Attachment GRANT

GRANT

DECISION submitted by FCC,IB

GRANT

2004-06-15

This document pretains to SAT-MOD-20040405-00076 for Modification on a Satellite Space Stations filing.

IBFS_SATMOD2004040500076_377371

Date & Time Filed: Apr 5 2004 2:20:47:733PM
File Number: SAT-MOD-20040405-00076


    FCC APPLICATION FOR SPACE AND EARTH STATI0N:MOD OR AMD - MAIN FORM         FCC Use Only

                        FCC 3 12 MAIN FORM FOR OFFICIAL USE ONLY

APPLICANT INFORMATION
Enter a description of this application to identify it on the main menu:
SBS-6 (from 74W to 74.05W3
1-8. Legal Name of Applicant

           Name:        PanAmSat Licensee Corp.           Phone Number:    202-292-4300
           DBA                                            Fax Number:      202-292-43 78
           Name:
           Street:      1801 K Street, N.W.               E-Mail:
                        Suite 440
           City:        Washington                        State:            DC
           Country:      USA                              Zipcode:         20006      -

           Attention:   Mr Kalpak S Gude Esq




1


                                           Attachment
                                   Conditions of Authorization
                                         June 15,2004

    1.         PanAmSat Licensee Corp.'s application, SAT-MOD-20040405-00076, IS
GRANTED and PanAmSat Licensee Corp.'s authorization to operate its SBS-6 satellite
call-sign SBS-6 currently assigned to the 74.O"W.L. orbital location is modified to reflect
operations at 74.05" W.L. with *0.05" longitudinal station-keeping, in the frequency
bands 11.7 - 12.2 GHz and 14.0 - 14.5 GHz, in accordance with the terms, conditions,
and technical specifications set forth in its application, this Attachment and the
Commission's Rules.

    2.          PanAmSat Licensee Corp. shall prepare the necessary information, as may
be required, for submission to the ITU to initiate and complete the advance publication,
international coordination, due diligence, and notification process of this space station, in
accordance with the ITU Radio Regulations. PanAmSat Licensee Corp. shall be held
responsible for all cost recovery fees associated with these ITU filings. We also note that
no protection from interference caused by radio stations authorized by other
administrations is guaranteed unless coordination and notification procedures are timely
completed or, with respect to individual administrations, by successfully completing
coordination agreements. Any radio station authorization for which coordination has not
been completed may be subject to additional terms and conditions as required to effect
coordination of the frequency assignments of other administrations. See 47 C.F.R. tj
25.1 1l(b).

    3.         Action on this application is without prejudice to possible enforcement
action in connection with operations of the SBS-6 satellite prior to this action.

    4.          PanAmSat Licensee Corp. is afforded thirty days from the date of release
of this grant and authorization to decline this authorization as conditioned. Failure to
respond within this period will constitute formal acceptance of the authorization as
conditioned.

    5.         This Grant is issued pursuant to Section 0.26 1 of the Commission's rules
on delegated authority, 47 C.F.R. 4 0.261, and is effective upon release. Petitions for
reconsideration under Section 1.106 or applications for review under Section 1.115 of the
Commission's rules, 47 C.F.R. $0 1.106, 1.115, may be filed within 30 days of the date of
the public notice indicating that this action was taken.


19-1 6 . Name of Contact Representative (If other than applicant)

               Name:            Joseph A. Godles, Esq.               Phone Number:                        202-429-4900
               Company: Goldberg Godles Wiener & Wright Fax Number:                                       202-429-49 12
               Street:          1229 19th Street, NW                 E-Mail:                              jgodles@g2w2.com


               City:            Washington                           State:                               DC
               Country:         USA                                  Zipcode:                             20036-2413
               Contact          Attorney                             Relationship:                        Legal Counsel
               Title:

1
    CLASSIFICATION OF FILING
     7. Choose the button next to the
    :lassification that applies to this filing for   (N/A) b 1. Application for License of New Station
    )oth questions a. and b. Choose only one         (N/A) b2. Application for Registration of New Domestic Receive-Only Station
    or 17a and only one for 17b.                      Q (N/A) b3. Amendment to a Pending Application

