Attachment response

This document pretains to SAT-LOA-20031119-00336 for Application to Launch and Operate on a Satellite Space Stations filing.

IBFS_SATLOA2003111900336_475013

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January 5, 2006

By Hand Delivery
Fem Jarmulnck
Deputy Chict Satelite Division
Federal Communications Commission
445 12" Stret,S.W.
Washington, DC 20554

Re:       Submission of Executed Satellite Construction Contract
          SAT—L0A—20031119—00336, Call Sign S2608


Dear Ms. Jarmulnclc
       Pegasus Development Corporation (‘PDC") hercby responds to the December 20,
2005 inquiry letter by the Intermational Bureau (*Bureau") regarding the satelite
construction contract between Pegasus Development 107 Corporation ("PD 107") and
Space SystemsLoral,Inc.(Loral"), as amended (the "87°W Contract‘).
        1.     Please clarify the relationship between the licensee, Pegasus Development
       Corporation, and the customer, Pegasus Development 107 Corporation.
       PD 107, the contracting party, is a wholly owned subsidiary ofPDC, the lcensce
       ofthe Ka—band satellte uthorization forthe 87°W orbital location. PDC is a
       wholly owned subsidiary ofPegasus Communications Corporation (‘PCC"),
       which is a publicly held company. Thus, both PD 107 and PDC are under
       common control by PCC.
      2.     Please indicate what obligation the icensee, Pegasus Development
      Corporation, has ifh customer, Pegasus Development 107 Corporation,fuils to
      perform under the trms ofthe Contract.
       While PDC has no obligation under the 87°W Contract, Commission precedent
       permits entitest execute satelite construction contractsin fullllment of an
       afflite lcensce‘s milestone requirement. See, eg. KastorCom World Sorelite,


                  225 Ciy ineAvene * Sute 200 * Bolo Crvqd, PA 19004
                   Tol 610934—7000 * For: 6109947121 * vamepghccom


Fem Jarmulnck
Federal Communications Commission
January 5, 2006
Page2


        LLC, 18 FCC Red 22337, 22339 n.16 (It]. Bur. 2003) (holding that licensce
        met ts fist milestone when its commonly—contolled sister corporation entered
        into a non—contingent construction contract with a spacecraft manufacturer}; see
        also Report No. SPB—179 (June 18, 2002) (approving satelite contract executed
        by a commonly controlled affliate ofthe lcensee, File No. SAT—LOA—19931203—
        co04041, SAT—LOA—19950929—00125/00129, SAT—LOA—19950929—00137); in
        re Pegasus Development License Corporation, 18 ECC Red 23899 (2008)
        (@pproving satelite contract executed by parent entity oficensee). Here, the
        Hicensee PDC and the contracting party PD 107 are both 100% owned and
        controlled by PCC, As the Commission is aware, due to requirements oflenders
        in the communications area, and also for tax, corporate stricturing, and
        bankamipicy reasons,ts very common for the physical assets of an FCC licensce
        to be held by separate companies under common control by a single entity.
        3.      Please indicate progress payments made to date by Pegasus to Space
        Systems/Loral, Ic. by date, amountpaid, and a briefdescription ofwork
        completed (well understood terms in the sateliteindustry may be used to describe
        theprogress payments and/or reference may be made to the progress schedule
        previously submited aspart ofhe Contracy.
        In August 2002, Pegasus Development 107 License Corporation ("PD 107
        License Corp.")a wholly owned subsidiary ofPD 107, submitte to the FCC a
        contract between PD 107 and Loral (the "107°W Contract), evidencing PD 107
        License Corp.‘s compliance with its Ka—band satelite authorization athe 107°W
        orbital location. Based on review ofthat contract, the Bureau concluded that PD
        107 License Corp. met ts inital milestone requirement. See Jn re Pegasus
        Development License Corporation, 18 ECC Red 23899 (2003). Under the 107°W
        Contract, PDC on behalfofPD 107 paid Lorala total o$1,025,000, with the
        most recent payment being made on July 1, 204. As provided under Article 30.2
        and the Statement ofWork ofthe 107°W Contract, Loral provided EMES
        Services,including system design defintion/refinement services.
        In January 2005, PD 107 License Corp. surrendered ts Ka—band satellte
        authorization forthe 107°W orbita location. Concurrently, PDC negotiated with
        Loral to amend the 107°W Contractfor the deployment of a satelite athe 87°W
        orbital location, salvaging tothe extent possible the work related to the 107°W
        satelite. However, as a result of n insbility to obtain financing for the
        deployment of the Ke—band sateliteand the bankruptey ofcertain afflntes of


Fem Jarmulnc
Federal Communications Commission
January 5, 2006
Page3


      PCC in 2004, PDC has not submitted any payments to Loralsince amending the
      107°W Contract


                                        Very trly yours,

                                         jwr/(‘/éfl&
                                        Scott A. Blank
                                        Senior Vice President ofLegal and
                                        Corporate Affairs

      Jay Whaley
      Tony Lin,Pilisbary Winthrop Shaw Pittman LLP



Document Created: 2006-01-09 15:46:46
Document Modified: 2006-01-09 15:46:46

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