Attachment Satelites Mexicanos

Satelites Mexicanos

REQUEST submitted by Satélites Mexicanos, S.A. de C.V.

Request For Confidential Treatment

2015-09-02

This document pretains to SAT-LOI-20140617-00070 for Letter of Intent on a Satellite Space Stations filing.

IBFS_SATLOI2014061700070_1105674

    SheppardMUIlin                                                                                      Sheppard Mullin Richter & Hampton LLP
                                                                                                        2099 Pennsylvania Avenue, NW, Suite 100
                                   ppnnnnnnnnnnnnnnocenmmmenmemmmssemmenmnnnisaiicanisasemeimnd,        Washington, D.C. 20006—6801
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                                                    NON—PUBL JC                                |        202.747.1900 main
                                                                                               {
                                                                                                        202.747.1901 main fax
                                                                                               t        www.sheppardmullin.com
                                                                                                |
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                                       FOR INTERNAL USE ONLY                                            202.747.1930 direct
                                                                                                        bweimer@sheppardmullin.com
September 2, 2015
                                                                                                        File Number: 37BA—196263



                                                                  Accepted                          F
VIA HAND DELIVERY                                                              pied / Filed

Marlene H. Dortch, Secretary                                             SEP ~2 2015
Federal Communications Commission                                                        .              22
445 12th Street S.W.                                          *oMedbefinay,*
Washington, DC 20554


Re:      REQUEST FOR CONFIDENTIAL TREATMENT
         Satmex Milestone Certification; Call Sign S$2926.



Dear Ms. Dortch:

       Satélites Mexicanos, S.A. de C.V. ("Satmex") respectfully requests that, pursuant to
Sections 0.457 and 0.459 of the Commission‘s rules," the Commission withhold from public
inspection and accord confidential treatment to Exhibit E (Milestone Payment Plan and
Termination Liability Schedule) to the satellite construction contract between Boeing Satellite
Systems, International ("Boeing") and Satmex, as well as the corresponding declaration made
by Iris Sanchez Gutiérrez Gomez (together, the "Supplemental Submissions"). The
Supplemental Submissions are provided to supplement Satmex‘s previously filed demonstration
of compliance with the first three geostationary satellite implementation milestones for the
Satmex 9 satellite."

        The Supplemental Submissions contain confidential and commercially sensitive
information that falls within Exemption 4 of the Freedom of Information Act." Exemption 4
allows entities to withhold from public information "trade secrets and commercial or financial
information obtained from a person and privileged or confidential."" Section 0.457(d)(2) of the
Commission‘s rules allows persons submitting materials that they wish to be withheld from
public inspection in accordance with Section 552(b)(4) to file a request for non—disclosure,




1     47 C.F.R. §§ 0.457, 0.459.
*     See Satélites Mexicanos, S.A. de C.V., Demonstration of Compliance with First Three
Satel//teImplementat/on Milestones, Call Sign $2926, File Nos.SAT°LOT:20140617=00070and

°o 5U.S5.C. §552(b)(4) 47 C.F.R. § 0.457(d).
4     5 U.S.C. §552(b)(4).                                |                 NON—PUBLIC                           |

                                                              FOR INTERNAL USE ONLY|


SheppardMullin
Marlene H. Dortch, Secretary
September 2, 2015
Page 2


pursuant to Section 0.459." In accordance with the requirements contained in Section 0.459(b)
for such requests, Satmex states as follows:

4.       Identification of the Specific Information for Which Confidential Treatment Is
         Sought (Section 0.459(b)(1).

       Satmex seeks confidential treatment of Exhibit E (Milestone Payment Plan and
Termination Liability Schedule) to the satellite construction contract between Boeing and
Satmex, as well as the corresponding declaration made by Iris Sanchez Gutiérrez Gomez,
submitted to demonstrate compliance with the first three milestones for geostationary satellites,
which requires execution of a binding, non—contingent contract to construct the licensed satellite
system, as well as certifications stating that CDR has been completed and satellite construction
has commenced.©
2.       Identification of the Commission Proceeding In Which the Information Was
         Submitted or a Description of the Circumstances Giving Rise to the Submission

        Satmex is submitting this information in order to demonstrate its compliance with the first
three satellite implementation milestones and thereby obtain a reduction in the amount of the
performance bond for the Satmex 9 satellite.

.        Explanation of the Degree to Which the Information Is Commercial or Financial, or
         Contains a Trade Secret or Is Privileged

         The Supplemental Submissions contain commercially sensitive information that could be
used by Satmex‘s competitors to its disadvantage. Given that Satmex‘s business consists of
procuring and operating geostationary satellites, the information contained in the Supplemental
Submissions is by definition commercial information.

4.       Explanation of the Degree to Which the Information Concerns a Service That Is
         Subject To Competition

         The Supplemental Submissions concerns a geostationary satellite procured by Satmex
for the purpose of selling space segment capacity to its customers. This industry is subject to
fierce competition from numerous other operators, both domestic and foreign.

5.       Explanation of How Disclosure of the Information Could Result In Substantial
         Competitive Harm

        Information concerning Satmex‘s construction contracts for its geostationary satellites
constitutes a critical component of Satmex‘s business plans and future capabilities. Satmex‘s
competitors could use this information to undermine Satmex‘s position with regard to its


5    47 C.F.R. § 0.459.
6    47 C.F.R. § 25.164(a).


SheppardMullin
Marlene H. Dortch, Secretary
September 2, 2015
Page 3



business partners in an effort to gain an advantage in negotiating their own satellite construction
contracts and launching their own satellite networks. Consequently, disclosure of this
information to third parties could result in substantial competitive harm to Satmex.

6.        Identification of Any Measures Taken By the Submitting Party to Prevent
          Unauthorized Disclosure

        The information contained in the Supplemental Submissions is not distributed,
circulated, or provided to any party outside of Satmex. The company treats this data as
sensitive information; thus only specialized personnel within the company have access to it.

7.        Identification of Whether the Information Is Available To the Public and the Extent
          of Any Previous Disclosure of the Information to Third Parties

          The information contained in the Supplemental Submissions is not available to the public
and has not been disclosed to third parties other than the FCC.

8.        Justification of the Period During Which The Submitting Party Asserts That
          Material Should Not Be Available For Public Disclosure

       Satmex maintains that the entire contents of the Supplemental Submissions should
remain subject to confidential treatment permanently. Even historical contract information can
be used to track business decisions and the status of Satmex‘s business relationships, and this
information could be used by Satmex‘s competitors to the detriment of Satmex at any time in the
future.

Please contact the undersigned should you have any questions about this submission.



Respectfully submitted,




Brian D. Weimer
for SHEPPARD, MULLIN, RICHTER & HAMPTON LLP

Counselfor Satmex


SMRH:223255988.1
Enclosures



Document Created: 2015-09-25 14:26:14
Document Modified: 2015-09-25 14:26:14

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