                                                         (N/A) b4. Modification of License or Registration
      Q   a l . Earth Station
                                                     b5. Assignment of License or Registration
          a2. Space Station                          b6. Transfer of Control of License or Registration
                                                      0 @/A) b7. Notification of Minor Modification
                                                     (N/A) b8. Application for License of New Receive-Only Station Using Non-U.S. Licensed
                                                     Satellite
                                                     (N/A) b9. Letter of Intent to Use Non-U.S. Licensed Satellite to Provide Service in the United
                                                     States
                                                      0 (N/A) b10. Other (Please specify)




2


      17c. Is a fee submitted with this application?
       IfYes, complete and attach FCC Form 159. If No, indicate reason for fee exemption (see 47 C.F.R.Section 1.1 1 14).
    Q   Governmental Entity       Q   Noncommercial educational licensee
    0 Other(p1ease explain):
    17d.

    Fee Classification A BFY - Space Station Modification(Geostationary)




    18. If this filing is in reference to an     19. If this filing is an amendment to a pending application enter both fields, if this filing is a
    existing station, enter:                     modification please enter only the file number:
    (a) Call sign of station:                    (a) Date pending application was filed:              (b) File number:
        SBS-6
                                                                                                      SATMOD2000100300133




3


TYPE OF SERVICE
10. NATURE OF SERVICE: This filing is for an authorization to provide or use the following type(s) of service(s): Select all that apply:


    a. Fixed Satellite
0b. Mobile Satellite
    c. Radiodetermination Satellite
    d. Earth Exploration Satellite
    e. Direct to Home Fixed Satellite
0 f. Digital Audio Radio Service
    g. Other (please specify)


21. STATUS: Choose the button next to the applicable status. Choose      122. If earth station applicant, check all that apply.
mly one.                                                                     0 Using U.S. licensed satellites
Q Common Carrier      0 Non-Common Carrier                                       Using Non-U.% licensed satellites
                                                                         I

23. If applicant is providng INTERNATIONAL COMMON CARRIER service, see instructions regarding Sec. 214 filings. Choose one. Are these
Facilities:
Q Connected to a Public Switched Network    0 Not connected to a Public Switched Network @ N/A
 24. FREQUENCY BAND(S): Place an 'X' in the box(es) next to all applicable frequency band(s).
[7 a. C-Band (4/6GHz)   b. Ku-Band ( 12/14 GHz)
0 c.Other (Please specify upper and lower frequencies in MHz.)
       Frequency Lower:         Frequency Upper: (Please specify additional frequencies in an attachment)




4


TYPE OF STATION
!5. CLASS OF STATION: Choose the button next to the class of station that applies. Choose only one.
4 a. Fixed Earth Station
Q   b. Temporary-Fixed Earth Station
Q   c. 12/14 GHz VSAT Network
Q   d. Mobile Earth Station
0 e. Geostationary Space Station
0 f. Non-Geostationary Space Station
Q   g. Other (please specify)


!6. TYPE OF EARTH STATION FACILITY
0 TransmidReceive 0 Transmit-Only               Q   Receive-Only       N/A
'For Space Station applications, select N/A."




5


PURPOSE OF MODIFICATION

    !7. The purpose of this proposed modification is to: (Place an 'X' in the box(es) next to all that apply.)


       0 a -- authorization to add new emission designator and related service
       0b -- authorization to change emission designator and related service
       0 c -- authorization to increase EIRP and EIRP density
       0 d -- authorization to replace antenna
            e -- authorization to add antenna
        0 f -- authorization to relocate fixed station
            g -- authorization to change frequency(ies)
            h -- authorization to add frequency
        0 i -- authorization to add Points of Communication (satellites & countries)
            j -- authorization to change Points of Communication (satellites & countries)
            k -- authorization for facilities for which environmental assessment and
    .adiation hazard reporting is required
             1 -- authorization to change orbit location
        0 m -- authorization to perform fleet management
            n -- authorization to extend milestones
        0 o -- Other (Please specify)




6


ENVIRONMENTAL POLICY

28. Would a Commission grant of any proposal in this application or amendment have a significant environmental          0 Yes         No
impact as defined by 47 CFR 1.1307? If YES, submit the statement as required by Sections 1.1308 and 1.13 I 1 of
the Commission’s rules, 47 C.F.R. 1.1308 and 1.131 1, as an exhibit to this app1ication.A Radiation Hazard Study
must accompany all applications for new transmitting facilities, major modifications, or major amendments.



