06-02-10 Letter re M

LETTER submitted by c/o Pegasus Development DBS Corporation

Letter Requesting Prompt Action

2010-06-02

This document pretains to SAT-AMD-20080114-00023 for Amended Filing on a Satellite Space Stations filing.

IBFS_SATAMD2008011400023_820363

Pillsbury Winthrop Shaw Pittman LLP
2300 N Street, NW | Washington, DC 20037-1122 | tel 202.663.8000 | fax 202.663.8007




                                                                                              Tony Lin
                                                                                      tel 202.663.8452
                                                                             tony.lin@pillsburylaw.com

                                             June 2, 2010

Via Electronic Filing (IBFS)

Robert Nelson
Chief, Satellite Division, International Bureau
Federal Communications Commission
445 12th Street, S.W.
Washington, D.C. 20554

         Re:      115 License Subsidiary, LLC
                  Call Sign 2700
                  Request for Prompt Action on Milestone Compliance Determination

Dear Mr. Nelson:

         115 License Subsidiary, LLC (the “Company”), by its counsel, hereby
requests that the International Bureau (“Bureau”) take prompt action in reviewing the
Company’s compliance with its requirement to execute a binding, non-contingent
satellite construction contract for a 17/24 GHz Broadcasting-Satellite Service satellite
at the 115°W.L. orbital location. The Company provided a complete copy of its
satellite construction contract to the Bureau in December 2009, nearly six months
ago. Approximately two months ago, the Company submitted a letter from the
satellite manufacturer, Space Systems/Loral, Inc., providing additional evidence that
the Company timely met its initial milestone requirement. However, the Bureau still
has not taken any action. The Company urges the Bureau to remedy this
administrative delay. Prompt Bureau action concluding that the Company has met its
initial satellite milestone requirement will eliminate regulatory uncertainty, reduce
unnecessary costs to the Company, and free up capital for business operations.

         Please direct any questions regarding this matter to the undersigned.




www.pillsburylaw.com                                                                      402028195v1


June 2, 2010
Page 2




                        Respectfully submitted,

                               /s/

                        Tony Lin
                        Counsel to 115 License Subsidiary, LLC
cc:      Andrea Kelly




www.pillsburylaw.com                                 402028195v1



Document Created: 2010-06-02 17:44:31
Document Modified: 2010-06-02 17:44:31

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