Telesat Comments on

COMMENT submitted by Telesat Canada

Comments of Telesat Canada

2017-07-17

This document pretains to SAT-LOA-20161115-00117 for Application to Launch and Operate on a Satellite Space Stations filing.

IBFS_SATLOA2016111500117_1248678

                                 Before the
                  FEDERAL COMMUNICATIONS COMMISSION
                           Washington, D.C. 20554

                                           )
 In the Matter of                          )
                                           )   File No. SAT-AMD-20170301-00029
 Application of Theia Holdings A, Inc. for )
 Authority to Launch and Operate a Non- )
 Geostationary Satellite Orbit System in   )
 the Fixed-Satellite Service, Mobile-      )
 Satellite Service and Earth-Exploration   )
 Satellite Service                         )
                                           )   File No. SAT-LOA-20161115-00117
 Audacy Corporation, Application for       )
 Authority to Launch and Operate a Non- )
 Geostationary Low Earth Orbit Satellite   )
 System in the Fixed Satellite Service     )
                                           )   File No. SAT-LOI-20170301-00031
 WorldVu Satellites Limited Petition for   )
 Declaratory Ruling Granting Access to     )
 the U.S. Market for the OneWeb V-Band )
 System                                    )
                                           )   File No. SAT-PDR-20161115-00120
 ViaSat Inc. Petition for Declaratory      )
 Ruling Granting Access to the U.S. for a  )
 Non-U.S.-Licensed Nongeostationary
 Orbit Satellite Network



              CONSOLIDATED COMMENTS OF TELESAT CANADA

      In the above-captioned Applications and Petitions, Theia Holdings A, Inc.

(“Theia”), Audacy Corp. (“Audacy”), WorldVu Satellites Ltd. (“OneWeb”), and ViaSat,

Inc. (“ViaSat”) seek a license or authority to serve the U.S. market using planned non-

geostationary satellite orbit (“NGSO”) satellite systems operating in the V-Band. Telesat

Canada (“Telesat”) files these Consolidated Comments addressing the potential for


                                                        2


these satellite systems to interfere with Telesat’s planned V-band NGSO operations and

the need to condition any grant of the above-captioned NGSO system applications on

the development of appropriate V-band spectrum sharing rules.



        The frequencies proposed by Theia, Audacy, OneWeb, and ViaSat for their

respective operations overlap with the following V-band frequency bands that Telesat

has proposed to use for its NGSO network: 37.5 – 42.0 GHz (space-to-Earth), 47.2-50.2

GHz, and 50.4-51.4 GHz (Earth-to-space).1 Theia, Audacy, OneWeb, and ViaSat’s

NGSO systems would interfere with Telesat’s planned NGSO operations because the

two systems would operate in overlapping geographical areas on overlapping V-band

frequencies. Telesat files these comments to emphasize the need for the Commission to

develop appropriate band sharing rules for V-band NGSO systems and to condition any

grant of the above-captioned applications on the outcome of any proceeding in which

such rules are developed.2



        In its pending NGSO rulemaking proceeding, the Commission is developing

rules to address spectrum sharing for NGSO systems and the process for ensuring




1 Telesat Canada Petition for Declaratory Ruling to Grant Access to the U.S. Market for
Telesat’s V-Band NGSO Constellation, File No. SAT-LOI-20170301-00023 (filed Mar. 1, 2017).
2
  Telesat notes that the ITU is now in the process of developing a framework for NGSO operations in the V-band,
see WRC-19 Agenda Item 1.6, but does not currently have rules to govern such operations. Telesat will of course
comply with such ITU rules that are promulgated to govern NGSO operations in the V-band that are applicable to
Telesat’s operations.


                                                        3


mitigation of in-line interference events among such satellite systems.3 However, the

Commission’s proposals in the pending rulemaking proceeding do not address the V-

band frequencies proposed for use by Theia, Audacy, OneWeb, and ViaSat. Thus, the

Commission should expand the scope of the pending proceeding to cover V-band

sharing issues or initiate a new V-band sharing proceeding. Grants of the above-

captioned applications/petitions should be conditioned on the outcome of the

expanded or new proceeding.



        In the pending NGSO rulemaking proceeding, Telesat has demonstrated that the

Commission’s proposed approach for avoiding interference during in-line events based

on an avoidance angle is unworkable.4 In particular, Telesat has demonstrated that

neither the default angle specified in the rules—10 degrees—nor any other single, fixed

angle can be specified that would adequately demark the avoidance angle to avoid

harmful interference. Indeed, a specified trigger angle cannot work because the actual

angle will vary widely on both the uplink and downlink as a function of the many




3
  Update to Parts 2 and 25 Concerning Non-Geostationary, Fixed-Satellite Service Systems and Related Matters, IB
Docket No. 16-408, Notice of Proposed Rulemaking, FCC 16-170, at 10-12, paras. 22-27 (rel. Dec. 15, 2016).
4 Comments of Telesat Canada, IB Docket No. 16-408, at 3-15 (filed Feb. 27, 2017); Reply Comments of Telesat

Canada, IB Docket No. 16-408, at 2-12 (filed April 10, 2017).


                                           4


variables in the relevant system parameters. The same principles Telesat identified in

Ka-band apply to NGSO systems operating in the V-band and should be taken into

consideration by the Commission as it develops rules for mitigating in-line interference

in V-band systems.

                                  Respectfully submitted,

                                  TELESAT CANADA


                                  /s/David Wendling
                                   David Wendling, P.Eng
                                  Chief Technical Officer
                                  1601 Telesat Court
                                  Ottawa, Ontario
                                  Canada, K1B 5P4


July 17, 2017


                             CERTIFICATE OF SERVICE

             I hereby certify that on this 17th day of July, 2017, a copy of the foregoing
Consolidated Comments of Telesat Canada was sent by first-class, United States mail to
the following:

         James P. W. Spicer                            Timothy Bransford
          Chief Engineer                               Denise Wood
         Audacy Corporation                            Morgan, Lewis & Bockius LLP
         340 S. Lemon Ave., Suite 8787                 2020 K Street, N.W.
         Walnut, CA 91789                              Washington, DC 20006

         Joseph D. Fargnoli                            Christopher Murphy
         Chief Technology Officer                      Daryl T. Hunter
         Theia Holdings A, Inc.                        VIASAT, INC.
         1600 Market Street, Suite 1320                6155 El Camino Real
         Philadelphia, PA 19103                        Carlsbad, CA 92009

         John P. Janka                                 Mariah Shuman
         Elizabeth R. Park                             Senior Director, Regulatory Affairs
         Jarrett S. Taubman                            WorldVu Satellites Limited
         LATHAM & WATKINS LLP                          1400 Key Boulevard, Suite A1
         555 Eleventh Street, NW, Suite 1000           Arlington, VA 22209
         Washington, DC 20004

         Brian D. Weimer
         Douglas A. Svor
         Ashley Yeager
         Sheppard Mullin Richter & Hampton LLP
         2099 Pennsylvania Ave. NW, Suite 100
         Washington, D.C. 20006



                                          /s/
                                                Vicki Taylor



Document Created: 2017-07-17 15:05:21
Document Modified: 2017-07-17 15:05:21

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