ALIEN OWNERSHIP Earth station applicants not proposing to provide broadcast, common carrier, aeronautical en route or
aeronautical fixed radio station services are not required to respond to Items 30-34.

 29. Is the applicant a foreign government or the representative of any foreign government?                             Q   Yes   @   No    Q   NIA




 30. Is the applicant an alien or the representative of an alien?                                                       0 Yes 0 No          @   NIA




 3 1. Is the applicant a corporation organized under the laws of any foreign government?                                0 Yes 0       No        NIA




 32. Is the applicant a corporation of which more than one-fifth of the capital stock is owned of record or voted by    0 Yes     Q    No       NIA
 aliens or their representatives or by a foreign government or representative thereof or by any corporation organized
 under the laws of a foreign country?




7


33. Is the applicant a corporation directly or indirectly controlled by any other corporation of which more than                0 Yes 0         No   e N/A
one-fourth of the capital stock is owned of record or voted by aliens, their representatives, or by a foreign
government or representative thereof or by any corporation organized under the laws of a foreign country?



34. If any answer to questions 2 9 , 3 0 , 3 1 , 3 2 andor 33 is Yes, attach as an exhibit an identification of the aliens or   Ques 30-34
foreign entities, their nationality, their relationship to the applicant, and the percentage of stock they own or vote.



BASIC QUALIFICATIONS

35. Does the Applicant request any waivers or exemptions from any of the Commission’s Rules?                                        0 Yes             No
IfYes, attach as an exhibit, copies of the requests for waivers or exceptions with supporting documents.




36. Has the applicant or any party to this application or amendment had any FCC station authorization or license                          Yes    0 No
revoked or had any application for an initial, modification or renewal of FCC station authorization, license, or
construction permit denied by the Commission? If Yes, attach as an exhibit, an explination of circumstances.
                                                                                                                                Ques 36




8


37. Has the applicant, or any party to this application or amendment, or any party directly or indirectly controlling        0 Yes       @   No
the applicant ever been convicted of a felony by any state or federal court? IfYes, attach as an exhibit, an
explination of circumstances.




38. Has any court finally adjudged the applicant, or any person directly or indirectly controlling the applicant,            Q     Yes       No
guilty of unlawfully monopolizing or attemptiing unlawfully to monopolize radio communication, directly or
indirectly, through control of manufacture or sale of radio apparatus, exclusive traffic arrangement or any other
means or unfair methods of competition?lfYes, attach as an exhibit, an explanation of circumstances




39. Is the applicant, or any person directly or indirectly controlling the applicant, currently a party in any pending       0 Yes           No
matter referred to in the preceding two items? If yes, attach as an exhinit, an explanation of the circumstances.




40. If the applicant is a corporation and is applying for a space station license, attach as an exhibit the names,
address, and citizenship of those stockholders owning a record andor voting 10 percent or more of the Filer’s
voting stock and the percentages so held. In the case of fiduciary control, indicate the beneficiary(ies) or class of    Ques 40
beneficiaries. Also list the names and addresses of the officers and directors of the Filer.




9


41. By checking Yes, the undersigned certifies, that neither applicant nor any other party to the application is            9 Yes        0 No
subject to a denial of Federal benefits that includes FCC benefits pursuant to Section 530 1 of the Anti-Drug Act of
1988,21 U.S.C. Section 862, because of a conviction for possession or distribution of a controlled substance. See
47 CFR 1.2002(b) for the meaning of "party to the applicationlkquot; for these purposes.



42a. Does the applicant intend to use a non-US. licensed satellite to provide service in the United States? IfYes,          Q   Yes          No
answer 42b and attach an exhibit providing the information specified in 47 C.F.R. 25.137, as appropriate. If No,
proceed to question 43.




