Attachment letter

This document pretains to SAT-LOA-20030609-00113 for Application to Launch and Operate on a Satellite Space Stations filing.

IBFS_SATLOA2003060900113_649370

                                           STEPTOE
                                                 &JOHNSONLLP
                                                   A T T O R N E Y S AT   LAM



   Pa nt el is Mic h a lopoulos                                                           1330 Connecticut Avenue, NW
   202.429.6494                                                                            Washington, DC 20036-1795
   pmichalo@steptoe.com                                                                              Tel 202.429.3000
                                   S2454       SATIOA-20030609-00113                                  Fax 202.429.3902
                                   EchoStar Corporation                                                    steptoe.com
                                   Echostar 86.5 WL




   June 17,2008


   Marlene H. Dortch
   Secretary
   Federal Communications Commission
   International Bureau
   445 lYh Street, S.W.
   Washington, DC 20554

   Dear Ms. Dortch:

                   This letter is submitted on behalf of EchoStar Corporation (“EchoStar”) in connection
   with Echostar’s proposed satellite network USABSS-27A at the 86.5” W orbital location. See EchoStar
   Satellite L.L. C., Application to Construct, Launch, and Operate a Direct Broadcast Satellite at 86.5 O
   W.L. Orbital Location, File No. SAT-LOA-20030609-00113, Order and Authorization, DA 06-2440,l
   28 (rel. Nov. 29, 2006).

                   EchoStar is aware that as a result of the actions taken at the 1998 Plenipotentiary
   Conference, processing fees will now be charged by the International Telecommunication Union
   (“ITU”) for satellite network filings. As a consequence, Commission applicants are responsible for any
   and all fees charged by the ITU. EchoStar hereby states that it is aware of and unconditionally accepts
   this requirement and its responsibility to pay any ITU cost recovery fees associated with the
   aforementioned ITU filing in a timely manner. In addition, all correspondence with EchoStar regarding
   ITU cost recovery issues should be directed to the undersigned.

                         Please feel free to contact me with any questions regarding this submission.



                                                                pantelis
                                                                   & ~Michalopoulos
                                                                         dc~pd((./v
                                                                 Counselfor EchoStar Corporation

   cc: (via e-mail)
   Kathyrn Medley, International Bureau
   Rockie Patterson, International Bureau




WASHINGTON            NEW YORK      CHICAGO        PHOENIX       LOS ANCELES    CENTURY CITY       LONDON         BRUSSELS



Document Created: 2008-06-18 15:29:20
Document Modified: 2008-06-18 15:29:20

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