Attachment comments

This document pretains to SAT-AMD-20031118-00332 for Amended Filing on a Satellite Space Stations filing.

IBFS_SATAMD2003111800332_411969

                                 Before the
                    FEDERAL COMMUNICATIONS COMMISSION
                            Wasimron, D.C. 20554                          RECE“,ED
                                                        Received           pec 23 100
In the Matter of                              )
                                              )         DEC 2 A 004 ratenlCommentaterscomnien
Mobile Satellite Ventures Subsidiary LLC      )                             ofenot Secmiay
                                              i         Policy Branch
Application for Modification of Space         ) rile RES@roNi@pza0031118—00333
Station License (AMSC—1)                      )
                                              )
Amendment to Pending Application to           ) File No. SAT—AMD—20031118—00332
Launch and Operate a Next—Generation          )
Replacement MSS Satellte System               )
                                              )
Application for a Modification of             ) File No. SES—MOD—20031118—01879
Blanket License to Operate Mobile Earth       )
Terminals with MSAT—1                         )



                              comments in suprort or
                              APPLICATION FOR REVIEW




                                           Alfred M. Mamlet
                                           Philip L. Matet
                                           Mare A. Paul
                                           Steptoe & Johnson LLP
                                           1330 Connecticut Avenue, NW.
                                           Washington, D.C. 20036
                                           (202) 429—3000
                                           Counsel for Stratos Mobile Networks (USA) LC
                                           and MarineSat Communications Network, Inc.


December 23, 2004


                              TABLE OF CONTENTS




      STRATOS® ROLE AS A DISTRIBUTOR OF MSS IN THE UNITED STATES

IL    MSS MUST BE PROTECTED FROM HARMEUL INTERFERENCE BY ATC
      NETWORKS OPERATING IN THE L—BAND

u.    INMARSAT HAS RAISED SIGNIFICANT ISSUES REGARDING THE
      INCREASED POTENTIAL FOR HARMFUL INTERFERENCE BY ATC
      NETWORKS INTO MSS OPERATIONS

A. Interference from ATC Mobile Terminals

8. Interference from ATC Base Stations                             10

IV.   CONCLUSION                                                   i1


                                  Before the
                     FEDERAL COMMUNICATIONS COMMISSION
                                   WasimnGron, D.C. 20554
In the Mater of

Mobile Satellite Ventures Subsidiary LLC
Application for Modification of Space               File No. SAT—MOD—20031118—00333
Station License (AMSC—1)
Amendment to Pending Application to                 File No. SAT—AMD—20031118—00332
Launch and Operate a Next—Generation
Replacement MSS Satellte System
Application for a Modification o                    File No. SES—MOD—20031118—01879
Blanket License to Operate Mobile Earth
Terminals with MSAT—1

               COMMENTS IN SUPPORT OF APPLICATION FOR REVIEW

               Stratos Mobile Networks (USA) LLC and MarineSat Communications Network,
Inc. (collectively "Stratos") hereby submit these comments in support of the Application for
Review filed on December 8, 2004, by Inmarsat Ventures Limited ("Inmarsar‘)" of the MSV
Order? in which the International Bureau granted in part the appliations of Mobile Satellite
Ventures Subsidiary LLC (°MSV*) (collectively, t"A7C Application) to operate an Ancilary
Terrestrial Component (*ATC") to itslicensed Mobile Satellite Service (°MSS"). Stratos urges
the Commission to grant the Application for Review in order to ensure that MSS services in the
L—Band remain protected from ATC interference, and to preserve the ability of Stratos to deploy
new and innovative MSS services in all parts of the United States, including urban, suburban and
rural areas.




‘ See Application for Review, File Nos. SAT—MOD—20031118—00333, et al. (fled Dec. 8, 2004).
? See In re Applications of Mobile Satellite Ventures Subsidiary LLC, DA 04—3553 (rl. Nov. 8,
   2004) (the "MSV Order‘).


                Stratos strongly supportsInmarsat‘s request that the Commission review the
Interational Bureau‘s decision to allow MSV to operate its proposed ATC network. By
granting the ATC Application of MSV, the Bureau has gone well beyond the carefully balanced
framework set forth in the ATC Order® for licensing such networks and protecting from harmful
interference MSS operations in the L—band. MSV‘s ATC network, as licensed by the Bureau
with its numerous waivers ofthe Rules, could seriously threaten the performance of critical
public safety and other MSS communications services provided by Stratos to ts customers as
well as inhibit the operations of future broadband MSS services.

