Attachment ex parte

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

IBFS_SATAMD2003111800332_415607

                                                                   Brian Gardepe
                                                                   Senior Vice President
                                                                   Department:   Emerging Opportunities
Level (3 |
COMMUNICATIONS
           oN                                                      TEL:    (720) 566—4628
                                                                   brian.gardepe@level3.com



  January 21, 2005




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

  Re:    Mobileé 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:

 Level 3 Communications ("Level 3") is a long—time supporter of Commission initiatives to make
 more spectrum available for wireless broadband services. We believe that realignment of
 spectrum and new spectrum rules encouraging new wireless and mobile broadband products is
 essential to maintainthe strength of the nation‘s economic competitiveness. As you may be
 aware, over the past year Level: 3 has publicly taken this position both on behalf of our customers
 and on behalf of the tens of millions of consumers they serve. Wireless broadband services
 represent one of the most promising emerging opportunities in communications today. The roll
 out of these services will bring broadband tomillions of new consumers, as well as encouraging
 new consumer products and new enterprise services — all in a brand new segment that is in
 addition to existing broadbandofferings.

 Level 3 is particularly interested in the potential for L—band Mobile Satellite Service ("MSS")
 spectrum to be put to use in the very near future for truly ubiquitous wireless broadband services.
 Vendors of wireless technology whose platforms will make possible the delivery of broadband
 wireless access to consumers and businesses via notebook PCs, handheld devices, and other
 forms are secking differentiated spectrum platforms for deployment by new operators. Level 3
 believes that spectrum viable for broadband access is critical to growth of its business and that
 MSV‘s ATC capability offers the unique prospect of facilitating both new broadband wireless
 technology and ubiquitous coverage.

 Commission grant of sufficient capacity to L—band MSS systems for the Ancillary Terrestrial
 Component of their systems is critical to Level 3‘s planning, our retail communications provider



                 Level 3 Communications, LLC     1025 Eldorado Blvd.   Broomfield, CO 80021
                                               www.Level3.com


January 21, 2005
Page 2


customers and wireless technology vendors. To justify the expense of adding L—band capability


capacity to provide millions of users with broadband service that includes an “anjfirhe,
anywhere" service component. Similarly, Level 3 and prospective new operators need such
confidence to drive deployment planning.

As a facilities based carrier Level 3 has traditionally not focusedon the MSS. sector due to
excessively large user terminals, lack of urban and suburban service 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, will 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 urbancores will be able to enjoy broadband wireless services.

Level 3 looks 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,
           &




Brian Gardepe




               Level 3 Communications, LLC     1025 Eldorado Blvd.   Broomfield, CO 80021
                                             www.Level3.com



Document Created: 2005-01-25 17:02:17
Document Modified: 2005-01-25 17:02:17

© 2024 FCC.report
This site is not affiliated with or endorsed by the FCC