Attachment MOO

MOO

MEMORANDUM OPINION AND ORDER submitted by FCC,IB

MOO

2005-05-24

This document pretains to SAT-MOD-20050110-00004 for Modification on a Satellite Space Stations filing.

IBFS_SATMOD2005011000004_433959

                                  Federal Communications Commission                             pa os.is04

                                  Federal Communications Commission
                                         Washington, D.C. 20554
 1CO Satelite Services G.P.                           )
 Applicationfor Modification of                       ;    IBFS Nos. SAT—MOD—20050110—00004
 2 GHzLOI Autorization                                )               SAT—LOI—19970026—00163
 Petition for Declaratory Rulingor Waiver             ;   TBFS No. SAT—PDR—200501 10—00024

                              MEMoRanbuM orion anp orpeR
Adopted: May 24, 2005                                              Released: May 24, 2005
By the Chict, Intermational Bureau

                                          1.      INTRODUCTION
         1.      By this Order, we grant a petition for declaratory ruling filed by 1CO Satellte Services
G.P. (‘1CO") and modify its reservation of spectrum for provision of 2 GHz Mobile Satellite Service
(‘MSS®) in the United Sttes." Specifically, we modify ICO‘s reservation of spectrum to provide for
operation with a single geostationary—satelite—orbit (°GSO") satelite, to be known as 1CO—G, atthe 91°
W.L. orbitl location, instead of non—acostationary—satellite—orbit (NGSO®) satelites. We also revise
1CO‘s implementation milestone schedule, authorize use of Ka—band frequencies for feeder—link and on—
station telemetry, tracking, and command ("TT&C) transmissions, re—specify the amount of spectrum
reserved for service—link assignments, and deny a request for a rule waiver to reserve C—band frequencies
for TT&C use. This action will enable ICO to proceed with implementation of a 2 GHz MSS system on
a schedule that willresultin timely institution of new service.
                                            1.     BACKGROUND
         2.      On July 17, 2001, the Commission granted eight requests for 2 GHz MSS licenses or
reservations of spectrum, including an application by 10O‘s predecessor—in—interest" for a. non—
gcosttionary—satllite—arbit (‘NGSO®) system with feeder—link frequencies in the 5150—5250 Mz and
6975—7075 MHz bands," Th licenses and spectrum reservations for NGSO systems were granted subject
to conditions that required adherence tothe following implementation "milestone" schedule:*

! 2 Oz MSSrefers to MSS usingfrequenciesin the 2000:2020 MHz uplik band and 2180—2200 Mz downink
band fo servicink transmission, L. transmission betweenthesatelite() and mobile carthsaions. See
Extablishment ofPolicis andService Rulesforthe Mobile Suelite Service in the 2 GHiz Band (Report and Ordeo,
CC 00—302, 15 FCC Red 16127 (2000)(2 GHz MSS Report and Order").
* Namely,1CO Servies Limited. Hereater, we willsimply referto 100 Steite Services G.P. and ts prodecessors—
in—inerest as ‘1CO®,withoutdistinction.
* 1CO Services Limied, DA 01—1635, 16 FCC Red 13762 I/OET 2001) TCO Authorizaion Order®). 1C0‘s
porentcompany had previouly obtained provisonalauthorty fom the government ofthe United Kingdom for
constictin, lanch, and opertion ofthe proposed NGSO conselition.
‘1e anse.