.        STRATOS® ROLE AS A DISTRIBUTOR OF MSS IN THE UNITED STATES
                As the largest U.S. distributor of MSV services and the largest distributor in the

world of Inmarsat and Iridium Satellite LLC services, Stratos is uniquely qualified to comment
on the critical role that MSS plays in providing vital communications services for public safety,
commercial users and governments to remote as well as urban areas in the United States.. For
example, the U.S. Department of Defense is the largest user of commercial MSS in the world.

With communications needs that are global in reach and require reliability, access and security,
MSS is uniquely positioned to satisfy the "mission critical" needs of the U.S. military:*




5 See Flexibility for Delivery of Communications by Mobile Satellte Service Providers in the 2
  GHz Band, the L—Band, and the 1.6/2.4 GHz Bands, 18 FCC Red 1962 (2003), Emata,1B
    Docket Nos. O1—185 and 02—364 (re. March 7, 2003), on reconsideration, FCC 03— 162 (rel.
    July 3, 2003) (the "ATC Order®).

* See "DoD Awards $72 Million Contract to Revamped Iridium," Satellite Today, (Dec. 7, 2000)
    ("The Iridium service is attractive to DoD to provide communications for personnel whose
    duties take them to places where conventional phone service is not available. The Navy will
    gain most from the Iridium service, since it needs more than twice as much capacity as it now
    has, Pentagon officials said. Special Forces, combat search and rescue activiies and polar
    communications also will be enhanced by the Iridium service, they added.").


              Similarly, other government agencies, such as the Federal Emergency
Management Ageney, as well as domestic and worldwide relief organizations, rely on MSS
because ofitsability to provide communications capabilityin inaccessible locations and during
emergency situations. This was clearly demonstrated on September 11th when terrestrial
communications facilities failed, Stratos and other MSS providers rushed hundreds of MSS
mobile terminals to New York City and Washington, D.C. to provide reliable communications to
the United Nations,the U.S. State Department, the FBI and other government agencies atthe
federal, state and local levels. News reports highlight the increased demand for MSS in the wake
of September 11th:

              In the hours after thattacks, people tumed to satellite phones
              when traditional cellular networks were overloaded with calls...
              Now, soldiers, intelligence officers and members of the media are
              purchasing satelite phones to keep in contact as they fun out to
              remote areas ofthe globe in anticipation of U.S. military action."
              Satellite phones provided a vital communications link during the
              September 11 catastrophe in New York and Washington ... .‘

Indeed, MSV (formerly Motient) observed in the ATC rulemaking proceeding that:
              {i}n addition to serving the Commission‘s goal of bringing
              advanced communications to all areas, MSS systems also serve a
              critical role in times of national emergency and disasters. Many
              disasters, such as earthquakes and hurricanes, disrupt terestrial
              wireline and wireless telecommunications systems. Because
              [Motients] satellites will be located 22,000 miles above the Earth,
              itsinfrastructure is unaffected by these disasters. MSS systems
              thercby provide a reliable means of communications for
              emergency response organizations."


5 See "Satellite Phone Companies Rebounding," The San Diego Union—Tribune, Sept. 29, 2001,
   atCl.
* See "Satelite Phones Find Renewed Interest in Wake of September 11 Assault," Agence France
   Presse, Sept. 28, 2001.
 See Motient Comments, IB Docket No. O1—185, at 9—10 (10/22101).
                                           3.


                 T particular note is the recent announcement by the Fire Department of New
York City and Stratos to use Inmarsat terminals in New York City for emergency response
communications forthe "dependable transmission of video and voice communications between
on—the—scene responders and headquarters locations."* This selection follows the successful

demonstration of Inmarsat technology for the New York Fire Department‘s field and command
center units.. Based upon these successful rials, it can be expected that other emergency
response organizations will deploy Inmarsat terminals in metropolitan areas throughout the
United States.

