Attachment 1998Pegasus-Pacific

1998Pegasus-Pacific

Ex PARTE PRESENTATION NOTIFICATION LETTER submitted by Pacific Century Group

ex

2000-12-01

This document pretains to SAT-LOA-19980403-00027 for Application to Launch and Operate on a Satellite Space Stations filing.

IBFS_SATLOA1998040300027_841023

CoupERT BRoOTHERS                                              NORTH AMERICA
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VIA HAND DELIVERY                                              associten ornces
                                                                                       MEXICO CITY             PRAGUE
                                                               Nagy Es TRocsAnvi       RIOS FERRER Y           GIESE AND
                                                               Oevvépi iRopa           GUILLéN-LLARENA, S.C.   PARTNER

1 December 2000                  Su—:mantre        nB | ATE FILED
                                                  \ILL   L63                       :
                                 R:;,«/{n PAMIE

                                                                 > g—a >               51
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Ms. Magalie Roman Salas                                         HE@EEVEQ
Secretary
Federal Communications Commission
445 Twelfth Street, S.W.
Counter TW—A325
Washington, D.C. 20554

        Re:       Ex Parte Presentation in File Nos. SAT—AM     71219—0018
                  AMD—19971222—00204, SAT—AMD—1997122200216 SATAMD-
                  19971222—00229, SAT—AMD—19980123—00009, SAT—LOA—19951109—
                  00185, SAT—LOA—19951109—00186, SAT—LOA—19970702—00057, SAT—
                  LOA—19971222—00201, SAT—LOA—19971222—0205, SAT—LOA—
                  19971222—00206, SAT—LOA—19971222—00207, SAT—LOA—19971222—
                  00208, SAT—LOA—19971222—00209, SAT—LOA—19971222—00211, SAT—
                  LOA—19971222—00212, SAT—LOA—19971222—00213, SAT—LOA—
                  19971222—00214, SAT—LOA—19971222—00215, SAT—LOA—19971222—
                  00223, SAT—LOA—19971222—00224, SAT—LOA—19971222—00225, SAT—
                  LOA—19971222—00226, SAT—LOA—19971222—00227, SAT—LOA—
                  19971222—00228, SAT—LOA—19980312—00018, SAT—LOA—19980312—
                  00019, SAT—LOA—19980403—00025, SAT—LOA—19980403—00026, SAT—
                  LOA—19980403—00027, SAT—LOA—19980403—00028, SAT—LOA—1998—
                  0403—00029, 94— through 98—SAT/P/LA—97, SAT—LOI—19971222—0217,
                  and SAT—LOI—19971222—0218

Dear Ms. Salas:

        Pacific Century Group ("PCG") submits this ex parte letter in response to the
filing on November 1, 2000, of a revised orbital deployment plan by several applicants in
the Federal Communications Commission‘s second Ka—band processing round for
geostationary satellites. The revision to the "Majority Plan" originally filed on August
11, 2000, identifies two CONUS orbital locations for PanAmSat at 58° and 133° W.L.
(referred to hereinafter as the "Revised Majority Plan"). In joining the Revised Majority
Plan, PanAmSat agreed to give up its request for two locations in other parts of the global
geostationary orbital arc in the second Ka—band processing round. The Rev1sedMaJority (


                                                                                         CoupeRt Bromers


Ms. Magalie Roman Salas
December 1, 2000
Page 2



Plan was signed by representatives for PanAmSat and all of the original Majority Group:
CAI Data Systems, Inc., TRW Inc., Celsat America, Inc., Hughes Communications, Inc.,
Lockheed Martin Corporation, KaStarCom World Satellite, LLC, and PCG.

       PCG agreed to put aside its previous concerns and to support the Revised
Majority Plan in the interest of resolving the arduous second Ka—band processing round.
PCG has been an active litigant against PanAmSat with regard to two Ka—band orbital
locations, at 58° and 125 ° W.L., for which PanAmSat received licenses in the
Commission‘s first Ka—band processing round. When PanAmSat sought to modify its
licenses for these two locations and extend the milestones for construction, PCG alone
filed a Petition to Deny its request.‘ The FCC, on its own motion, nullified PanAmSat‘s
licenses for these two locations in June 2000 and the matter is under appeal." PanAmSat
has agreed that if it receives licenses for 58° and 133° W.L. in the second round as
contemplated in the Revised Majority Plan, it will withdraw its appeal of the FCC‘s June
2000 nullification order."

         To say that the second processing round has gone on too long would be a great
understatement. The public notice announcing the formation of the second processing
round was released on October 15, 1997 and applications were due by December 22,
1997. Now, three years later, every passing month brings closer the expiration of the ITU
filings for all of the U.S. orbital locations, as well as the ones PCG has requested
authority to use to access the U.S. market." For a foreign filer of a Letter of Intent
("LOI"), the entire process has been frustrating and inefficient. Moreover, the manner in
which it has been conducted, at a minimum, is inconsistent with the commitments made
by the United States under the World Trade Organization‘s Basic Telecommunications
Agreement.