42b. What administration has licensed or is in the process of licensing the space station? If no license will be issued, what administration has
coordinated or is in the process of coordinating the space station?



43. Description. (Summarize the nature of the application and the services to be provided).   (If the complete description does not appear in this
box, please go to the end of the form to view it in its entirety.)
     PanAmSat seeks to modify its license to operate SBS-6 at 74.05 WL and to update technical
     information regarding those operations.



SBS-6 mod




10


CERTIFICATION
The Applicant waives any claim to the use of any particular frequency or of the electromagnetic spectrum as against the regulatory power of the
Jnited States because of the previous use of the same, whether by license or otherwise, and requests an authorization in accordance with this
Ipplication. The applicant certifies that grant of this application would not cause the applicant to be in violation of the spectrum aggregation limit
n 47 CFR Part 20. All statements made in exhibits are a material part hereof and are incorporated herein as if set out in full in this application.
The undersigned, individually and for the applicant, hereby certifies that all statements made in this application and in all attached exhibits are
rue, complete and correct to the best of his or her knowledge and belief, and are made in good faith.
14. Applicant is a (an): (Choose the button next to applicable response.)

Q     Individual
Q     Unincorporated Association
Q     Partnership
      Corporation
Q     Governmental Entity
Q     Other (please specify)




     45. Name of Person Signing                                             46. Title of Person Signing
     Kalpak Gude                                                            Associate General Counsel




 Attachment 1:                                     Attachment 2:                                     Attachment 3 :




11


                                                             .


     WILLFUL FALSE STATEMENTS MADE ON THIS FORM ARE PUNISHABLE BY FINE AND / OR IMPRISONMENT
             (U.S. Code, Title 18, Section 1001), AND/OR REVOCATION OF ANY STATION AUTHORIZATION
           (U.S. Code, Title 47, Section 312(a)(l)),AND/OR FORFEITURE (US. Code, Title 47, Section 503).




12


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THE FOREGOING NOTICE IS REQUIRED BY THE PAPERWORK REDUCTION ACT OF 1995, PUBLIC LAW 104-13, OCTOBER
1,1995,44 U.S.C. SECTION 3507.




13


                          Engineering Statement


PanAmSat Licensee Corp. ("PanAmSat") is currently licensed to operate
SBS 6 from 74" WL utilizing the 14000 - 14500 MHz and 11700 - 12200
MHz bands to provide U.S. coverage (See FCC File No.: SAT-MOD-
20001003-00141). In this filing, PanAmSat proposes to modify its license
to specify operation of SBS 6 from 74.05" WL instead of 74' WL.

To account for this change in orbital location, this engineering statement
updates the following technical information that PanAmSat previously had
submitted: (1) gain contours and (2) link budget analysis.

Gain Contours

The coverage patterns of SBS 6 operating from the proposed 74.05" WL
orbital location will be the same as those specified in the current license.
Changing the proposed orbital location from 74" WL to 74.05" WL will
produce no visible change in the gain contours. Accordingly, no new beam
gain contours are being submitted.

Link Budgets and Interference Analysis

The operational co-frequency satellites nearest to the 74.05' WL orbital
location are AMC 6, located at 72" WL, and AMC 9, located at 79" WL.
AMC 6 and AMC 9 are licensed to SES Americom. An earth station
receiving transmissions from AMC 6 and having antenna off-axis gain
characteristics that are in compliance with the Section 25.209(a)(l) of the
FCC Rules, would have an off-axis antenna gain of 2 1.5 dBi towards SBS 6
located at 74" WL. With SBS 6 operating from the proposed orbital location
of 74.05" WL, the off-axis gain of the receiving earth station would be 2 1.2
dBi. Hence, there would be a resulting decrease in the off-axis gain of the
earth station antenna of 0.3 dB in the direction of SBS 6. Such a small
decrease in the off-axis gain will not change in any meaningfid way the
existing interference environment of AMC 6 receiving earth stations from
the proposed operation of SBS 6 at 74.05" WL. Similarly, interference from
AMC 6 transmissions into SBS 6 receiving earth stations would be
substantially unchanged (0.3 dB variation).