11.    MSS MUST BE PROTECTED FROM HARMFUL INTERFERENCE BY ATC
       NETWORKS OPERATING IN THE L—BAND

                 With the critical role that MSS plays for industry and government, especiallyin
the L—band, it clearly is not in the public interest o allow ATC networks to operate significantly
more base stations with reduced performance and increased power levels than authorized by the
full Commission in the ATC Order. Indeed, as the Commission correctly recognized, MSS

communications in the L—band are particularly susceptible to harmful interference, and therefore
required the gradual deployment of ATC networks in this spectrum.. An ad hoe decision by the
Bureau to relax these restrictions before the first ATTC base station or mobile terminal is

deployed goes against tclear direction of the Commission‘s "go slow" approach.. For this
reason alone, the Commission must review and reverse the MSV Order.

                 "The increased likelihood of harmful interference into MSS operations in the
United Statesis particularly troubling since the Commission only recently authorized companies,
like Stratos, to operate a wide—range of mobile earth terminals to provide domestic land mobile


* See Application for Review, at Appendix B.


MSS via Inmarsat. In the words of the Commission,this authority was granted because it would
*serve the publicinterest by increasing competition and providing additional services for U.S.
consumers."""

                There are several critical assumptions that the Bureau made in its analysis of
MSV‘s ATC Application that are simply in error and must be corrected. Most significantly, it is
incorrect to assume, as the Bureau has done in granting a multilicity of waiver requests, that
there will be litle,if any, overlap between the coverage of ATC base stations and the location of
Inmarsatterminals in the United States, n expanding the number of ATC base stations on the
same channel by approximately 40 percent and increasing the powerlimits for high—powered
base stations by 8 dB, the number and size of MSS "exclusion zones" in the L—band will
necessarily increase substantially. "The Bureau believes, however, that this substantial increase
should not seriously affect MSS operations in the United States due to the assumed limited
number of MSS terminals currently being used in urban areas where most ATC base stations
presumably would be located."
                Contrary tothis Bureau assumption, MSS services are being provided in urban
areas today and will likely continue to increase as new broadband MSS services are brought into
use as result of the expected launch next year of Inmarsat—4 satellites. As indicated above,the
recent announcement by the Fire Department of New York to use Inmarsat terminals in New
York City for emergency response communications belies any suggestion that such terminals are
not being deployed in urban settings.. And as pointed out by Inmarsat, with the upcoming launch

° See In the Matter of Comsat Corporation d/b/a Comsat Mobile Communications et al., FCC 01—
   272 (rel. Oct.9, 2001).
" td ud 1.
‘‘ See MSV Order, at¥ 81.


of Inmarsat—4 satellites, additional MSS services will soon be made available throughout the
United States, including in many urban areas previously unable to receive adequate reception
from previous generations of Inmarsatsatelites,!"
               Nor was it correct forthe Bureau to assume that ATC base stations would only be
deployed in urban areas. Indeed, in the AZC Order, the Commission found that "achieving
optimal spectrum usage may require an MSS operator to use ATC even though a particular call
might be served by satellit.""". Thus, there is no basis for the Bureau to assume that most ATC
base stations will be deployed by MSV in urban areas, where MSV‘s satellte signals are weak.
MSV is not constrained as to where it can deploy its ATC base stations, only as to how many
base stations it can initally deploy and at what power levels.

               The Bureau‘s novel mechanism for resolving disputes regarding interference
concerns that might arise due to the sighting of particular ATC base stations is also flawed and
does not correct the other deficiencies in the MSV Order. As pointed out by Inmarsat,this
mechanism impermissibly places the burden on MSS distributors,like Stratos, to demonstrate
that their primary MSS services will be used in the areas surrounding high—powered ATC base
stations and would be adversely affected by the "ancillary" ATC services of other MSS
providers. The Bureau‘s new prior showing requirement fundamentally reverses the
Commission‘s determination that as an "ancillary" service, an ATC proponent bears the burden
of demonstrating non—interference.. ATC operations were authorized by the Commission only on

!* See Application for Review, at 5, 7—8. Inmarsatalso notes that the U.K. is in the process of
  coordinating orbitallocations for ts Inmarsat—4 satellites using L—band spectrum at 98° W.L.
  and 104° W.L. 14. at 11—12. With these slots over the middle of the United States, Inmarsat
  users should be able to achieve superior link margins and line of sight coverage even in
  densely populated urban areas.
" See ATC Order ut 2015 (emphasis added).


