20110613 HNS LLC 201

OTHER submitted by Hughes Network Systems, LLC

2011 Annual Report for S2663 and S2753

2011-06-13

This document pretains to SAT-MOD-20050523-00106 for Modification on a Satellite Space Stations filing.

IBFS_SATMOD2005052300106_893456

 L  | LERMAN
  S SENTER                                                                             STEPHEN D. BARUCH
               PLLC
                                                                                             202.416.6782
                                                                                     SBARUCH@LERMANSENTER.COM


   WASHINGTON, DC                          June 13, 2011


BY HAND DELIVERY

Ms. Marlene H. Dortch, Secretary
Federal Communications Commission
445 12"" Street, SW
Washington, DC 20554
ATTN: International Bureau

               Re:     Hughes Network Systems, LLC 2011 Annual Report for
                       SPACEWAY 3 (Call Sign $2663) and Jupiter 1 (Call Sign $2753)

Dear Ms. Dortch:


       Hughes Network Systems, LLC ("Hughes"), by its attorneys and pursuant to
Sections 25.145(f)(1) and 25.210(1) of the Commission‘s Rules, hereby submits this report
concerning its SPACEWAY 3 fixed—satellite service Ka—band satellite (Call Sign $2663) and its
authorization to serve the U.S. market via its JUPITER 1 (formerly known as SPACEWAY 4)
fixed—satellite service Ka—band satellite (Call Sign $2753). This report is current as of May 31,
2011.

      The SPACEWAY 3 satellite was launched in August 2007, on station at 94.95° W.L. by
December 2007, and entered commercial service in April 2008. Pursuant to Sections
25.145(f)(1)(i1) and 25.210(1)(2) of the Commission‘s Rules, Hughes reports that there have been
no non—scheduled space station outages for more than thirty minutes since the submission of the
2010 Annual Report for SPACEWAY 3 on July 6, 2010. Pursuant to Sections 25.145(f)(1)(iii)
and 25.210(1)(4) of the Commission‘s Rules, Hughes reports that since the submission of the
2010 Annual Report for SPACEWAY 3 on July 6, 2010, the SPACEWAY 3 satellite has not
been unavailable for service or otherwise failed to perform to specification since entering
commercial service. In connection with Section 25.210(i)(3), Hughes notes that the non—
common—carrier SPACEWAY 3 satellite is a processed—payload satellite and thus does not have
any transponders. The satellite is not used to provide full—time or occasional use space segment
capacity to third parties, but to provide Hughes‘ end—user customers with broadband access
services. All of the capacity on SPACEWAY 3 is devoted to this enterprise.




                         2000 K STREET NW, SUITE 600 | WASHINGTON, DC 20006—1809
                        TEL 202.429.8970 | FAX 202.293.7783 | WWW.LERMANSENTER.COM


         Ms. Marlene H. Dortch
         June 10, 2011
         Page —2—

         Pursuant to Section 25.210(1)(1) of the Commission‘s Rules, Hughes reports that the
Jupiter 1 satellite is under construction, and the Commission has confirmed compliance with the
first three implementation milestones. Hughes also reports that a launch date in the first calendar
quarter of 2012 is anticipated. The current status of the Jupiter satellite construction is as
follows: all panels are now complete and have been mated with the satellite bus. Integration of
the main body is currently under way. Installation of waveguides and coaxes as part of the
integration process was scheduled to have been completed by the end of May 2011. Baseline
performance testing follows and is expected to be completed by mid—summer, at which point
satellite level testing will begin (e.g. vacuum chamber, vibration). All payload components and
most bus components have been received by the manufacturer, with those pieces not yet received
being on schedule for delivery in the next six weeks. At present, the entire bus and payload have
been successfully powered up, with two of the four antenna systems having been completed and
passed compact range testing. The remaining two antenna systems are to be tested during June
2011.

        Please let me know if you have any questions regarding this report.

                                      Respectfully    stibmitted,




                                      Stephen\D. Baruch
                                                        )2A
                                     Attorney for Hughes Network Systems, LLC


cc (by FedEx): Columbia Operations Center
                Federal Communications Commission
                9200 Farmhouse Lane
                Columbia, MD 21046



Document Created: 2011-06-13 11:34:02
Document Modified: 2011-06-13 11:34:02

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