Attachment Legal Narrative

This document pretains to SAT-LOI-20141216-00130 for Letter of Intent on a Satellite Space Stations filing.

IBFS_SATLOI2014121600130_1071332

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



In the Matter of                                      )
                                                      )
Spectrum Five LLC                                     )   File No. _______________________
                                                      )
Petition for Declaratory Ruling to Serve the          )
U.S. Market from the 115.0° W.L. Orbital              )
Location in the 17/24 Broadcasting Satellite
Service Band


                         PETITION FOR DECLARATORY RULING

I.     INTRODUCTION AND SUMMARY

       Pursuant to Sections 1.2 and 25.137 of the Commission’s rules,1 Spectrum Five LLC

(“Spectrum Five”) hereby requests a declaratory ruling that its provision of service to the U.S.

market through a Netherlands-authorized satellite from the 115.0° W.L. orbital location using the

17/24 GHz Broadcast-Satellite Service (“BSS”) band is in the public interest. This petition for

declaratory ruling (“Petition”) complies with the Commission’s procedural and substantive

requirements for market entry by a foreign-authorized satellite. Grant of this Petition is in the

public interest because Spectrum Five’s provision of BSS from the 115.0° W.L. orbital location

will benefit consumers by providing the next generation of DBS services, including video and

audio broadcasting, local-into-local TV, Broadband, and fixed and mobile networks.

Additionally, service by Spectrum Five, a U.S.-based company, will increase competition in

overall DBS services, which will lower costs and stimulate service innovation to the benefit of

consumers.


1
       47 C.F.R. §§ 1.2, 25.137.


       The 115.0° W.L. orbital location is one of the orbital locations designated by the

Commission for use by satellite operators in the 17/24 GHz BSS band. 115 License Subsidiary,

LLC was previously authorized to operate at the 115.0° W.L. orbital location, but recently

surrendered this authorization.2 This application responds to the Commission’s recent

announcement that the 17/24 GHz BSS band frequencies at 115.0º W.L. are currently available

for assignment.3

       Pursuant to Section 25.137(b) of the Commission’s rules,4 this Petition is being filed

electronically via the International Bureau Filing System as an attachment to FCC Form 312 and

Schedule S.

II.    DESCRIPTION OF SPECTRUM FIVE’S PROPOSED SYSTEM

       A full description of the technical system proposed by Spectrum Five is included in the

Technical Narrative.

III.   LEGAL, FINANCIAL, AND TECHNICAL QUALIFICATIONS

       A.     Legal Qualifications

       Spectrum Five is legally qualified to provide the service requested in this application.

The information provided in the attached Form 312 and ownership exhibit responding to

Question 40 of Form 312 demonstrates Spectrum Five’s compliance with the Commission’s

basic legal qualifications. In addition, Spectrum Five has previously been authorized to provide




2
       See Letter from Bruce D. Jacobs and Tony Lin, Counsel to 115 License Subsidiary, LLC,
to Marlene H. Dortch, Secretary, Federal Communications Commission, File No. SAT-LOA-
20060412-00044 (May 2, 2012).
3
       See Policy Branch Information; Actions Taken, Public Notice, Report No. SAT-01059,
DA 14-1821, File No. SAT-LOA-20060412-00044 (Dec. 12, 2014).
4
       47 C.F.R. § 25.137(b).




                                                2


DBS service to U.S. customers using Netherlands-authorized satellites.5

        B.       Financial Qualifications

        Spectrum Five will meet the milestone schedule set forth in Section 25.164 of the

Commission’s rules (i.e., contract in one year, complete critical design review in two years,

begin construction in three years, and launch and operate in five years)6 and the bond posting

requirement set forth in Section 25.165 of the Commission’s rules.7

        C.       Technical Qualifications

        In the attached Form 312, Schedule S, and Technical Narrative, Spectrum Five

demonstrates that it is technically qualified to hold the authorization requested herein.

Specifically, Spectrum Five provides the information currently required by Section 25.114 of the

Commission’s rules, including demonstration of compliance with the orbital debris mitigation

rules. In addition, Spectrum Five’s Technical Narrative demonstrates compliance with the

FCC’s technical rules specific to the 17/24 GHz frequency band.

IV.     TYPE OF OPERATIONS

        Spectrum Five intends to use its proposed satellite on a non-broadcast, non-common

carrier basis.

V.      GEOGRAPHIC SERVICE REQUIREMENTS

        Spectrum Five will provide service to Alaska and Hawaii in compliance with Section


5
       Spectrum Five LLC, Petition for Declaratory Ruling Regarding 17/24 GHz
Broadcasting-Satellite Service to the U.S. Market from the 119.25° W.L. Orbital Location,
Declaratory Ruling, 27 FCC Rcd 13129 (2012) (“119.25° W.L. Authorization”).
6
        47 C.F.R. § 25.164.
7
        47 C.F.R. § 25.165.




