Attachment ex parte

ex parte

Ex PARTE PRESENTATION NOTIFICATION LETTER submitted by GlobalStar

ex parte

2004-06-07

This document pretains to SAT-LOA-19970926-00151 for Application to Launch and Operate on a Satellite Space Stations filing.

IBFS_SATLOA1997092600151_396266

                                                  1001 Pennsylvania Avenue, NW, Washington, DC 20004-2595 S p202 624-2500 s f202 628-5116


’   crowellramming
      William D. Wallace
      (202) 624-2807
      wwallace@crowell.com


                                                              May 27,2004                                RECEIVED
                                                                                                           MAY 2 7 2004
      Ms. Marlene H. Dortch
      Secretary                                                                                       FmEw COMW“JTIONS     COMM‘WON
      Federal Communications Commission                                                                   OFFICE OF ME SECRETARY
      445 12th Street, SW
      Washington, DC 20554
                                                                                     JO&
                                                                                         eew-
               RE:         IB Docket No. 02-364
                                                                                               @9
                           IBFS Application File Numbers:
                           SAT-LOA-19970926-00151- 154                              /““ti0447C~
                           SAT-LOA-19970926-00156                                               &r@e(J
                           SAT-AMD-20011103-0154                                                      EX PARTE NOTICE
                           SAT-MOD-20020717-00116-119
                           SAT-M0D - 2 00207 17-00 107 - 110
                           SAT-MOD-20020722-00112

                           Call Signs S23201s 232 1/S2322/S2 32 3/S2 324

      Dear Ms. Dortch:

                On May 27, 2004, Tony Navarra, President of Globalstar LLC, James Lynch
      of Thermo Capital Partners, L.L.C., Thomas Gutierrez of Lukas Nace Gutierrez &
      Sachs, Chartered, and the undersigned participated in a meeting with Jennifer
      Manner, Senior Counsel, and Stacy Fuller, Legal Advisor, to Commissioner
      Kathleen Abernathy.

             As described on the enclosed outline, we discussed Globalstar’s positions on
      the issues raised in the Big LEO L-band rulemaking (IB Docket No. 02-364), and we
      also explained why Globalstar, L.P.’s Emergency Application for Review of the
      International Bureau’s Memorandum Opinion and Order, DA 03-328 (released J a n .
      30, 2003), should be granted and Globalstar’s 2 GHz MSS licenses reinstated.’

      _    _    ~

               The International Bureau granted Globalstar, L.P.’s request to change the
                1
      ex parte status of the 2 GHz MSS license pleadings to permit-but-disclose on
      November 19, 2003. Globalstar LLC is the successor to Globalstar, L.P.



                           Crowell & Moring LLP   .   www.crowell.com   .   Washington   .   Irvine    London   .   Brussels


Marlene H. Dortch
May 27,2004
Page 2


       Globalstar h a s emerged from financial restructuring and h a s initiated a
variety of new projects to improve and expand service to the public. These products
include broadband services to public safety and government organizations. Access
to sufficient spectrum to provide these services is critical to Globalstar and its
customers in the U.S. In short, Globalstar is using its assigned spectrum to provide
innovative new services in the United States and globally, thereby fulfilling the
Commission’s expectations for Big LEO MSS.

       The record in IB Docket 02-364 has demonstrated that Globalstar is using
Big LEO CDMA spectrum fully, and that Iridium does not need additional spectrum
at this time to meet its capacity requirements. Moreover, because the CDMA lower
band segment is more encumbered with interservice sharing constraints than the
TDMA segment, it is essential that Globalstar should have access to spectrum
above 1616 MHz, particularly for aviation services.

      As Globalstar h a s explained in its filings in this docket, given the current use
of Big LEO spectrum, the record establishes that there is no reason for the
Commission to change the existing Big LEO spectrum assignments or to take
spectrum away from Big LEO MSS. Re-allocating spectrum to another service
would adversely affect the business of Globalstar and the services available to
unserved and underserved populations globally and to various public safety and
government customers that use MSS for critical infrastructure needs. We also
noted that Globalstar believes that TDMA and CDMA systems can develop
spectrum-sharing strategies through coordination.

      Our presentation also covered Globalstar, L.P.’s arguments in its Emergency
Application for Review of the International Bureau’s order canceling the 2 GHz
MSS licenses because Globalstar’s satellite construction contract reflected changes
to certain future milestones for which contemporaneous requests for extensions had
been filed. The 2 GHz MSS licenses are important to future developments in MSS,
particularly for services that demand greater bandwidth, and there is no other MSS
spectrum likely to be available in the immediate future.

      Our legal arguments are summarized on the enclosed presentation. In its
pleadings, Globalstar has explained that the International Bureau did not correctly
evaluate Globalstar’s request for extension of certain future milestones, that
Globalstar met its first milestone by entering into a non-contingent construction
contract, and that the Bureau erred by canceling the license for the domestic
geostationary satellite for which no request for milestone extension was filed.
Moreover, the Bureau applied a new policy on milestone compliance retroactively to
Globalstar, contrary to well-settled principles of administrative due process, and did
not consider the impact of Globalstar, L.P.’s bankruptcy on whether the 2 GHz MSS


            Crowell & Moring LLP   www.crowell.com   Washington   Irvine = London   Brussels


Marlene H. Dortch
May 27,2004
Page 3


licenses should be canceled. For the reasons outlined by Globalstar in its pleadings,
the Bureau’s decision should be vacated and the 2 GHz MSS licenses reinstated.