                                Page 1 of 4


With respect to an earth station receiving transmissions from AMC 9, the
off-axis antenna gain of the receiving antenna would be increased from 1 1.5
dBi to 11.6 dBi - an increase of 0.1 dB. Such a small increase in the off-
axis gain of AMC 9 receive earth station will not change in any meaningful
way the existing interference environment of AMC 9 receiving earth stations
from the proposed operation of SBS 6 at 74.05" WL. Similarly, interference
from AMC 9 transmissions into SBS 6 receiving earth stations would be
substantially unchanged (0.1 dB variation).

It is further noted that Loral had been authorized by the Commission to
operate Telstar 4 from 77.0" WL. Given that Telstar 4 is not operational
anymore, it is concluded that any future operations from 77.0" WL will be
conducted by a different satellite. In any event, an earth station receiving
transmissions from this hypothetical satellite and having antenna off-axis
gain characteristics that are in compliance with the Section 25.209(a)( 1) of
the FCC Rules, would have an off-axis antenna gain of 17.1 dBi towards
SBS 6 located at 74" WL. With SBS 6 operating from the proposed orbital
location of 74.05" WL, the off-axis gain of the receiving earth station would
be 17.3 dBi. Hence, there would be an increase in the off-axis gain of the
earth station antenna of 0.2 dB in the direction of SBS 6. Such a small
increase in the off-axis gain will not change in any meaningful way the
existing interference environment of the receiving earth stations of the
hypothetical satellite from the proposed operation of SBS 6 at 74.05" WL.
Similarly, interference from the hypothetical satellite transmissions into SBS
6 receiving earth stations would be substantially unchanged (0.2 dB
variation).

Given that the proposed operation of SBS 6 would not result in any
significant change to the existing interference environment as it pertains to
SBS 6, AMC 6, AMC 9 and the hypothetical satellite operating from 77.0"
WL, no link budget analysis is provided herein'. In the unlikely event that
SBS 6 operating from 74.05" WL were to adversely affect the transmissions
from AMC 6, AMC 9, and/or the hypothetical satellite operating from 77.0"
WL, PanAmSat would coordinate with SES Americom and/or Intelsat
(successor to Loral) to reach a mutually acceptable solution.



'The International Bureau recently clarified that GSO space station applicants generally are expected to
provide this information. See Public Notice, DA 03-3683 (Dec. 3,2003).



                                              Page 2 of 4


Schedule S Submission

For reasons that are discussed above, the proposed operation of SBS 6 from
74.05' WL would not result in any material changes to the operating
characteristics of the satellite or the existing interference environment. The
information requested in Schedule S, therefore, is duplicative of the
information that PanAmSat already has provided. Based on this fact and on
discussions with the staff of the Satellite Division, PanAmSat is not
including a Schedule S with its modification application. However,
PanAmSat will prepare and file a Schedule S in the event that the Satellite
Division determines it to be necessary.




                                Page 3 of 4


                          Certification Statement

I hereby certify that I am a technically qualified person and am familiar with
Part 25 of the Commission’s Rules and Regulations. The contents of this
engineering statement were prepared by me or under my direct supervision
and to the best of my knowledge are complete and accurate.


   /s/ Abdolmajid Khalilzadeh                        April 2,2004
     Abdolmajid Khalilzadeh                              Date
      PanAmSat Corporation
Senior Manager, Asset Engineering




                                Page 4 of 4


                                                        PanAmSat Licensee Corp.
                                                                 FCC Form 312
                                                                      Exhibit A
                                                                     Page 1of 1


                                  Exhibit A
                            Response to Items 30-34


       Section 310(b)(4)of the Communications Act of 1934, as amended,
establishes certain limitations on indirect foreign ownership and voting of certain
common carrier and broadcast licensees. By definition, these limitations do not
apply to non-common carrier space station licenses held by PanAmSat Licensee
Corp.