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25.225 of the Commission’s rules, 47 C.F.R. § 25.225.

VI.    NETHERLANDS AUTHORIZATION

       The Netherlands and the Netherlands Antilles have granted Spectrum Five the right to

use the nominal 115.0° W.L. orbital location and associated frequencies in the 17/24 GHz BSS

band through an agreement.8 The foreign license requirement of Section 25.137 of the

Commission’s Rules is therefore satisfied.9

       Under the Agreement, the Netherlands will act as the sponsoring administration for

notification, coordination, examination, and registration of Spectrum Five’s networks to the ITU.

The Netherlands Radio Communications Agency will be responsible for making the ITU filings

necessary to advance publish, coordinate and notify the frequencies to be used by the Spectrum

Five network. The Agreement authorizes Spectrum Five to make exclusive use of the nominal

115.0° W.L. orbital location with respect to the frequencies and services specified in the ITU

filings. The duration of the authorization is for the lifetime of Spectrum Five’s first operational

satellite, and the lifetime of any additional or replacement satellites placed at this location and

launched within five years from the launch of the first operational satellite. The Agreement also

provides that Spectrum Five may apply for renewal of the exclusive use rights, and that such

renewal will not be unreasonably withheld.

       Under the Agreement with the Netherlands and Netherlands Antilles, Spectrum Five is


8
        Agreement between the State of the Netherlands, the Government of the Netherlands
Antilles, Spectrum Five LLC and Spectrum Five BV (effective August 7, 2007) (“Agreement”).
9
       See Amendment of the Commission’s Regulatory Policies to Allow Non-U.S Licensed
Space Stations to Provide Domestic and International Satellite Service in the United States and
Amendment of Section 25.131 of the Commission’s Rules and Regulations to Eliminate the
Licensing Requirement for Certain International Receive-Only Earth Stations, Report and Order,
12 FCC Rcd 24094, 24177-78 (¶ 196) (1997) (“DISCO II Order”).



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required to perform TT&C operations from a control center in the Netherlands Antilles, which

requires a license for use of frequencies for transmit/receive earth stations. The Netherlands

Antilles has agreed to provide all necessary licenses for Spectrum Five’s TT&C operations.

VII.   GRANT OF THIS PETITION IS IN THE PUBLIC INTEREST

       In the DISCO II Order, the Commission stated that providing opportunities for foreign-

licensed satellites to deliver services in the U.S. could benefit U.S. consumers.10 Grant of

Spectrum Five’s Petition will serve the public interest in a variety of ways.

       A.      Grant of the Petition Will Strengthen Competition in the Provision of DTH
               Services to the Public.

       Spectrum Five plans to use the 115.0° W.L. orbital location for the provision of direct-to-

home (“DTH”) services. Grant of this application will thus serve the public interest by ensuring

greater competition in the delivery of DTH services to the public. In 2006, the Commission

authorized Spectrum Five to provide direct broadcast satellite services to the U.S. from the

114.5° W.L. orbital location.11 The Commission found that grant of that petition would “offer an

opportunity for increased competition in the U.S. DBS market” and that “[i]ncreased competition

could provide consumers more satellite programming choices, more alternatives in subscription

video providers and services at reduced prices for those services, and further technological

innovation.”12 Grant of the instant Petition will provide Spectrum Five with the ability to

provide increased competition in the DTH marketplace.


10
       DISCO II Order, 12 FCC Rcd at 24097 (¶ 4).
11
      Spectrum Five LLC, Petition for Declaratory Ruling to Serve the U.S. Market Using
Broadcast Satellite Spectrum from the 114.5º W.L. Orbital Location, Order and Authorization,
21 FCC Rcd 14023 (2006) (“Spectrum Five 2006 Authorization”).
12
       Id. at ¶ 1.




                                                 5


       In addition, the Commission’s Order adopting service rules for 17/24 GHz BSS satellites

explicitly explained that the purpose of these rules was “to facilitate the introduction of new and

innovative services to consumers in the United States and promote increased competition among

satellite and terrestrial services.”13 Similarly, when the Commission injected more flexibility

into the orbital spacing regime in the BSS Order on Reconsideration, the Commission intended

an allocation system that would produce the infrastructure needed to provide consumers with

“the most competitive service options.”14 The Commission’s intended benefits of increased

competition are clear: “reduced prices” for the services at issue and “further technological

innovation.”15 Granting Spectrum Five’s Petition will enable the Commission to achieve these

objectives.