                                   Federal Communications Commission                              pa os.1504

         Mitestone                                              Deadline
         Execute nor—contingent satelite manufacturing contract July 17, 2002
         Complete Critial Design Review                         July 17, 2003
         Begin physicalconstruction ofall satelites             January 17, 2004
         Launch two completel—constructed satelltes             January 17, 2005
         Certify that entire system is operational              July 17, 2007.
The milestone schedule for GSO 2 GHz MSS systems specified a July 17, 2004 deadline for beginning
physical construction and a July 17, 2006 launch deadline but was otherwise identical tothe schedule for
NGSO systems."
         3.      In Ostober 2001, 1CO filed an affidavit certifying that it had met the first milestone
deadline by signing a non—contingent contract with Hughes Space and Communications International
Inc. (now Bocing Satellte Systems Intermational, Inc.) for construction of twelve NGSO satelltes on a
schedule consistent with the milestone requirements in its authorization." 1CO also certified that citical
design review for its MSS system had been completed and that "physical" construction of all twelve
satelites had begun and was well under way.". Further, 1CO reported that Bocing Satelite Systems
International (‘BST") had already completed construction of two of ts satelltes, and that both had been
Inunched, one in March 2000 and the other in June 201. 1CO indicated, however, that only one of the
satelltes had been placed in orbit, the other having been destroyed due t faiure ofhe launch vehicle."
        4.      After examining relevant contractual documents, the Internationa! Bureau confirmed that
1CO had, in faet, met the requirement to excute a non—contingent satellte—construction contract on or
before July 17, 2002." Based on examination of other documentary evidence, the Bureau lter confirmed
that 1CO had also satisied the requirement to complete critical design review for ts authorized satelltes
by July 17, 2003.."
        5..    On January 10, 2005, 1CO filed a statement certfying compliance with the requirement
to lsunch two satelites on or before January 17, 2005, and requested either a declaratory ruling that it
met that requirement or a waiver of the requirement" At the same time, 1CO also applied for
modification of ts reservation of 2 GHz MSS spectrum to reflect use of a single geostationary—orbit
("GSO®) satelite, rather than a constellation ofNGSO satelites. 1CO also requested reservation of Ka—
band frequencies for feederdink and TT&C transmission, and reservation of C:Band frequencies for
emergency TT&C operation."" 1CO also requested a waiver ofthe policy requiring the Iaunch of a GSO
* see TMI Communications and Conpary,Linited Partrershi, DA O1—1638, 16 FCC Red 13808 (IB/OET 2001) t
u.
" Leter wi atachments from Chery! A. Trit, Counse! to 1CO, t the FCC Secreury (Oct. 15,2001) (‘October
2001 Centiication Lener®)
‘ve
* 14. secand atachment
" See Public Notie Report No. SAT—00135, DA 03—386, 18 FCC Red 1732 (Feb. 10,2003) (nnouncing that Celsu,
Iridium LLC, and ICO Services Linited metthe fist milestone requirement.
" See Public Notice Report No. SPB—203, DA 04—78, 19 FCC Red 5330 (March 25, 2004).
"peition for Declaratory Ruling o, Aternatively, fora Waiver, ied Jan. 10, 2005.
"* Application to Modify ettr ofIntent Authorization of1CO Satelite Services G.P, fled Jan. 10, 2008 (7CO
                                                      2


                                   Federal Communications Commission                                va os1804

 satelite within five years following an inital reservation of spectrum, arguing that such a waiver was
 warranted because contractusl diffculties with BST had delayed unavoidably its implementation of an
 NGSO system. The Bocing Company, BST‘s corporate parent,filed comments on both the petition and
 the modification application, contending that 1CO‘s account of a contractual dispute with BSI was
 inaccurste."

                                              i.       piscussion
       A.    Compliance with Milestone Requirements               Current Authorization
        6.       There is no need to consider ICO‘s application for modification if its spectrum
reservation is void for failure to meet a past milestone deadlin._ Therefore, before discussing 1CO‘s
application for modification, we address unresolved issues pertaining to compliance with milestone
requirementsthatfell ue under the existing terms of ICO‘s spectrum reservation.
        7.      We determined previously that ICO met the initial milestone requirement to enter into a
non—contingent satelite construction contract by July 17, 2002, and the requirement to complete criical
design review by July 17, 2003. It remains to be determined whether 1CO also met the requirement to
commence physical construction of all ofthe authorized NGSO satelites by January 17, 2004, and the
requirement to Iaunch two ofthem by January 17, 2005.
                  $                       Physi           struction   Jan
         8.       As noted above, 1CO certified in October 2001 that two of ts proposed satelltes had
been completely constructed, delivered, and Iaunched and that physical construction of ten more
satellites was in progress. More specifically, ICO reported thatsix assembled satelites were undergoing
testing and that four more were partilly assembled."" 1CO later submited an affidavit leter from BSI
confirming that all long—lead items necessary for construction of ICO‘s satelites had been ordered and
that "construction of the ICO system has long [ago] commenced."— Based on these representations, we
find that 1CO met the requirement to begin physical construction ofall o ts authorized NGSO satelites
on or before January 17, 2004.
                2.. Launch ofTwo NGSO Satellitesby January 17, 2005
        9.      In its petition for declaratory ruling ICO contends that it should be credited with meeting
the deadline for launching two NGSO satelites, although only one ICO NGSO satellte went into orbt.
1CO maintains that ‘launch® is commonly used in the satelite industry in a way that does not depend on
whether a payload reaches orbit. For instance, ICO stresses that ts NGSO—satelte—construction contract
with BSI defines launch as "the pointin time when there is ... ntentional ignition ofany firststage motor
of the Launch Vehicle by the Launch Services Provider" and that "launch" was similarly defined in an
Modfcation Applicaton").
" Comments ofThe Bocing Company, ied March 7, 2005.l see Response of1CO Satelite Services,G.P, filed
March 22,2005, and Reply ofThe Bocing Company filed March 29,2005.
"*1C0 Servies Linited Section 25.143(e) Report, filed as atachment to October 2001 Cenification Leter.
* Leter dated July 25, 2003 from Donald M. MacKenzie, 1CO Program Manager, Bocing Sotelite Systems
Intermational, In. t thPresident of1CO Global Communications (Operation) Linite, fled as Atichment 3 to
Requestfor Confidental Treatment Aled July 28, 2003 in IBFS File No. SAT—LOI—19970926—00163.
                                                      3