a secondary, non—harmful interference basis, even in those instances in which ATC operations

otherwise comply with the Rules."* The placement of such a burden on MSS operators is
inconsistent with the relative status of the two services and was never contemplated by the
Commission in its ATC Order.
                Moreover, the prior showing requirement contemplated by the Bureau is clearly
unworkable. As a large distributor of Inmarsatservices in the United States, much of the burden

placed upon MSS operators for demonstrating the likelihood of an interference problem with
high—powered ATC base stations will rest squarely on Stratos. Inmarsat correctly points out that

there are hundreds of thousands ofregistered users on the Inmarsat system who operate mobile
terminals, including over 100000 "mini M" land mobile terminals, and virtually all of these
terminals could be used anywhere in the Inmarsat coverage area at any given time. This is
because the beams of the Inmarsat spacecraft encompass both urban and non—urban areas, and
Stratos is unable to determine whether any of these users are near a proposed ATC base station
location. In addition, this mechanism does not appear to accommodate, afterthe initial 30—day
objection period. the deployment of new Inmarsat services and technologies, changes in the
marketplace, or new customer requirements, such as the expected deployment in New York City
of Inmarsatterminals by the Fire Department of New York. At a minimum, Stratos should not
be foreclosed from making such a showing at a later date to allow it to address such future
developments.




"* Id.at 2017 ‘The Commission authorized ATC on a non—harmful interference basis to ensure
 consistency with applicable TU regulations, because such terrestrial uses of the L—Band were
 not provided for in the International Table of Frequency Allocations. 14. at 2066.
                                               24.


IIL.   INMARSAT HAS RAISED SIGNIFICANT ISSUES REGARDING THE
       INCREASED POTENTIAL FOR HARMEUL INTERFERENCE BY ATC
       NETWORKS INTO MSS OPERATIONS

       A.      Interference from ATC Mobile Terminals

               Inmarsat correetly points out that MSV has never been able to demonstrate how
its ATC mobile terminals would be able t avoid causing harmful interference into Inmarsat‘s
satelltes when operating outdoors with 18 dB of power control for "structuralattenuation."
While the use of power control was authorized for indoor operations in order to overcome signal
attenuation from buildings or vehicles that completely enclose the mobile terminals, it was never
contemplated that such higher—powered operations would be used outdoors. The reason for such
a limitation is clear. When operating indoors or in vehicles, a mobile terminal‘s transmissions
presumably would be attenuated both in the direction ofthe ATC base station as well as an
Inmarsatsatelite in geostationary orbit. However, when located outdoors, an ATC mobile
terminal could increase its power by up to 18 dB in order to overcome outdoor signal attenuation
while maintaining a clear line of sight to an Inmarsat satellite. As Inmarsat observes:""
               Enforcement of these requirements is crtical to constraining
               interference into Inmarsat spacecraft to manageable levels. Even if
               MSV complies with all the other restrictions imposed by the
               Commission, if its ATC mobile terminals operate atfull power
               while outdoors then a few dozen ATC terminals operating on the
               same channel could produce the same interference impact as the
               overall 1725 co—channel reuse limit seby the Commission in the
               ATC Order.

               The Commission clearly defined "structural attenuation" as a reduction in signal

strength that takes place when an ATC mobile terminal transmits within a building, automobile




"* See Application for Review, at18.


of other structure that completely encloses it."" The Commission distinguished that effect from
"outdoor blockage," which occurs when an obstruction interrupts the line—of—sight path to a
transmitter."" The Bureau is simply wrong when it states that the structural attenation
requirement is the same as the constraint to limit the size of ATC cells to ensure mobile
terminals do not exceed certain power levels under free space conditions."" The structural
attenuation requirement obligates MSV to demonstrate how it will ensure that its ATC system
does not exceed the interference level assumed in the Commission‘s analysis. The Commission
went on to adopt a distinct and separate requirementie., that "MSS licensees shall not extend
the coverage area of any ATC cell beyond the point where an ATC MT could operate at the edge
of coverage of the ATC cell with a maximum EIRP of ~[18] dBW."

