Attachment request

This document pretains to SAT-LOI-20050312-00063 for Letter of Intent on a Satellite Space Stations filing.

IBFS_SATLOI2005031200063_434682

                        FEDERAL COMMUNICATIONS COMMISSION
                                                                                  ORIGINAL
                                                                                   _e—a—
                                      Washington, D.C. 20554                        RECEIVED
                                                                                      MAY 2 4 2005

    In the Matter of                                                             FedralConmunicatons
                                                                                             edtagintComm
Spectrum Five LLC                                        File Nos. SAT—    01—200503 1&
                                                                   SAT
Petition for Declaratory Ruling to Serve the
U.S. Market Using BSS Spectrum from the                                   way 2 6 2005
    114.5° W.L. Orbital Location
                                                                           Poiey Branch
                                                                             atonal Bureau


                REQUEST FOR LEAVE TO FILE CONSOLIDATED RESPONSE
           Spectrum Five LLC ("Spectrum Five"),by its attommeys, requests leave to file on
Wednesday, June 1, 2005, its consolidated response to pleadings filed with respect to the above—
referenced applications.
           On May 16, 2005 DIRECTV Enterprises, LLC (‘DIRECTV") hand—served the applicant
in this proceeding with its pleading and EchoStar Satellite Corporation ("EchoStar®) served the
applicant with its pleading via e—mail. In addition, SES Americom,Inc.(°SES") and the
Gibraltar Regulatory Authority (°GRA") filed comments on May 16, 2005, but served Spectrum
Five‘s counsel by first—class mail
           Pursuant to the Federal Communications Commission‘s ("Commission‘s") rules,!
responses to the DIRECTV and EchoStar pleadings are due on Thursday, May 26, 2005, while
the responses to SES and GRA‘s pleadings, delivered by mail, are due on Wednesday, June 1,
2005. Given the commonality of matters discussed in these pleadings and the limited resources


.         47 CFR. §§14, 14500


of the Commission, a consolidated response addressing all the pleadings filed would be
appropriate and administratively efficient. Therefore, Spectrum Five respectfully requests, to the
extent necessary, leave to file a consolidated response toall pleadings filed in this proceeding on
Wednesday, June 1, 2005
        Spectrum Five has advised the Commission‘s staffand affected parties of the immediate
request. Counsel for DIRECTV and EchoStar have indicated to counsel for Spectrum Five that
they have no objection to the instant request

                                                Respectfully submitted,
                                                sPECTRUM PV
                                                By:


                                                       Richard E. Wiley
                                                       Todd M. Stensbury
                                                       Jennifer D. Hindin
                                                       WILEY REN & FIEELDING LLP
                                                       1776 K Street, N.W.
                                                       Washington, D.C. 20006—2304
                                                       (202) 719—7000

                                                       Its Attomeys

May 24, 2005




* Spectrum Five notes that EchoStar is also due to file responses on June 1, 2005 to the  ..
objections submitted against its own application to provide DBS from a short—spaced satellite at
86.5° W.L. See Public Notice, Policy Branch Information: Satellite Space Station Applications
Acceptedfor Filing, Report No. SAT—00284 (Apr. 15, 2005).


         1, Kimberly Booth, a secretary at the law firm of Wiley Rein & Fielding LLP, hereby
certify this 24th day of May 2005, that I caused copies of the foregoing Request for Leave to File
Consolidated Response to be mailed via first—class postage prepaid mail t the following:


               William M. Wiltshire
               Michael D. Nilsson
               Haris, Wiltshire & Grannis LLP
               1200 Eightcenth Street, NW
               Washington, DC 20036

              Peter A. Rohrbach
              Karis A. Hastings
              Hogan & Hartson LLP
              555 Thirteenth Street, NW
              Washington, DC 20004
              Paul J. Canessa
              Chief Executive
              Gibralter Regulatory Authority
              Suite 811, Buroport
              Gibraltar
              David K. Moskowite
              Exee. Vice President & General Counsel
              EchoStar Satellite LLC
              9601 South Meridian Boulevard
              Englewood, CO 80112
              Pantelis Michaclopoutos
              Philip L. Malet
              Brendan Kasper
              Steptoe & Johnson LLP
              1330 Connecticut Avenve, NW
              Washington, DC 20036




                                                    Klm%fi% Booth



Document Created: 2005-05-26 18:06:45
Document Modified: 2005-05-26 18:06:45

© 2024 FCC.report
This site is not affiliated with or endorsed by the FCC