Attachment ex parte

This document pretains to SAT-MOD-20031118-00333 for Modification on a Satellite Space Stations filing.

IBFS_SATMOD2003111800333_411625

    s                                                                  Communications WithoutLimits




        December 16, 2004                                                     DEC   2 8   2004


        Chairman Michael K. Powell
        Federal Communications Commission
        Office of the Secretary
        445 12th Street, SW
        Washington, DC 20554


                Re:     ATC Rulemaking, TB Docket No. 01—185
                       Applications of Mobile Satellite Ventures Subsidiary LLC
                              File No. SAT—MOD—20031118—00333
                              File No. SAT—AMD—20031118—00332
                              File No. SES—MOD—20031118—01879
                       Ex parte presentation
        Dear Chairman Powell:

                       Global Communications Solutions, Inc. (GCS)is writing to express its concems
        about issues raised in two related proceedings: (i) reconsideration of the Commission‘s Order
        authorizing "ATCas an extension of Mobile Satellite Service (MSS) networks, and (i)the
        Commission‘s review of the firstauthorization to implement ATC.

                        GCS is one of Inmarsat‘s top Service Providers, worldwide. We generate
        approximately 70% of our revenue from Inmarsat hardware and airtime sales. Our strategic plan
        for the next 5 years relies heavily on the suecessful Iaunch and operation of the Inmarsat BGAN
        system in the United States. GCS urges the Commission to ensure that MSS services in the L—
        Band remain protected from ATC interference, and to preserve the abilityto deploy new and
        innovative MSS services in all parts of the United States, urban, suburban and rural, now and in
        the future,

                        "The rules that the Commission adopted to constrain ATC interference are under
       assault on two fronts. First, Mobile Satellite Ventures (MSV) has asked the Commission to
       revise its rules and allow MSV to significantly increase ATC interference in a manner that would
       substantially increase the zones around ATC base stations where Inmarsatterminals will no
       Jonger work, and in a manner that also could degrade or interrupt communications over Inmarsat
       spacecraft. Second, in granting the very first ATC license, the International Bureau granted


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waivers of certain ofthese rules and also placed a new burden on MSoperators to demonstrate,
in a very short ime frame, that they will be hurt by the deployment of an ATC base station.
                 The factis that no one has identified a way to fully prevent ATC from generating
interference into Inmarsat mobile terminals or Inmarsat spacecraft. The Commission‘s current
ATC rules go a long way toward constraining ATC interference into MSS services, and it is
essential that the Commission maintain and enforcethose rules. Moreover, it is critical that the
Commission maintain its current policies that () deviations from its ATC rules will be allowed
only if it is demonstrated that the deviations will not increase ATC interference into MSS, (i)
ATC in the L—Band is to be phased in to allow time to study its real world effects, and (ii)if
ATC does eause interference into MSS service, an ATC operator must immediately modify or
discontinue its operations. There are two main reasons these protections and policies must be
maintained.
                Fizst, the continued reliability of Inmarsatservices is essential to the safety and
security—related communications ofmany federal, state and local governmental agencies.
Inmarsat MSS terminals were relied on in New York City following the September 11 attacks,
and the Fire Department of New York has recently chosen Inmarsat terminals to support its
emergency response communications. Inmarsat MSS service is relied on for these purposes
because the system is independent of the terrestrial and cellular communications networks that
may be unavailable or overwhelmed in an emergeney. MSS—based safety and security—related
communications simply cannot be atrisk of ATC interference in the time of an emergency, when
police, firefighters and other rescue personnel need reliable communications the most.
                 Second, we are just beginning to realize the potential for MSS to support
broadband service across America, in urban, suburban, and rural areas alike. The Inmarsat—4
spacecraft that are about to be launched will support transmission rates of432 kilobits per
second——a rate competitive with planned 3G networks. It therefore is not difficult to imagine the
new types of land mobile, acronautical, and maritime MSS services that soon will be offered.
Inmarsat‘s new BGAN land mobile service will support the extension of corporate
communications networks, as well as facilitate the provision ofhigh quality live video feeds and
news gathering in urban areas. In addition, Inmarsat‘s new broadband aeronautical capabilities
will provide the opportunity to augment the congested air traffic control system in the U.S.,as
well as offer communications services to the general aviation industry———commercial and private
aircraft ofall sizes. Inmarsat—4 thus provides a unique opportunity———in fact, the only
opportunity———to provide "always—on" broadband services to airplanes, land mobile, and maritime
users, regardless oftheir location.
                The full potential of MSS broadband services can come to fruition only ifthe
Commission looks forward, and develops ATC rules and policies that protect the future, rather
than simply protecting past MSS technology. For these reasons, it is critical that Inmarsat land
mobile, aeronautical and maritime terminals are protected from interference whenever they are
operated in the vicinity of ATC base stations.
               ATC, as a secondary, non—interfering service, should not be allowed to constrain
the continued deployment ofMSS throughout the United States. Unfortunately, the FCC has


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mistakenly assumed that (x) ATC will be deployed only in undefined urban areas, and (4)
Inmarsatland mobile and acronautical terminals will not be operated over or near those base
stations, IfInmarsat or one of its U.S. distributors wants to protectits operations in the vicinity
of an ATC base station that will operate at high power, it now has to do two things () make a
showing at the FCC within a thirty day window that it likely will have a mobile user in the
vicinity ofthe base station, and (i) coordinate with MSV to try to avoid the effects ofATC
interference. If those efforts are not successful, Inmarsat MSS service might not be possible in
the vicinity of that base station in the future.

              MSS subscribers reasonably expect that their terminals will work anywhere they
need them to work. The Commission should not require MSS service providers to make advance
showings in order to protect their operations in the vicinity of an ATC base station.
             These proceedings raise very important policy issues and we urge the
Commission to give them ts fullest attention and protect MSS service as described above.

               An original and seven copies of this letter are enclosed.


                                              Respectfully submitted,
                                              Global Communications Solutions, Inc.


                                              8y                        Gef_
                                                      Frank York
                                                      President




ce     Commissioner Kathleen Q, Abernathy
       Commissioner Michael J. Copps
       Commissioner Kevin J. Martin
       Commissioner Jonathan S. Adelstein
       Ed Thomas, Chief, Office ofEngineering and Technology
       Donald Abelson, Chict International Bureau
       Marlene Dortch, Secrctary



Document Created: 2004-12-28 16:04:27
Document Modified: 2004-12-28 16:04:27

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