                                     Federal Communications Commission                             pa os.1s04

 insurance policy for ts NGSO satelltes as "Intentional Ignition not followed by Terminated Igniti
          10. 1C0‘s understanding of the deadline for launching two NGSO satelltes is consistent
 with the ordinary vernacular meaning of "launch.". In common parlance, the word simply refers to the
 inital act of setting something in motion. As there is no clear indication in the 2COAuthorization Order
 or the Commission‘s rules that the word is used in a non—ordinary sense in the milestone condition in
 question, we agree with 1CO that it should be understood in is plain—English sense in that context.
 Hence, we find that ICO met the requirement to launch two NGSO satelites on or before January 17,
 2005.
       8. Ap          ation for Modification
                  1     Gen ral   Princ
        11. In order to promote competition, flexibliy,and technical innovation, the Commi
Jeaves spacecraft design decisions to the system operators insofar as possible consistent with basic
regulatory objectives." Accordingly, the Commission has consistently: granted. applications for
modification of systems in satelite services when the proposed modifications present no significant
interference problem and are otherwise consistent with Commission policies.""
                 2. Interference
          12. The modifications that 1CO proposes do not present a significant interference problem
with respect to service—link operation, feeder—link operation, or on—station TT&C operation. 1C0‘s
proposal to use C:Band spectrum for transfe—orbit TT&C presents a significant iterference problem, as
there is curently an authorized spacecraft operatingin the C:Band at 91° W.L.
          13. ServiceLinks. The changes that 1CO proposes have no bearing on assignment ofservice—
link frequencies, and the proposed change from NGSO to GSO orbital architecture does not raise any
interference or coordination issues with respect to service—link operation.
          14. Eeeder Links and On—Station TT&C 1CO‘s reservation of spectrum currently provides
for use of 100 megaherte of C—Band spectrum for feeder—link transmission in each direction between
satellites and gateway earth stations in the United States. n the application for modification, 1CO
requests suthority to use the 29.25—30 GHz band for feeder uplinks and the 18.55—18.8 GHz and 19.7—20.2
GHz bands for feeder downlinks between 1CO—G and a single U.S. gateway station."" 1CO also proposes
iz
"" Since the1CO authorization wasissud, he Commission‘s rules have changed, o that new authorications will
specify a miletonerequiringa lcensee to "launch and operate" the fistsatelite in the system. See 47 CR §
2siee).
"* See AMSC Subsidiary Corp, DA 98—193, 13 FCC Red 12316 (In‘I Bur,1998), in carlie decisions.
"* Se, eg, The Boeing Company, DA 03—2073,18 FCC Red 12317 (In‘I Bur, 2003)(*Boeing Modyication
Order") at 47 Sirius Seelite RadioInc, DA 01—629, 16 FCC Red $419 (In Bur.2001) at ; GTE Spacenet
Corp, DA $0—328, S FCC Red 4112 (CC Bur,1990) t $8; and Teledesic LLC, DA 99—267, 14 FCC Red 2261 C1
Bur 1999)ar 5.
* 1CO ModJeaton Application t 11. 1CO indiates hat it wilincororate guard bands nto is system,such that
the necessary bandwidth ofis operations willbe 625 MHz in each diection oftransmission.
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                                      Federal Communications Commission                                    pa os—1s04

