Attachment Exhibit B

This document pretains to SAT-LOI-20110809-00147 for Letter of Intent on a Satellite Space Stations filing.

IBFS_SATLOI2011080900147_910900

                                    Inmarsat Hawaii Inc.
                                       FCC Form 312
                                         Exhibit B
                                   Response to Question 36

               Inmarsat Hawaii Inc. submits this response to Question 36 of FCC Form 312 out
of an abundance of caution. In 2005, the Commission dismissed a Petition for Declaratory
Ruling (the “Petition”) filed by the Inmarsat Hawaii Inc.’s affiliate, Inmarsat Global Limited
(“Inmarsat Global”), seeking United States market access to provide MSS in the 2 GHz band.
Subsequent to Inmarsat Global’s filing, the Commission assigned all 2 GHz spectrum currently
allocated for MSS in the United States to two other satellite operators, and thus dismissed
Inmarsat Global’s Petition.1 Inmarsat Global has sought reconsideration of both the
Commission’s disposition of the 2 GHz band and the accompanying dismissal of its Petition.2




1
       Use of Returned Spectrum in the 2 GHz Mobile Satellite Service Frequency Bands, 20
       FCC Rcd 19696 (2005); Inmarsat Global Limited, Petition for Declaratory Ruling to
       Provide Mobile Satellite Service to the United States Using the 2 GHz and Extended Ku-
       Bands, 20 FCC Rcd 19409 (2005).
2
       Inmarsat Ventures Limited and Inmarsat Global Limited, Petition for Reconsideration,
       File Nos. SAT-PPL-20050926-00184 et al. (filed Jan. 9, 2006).



Document Created: 2011-08-08 16:57:53
Document Modified: 2011-08-08 16:57:53

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