               In addition, the Bureau improperly granted a relaxation of the 1725 co—channel
reuse limit that the Commission deemed critical for constraining interference into Inmarsat
spaceeraft antenna. The Bureau based its decision on MSV‘s claim that an ATC mobile
terminal‘s average antenna gain should be used in the interference calculations instead of the
peak anterna gain specified in the Rules. Thus, the Bureau waived the strict application of
Section 25.253(@)(1), which expressly requires that the ATC mobile terminal be limited to a peak
power level. The Bureau reasoned that even though peak power was used to determine the co—



‘® ATC Order at 2034 (n. 375), 2109 (Appendix B § 25.201), and 2151 (Appendix C2 at n. 69).
‘" See ATC Order at 2151 (Appendix C2 at § 1.3.1).
"* See 47 C.FR. § 25.253(@)(8); ATC Order, at{ 140 & 142 ( "Our analysis assumes ... that
  the link budget for ATC reserves a minimum of 18 dB for structuralattenuation ...    ."); see
  also ATC Order at 2035, 2152 (Appendix C2 § 1.3.5) (‘analyses is based on the expectations
  that MSV will implement the full 18 dB of margin for structural attentation that they state is
  ‘per standard PCS design practices").
‘" See ATC Order at 2036.


channel reuse limits in Section 25.253(g)(1), the underlying purpose of that provision is satisied.
by taking into account the average power of MSV‘s mobile terminals.""
               As Inmarsat correctly notes, in granting this waiver request, the Bureau has failed
to take into account the impact that such a waiver would have on the margin available to
accommodate other variables in the Commission‘s ATC interference analysis, such as the future
ocations of Inmarsat‘s satellites that will be more susceptible to interference."‘ MSV admittedly
does not comply with the Commission‘s peak power limits for mobile terminals, and instead of
relaxing these limits through the grant of a waiver of the Rules, the Bureau should have allowed
for fewer than 1725 co—frequency ATC base stations in the United States.
       B.      Interference from ATC Base Stations
               The Bureau also impermissibly granted waivers to MSV that willallow it to
increase ATC base station EIRP by up to 8 dB and to deploy lower performance base station
antennas. The cumulative effect of these waivers will increase the potential forinterference into

MSS terminals, and as previously indicated. increase the size of the exclusion zones around high—
powered ATC base stations. Of particular note, the Bureau appears to have failed to take into
account Inmarsat‘s thorough analysis of the increase in potentialinterference into Inmarsat
aeronautical terminals resulting from the requested waivers as well as the effects of
intermodulation products on Inmarsat terminals."" Inmarsatraised serious interference issues
and supported its assertions with technical details and a test report, and the Bureau simply cannot
ignore such objections without any explanation.



® See MSV Order ut 1 56.
*" See Application for Review, at 24—25.
* See Application for Review, at 22—24.
                                               «10—


Iv.      CONCLUSION

               For the reasons discussed above and in Inmarsat‘s Application for Review, Stratos
urges the Commission to review the MSV Order, and refect those waivers granted by the Bureau
that threaten the reliability of existing Inmarsat services and constrain the future development of
broadband MSS service in the United States.

                                              Respectfully submitted,
                                              Stratos Mobile Networks (USA) LLC
                                              MarineSat Communications Network, Inc.




                                              Alfred   M. Mamlet
                                              Philip L. Malet
                                              Mare A. Paul
                                              Steptoe & Johnson LLP
                                              1330 Connecticut Avenue, N.W.
                                              Washington, D.C. 20036
                                              (202) 429—3000
                                              Counsel for Stratos Mobile Networks (USA) LLC
                                              and MarineSat Communications Network, Inc.