                                                          PanAmSat Licensee Corp.
                                                                   FCC Form 312
                                                                        Exhibit B
                                                                       Page 1of 1


                                  Exhibit B
                             Response to Item 36
                      Regarding Cancelled Authorizations


        PanAmSat Licensee Corp. (“PanAmSat”) never has had an FCC license
“revoked.” However, on June 26,2000, the International Bureau “cancelled” two
Ka-band satellite authorizations issued to PanAmSat, based on the Bureau’s
finding that PanAmSat LC had not satisfied applicable construction milestones.
See In re PanArnSat Licensee Corp., Memorandum Opinion and Order, DA 00-1266,
15 FCC Rcd 18720 (IB 2000). In that same order, the Bureau denied related
applications to modify the cancelled authorizations. PanAmSat filed an
application for review of the Bureau’s decision, which the Commission denied,
and subsequently filed an appeal with the United States Court of Appeals for the
District of Columbia Circuit, which was dismissed in January 2003 at
PanAmSat’s request. Notwithstanding the fact that the Bureau’s action does not
seem to be the kind of revocation action contemplated by question 36, PanAmSat
is herein making note of the decision in the interests of absolute candor and out
of an abundance of caution.

        In any event, the Bureau’s action with respect to PanAmSat does not
reflect on its basic qualifications, which are well-established and a matter of
public record.


                                                         PanAmSat Licensee Corp.
                                                                  FCC Form 312
                                                                       Exhibit C
                                                                      Page 1of 5


                                        Exhibit C
                                   Response to Item 40

       PanAmSat Licensee Corp. ("PanAmSat") is an indirect 100% subsidiary of
PanAmSat Corporation, and The DIRECTV Group, Inc. (formerly known as
Hughes Electronics) ("DIRECTV") owns approximately 81% of PanAmSat
Corporation. Fox Entertainment Group, lnc. ("Fox") owns 34% of DIRECTV, and
The News Corporation Limited ("News Corp."), whose largest voting
shareholder is Rupert Murdoch, indirectly owns 82% of Fox. On December 19,
2003, the Commission adopted a Memorandum Opinion and Order in which it
consented to transferring de facto control of DIRECTV and its subsidiaries,
including PanAmSat, to News Corp.1

I.      Names, addresses, citizenship, and percentage interests of stockholders
        owning of record and/or voting 10 O/o or more of voting stock of
        PanAmSat Licensee Corp.:

        PanAmSat International Systems, LLC              USA             100%
        c/o PanAmSat Corporation
        20 Westport Road
        Wilton, CT 06897

11.     Names and addresses of Directors of PanAmSat Corporation:
                                                        -


        Chase Carey
        Chairman of the Board of Directors
        c/o PanAmSat Corporation
        20 Westport Road
        Wilton, CT 06897

       Bruce Churchill
       c/o PanAmSat Corporation
       20 Westport Road
       Wilton, CT 06897




 FCC 03-330 (rel. Jan. 14,2004).


                             PanAmSat Licensee Corp.
                                      FCC Form 312
                                           Exhibit C
                                          Page 2 of 5

Patrick J. Costello
c/o PanAmSat Corporation
20 Westport Road .
Wilton, CT 06897

Patrick Doyle
c/o PanAmSat Corporation
20 Westport Road
Wilton, CT 06897

Eddy W. Hartenstein
c/o PanAmSat Corporation
20 Westport Road
Wilton, CT 06897

Dennis F. Hightower
c/o PanAmSat Corporation
20 Westport Road
Wilton, CT 06897

James M. Hoak
c / o PanAmSat Corporation
20 Westport Road
Wilton, CT 06897

Larry D. Hunter
c/o PanAmSat Corporation
20 Westport Road
Wilton, CT 06897

Stephen R. Kahn
c/o PanAmSat Corporation
20 Westport Road
Wilton, CT 06897

Joseph R. Wright
c/o PanAmSat Corporation
20 Westport Road
Wilton, CT 06897


                                                       PanAmSat Licensee Corp.
                                                                FCC Form 312
                                                                     Exhibit C
                                                                    Page 3 of 5

111.   Names and addresses of Officers of PanAmSat Corporation:

       Chase Carey
       Chairman of the Board of Directors
       c/o PanAmSat Corporation
       20 Westport Road
       Wilton, CT 06897