       Pursuant Section 1.1206@)(2), this ex parte notice and the enclosure have
been filed electronically in IB Docket 02-364. Also, two copies are being provided by
hand for the application file numbers listed above.

                                                 Respectfully submitted,


                                                 William D. Wallace

Enclosure

cc:   Jennifer Manner
      Stacy Fuller




            Crowell & Moring LLP   www.crowell.com   -   Washington   Irvine   .   London   m   Brussels


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              Globalstar LLC
llsll
   Successor to Globalstar, L.P., and LIQ Licensee,
   Inc.
   Now holds space station, earth station and
   Section 214 authorizations associated with
   Globalstar “Big LEO” MSS system
   Also successor to Globalstar, L.P.’s rights to the
   2 GHz MSS licenses cancelled by International
   Bureau in January 2003


                                        Globalstar
                                                    2


                   Globalstar LLC
FEE
  Emerged from restructuring April 15
  Initiating system improvements, new products,
  expansion of services
      - Florida gateway, Alaska gateway
      - Plan for launch of spare satellites
      - New government, industrial applications
      - Enhanced data, encryption for DOD services
      - Acquisition of Central American operations


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     Big LEO L-Band Sharing
           (IB Docket No. 02-364)
I
CDMA systems were assigned more spectrum in
part due to restrictions on use of lower L-band
 - 1610.6-1613.8 MHz: Radio-Astronomy
 - Below 1610 MHz: GPSIGLONASS
 - 1610-1616 MHz: FAAIRTCA regulations
   require channels above 1616 MHz for aviation
   products


                                    Globalstar
                                              7


    Bia LEO L-Band Sharing


- In 1993, focus on voice services
- Now, niche services predominate, including:
    Public safety
    Government agencies (DOD)
    Maritime
    Aviation
    Remote telemetry (requires 2.5 MHz channels)
    Future: ATC-MSS combinations
                                      Globalstar8


         Big LEO L-Band Sharing
                  (IB Docket No. 02-364)

Globalstar has demonstrated that it is fully using the assigned
CDMA spectrum
 - Loss of L-band or S-band spectrum in the U.S. will severely curtail
    Globalstar’s ability to provide service to both private and government
    users, and to implement ATC

Globalstar has demonstrated that Iridium does not need more
spectrum at this time
 - Iridium cannot discriminate spectrum use geographically

No other commercial terrestrial service sought to be licensed in this
band (sharing with ISM, BAS, FS)
 - Globalstar is using the spectrum now; a new entrant would require
   years to implement

                                                          Globalstar9


      Big LEO L-Band Sharing
            (IB Docket No. 02-364)


The record in this docket does not support any
chanae to the existing band plan or diminution in
     U               -


the amount of spectrum available to the Big LEO
service

There are voluntary, cooperative methods of
addressing temporary, geographically isolated
capacity shortages, if needed
                                     Globalstar10


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        2 GHz MSS Application for Review
(File Nos. SAT-LOA4 9970926-00151-154/56 etc.)

0
    Globalstar, L.P., was licensed for NGSO
    constellation and 4 GSO satellites
0
    Entered into non-contingent contract with Space
    Systems/Loral by first milestone
0
    Requested extension of future milestones for
    NGSO constellation and 3 GSOs
0
    Planned to put spectrum into use on existing
    milestone schedule with U.S. GSO


                                                  12


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        2 GHz MSS Application for Review
(File Nos. SAT-LOA4 9970926-00151-154/56 etc.)
0
    IB ignored the construction schedule for the
    GSO satellite serving U.S. (operational on
    existing milestone schedule)
0
    IB ignored policy permitting filing non-contingent
    contract reflecting changes with application for
    license modifications
0
    IB ignored precedent granting opportunities to
    cure contracts (in more extreme factual
    ci rcumstances)

                                          Globalstar
                                                     14


        2 GHz MSS Application for Review
(File Nos. SAT-LOA4 9970926-00151-154/56 etc.)

 IB violated GLP’s rights to administrative due
 process by articulating and applying a new
 policy retroactively
 IB refused to give meaningful consideration to
 facts and circumstances for extension
 IB refused to consider impact on bankruptcy law
 on canceling licenses



                                    Globalstar
                                               15


        2 GHz MSS Application for Review
(File Nos. SAT-LOA-19970926-00151-154/56 etc.)

 2 GHz spectrum represents the only opportunity
 for expansion of Globalstar system and services
 Only two MSS systems are providing voice and
 data to handheld terminals
 No other spectrum pending for allocation to MSS
 Globalstar has proven MSS works and offers
 valuable services to government, public safety
 and private users in remote areas and in areas
 where there is no wirelinelcellular infrastructure
                                      GIobialstar
                                                 16


        2 GHz MSS Application for Review
(File Nos. SAT-LOA4 9970926-00151-154/56 etc.)

0
    FCC should reinstate the U.S. GSO license for
    which no milestone extension request was filed,
    so no basis for cancellation
0
    FCC should vacate IB decision and reinstate all
    2 GHz MSS licenses
0
    FCC should provide Globalstar with an
    opportunity to re-start its contract with SSL on an
    appropriate milestone schedule give loss of I.5
    years of schedule

                                                     17



Document Created: 2004-06-08 15:15:38
Document Modified: 2004-06-08 15:15:38

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