         See Pacific Century Group, Petition to Deny Request by PanAmSat Licensee Corp. for
         Modification of Authorization to Construct, Launch and Operate a Ka—Band Satellite System in
         the Fixed Satellite Service, File No. SAT—MOD—19980522—00070, August 26, 1999.
         PanAmSat Licensee Corp. Application for Authorization to Construct , Launch, and Operate a
         Ka—band Communications Satellite System in the Fixed—Satellite Service at Orbital Locations 58°
         W.L. and 125° W.L, Applications for Modification ofLicense andfor Extension ofMilestone
         Schedule., Memorandum Opinion and Order, June 26, 2000.
         PanAmSat Licensee Corp., Application for Review and Request for Expedited Processing, July
         26, 2000.
         Ex Parte presentation of CAI Data Systems, Inc. TRW Inc., Celsat America, Inc., Hughes
         Communications, Inc., Lockheed Martin Corporation, KaStarCom World Satellite, LLC, and
         Pacific Century Group, November 1, 2000.
5        PCG filed for its locations through the U.K. Administration and has date precedence over U.S.
         filings at or near 89°, 82° and 75° W .L.


                                                                                       CoupeRt Bromers


Ms. Magalie Roman Salas
December 1, 2000
Page 3




         There remain several obstacles to final resolution of the second processing round,
including posturing by certain of the participants. PanAmSat‘s flexibility (driven
undoubtedly by its weak legal position) is contrasted by the position of its affiliate,
Hughes Communications Inc. ("‘Hughes"). Hughes‘ stance was clear: it would support
the original Majority Plan only ifthe plan rewarded it with two more CONUS locations,
in addition to the two prime CONUS locations it had received in the first processing
round." Further, Hughes erroneously portrayed the original Majority Plan as supporting
its position that applications first should be screened on the basis of financial
qualifications, rather than equitable distribution of orbital locations among competing
applicants.‘ If Hughes had made that view clear before August 11, PCG —— and perhaps
several other members of the Majority Plan —— might not have joined it. The Majority
Plan and its recent revision are best recognized as imperfect compromises. In fact, they
are especially imperfect with regard to the situation facing PCG, which has ITU date
precedence for orbital locations from which it is precluded from groviding service to the
U.S. market because of decisions made regarding the first round.

       Hughes is hardly alone in taking unhelpful positions. The original and Revised
Majority Plans attempted to accommodate Pegasus. In fact, the Majority Group insisted
that PanAmSat, when accepting inclusion in the Revised Majority Plan, accept 133° W.L.
instead of 125° W.L., its originally licensed location, because the original Majority Plan
had assigned Pegasus to 125° W.L. Nevertheless, Pegasus, along with Directcom and
CAI (also a Majority Plan adherent) have promoted another plan. While PCG is
sympathetic to some of the principles used to prepare the Pegasus—lead plan, the time is
well past for the working group to come together with one plan. The shortage of
available orbital locations and the intransigence of certain participants in the process
makes it difficult to reconcile the two plans.

        The contribution of Loral Space and Telecommunications ("Loral"), on the other
hand, has been ludicrous. Despite PCG‘s offers, Loral has been unwilling to discuss a
resolution to the mutual exclusivity issue which it and PCG face around 89° and 82°
W.L. Even though it already holds licenses for five orbital locations between 115° and
67° W.L., Loral‘s most recent contribution towards resolution of the second processing
round has been to suggest that it is willing to sacrifice its application for 139° E.L. in the
second round for 95° W.L.," one of the very few central CONUS orbital locations now
available for second round applicants. The request is completely unsupported and
unsupportable.

6        Ex Parte presentation, Hughes Communications, Inc., August 14, 2000.
7        Ex Parte presentation, Hughes Communications, Inc., September 7, 2000.
8        Ex Parte presentation, Pacific Century Group, Inc., August 11, 2000.
         Ex Parte presentation, Loral Space & Communications Ltd., August 11, 2000. Loral submitted
         another Ex Parte presentation on November 21, 2000, to which PCG intends to separately respond.


                                                                             CoupeRt Bromers


Ms. Magalie Roman Salas
December 1, 2000
Page 4




      Another notable obstacle to resolution of the second processing round is the large
number of orbital locations assigned to first round licensees who appear to have
abandoned their original business plans, or have been unable to raise sufficient funding.
The Commission‘s nullification in June 2000 of licenses held by MorningStar, PanAmSat
and NetSat 28 covering seven orbital locations sent a helpful message to other non—
performing first round licensees that they could not warehouse orbital locations.
However, the Commission‘s failure to implement the 1997 World Radiocommunication
Conference‘s spectrum allocation for intersatellite links has stayed the milestones for half
of the first round licensees. Second round applicants can only hope that the Commission
will soon act on these frequency assignments.

        When the Commission finally does assign ISL frequencies, the FCC should give
the affected first round licensees only a short timetable to accept the assignments and
begin satellite construction, or risk forfeiture of their licenses. The typical one—year
timetable for accomplishment of the first milestone, commencement of construction, is
unjustified because: (1) ITU notifications will soon expire, leaving little time for
licensees to contemplate contractual provisions; and (2) these licensees have had ample
opportunity to prepare to proceed with construction and commencement of their systems.

        PCG stands ready to work with the Commission and any and all of the first round
licensees and second round applicants to come to a mutually acceptable, fair orbital
deployment plan. Time is of the essence.

         Two copies of this letter should be associated with each of the above referenced
files.




                                              fi}rflloth
                                                    7/ Logue
                                              Spac Telecommumcat1ons Analyst

co:      Mr. Ray Kennedy
         Executive Vice President, Engineering
         Pacific Century Group, Inc.
         38"" Floor, Citibank Tower
         3 Garden Road
         Central, Hong Kong SAR



Document Created: 2019-04-20 22:23:56
Document Modified: 2019-04-20 22:23:56

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