 to use frequencies within these bands for on—station TT&C transmissions between ICO—G and a control
 carth station in the United States, transmitting. command/ranging signals at 29.999 GHz: and
 telemetry/ranging signalsat 20.199 GHz."
         15. In the Ka—Band Fized Satellte Service Rules Order, the Commission extended its two—
 degree spacing requirements between in—orbit satelltes to space stations in the Ka—band._These rule
 requirements faciliate maximum interference—free use of the geostationary satellite orbit.". 1CO has
 submitted the technical information required for assessment under these rules." From review of this
 information, we find that 1CO‘s proposl for Ka—band feeder—link and on—station TT&C operation is two—
 degree compliant and meets all other prtinent technical requirements in the Commission‘s rules.
          16.      Future, US—        nsed Keband earth stations that communicate with 1C0—G must
 coordinate with U.S. Government systems in accordance with Footmote US334 to the Table of Frequency
 Allocations."" This footnote requires coordination of commercial systems with U.S. Govenment GSO
and NGSO satellte systems that are presently operating in the 17.$:20.2 GHz frequency band. These
Govermment systems operate in accordance with the power flin—density limits prescribed in the ITU
Radio Regulations."
       17. 1C0 must also comply with Foomote US25S to the Table of Frequency Allocations,
which prescribes power flin—density imits for the 18.6—18.8 GHz band to protect the Earth Exploration
Satellite Service (passive)"
        18. Emergency TT&C 1CO requests authority to use C:band frequencies for TT&C
operation in the event its Ka—band TT&C links are not functioning.. Specifically, 1CO proposes to
transmit Earth—to—space command/ranging signals at 5026 MHz and 6424 MHz and space—to—Earth
telemetry/ranging signals at 3701 MH and 4196 MHz in such emergencies."" The proposed emergency
" 1C0 Modifcation Application, Appentix A s 31.
"* Ka—Rand FSS Rules Order, 12 ECC Red ut 22320 423.
® see 47 CFR.§§ 25.114 and 28210
* See47 CER. §2.106 US334. Govemment GSO space sttions have been authorized by the National
Telecommuniations and Information Administation at 144° WL, 141° W 127° W.L, 69° W.L, 65 W.L., 60°
 w.L, 300 WL, 200 W.L, 15° W10° WiL, 0°EL, 44 EL. 75° EL$2°EL, 92°EL, and NO EL.
* See Redesignation ofthe 17.7—19.7 GHis Frequency Band, Blankes Licensing ofSatelte Barth Saions in the
 17,7—202 Gite and27.3—30.0 GiHz Frequency Bonds, and the Alocation ofAdditonal Spectrun in the 17.3—17.8
GHls and24,78—25.25 GHiz Frequency Bandsor Broodeast Satelte—Service Use, Report and Order, 1B Docket No.
96—172, 15 FCC Red 13430, 13473 190 2000)(*18 GHtz Band Report and Order®). The pover Alncdeosiy limits
in the183—18.6 GHt band are—1 19108 dB (W/m) in smy one megaberte band, depending upon he angle ofrivl
"There are curenty no pover fhncdensiy liits or the 19.7— 20.2Gz band. See Leterfrom Wiliam T. Hatch,
Natioal Telecommunications and Information Administation, to Date Hatheld, Chi,Offce oEngineering and
Technology, Federal Communications Commissin (Mar. 29, 2000).
* 47 CR §2.106 US2SS (as evised in he 78 GHiz RandReport and Order,15 FCC Red at 13489) stesIn
additionto any other applicable Imits, the power flx—densiyacrossthe 200 Mz band 18.6—18.8GHtz produced at
the surfice ofthe Earth by      emissions from a space sttion under assumed free—space propagation conditions shall not
exceed—95db(W/in2)forall angles ofarrival. This imit may be exceeded by up to 3 dB forno morethin 5% ofthe
time.
" 100 also intends o use C—band frequencis fortransfe—arbit TT&C, butthe ransr—rbit opertion would not
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                                  Federal Communications Commission                              paos—1504

 use of C—band frequencies would involve communication with one or two U.S. earth stations.
          19. In comnection with this proposal, ICO requests a waiver of Section 25.202(g) of the
Commission‘s rules." which requires satellte operators to use frequencies for TT&C that are within
 their assigned bands for linking with fixed earth stations." The rule serves the purpose ofsimplifying the
intersystem coordination process by limiting the number of potentially affected operators. It also
provides an incentive for an operator to maximize the spectral efficiency ofa system‘s TT&C operations,
since the greatest impact ofany inefMciency in TT&C operations is likely to be on the services offered by
the operator‘s own satelite.
          20. The Commission may grant a waiver of its rules if the relief requested. would not
undermine the policy objective of the rule in question and would otherwise serve the public interest."
We conclude that a waiver is not warranted in this instance.. Panamsat is authorized to, and currently
does, operate a C—band spacecraft atthe 91° W.L. orbitallocation. Therefore, we cannot conclude that
allowing 1CO to operate TT&C in the C:—band atthe 91° W.L. orbital ocation would not adversely affect
operations of co—located and neighboring C—band U.S—Jicensed satellites. Accordingly, we deny 1COs
waiver request.
                 3.. Policy Concerning Change ofOrbital Architesture
         21. Under the Commission‘s licensing rules for 2 GHz MSS, applicants were free to specity
sither GSO or NGSO systems, and the Commission did not indicate a preference for either type oforbital
architecture over the other."" Hence, there is no Commission rule or policy that precludes modification
of a 2, GHz MSS spectrum reservation to change the orbital—architecture specification from NGSO to
aso.
                 4. Milestane
        22. 100 has metall ofthe milestone requirements in its authorization that have fallen due so
far. Although the steps taken to satisfy those past milestone requirements went toward implementation of
an NGSO system, ICO has also taken significant steps toward implementation ofthe GSO system that t
is now proposing.. On January 10, 2005, 1CO executed a contract with Space Systems/Loral, Inc.
providing for construction of the proposed GSO satellte on a schedule consistent with the ultimate
requirement to commence operation by July 17, 2007."               We have examined the GSO satellite—

