on the
          currently authorized frequencies").



Mobile Satellite Ventures LP                                               10802 Parkridge Boulevard, Reston, Virginia, 20191—5416


Ms. Marlene H. Dortch
June 30, 2003
Page 2

Nothing in this letter is intended to affect MSVs right to deploy a multiple—satellite next—
generation replacement L—band system.

          Please contact the undersigned with any questions or concerns.

                                                      Very truly yours,


                                                     C C Cony,
                                                      Lon C. Levin
                                                      Vice President



ce:       Jennifer Gilsenan, FCC
          Cassandra Thomas, FCC

Document #: 1334965 v.1



Document Created: 2019-04-14 02:41:46
Document Modified: 2019-04-14 02:41:46

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