Attachment ex parte

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

IBFS_SATAMD2003111800332_415583

                                        January 14, 2005



Chairman Michael K. Powell
Federal Communications Commission
445 12th Street, S.W.
Washington, D.C. 20554

       Re:     Mobile Satellite Ventures Subsidiary LLC
               Ex Parte Presentation
               IB Docket No. 01-185
               File No. SAT-MOD-20031118-00333 (ATC application)
               File No. SAT-AMD-20031118-00332 (ATC application)
               File No. SES-MOD-20031118-01879 (ATC application)

Dear Chairman Powell:

         Intel Corporation (“Intel”) has been an active participant in numerous Commission
proceedings considering ways to improve the use of the radio spectrum. In general, we believe
that as long as licensees are not causing harmful interference to their frequency and geographic
“neighbors” they should be given more technical and operational flexibility to put their spectrum
to its highest and best use. We are confident that such flexibility will open substantial amounts
of additional spectrum to valuable new wireless broadband services.

        The L-band Mobile Satellite Service (“MSS”) spectrum could be put to use in the very
near future for truly ubiquitous wireless broadband services. The next generation of chipsets for
laptop computers could add WiMax capability for several frequency bands. Commission grant
of sufficient capacity to L-band MSS systems for the Ancillary Terrestrial Component of their
systems could be critical to Intel’s planning. The expense of adding L-band capability to tens of
millions of laptops could not be justified unless the Commission’s rules permit operators
providing service in the L-band sufficient capacity to provide at least millions of users with
service at speeds comparable to other broadband alternatives.

        To date, Intel has not focused on the MSS sector because of the suitcase-sized user
terminals, limited coverage, low data rates, and excessive equipment and service prices
characterizing MSS offerings. Because MSS user terminals do not operate reliably in urban
environments due to satellite signal blockage, MSS operators have been unable to offer a truly
ubiquitous service. Hybrid satellite/terrestrial networks, however, could fundamentally change
the nature of MSS by substantially increasing coverage and capacity. For the first time,
customers in the most remote areas to the most densely populated urban cores could enjoy
broadband wireless services.


Chairman Michael K. Powell
January 14, 2005
Page 2


       We looked forward to your decision in this proceeding and hope that you will act to
unleash the enormous potential for L-band MSS spectrum to be used for a truly ubiquitous
wireless broadband service.

                                                   Very truly yours,

                                                   /s/ Peter K. Pitsch
                                                   __________________
                                                   Peter K. Pitsch
                                                   Communications Policy Director
                                                   Intel Corporation

cc:    Office of the Secretary
       Commissioner Kathleen Q. Abernathy
       Commissioner Michael J. Copps
       Commissioner Kevin J. Martin
       Commissioner Jonathan S. Adelstein
       Sam Feder
       Jennifer Manner
       Paul Margie
       Barry Ohlson
       Bryan Tramont
       Sheryl Wilkerson
       Donald Abelson
       Ed Thomas
       Jim Ball
       Richard Engelman
       Anna Gomez
       Sharina Smith
       David Strickland
       Thomas Tycz



Document Created: 2005-01-21 11:24:38
Document Modified: 2005-01-21 11:24:38

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