involve communiation with a U.S. earth statlonand i herefore beyond the PCC‘s juridiction.
" See 4 CER §25200@).
® Amendmentofthe Conmission‘s Rules With Regard to the 3650—3700 Mz Government Transfer Band, FCC 00—
363, 15 FCC Red 20488 (2000) at f129.
> See WAFTRodio 418 F24 se 1157.
"" See 2 GHs MSS Report and Order st¥§ 13—15.
""—The Bureauhas accordingly rante a previous request for modifcation ofa 2 GHiz MSS icense that oriinally
provided for opertion of an NGSO system to authorize operation withasingle GSO stelit instead. See Poeing
Modifeation Order, supra. C Srius Satellte Radio Inc, supra (ranting requesfor modificaon from GSO to
NGso).
100 file edacted and unedacted caples of the construction contact wth a requestfo confidentl weatment of
thelater. See Requestfor ConBidetal Treamentfled May 9, 2005.
                                                      6


                                  Federal Communications Commission                              a os—1504

 construction contract and find that t is "non—contingent,"as that term has been defined in previous
 decisions.
        23. 1CO indicated in the modification application that Critieal Design Review (°CDR") for
 the GSO satelite would be completed before the end of May 2005 and has since certified that the CDR
 was completed."" In a confirming letter, Space Systems/Loral‘s Senior Vice President reported that the
 CDR was completed on April 29, 2005 and that Space Systems/Loral had received all payments due so
 far under the contract with 1CO.". Based on examination of the CDR documents," we find that CDR for
 the proposed GSO satelite has,in fct, been completed.
          24.     100 indicated in the modification application that physical construction of the GSO
 satellte will begin in July 2005, that satelite construction will be completed in May 2007, that the
 satelfite wll be Inunched by July 1, 2007, and that the entre system will be operational by July 17, 2007.
  This timeline is consistent with the performance and payment schedule in the contract with Space
 Systems/Loral, which requires major long—lead components to be ordered by August 15, 2005, final
 assembly and pre—delivery testing by May 1, 2007, and launch by July 1, 2007. Although this contractual
 post.CDR performance schedule is shorter than usual, we believe that it is achievable, in view ofthe fact
that 1CO has metall previous milestone deadlines in its current authorization, the construction contractor
 is an experienced satelite manufacturer,the proposed GSO satellte is of a relatively simple bent—pipe
design, and most ofthe components are "legacy" equipment that has been used or developed for previous
projects.
          25. 1C0‘s postCDR timeline inconsistent in two respects with the Commission‘s
milestone schedule for 2 GHz MSS systems with GSO architecture, which requires physical construction
to begin within three years after iniil grant, e., by July 17, 2004, and launch to occur within five years,
ie, by July 17, 2006."" Granting the modification application with the milestone schedule that 1CO
proposes would extend the time allowed for stating physical construction and the time allowed for
Imunch by approximately one year.. We conclude that granting such extensions in this case is warranted
in view of the following: i) 1CO has met all of the past—due milestone requirements in its curent
authorization, including completing construction of two satelftes and launching them, within the time
periods originally. prescribed; ii) 1CO has demonstrited, by entering into a non—contingent satellte
construction contract and completing CDR for the proposed GSO satellte prior to disposition of its
modification application, that it is committed to rapid implementation of the proposed GSO satellte
system;ii) both parties to the GSO construction contract have certified that it is in full effect and that all
performance and payment obligations arising under it to date have been met; and iv) the GSO
construction contract specifies an achievable performance schedule consistent with the previously—

* See MJ Conmunications and Compary, Linited Partrershp, and TerreStar Nemworks,Inc. Appllcalonfor
Review and Requestfor Say, CC 04—144, 19 FCC Red 12603 (2004) (*TMReinstatement Order®), t 447.
** Affiavit ied as Atachment 1 to Requestfor Confidental Treatment fied May 10, 2005
* Leter dted May 6, 2005 rom Christopher F.Hocher, Senior VicePresident, Space SystemsLoral, to Dennis
Schmit, President 1CO Satelie Management LLC, fleas Atachment 2 to Request for Confidentl Treatment
filed May 10,2005.
"" see Requestfor Confidental Treatment fled May 10, 005.
"" see 2 GHiz MSS Reportand Order t$106.


