Attachment CTA reply to opposit

CTA reply to opposit

REPLY submitted by CTA

reply

1996-11-12

This document pretains to SAT-AMD-19960819-00107 for Amended Filing on a Satellite Space Stations filing.

IBFS_SATAMD1996081900107_1159021

                                             Before the
                             FEDERAL COMMUNICATIONS COMMISSION7.ECEIVEry
                                       Washington, D.C. 20554                                 hole
                                                                               NOV 3 a 1996
                                                                     FRGOTE Oopriey
In re Application of                    )
                                        )      File Nos. 75—SAT—Amend—96;
Final Analysis Communication            )           25—SAT—P/LA—95
Services, Inc.                          )
                                        )                                             &
                                        )                                 Received
For an Amendment to its                 )
Application for a Non—Voice             )                                  NOV 1 4 1996
Non—Geostationary Mobile—               2
                                        )
Shiellte Sysion                                                        Satellite Policy Branch
mm                                                                      international Bureau
                                                                                          s
To:       The Commission


                          REPLY TO OPPOSITION TO PETITION TO DENY


                    CTA Commercial Systems, Inc. ("CTA"), by its attorneys and pursuant to

Section 25.154 of the Commission‘s Rules, 47 C.F.R. § 25.154, hereby replies to the

Opposition of Final Analysis Communication Services, Inc. ("FACS") to CTA‘s Petition to

Deny. CTA is seeking denial of FACS‘ effort to amend its application to construct, launch

and operate a commercial Non—Voice, Non—Geostationary ("NVNG") Mobile Satellité System

("MSS"). As a second round NVNG MSS applicant, CTA has a direct interest in the

Commission‘s consideration of the FACS amendment.

                    In its Petition to Deny, CTA argued that the FACS amendment should be

denied as a violation of the processing rules applicable to the FCC‘s second round NVNG




      Doc#:DC1:48095.1   1343A


 licensing proceeding.©         Specifically, CTA stated that, under the Commission‘s NVNG

 processing rules, FACS was required to be financially qualified as of the cut—off date for the

 second NVNG processing round, i.e, by November 16, 1994, and could not two yéars later

 amend its application to demonstrate financial qualifications.*

                   On October 29, 1996, the Commission issued a Notice of Proposed

 Rulemaking ("NPRM") which, inter alia, (1) requests that each second round NVNG

 applicant amend its application to conform with new spectrum allocation and sharing

 proposals established by the Commission; and (2) imposes new financial qualifications

 standards for second round NVNG applicants.*

                   The Commission‘s NPRM appears to make moot the issue of the validity of

 the FACS amendment, inasmuch as all Little Leo applicants are now required to file

 amendments to their applications to meet the new financial qualification standards.

 Nonetheless, because the FACS amendment remains pending, CTA here responds briefly to

 some of the comments made in the FACS Opposition regarding its financial qualifications for

 an NVNG license.




¥       See CTA Petition to Deny at 2.

              d.
ns

        h=i




3     _ In the Matter of Amendment of Part 25 of the Commission‘s Rules to Establish Rules
        and Policies Pertaining to the Second Processing Round of the Non—Voice, Non—
        Geostationary Mobile Satellite Services, Notice of Proposed Rulemaking, FCC 96—
        426, IB Docket No. 96—220, released October 29, 1996.



     Doc#:DC1:48095.1   1343A


under construction do not meet this standard and cannot be relied upon under the

Commission‘s rules to demonstrate financial qualifications for an NVNG license.




                                            CcoOoNCLUSION
                    CTA stands by its conclusion that FACS is not financially qualified for an

NVNG license, either under the Commission‘s prior standard or under the new, more

rigorous financial qualifications test proposed in the NVNG NPRM.




                                                       Respectfully submitted,

                                                       CTA COMMERCIAL SYSTEMS, INC.