       Joseph R. Wright
       President and Chief Executive Officer
       c/o PanAmSat Corporation
       20 Westport Road
       Wilton, CT 06897

       James B. Frownfelter
       Executive Vice President and Chief Operating Officer
       c/o PanAmSat Corporation
       20 Westport Road
       Wilton, CT 06897

       James W. Cuminale
       Executive Vice President and Secretary
       c / o PanAmSat Corporation
       20 Westport Road
       Wilton, CT 06897

       Thomas E. Eaton, Jr.
       Executive Vice President, Global Sales
       c/o PanAmSat Corporation
       20 Westport Road
       Wilton, CT 06897

       Michael J. Inglese
       Senior Vice President and Chief Financial Officer
       c/o PanAmSat Corporation
       20 Westport Road
       Wilton, CT 06897


                                              PanAmSat Licensee Corp.
                                                       FCC Form 312
                                                            Exhibit C
                                                           Page 4 of 5

Michael E. Antonovich
Senior Vice President, Broadcast Services
c/o PanAmSat Corporation
20 Westport Road
Wilton, CT 06897

Douglas Max Reid
Senior Vice President, Human Resources
c/o PanAmSat Corporation
20 Westport Road
Wilton, CT 06897

Bruce A. Haymes
Senior Vice President, Business Development
c/o PanAmSat Corporation
20 Westport Road
Wilton, CT 06897

John T. Maxwell
Senior Vice President, Finance
c / o PanAmSat Corporation
20 Westport Road
Wilton, CT 06897

Adrienne E. Calderone
Vice President & Controller
c/o PanAmSat Corporation
20 Westport Road
Wilton, CT 06897

Michael A. Matsuoka
Vice President, Sales
c/o PanAmSat Corporation
20 Westport Road
Wilton, CT 06897

Sandra van Essche
Vice President & Associate General Counsel
c / o PanAmSat Corporation
20 Westport Road
Wilton, CT 06897


                             PanAmSat Licensee Corp.
                                      FCC Form 312
                                           Exhibit C
                                          Page 5 of 5


Kevin F. Watson
Treasurer
c / o PanAmSat Corporation
20 Westport Road
Wilton, CT 06897

E. Jean Kim
Assistant Secretary
c/o PanAmSat Corporation
20 Westport Road
Wilton, CT 06897


                                                                                                                                                                            -   .--
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     PanAmSat Licensee Corm
    ( 14) STREET ADDRESS      LINE NO I
1 1801 K Street, N.W.
    (1S)STREETADDRESS LINE hO 2
1   Suite40
                                                                                                                 I                I (I8)ZIPCODE
                                                                                                                                                        -
    (16)CITY                                                                                                         (I7)STATE
' Washinnton
    (IO)DAYTIME TELEPHONh NUUBER(mcludc m a c o d e )
                                                                                                                1 DC
                                                                                           (2O)COUT4TRYCODE(ifnotinUS
                                                                                                                    A)
                                                                                                                                               20006
    202-292-4300                                                                           us

    0005848577




                                                                                   I
                                                                       SECTION D - CERTIFICATION
    CERTIFICATION STATEMENT
    I.                                            . cCrtify under penalty ofperjury that thc foregoing and supponing 8nfDrmation is true and cmcct to
    thc k r l o f m y knowledge. infomuon and bclier

    SIGNATURE                                                                                                  DATE

                                                                      -
                                                          S K T l o N E CREDIT CAW PAYMENT WORMATIppY

                                                MASTERCARD-                VISA-            AMEX--           DISCOVER-

    ACCOUNT NUMBER                                                                             EXPIRATION DATE

    I hereby authorize the FCC to charge my credit card for the rcrvice(r)/authoriia~i~
                                                                                     herein dcrcrikd.

    SIGNATURE                                                                                                  DATE

                                                       SEE PUBLIC BURDEN ON REVERSE                                  FCC FORM 159           FEBRUARY 2003[REVJSED)



Document Created: 2004-06-15 16:18:08
Document Modified: 2004-06-15 16:18:08

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