                                    Federal Communications Commission                                pa os—1s04

 specified milestone deadline for commencing opertion »"
          26. Although the Commission said when adopting service rules for 2 GHz MSS that
 Hicensees should "identify any system modification needing prior FCC approval well in advance of the
 CDR milestone," that language was precatory in nature and does not necessarily preclude grant of
 applications for modifcation of space—station design filed afte the two—year CDR deadline.® In light of
 1CO‘s substantial compliance efforts to date,including completion of CDR for the modification at issue,
 and its proposed course of action to meet thultimate deadline for commencing service, ICO‘s requested
 modification will be granted despitethe fact that it was filed afterthe CDR deadline.
          27. Because 1CO‘s timetable for completing construction is extremely. ambitious, and
 because any significant slippage in system implementation will likely result in ICO missing the ultimate
 date for having a system in operation, the grant of ICO‘s modification will be conditioned on a number of
 intermediate milestones consistent with the performance schedule in its satelite—construction contract
 We will also require ICO to report any significant deviations from the current contractual schedule for
completion of satelite construction."
                5. Coverage
         28. Section 25.143(b¥2)ofthe Commission‘s rules requires 2 GHz MSS GSO systems to be
eapable of providing continuous coverage throughout all 50 states, Puerto Rico and the U.S. Virgin
Islands,iftchnically feasible."* As described in the application for modification, the 1CO—G satellite
will be equipped with a phased—armay 2 GHz antenna generating 56 Nexible spot beams, which will
enable provision of continuous coveragein the continental United States, Hawaii, Puerto Rico, and the
U.S. Virgin Islands to the extent possible from a geostationary satellite at 91° W.L._ We conclude that
1CO‘s showing comports with the GSO—system coverage requirement in Section 25.43(b)(2).
                 6. Station—Keeping
        29.      100‘s modification proposal is consistent with FCC rules pertaining to station—keeping.
        30.      Tolerance.|The application indicates that the 1CO satellte will be maintained
in longitude within £0.05° ofits nominal orbita location for all latitides within +0.05° ofthe equator."
Thus, with respect to operations at or near the nodal points of it orbit, the satelite‘s operations would be
consistent with Section 25.210() of our rules, which requires that GSO space stations be maintained
within 0.05° of their assigned orbita longitude in the east/west direction, unless specifically authorized


"" We do not plce any relince, howeverin 100‘s contertion that unforeseeable "contractul diffcuties® beyond
is contrl prevent completeimplementaion ofth originaly—suthoried NGSO aystem by Jul 17, 2007, 100 has
not explained in suficient deail what he natureofthe contractual problem is or how th problem arose to support a
findin thatth problem was eiter unforeseeable or beyond 1CO‘s contrl.
"* The Commission did not adap a rile provision baring grant of such applcations if filed afe the CDR deadne.
See 2 GHfs MSS Report and Order w 108.
" See RL DBS Conpary, LLC, DA 002452, 16 FCC Red 9 (ItI Bur, 2000).
un con 52514300000
© 100 Modication Apolication, Appendix A t 27.


                                     Federal Communications Commission                              ba 0s—1504

 by the Commission to operate with a different longitudinaltolerance."
          31.      NovthSouth Tolerance To save station keeping fuel, 1CO indicates thatit will operate
  its satellite with an initial north—south inclination® of as much as six degrees. The inclination would
    tially decrease under the influence of gravitational forees ofthe sun and moon and would gradually
 Mluctuate between about zero and six degrees"" during the expected service ifetime ofthe satelite. 1CO
 states that its satellte will operate in compliance with the requirements for inclined orbit satelites in
 Section 25.280 ofthe Commision‘s rules."" This proposal does not present any cause for concem.. We
 remind 1CO, however, thatunder the ITU Radio Regulations, operation ofa GSO satelite in an allocated
 FSS band is entiled to protection against interference from co—frequency NGSO satellites only if the
 GSO satelit‘s north—south inclnationis 4.5° or less" Thus, during periods in which 1CO—G operates at
 an inclination ofmore than 4.5, is operations will not be protected from interfering co—frequeney NGSO
 operations, unless ICO secures protection for operationat such higher inclinations through coordination.
                 7.. Orbital Debris Mitigation
         32.     Section 25.143(b) of the Commission‘s rules requires applicants to submit a narative
 statement describing their strategies for Orbital Debris mitigation." 1CO submittd a narrative statement
 with its application, describing the orbital debris mitigation design strategies for 1CO—G. We have
 reviewed these submissions and conclude that they raise no substantial concerns that would call into
 question whether spectrum should be reserved for ICO. 1CO indicates, however, that there are four other
        s operating within 0.1 degree of the 91° W.L. orbital location."" 1CO indicates that it will begin
coordinating locationissues with those satelites two years before the expected launch of ts stellite, will
explore a number of potential fight dymamic solutions, and will seek any necessary modifications to its
spectrum reservation necessitated by such coordination. In order to ensure that this issue is addressed on
a timely basis, we will specify milestones for commencement of eoordination ofthe physical location of
the spacecraft, as well as for completion of such coordination and the filing of any necessry
modification requests by 1CO.


