Attachment condition 5

This document pretains to SAT-AMD-20030411-00064 for Amended Filing on a Satellite Space Stations filing.

IBFS_SATAMD2003041100064_372723

                                              LAW OFFICES
                           GOLDBERG, GODLES, W I E N E R & WRIGHT
                                     1229 NINETEENTH STREET, N.W.
                                      WASHINGTON, D.C. 20036-2413

HENRY GOLDBERG                                                                                     (202) 429-4900
JOSEPH A. GODLES                                                                                   TELECOPIER:
JONATHAN L. WIENER                                                                                 (202) 429-4912
MICHAEL A. McCOlN
BRlTA D. STRANDBERG                                                                                     e-mail:
CHRISTOPHER G. TYGH'                                                                            general8g2w2.com
          -                                                                                    website: www.g2w2.com
HENRIETTA WRIGHT
THOMAS G. GHERARDI, PC.
COUNSEL
'NOT ADMITTED IN D.C.




                                                                      RECEIVED
       BY HAND DELIVERY

       Marlene H. Dortch
                                                                 FECERAL COMMUNICATIONS C      o   ~   I   ~
       Secretary                                                       OFFICE OF THE SECRETARY
       Federal Communications Commission
       445 12th St., S.W.
       Washington, DC 20554

                Re:     SAT-LOA-19960419-00059
                        SAT-AMD-19971119-00188
                        SAT-AMD-20030411-00064
                        SAT-AMD-20030818-00154
                        SAT-AMD-20031103-00321
                        SAT-AMD-20040227-00023
                        Call S i-m S2237

       Dear Ms. Dortch:

              On March 11,2004, the Commission grant stamped the above-referenced
       application filed by PanAmSat Licensee Corp. ("PanAmSat") for authority to launch
       and operate PAS-4R at 169" E.L. Condition 5 of the grant requires PanAmSat to submit
       a written statement identifying "known satellites located, or planned to be located, at
       PanAmSat's assigned orbital location, or assigned in the vicinity of that location such
       that the station-keeping volume of the respective satellites might overlap'' and stating
       the measures that will be taken to prevent in-orbit collisions with these satellites.


Marlene H. Dortch
May 6,2004
Page 2


        PanAmSat is the licensee of PAS-4, the only known satellite located, or planned
to be located, in the vicinity of PAS-4R's 169" E.L. assigned orbital location. PanAmSat
is not aware of any other FCC licensed systems, or systems applied for and under
consideration by the FCC, in the vicinity of this orbital location. Likewise, PanAmSat
does not believe there are any systems in the vicinity of this orbital location that are the
subject of ITU filings and are progressing towards launch.

       Accordingly, there are no other operators with which PanAmSat must coordinate
to prevent in-orbit collisions with PAS-4R. PanAmSat has internal procedures in place
to ensure that PAS-4 will not collide with PAS-4R.

       Please direct any questions concerning this filing to the undersigned.




                                         GOLDBERG, GODLES, WIENER & MrRIGHT



Document Created: 2004-05-11 16:51:10
Document Modified: 2004-05-11 16:51:10

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