Attachment NorthropGrumman 3-26

NorthropGrumman 3-26

SURRENDER OF AUTHORIZATION submitted by Northrop Grumman

Surrender Letter

2009-03-26

This document pretains to SAT-LOA-19970904-00081 for Application to Launch and Operate on a Satellite Space Stations filing.

IBFS_SATLOA1997090400081_704477

L             LERMAN
 S            SENTER
              PLLC


                                                                                     STEPHEN D. BARUCH
                                                                                          202.416.6782
  WASHINGTON, DC                                                              SBARUCH@LERMANSENTER.COM

                                           March 26, 2009



Ms. Marlene H. Dortch
Secretary
Federal Communications Commission
445 12" Street, S.W.
Washington, D.C. 20554

                       Re:     Northrop Grumman Space & Mission Systems Corporation,
                               Surrender of Space Station and Satellite System Authorizations
                               (File Nos. SAT—LOA—19970904—00080, et seq., Call Signs $2254,
                               $2255, $2256, $2257, and $2258)

Dear Ms. Dortch:

         Northrop Grumman Space & Mission Systems Corporation, acting through its Aerospace
Systems sector (now abbreviated as "NGAS"), hereby surrenders the authorizations the
Commission granted it on February 24, 2009 to establish four hybrid Ka—band and V—band fixed—
satellite service geostationary orbit space stations and a three—satellite hybrid Ka—band and V—
band fixed—satellite service nongeostationary orbit system. See Northrop Grumman Space &
Mission Systems Corporation, Order and Authorization, DA 09—428 (Int‘l Bur., released
February 24, 2009) ("NGAS Order‘).

        The decision to return licenses that include the first—ever commercial V—band satellite
authorizations and a unique, integrated, and efficient system design using geostationary ("GSO")
and highly—elliptical orbit ("HEO") satellites for global service is not one that NGAS makes
lightly. Nevertheless, the current economic climate and its impact on all companies large and
small have made it imprudent for NGAS to implement such an advanced satellite system while
financial and investment markets remain closed.

        NGAS is grateful for and appreciative of all of the efforts the Commussion and its staff
have put into the NGAS Order and for the multiple innovations that are contained in that
decision. The Commission‘s decision is boldly forward looking, and with more licensed
bandwidth than any prior grant, represents an expansion of the capabilities and promise of the
commercial satellite industry. With its fractional terabit—per—second capability, NGAS‘s global
system concept was designed to provide VSAT users true fiber—class broadband service at speeds
in excess of 100 megabits per second to every country on Earth — from the southern tip of South
America to the North Pole.



                         2000 K STREET NW. SUITE 600 | WaSHINGTON, DC 20006—1809
                        TEL 202.429.8970 | FAX 202.293.7783 | WWW.LERMANSENTER.COM


L        Ms. Marlene H. Dortch
         March 26, 2009
         Page 2


         NGAS too has put a great deal of effort in getting to this point. It spent many years
embroiled in studies and debates both in the U.S. and at the International Telecommunication
Union ("ITU") helping to establish stable and flexible technical and regulatory regimes for
satellites in both Ka—band and V—band. The technology for low—cost V—band systems was still in
the labs at NGAS when these applications were submitted nearly a dozen years ago, and
formidable obstacles stood in the way of anyone ever being able to use the V—band FSS
allocations for meaningful service. NGAS would not have undertaken such a daunting challenge
without envisioning a great reward at the end of the journey. Based on the interest shown by a
number of next—generation operators and developers, NGAS is convinced that the industry as a
whole will soon cross the threshold of opportunity that V—band spectrum represents for satellite
system capacity and throughput, just as it has done at Ka—band. There is no doubt that
commercial V—band systems and technology are now practicable, and NGAS is proud to have
played a part in helping the Commission bring these new capabilities to the public.

        NGAS will do its utmost to ensure that the Commission‘s vision in developing the NGAS
Order is realized. The company intends to continue its work with operators and developers that
are interested in filing for hybrid V—band/Ka—band, GSO and non—GSO systems when the
investment markets recover. NGAS hopes that the hard work done by the Commission staff will
enable swift action to be taken on new applications at that point. To that end NGAS encourages
the Commission to complete its work on V—band service rules during this industry hiatus.

       Please direct any questions you may have regarding NGAS‘s surrender of its licenses for
Call Signs $2254, $2255, $2256, $2257, and $2258 to me.

                                            Respectfully submitted,



                                          SHD
                                            Steph@n D. Baruch
                                            Attorney for Northrop Grumman Space &
                                                Mission Systems Corporation


ce:    Mr. John Giusti
       Mr. Rod Porter
       Ms. Fern Jarmulnek
       Mr. Jay Whaley
       Mr. Steven Spaeth
       Mr. Kal Krautkramer
       Ms. Kathryn Medley
       Mr. Peter J. Hadinger



Document Created: 2019-04-13 06:00:12
Document Modified: 2019-04-13 06:00:12

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