"*47 CR § 25283 (0, See Miigation oOrbital Debris, Second Report and Order, IB Docket No.02:54, 19
ree Red 11567 2004
* Theinlination ofan orbi is the anglebetweenthe orbtal plneand the Earth‘s equatorial lane,measured
counterclockanise. A zero incliationorbiwould mean the satele is orbtin directly ove th equator an
incliation 90 degress is a perfetly polrorbi
"* Opertionsat an inclinaton o es than S degrees, may, under ceraln circumstances, require operation such that,
at poins away from the nodalpointsthesution—keepingtolerance would exceed + 0.1® in the eastwestdiection.
"The ITU Radio Regulations pernit such aperations by Ka—band FSS spacesations, subjecttothrequirementthat
(hose opertions must not cause unseceptable iterference. See TTU Radio Regulations Articl22,Section L
footmate 27,an Radio Regubtions 22.6,    22.8, and 22.10.
©47 CR § 28.280,. See ICO Modcation Application, Appendix A at 27—28.
"* See TTU Radio Regulations, Aticle 22.51, Table 22—4B.
"a onR q200
" Galaxy 9, Galixy11, Nimig 1, and DirecTV.3. 1CO Application t 41—42.
                                                    o


                                    Federal Communications Commission                             pa os—1s04

                                  for First—Come—Firs—Served              Ka—Band R
        33. A request for reservation of spectrum for provision of service in the United States via a
 non—U.S—lieensed GSO satelite that has yet to be launched can be granted pursuant to the Commission‘s
 first—come,firs—served licensing procedure" if the satelte system has been submitted for coordination to
 the International Telecommunication Union ("TTU®)."_1CO reports that the government of the United
 Kingdom has filed an Advanced Publication Information with the TTU on its behalf for the 1CO—G
 system. The report is confirmed by a letter fom an official ofthe U.K. Office of Communications that
 1CO filed with ts application for modification." We therefore find that ICO has met this prerequisite for
 grant of its request for reservation of Ka—band spectrum pursuant to the first—come—first—served procedure.

         C. Conforming Modification of Service—Link Reservation
         34. 100‘s current spectrum reservation provides for selection of blocks of five megahertz of
spectrum in each direction of transmission for service—ink operation in the 2 GHz MSS bands."
However,thisreservation was made subject to the outcome ofa then—pending application for review ofa
determination that TMI‘s 2 GHz MSS spectrum reservation was voi
application for review and rei                                       .
indicated that TMI would receive four megahertz in each direction of transmission and delegated
authority to the International Bureau to modify the gther remaining 2 GH MSS authorizations to re—
specify Selected Assignment bandwidth accordingly."". Accordingly, this Order modifies 10O‘slicense
to specify four megaherte of spectrun in each direction oftranstmission for service—link operation.»"
                                        1. concrusion
        35. We conclude that 1CO is legally and technically qualified and that grant of its
modification application, subject to the conditions specified herein, will serve the public interest,
convenience, and necessity.



* See 47 CFR §25.158.
" Seed7 CER §25.1370).
® Lettr dated Jn.6,2005 from .0. Philps, Head oSatlite Unit, Office ofCommunications, to the FCC
Interational Boreau.
* 100 SarliteServies G.P, DA 02077, 18 FCC Red 12339 (2003)(*Firs ICO Bandwidth Adjustment Orde®);
Clsat Anerica Inc, DA 03—2076, 18 FCC Red 12337 2003The Bocing Conpary, DA 03—2073, 18 FCC Red
(2003);dn 2GH LLC, Da.03—2075, 18 FCC Red tasss (2003).
" TMi Reinstatement Order spro.
* 1 an.108.
" This ction is witout prejudiceto the posibleassignment oaddtionl spectrum to 100, asa result ofthe
cancelition of icenses that have occurred subsequent t the grat of TMI‘s applcation for review.

