Attachment 2003Constellation Mo

2003Constellation Mo

LETTER submitted by ICO

letter

2003-10-28

This document pretains to SAT-LOA-19970926-00148 for Application to Launch and Operate on a Satellite Space Stations filing.

IBFS_SATLOA1997092600148_781769

                                                                                      ORIGINAL
EX PARTE on 1 erge FILED                                                                Lel




                                                                                   ICO
                                        October 28, 2003

                                                                      CElvep
Via Hand Delivery                                               OCT 2 & 2003
Ms. Marlene Dortch                                           4 COmy
Secretary                                                    OFfice OgNICAT
Federal Communications Commission
445 12" Street, S.W., TW—A325
Washington, D.C. 20554

        Re:     EX PARTE
                Constellation Communications Holdings, Inc., File Nos. SAT—MOD—
                20020719—00103, SAT—T/C—20020718—00114, 181—SAT—LOA—97(46) et
                al.; Mobile Communications Holdings, Inc., File Nos. SAT—MOD—
                20020719—00105, SAT—T/C—20020719—00104, 180—SAT—P/LO97(26) et al.

Dear Ms. Dortch:

        The undersigned submits this letter on behalf of ICO Global Communications
(Holdings) Limited ("ICO") in the above—referenced proceeding. The Commission is due
to act upon pending applications for review of several cancellations of 2 GHz licenses in
the Mobile Satellite Service ("MSS"), including those filed by Constellation
Communications Holdings, Inc. ("CCHI"), Mobile Communications Holdings, Inc.
("MCHI"), and TMI Communications and Company, Limited Partnership ("TMI"). ICO
urges the Commission to proceed in those cases in a balanced manner consistent with its
own precedent.

         In the MCHI/CCHI Order, the International Bureau rejected for milestone
purposes the agreements by which the licensees proposed to acquire ownership interests
in satellite capacity and indicated that satellite construction contracts must demonstrate
sufficient commitment by the licensees to proceed with construction of their systems.‘
The International Bureau suggested that its precedent does not permit the purchase of
capacity for provision of MSS, but rather requires that licensees must be parties to a
contract that provides for the physical construction of their satellite." Relevant precedent,
however, offers no support for the International Bureau‘s radical departure from the
Commission‘s established policies and practice.


1 See Applications ofMobile Communications Holdings, Inc. and ICO Global Communications (Holdings)
Limitedfor Transfer of Control, 18 ECC Red 1094, [« 16, 17 (2003) ("MCHI/CCHI Order").                  .
                                                                                        2000 Pennsylvania Ave., NWV
2 Id. 16.                                                                               Suite 4400
                                  ,                                                     Washington, DC 20006

                                                                                        202 887 6956 phone
                                                                                        202 778 1654 fax
                                                                                        web: www.ico.com


Letter to Marlene Dortch, page 2                              October 28, 2003

        ICO asks that the Commission, in making a final determination in the above—
referenced proceeding, both faithfully apply its precedent to the pending applications for
review of the 2 GHz MSS license cancellations and resolve those applications in a fair
and nondiscriminatory manner. Failure to resolve the pending applications for review in
a nondiscriminatory manner will create additional regulatory uncertainty and invite
further contentious litigation that will delay service to the public.

       Twelve copies of this letter are being filed for inclusion in the public record, as
required by Section 1.1206(b)(1) of the Commission‘s rules.

       Please direct any questions regarding this letter to the undersigned.

                                              Very truly yours,


                                                  X    hWamf" ~
                                               Suzanne fiutchings                 fl

ce:    Bryan Tramont
       Sam Feder
       Barry Ohlson
       Jennifer Manner
       Paul Margie
       Sheryl Wilkerson



Document Created: 2019-04-20 18:02:29
Document Modified: 2019-04-20 18:02:29

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