Attachment ex parte

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

IBFS_SATMOD2003111800333_415346

               MOBILEEQUIPMENT INTERNATIONAL,                               LLC                JAN     1 0 2005
               MOBILE
                    LEASING        SHELTOWER      ME1
                                                                                          -   A

                                                                                      t
                                                                                          rG-

    Via Hand Delivery                                                                         1/6/2805
    Ms. Marlene H. Dortch, Secretary
    Federal Communications Commission
                                                   ORIGIW
    445 12th Street, S.W.
    Washington, D.C. 20554                                             EX PARTE OR LATE FILED

            Re:     Mobile Satettite Ventures Subsidiary LLC
                    Ex Parte Presentation
                    IB Docket No. 01-185
                    File No. SAT-MOD-20031118-00333      (ATC application)
                    File No. SAT-AMD-20031118-00332      (ATC application)
                    File No. SES-MOD-20031118-01879(ATC application)

    Dear Ms. Dortch

            Mobile Equipment International hereby urges the Commission to afford L-band Mobile
    Satellite Service (“MSS”) operators greater flexibility in their provision of an Ancillary
    Terrestrial Component (“ATC”), as requested by Mobile Satellite Ventures LP (“MSV”) in the
    above-captioned proceedings. The increased flexibility requested by MSV will ensure that next-
    generation MSS systems in the L-band can finally achieve the ubiquitous coverage, capacity,and
    economies of scale needed for a true consumer service. In contrast, the restrictions on L-band
    ATC advocated by Inmarsat Ventures plc (“Inmarsat”) will only ensure that MSS forever
    remains a niche service catering to price-insensitive users operating in remote areas.

           Mobile Equipment has provided MSS since 2001 using the L-band satellites of MSV and
    Mobile Satellite Ventures (Canada) Inc. Mobile Equipment currently provides voice and data
    services to end user customers throughout the United States. We service a host of First
    responders, Hospitals, Ambulance ,Police, Fire and Rescue and Government service
    companies t h u g h out the Midwpt.

           While Mobile Equipment         developed a viable business that includes current-
   generation MSS satellites to serve niche markets, we are excited about the fkture potential for
   MSS when supplemented with ATC. To date, MSS has been characterized by suitcase-sized
   user terminals, limited coverage, low data rates, and equipment and service prices far exceeding
   that offered by terrestrial wireless operators. Because the market for this type of service is small,
   the economies of scale needed to drive down equipment and service prices have not developed.
   With ATC, however, MSS has the potential to evolve into a true consumer service. ATC will
   provide the coverage, capacity, and economies of scale needed to bring MSS equipment and
   service prices to affordable levels. Moreover, by overcoming satellite signal blockage in urban
   areas, ATC will allow MSS to become a truly ubiquitous service, allowing service providers to
   market their products to customers not only in rural and remote areas but to customers in the
   most densely populated urban cores as well.
                                                                                                                  2
                                                                                      No. ofC iesrac’d        c/
                                                                                      ~iet    ABCOBE
4150 S. lOOnr E. AVE. SUITE212   TULSA, OKLAHOMA 74146        PHONE:   918-493-2666       FAX: 918-664-8396


Ms. Marlene H. Dortch
[Date]
Page 2


       Mobile Equipment understands that concerns of potential interference tbat could delay
MSV’s development of a next-generation MSS system. These concems are overstated and
speculative. For example, our customers will continue to use their satellite-only terminals der
MSV deploys ATC, but we are not concerned that these terminals will experience interference
from MSV’s ATC base stations. This is because our customers do not use their satellite-only
terminals in areas where MSV is expected to deploy base stations to overcome satellite signal
blockage. By definition, 8MSV needs to deploy an ATC base station to overcome signal
blockage, our satellite-only terminals will not work effectively in those areas.

       The Commission is at a crossroads in the development of MSS technology. Mobile
Equipment urges the Commission to follow the path of innovation and better consumer service
by adopting MSV’s proposals for increased f l e x i i i for ATC in the L-band.




                                                    CEO/ Mobile Equipment Intl.



Document Created: 2005-01-21 12:18:35
Document Modified: 2005-01-21 12:18:35

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