                                                      10


                                    Federal Communications Commission                                pa os—1s04

                                         11. ORDERING CLAUSES
           36. Accordingly, IT 18 ORDERED that ICO Satellte Services, G.P‘s Application, SAT—
 MOD—20050110—0004 (Call Sign S2651), 1S GRANTED, and 100 Satelite Services, G.P,, 18
 RESERVED radio—frequency spectrum for a single geostationary—satellte—orbit satelite to operate at 91°
 W.L.,in the 2000—2020/2180—2200 MH bands in the United States, in accordance with the technical
 specifications set forth in its application the conditions set forth in this order and consistent with our
 rules, unless specifially waived herein,and subjectto the following conditions:
          a..     100 Satelite Services, G.P. shall choose a Selected Assignment in each ofthe
                  2000—2020 MHz and 2180—2200 MHz frequency bands upon commencing
                  operation of a 2 GHz MSS satellte in its authorized orbit location;
          b.      The Selected Assignments will give ICO Satelite Services, G.P. access to 4
                  megaherts of contiguous spectrum in each direction oftransmission on a primary
                  basis®
         c.       Each Selected Assignment shall be chosen such that a band edge of the
                  assignment coincides with an edge ofthe encompassing 2 GHz MSS band or is
                  an integer multipe of4 megaherte from an edge ofthe 2 GHz MSS band; and
         4.       Operations in frequencies in these bands outside the Selected Assignments shall
                  be on a secondary basisto operations of other 2 GHz MSS systems.
        37. TT 18 FURTHER ORDERED that 1CO Satelite Services, G.P, 18 RESERVED radio—
frequency spectrum in the 2925300 GHz (space—to—Barth) and 18.55—18.8/19.720.2 GHz (Earthto—
space) frequeney bands, for feeder link trnsmissions and for on—station Tracking, Telemetry and Control
transmissions at 29.999 GHz and 20.199 GHz, in accordance with the technical specifiations set forth in
its application, and consistent with our rules unless specifically waived. herein, and subject to the
following conditions:
         ..      All Ka—band downlink operations must be coordinated with U.. government systems in
                 accordance with footrote US 334 tothe Table of Frequency Allocations,47 C.ER. §
                 2.106.

         b.      Ka—Band downlink operations in the 18.6—18.8 GHe frequency band must comply with
                 the power flux density limits specified in foomote US25Sto the Table ofFrequency
                 Allocations, 47 C.FR. §2.106.
        38.      IT 1S FURTHER ORDERED that this Order shall become NULL AND VOID in the
event the space station authorized herein is not constructed, launched, and placed into operation in
secordance with the technical parameters and terms and conditions of the authorization by the following
dates:


"* Thi specifieation oadditional seviceink spectrum may be subjec to adjustment aferdispostionofpending
pettions for reconsideration andjudiciareview, and is wthout prejudice to resolition offurther milestone iss or
dispostion ofpending applications.
                                                      H


                                Federal Communications Commission                         pa os—1s04


              Inplementation Milestone                           Deadline
             Commence coordination of the physical operation     July 17, 2005
             ofthsatelite
             Place order for TWTAs                               September 15, 2005
             Complete bus wire hamness fabrication               January 15, 2006
             Start communications pane/payload integration       March 1, 2006
             Complete propulsion integration                     May 1, 2006
             Complete bus integration                            July 1, 2006
             Complete coordination of the physical operations    July 17, 2006
             of the sitellite, and: file any modification
             appliations necessitated thereby
             Complete main body integration                     October 1, 2006
             Completereference performance test                 January 1, 2007
             Complete thermal vacuum test                       March 1, 2007
             Launch setellte                                    July 1, 2007
             Certify that satelite is operational               July 17, 2007
         39. TT IS FURTHER ORDERED that 1CO Satelite Service, G.P. shall file a notifcation
with the Commission in the event that any of the contractual milestones listed in Appendix. F of its
satelite manufacturing agreement will be completed later than 14 calendar days following the scheduled
completion dates isted in Appendix F.
       40.     TT IS FURTHER ORDERED that 1CO Satellite Services, G.P. mustfile a bond with the
Commission in the amount of $3,000,000.00, pursuant to the procedures set forth in Public Notice, DA
03—2602, 18 FCC Red 16283 (2003), by June 24, 200.
        41. TTIS FURTHER ORDERED that ICO Satelite Services, G.P.‘s request for a waiver of
Section 25.202(8) of the Commission‘s rules to conduct TT&C during on—orbit spacecraft emergencies,
using 5926 MHz, 6424 MHz, 3701 MHz, and 4196 MHz, IS DENIED
       42.     This Order and duthorization is issued pursuantto Section 0.261 of the Commission‘s
ruleson delegations oauthority, 47 C.FR. § 0.261, and is effective upon release.
                                              FEDERAL COMMUNICATIONS CoMMISSION


                                              Donald Abelson
                                              Chief, Iterational Burcau


                                                 12



Document Created: 2005-05-25 15:06:47
Document Modified: 2005-05-25 15:06:47

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