Attachment Exhbit B (Amended)

This document pretains to SAT-AMD-20151231-00088 for Amended Filing on a Satellite Space Stations filing.

IBFS_SATAMD2015123100088_1120011

                                           Exhibit B

              Responses to Question Nos. 34 and 40 (Ownership Information)

               The Communications Act does not restrict foreign ownership of satellite
authorization holders that operate on a non-common carrier basis. See 47 U.S.C. § 310(b).
LightSquared Subsidiary LLC operates MSAT-2 on a non-common carrier basis, consistent with
the authority granted by the Commission. See Stamp Grant, IBFS File No. SAT-MOD-
20141212-00128 (granted May 14, 2015). Nevertheless, due to the requirements of Form 312,
LightSquared has provided responses to Questions 29 through 33 on the associated Form 312,
and further detail regarding the ownership of LightSquared Subsidiary LLC is set forth below.

               LightSquared Subsidiary LLC, the Applicant, is a Delaware limited liability
company that is the licensee. LightSquared Subsidiary LLC is a wholly owned subsidiary of
New LightSquared LLC, a Delaware limited liability company. New LightSquared LLC
manages the overall operations of the LightSquared corporate structure, including LightSquared
Subsidiary LLC. LightSquared Subsidiary LLC and New LightSquared LLC can be contacted
care of LightSquared Subsidiary LLC at the address listed on the associated Form 312.

                New LightSquared LLC is owned and/or controlled, directly and indirectly, by a
number of individuals and entities (collectively, the “Investors”) that recently were approved by
the Commission. Extensive information about the ownership interests of each of the Investors,
including foreign ownership, is on file with the Commission in IB Docket No. 15-126.
LightSquared incorporates this information by reference. Notably, the Commission has issued a
declaratory ruling under Section 310(b)(4) of the Communications Act, as amended, 47 U.S.C. §
310(b)(4), permitting the aggregate foreign ownership of New LightSquared LLC to exceed the
25 percent limit on foreign ownership that otherwise would be applicable in connection with the
Investors’ interests in LightSquared. See LightSquared Subsidiary LLC, IB Docket No. 15-126,
FCC 15-164 ¶¶ 29-30 (rel. Dec. 4, 2015).

                The names and addresses of the managers (who serve the function of directors)
and officers of LightSquared Subsidiary LLC are as follows:

               Officers

               Doug Smith – President & CEO
               Jeff Carlisle – EVP, Reg Affairs & Public Policy
               Elizabeth Creary – VP & Asst. Secretary
               Brendan Boughton – VP & Treasurer

               Each of these of these officers except Ms. Creary can be contacted care of
LightSquared Subsidiary LLC at 10802 Parkridge Blvd, Reston, VA 20191. Ms. Creary can be
contacted at 1601 Telesat Court, Ottawa, ON K1B 1B9.


              Managers

              Ivan Seidenberg (Chairman)
              Doug Smith
              Reed Hundt
              Jared Hendricks
              Drew McKnight
              R. Edward Albert
              John Fischer

              Each of these managers can be contacted care of LightSquared Subsidiary LLC at
10802 Parkridge Blvd, Reston, VA 20191.




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Document Created: 2015-12-31 11:19:50
Document Modified: 2015-12-31 11:19:50

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