By:       /s/ Michael J. Ladino                        /s/ Phillip L. Spector
          Michael J. Ladino                            Phillip L. Spector
          General Counsel                              Jeffrey H. Olson
          CTA INCORPORATED                             Susan E. Ryan
          Suite 800                                    PAUL, WEISS, RIFKIND,
          6116 Executive Blvd.                                   WHARTON & GARRISON
          Rockville, MD 20852                          1615 L Street, N.W.
                                                       Washington, D.C. 20036
                                                       (202) 223—7300

November 12, 1996                                      Its Attorneys




      Doc#:DC1:48095.1   1343A


                                 CERTIFICATE OF SERVICE

       I, Yasmin Beckford, hereby certify that I have on this 12th day of November 1996, caused
to be served a copy of CTA Commercial Systems, Inc.‘s Reply to the Opposition of Final Analysis
Communication Services to CTA‘s Petition to Deny the Final Analysis Communications Services
Amendment, by hand or by first—class mail, postage prepaid, upon the following:

Donald H. Gips, Chief                              Thomas S. Tycz, Chief          .
International Bureau                               Satellite Radiocommunication Division
Federal Communications Commission                  International Bureau
2000 M Street, N.W., Room 830                      Federal Communications Commission
Washington, D.C. 20554                             2000 M Street, N.W., Room 811
                                                   Washington, D.C. 20554

Cecily C. Holiday, Deputy Chief                    Joslyn Read, Assistant Chief
Satellite & Radiocommunication Division            Satellite & Radiocommunication Division
International Bureau                              International Bureau
Federal Communications Commission                 Federal Communications Commuission
2000 M Street, N.W., Room 520                     2000 M Street, N.W., Room 818
Washington, D.C. 20554                            Washington, D.C. 20554

Paula Ford                                        Fern J. Jarmulnek, Chief
Satellite & Radiocommunication Division            Satellite Policy Branch
International Bureau                              International Bureau
Federal Communications Commission                 Federal Communications Commission
2000 M Street, N.W., 5th Floor                    2000 M Street, N.W., Room 518
Washington, D.C. 20554                            Washington, D.C. 20554

Damon C. Ladson                                   James M. Talens, Senior Advisor
Satellite & Radiocommunication Division           Satellite & Radiocommunication Division
International Bureau                              International Bureau             —
Federal Communications Commission                 Federal Communications Commission
2000 M Street, N.W., 803                          2000 M Street, N.W., Room 513
Washington, D.C. 20554                            Washington, D.C. 20554

Karen Kornbluh                                    Leslie Taylor, Esq.
International Bureau                              Leslie Taylor Associates
Federal Communications Commission                 6800 Carlynn Court
2000 M Street, N.W., Room 800                     Bethesda, MD 20817—4302
Washington, D.C. 20554                            Counsel for E—Sat Inc.




      Doc#:DC1:48095.1   1343A


Aileen Pisciotta, Esq.                                   Philip V. Otero, Esq.
Kelly Drye & Warren                                      Vice President and General Counsel
1200 19th Street, N.W., Suite 500                        GE American Communications, Inc.
Washington, D.C. 20036                                   Four Research Way
Counsel for Final Analysis Communications                Princeton, NJ 08540
Services, Inc.

Robert A. Mazer, Esq.                                    Albert Halprin, Esq.
Vinson & Elkins                                          Halprin, Temple & Goodman
1455 Pennsylvania Av., N.W.                              Suite 650 East Tower
Washington, D.C. 20004                                   1100 New York Avenue, N.W.
Counsel for Leo One USA Corporation                      Washington, D.C. 20005
                                                         Counsel for Orbcomm

Julie Barton, Esq.                                       Jonathan Wiener, Esq.
Hogan & Hartson                                          Goldberg, Godles, Wiener & Wright
555 13th Street, N.W.                                    1229 19th Street, N.W.
Washington, D.C. 20004                                   Washington, D.C. 20036        &
Counsel for STARSYS                                      Counsel for Volunteers in Technical
                                                           Assistance




                                  /s   Yasmin Beckford
                                       Yasmin Beckford




       Doc#:DC1:48095.1   1343A



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Document Modified: 2016-11-16 18:01:11

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