       B.      The ECO-Sat Test is Satisfied.

       The FCC previously has found that Spectrum Five’s use of a Netherlands-authorized


13
        The Establishment of Policies and Service Rules for the Broadcasting-Satellite Service at
the 17.3-17.7 GHz Frequency Band and at the 17.7-17.8 GHz Frequency Band Internationally,
and at the 24.75-25.25 GHz Frequency Band for Fixed Satellite Services Providing Feeder Links
to the Broadcasting-Satellite Service and for the Satellite Services Operating Bi-directionally in
the 17.3-17.8 GHz Frequency Band, Report and Order and Further Notice of Proposed
Rulemaking, 22 FCC Rcd 8842, 8844 (¶ 1) (2007) (“Report and Order”).
14
       See The Establishment of Policies and Service Rules for the Broadcasting-Satellite
Service at the 17.3-17.7 GHz Frequency Band and at the 17.7-17.8 GHz Frequency Band
Internationally, and at the 24.75-25.25 GHz Frequency Band for Fixed Satellite Services
Providing Feeder Links to the Broadcasting-Satellite Service and for the Satellite Services
Operating Bi-directionally in the 17.3-17.8 GHz Frequency Band, Order on Reconsideration, 22
FCC Rcd 17951 at ¶ 17 (2007) (“Order on Reconsideration”).
15
        Establishment of Policies and Service Rules for the Broadcasting-Satellite Service at the
17.3-17.7 GHz Frequency Band and at the17.7-17.8 GHz Frequency Band Internationally, and
at the 24.75-25.25 GHz Frequency Band for Fixed Satellite Services Providing Feeder Links to
the Broadcasting-Satellite Service and for the Satellite Services Operating Bi-directionally in the
17.3-17.8 GHz Frequency Band, Notice of Proposed Rulemaking, 21 FCC Rcd 7426 at ¶ 1
(2006) (“BSS NPRM”).




                                                 6


satellite to provide DTH services to the U.S. satisfies the ECO-Sat test.16 Grant of this Petition

also satisfies the Commission’s ECO-Sat test, under which the agency examines opportunities

for U.S.-licensed satellites to serve the home market of the non-U.S. satellite seeking access to

the United States. In particular, the Commission examines whether there are any de jure or de

facto barriers to entry for the provision of analogous services in the non-U.S. satellite’s home

market.17 The relevant foreign markets are (1) the market of the authority licensing the satellite

and (2) the markets in which communications with the U.S. earth stations will originate or

terminate.18 In this case, the relevant markets are the Netherlands, the authorizing

Administration, and the Netherlands Antilles. The relevant service is Direct-to-Home

(“DTH”).19 There have been no changes in relevant Netherlands law or policy since the

agency’s ECO-Sat finding.

       As the FCC concluded, there are no de jure or de facto barriers to entry for an entity

proposing to use a U.S.-licensed satellite to deliver DTH services to the Netherlands or

Netherlands Antilles markets. Several foreign satellite operators already provide DTH services

in the Netherlands. The only Dutch regulation applicable to the provision of satellite services

requires that a license be obtained from the Radiocommunications Agency Netherlands for the

use of frequencies for a satellite earth station.20 There are no restrictions regarding the

nationality of the applicant for a license, and in practice, licenses are generally issued within


16
       Spectrum Five 2006 Authorization at 14030-31 (¶¶ 10-13).
17
       DISCO II Order, 12 FCC Rcd at 24137 (¶ 99).
18
       Id. at 24129-133 (¶¶ 76-88).
19
       Id. at 24136-137 (¶ 98).
20
       No license is required for receive-only terminals.



                                                  7


eight weeks, for a (renewable) period of five years. U.S. operators would receive the same

treatment as any other operator in this respect.

        In the Netherlands Antilles, a distinction is made between (i) a satellite operator who

sends a signal to a satellite earth station in the Netherlands Antilles; and (ii) a satellite operator

who sends a satellite signal directly to consumers. In the first case, a license is to be obtained for

the use of frequencies. There are no restrictions regarding the nationality of the applicant for a

license; U.S. operators would receive the same treatment as any other operator in this respect. In

the second case, where an operator sends a satellite signal directly to consumers, no license is

required.

VIII. WAIVER PURSUANT TO SECTION 304 OF THE ACT

        In accordance with Section 304 of the Communications Act of 1934, as amended, 47

U.S.C. § 304, the party to this application hereby waives any claim to the use of any particular

frequency or of the electromagnetic spectrum as against the regulatory power of the United

States because of the previous use of the same, whether by license or otherwise.




                                                   8


IX.    CONCLUSION

       For the foregoing reasons, Spectrum Five respectfully requests that the Commission

promptly approve this Petition as in the public interest, convenience and necessity.

                                                    Respectfully submitted,

                                                    Spectrum Five LLC



                                                    By: /s/ David Wilson
                                                       David Wilson
                                                       President
                                                       SPECTRUM FIVE LLC

Dated: December 16, 2014




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Document Created: 2014-12-16 16:07:22
Document Modified: 2014-12-16 16:07:22

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