December 23, 2004




                                               i94


      1. Brendan Kasper, hereby certifythat on this 23" day of December 2004 the foregoing
"Comments" was served by hand (*)or via fist—class mail postage prepaid, upon the following:
Michel K. Powell®                                  Bryan Tramont®
Chairman                                           Chief of Statt
Federal Communications Commission                  Office of Chairman Powell
445 12" Street, SW                                 Federal Communications Commission
Washington, DC 20554                               445 12° Streeu, SW
                                                   Washington, DC 20554
Kathieen Q. Abemnathy®                             Shery!J. Wilkerson®
Commissioner                                       Legal Advisor
Federal Communications Commission                  Office of Chairman Powell
445 12" Street, SW                                 Federal Communications Commission
Washington, DC 20554                               445 12° Streeu, SW
                                                   Washington, DC 20554
Michael J. Copps*                                  Jennifer Manner®
Commissioner                                       Senior Counsel
Federal Communications Commission                  Office of Commissioner Abemathy
445 12® Street, SW                                 Federal Communications Commission
Washington, DC 20554                               445 12" Street, SW
                                                   Washington, DC 20554
KevinJ.Martin®                                     Paul Margie®
Commissioner                                       Legal Advisor
Federal Communications Commission                  Office of Commissioner Copps
445 12® Street, SW                                 Federal Communications Commission
Washington, DC 20554                               445 12" Street, SW
                                                   Washington, DC 20554
Jonathan S. Adelstein®                             Sam Feder®
Commissioner                                       Legal Advisor
Federal Communications Commission                  Office of Commissioner Martin
445 12® Street, SW                                 Federal Communications Commission
Washington, DC 20554                               445 12° Stree, SW
                                                   Washington, DC 20554
Edmond J. Thomas®                                  Barry Ohison®
Chie                                               Senior Legal Advisor
Office of Engineering and Technology               Office of Commissioner Adelstein
Federal Communications Commission                  Federal Communications Commission
445 12® Street, SW                                 445 12® Street, SW
Washington, DC 20554                               Washington, DC 20554
Donald Abelson®                                    Bruce A. Franca*
Chie                                               Office of Engineering and Technology
International Bureau                               Federal Communications Commission
Federal Communications Commission                  445 12® Street, SW
445 12® Street, SW                                 Washington, DC 20554
Washington, DC 20554


Irs R. Kelte®                             Chip Fleming*
Office of Engineering and Technology      International Bureau
Federal Communications Commission         Federal Communications Commission
445 12" Streeu, SW                        445 12° Street, SW
Washington, DC 20554                      ‘Washington, DC 20554
Alan Scrime*                              Howard Griboft®
Office of Engineering and Technology      International Bureau
Federal Communications Commission         Federal Communications Commission
445 12® Street, SW                        445 12" Street, SW
Washington, DC 20554                      Washington, DC 20554
Richard B. Engelman®                      Karl Kensinger®
ChiefEngineer                             International Bureau
Tnternational Bureau                      Federal Communications Commission
Federal Communications Commission         445 12° Street, SW
445 12" Steeu, SW                         Washington, DC 20554
Washington, DC 20554
Roderick K. Porter®                       Paul Locke*®
Deputy Chief                              International Bureau
International Buresu                      Federal Communications Commission
Federal Communications Commission         445 12" Street, SW
445 12® Street, SW                        Washington, DC 20554
Washington, DC 20554
Steven Spacth®                            Kathiyn Mediy®
Legal Advisor                            International Bureau
International Bureau                     Federal Communications Commission
Federal Communications Commission        445 12° Street, SW
445 12" Street, SW                       Washington, DC 20554
Washington, DC 20554
David Strickland*                        Robert Nelson®
Legal Advisor                            International Bureau
International Bureau                     Federal Communications Commission
Federal Communications Commission        445 12" Street, SW
445 12° Streeu, SW                       Washington, DC 20554
Washington, DC 20554
James L. Ball®                           Sean O‘More®
International Bureau                     International Bureau
Federal Communications Commission        Federal Communications Commission
445 12® Street, SW                       445 12° Street, SW
Washington, DC 20554                     Washington, DC 20554
William H. Bell*                         Cassandra Thomas*
International Bureau                     International Bureau
Federal Communications Commission        Federal Communications Commission
445 12" Street, SW                       445 12° Street, SW
Washington, DC 20554                     Washington, DC 20554

                                       —is—


Lon C. Levin
Vice President
Mobile Satellite Ventures Subsidiary LLC
10802 Parkridge Boulevard
Reston, Virginia 20191
Bruce D. Jacobs
David Konceal
Shaw Piman LLP
2300 N Street, NW
Washington, DC 20037
Counselfor Mobile Satelite Ventures LLC
John P.Janka
Thomas A. Allen
Latham & Watkins LLP
555 119 Street, NW
Sute 1000
Washington, DC 20004
Counselfor Inmarsat Ventures Limited



                                                 Brendan Kasper   f




                                           Bre



Document Created: 2004-12-28 14:26:10
Document Modified: 2004-12-28 14:26:10

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