Attachment thermal vaccum test

thermal vaccum test

OTHER submitted by New ICO

thermal vaccum

2007-06-22

This document pretains to SAT-MOD-20061109-00137 for Modification on a Satellite Space Stations filing.

IBFS_SATMOD2006110900137_576872

                                           2000 Penxnxsyrvanta Avre., nw    MORRaBiiNAL
     MORRISON | FOERSTER _                 Wasrinctox, D.C.                 NEW YORK, SAN FRANCISCO,
                                                                            LOs ANGELES, PALO ALTO,
                                           20006—1888                       SAN DIEGO, WASHINGTON, D.C.
                                           TELEPHONE 202,887‘1500           DENVER, NORTHERN VIRGINIA,
                                                                            ORANGE COUNTY, SACRAMENTO,
                                           Facsiniis 202.887.0763           wALNUT CREEK, CENTURY CITY
                                           wWW.MOFO.CO M                    TOKYO, LONDON, BEIJING,
                                                                            SHANGHAI, HONG KONG,
                                                                            SINGAPORE, BRUSSELS



                                         FILED/ACCcErTEp
    June 22, 2007                              JUN ? 2 288?                 FOR INTE RNAL
                                                                                  {ERN AL USE  ONLY |
                                                                                          USE ONLY
                                        Federal Communications Commission
                                              Office of the Secretary              ab      B    iess        o
                                                                                   NON—PUBRLJC


                    REQUEST FOR CONFIDENTIAL TREATMENT

By Hand Delivery

Marlene H. Dortch
    Secretary
Federal Communications Commission
445 12"" Street, S.W.
Room TW—A325
Washington, D.C. 20554

           Re: New ICO Satellite Services G.P.
               Call Sign $2651

Dear Ms. Dortch:

Pursuant to Section 25.143(e)(3) of the Commission‘s rules,‘ New ICO Satellite
Services G.P. ("ICO") submits a certification (attached hereto as Attachment 1) of
completion of the milestone to "complete thermal vacuum test."" The ICO certification
is suitable for public inspection.

Subject to the confidentiality request stated below, ICO is also submitting the following
documents ("Milestone Documents") to the International Bureau: (1) a letter from its
satellite manufacturer, Space Systems/Loral ("SS/L"), certifying completion of the
thermal vacuum test for ICO‘s geostationary satellite (attached hereto as Attachment 2);
and (2) a chart summarizing payments made under the manufacturing contract (attached
hereto as Attachment 3). ICO offers these documents, along with its own milestone
certification, as evidence that ICO is proceeding with timely implementation of its 2
GHz mobile satellite service ("MSS") system under the milestone schedule set forth in
its authorization."


147 CFR. § 25.143(0)(G).
> See New ICO Satellite Services, G.P.,22 FCC Red 2229, 21 (B 200Bnp WTERNAL use oniy |
3
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 MORRISON | FOERSTER |

Marlene H. Dortch
June 22, 2007
Page Two



Pursuant to paragraph 39 of the ICO Modification Order," ICO hereby notifies the
Commission that contract milestone #38 will be completed more than 14 days following
the completion date specified in Appendix F ofits satellite manufacturing contract."

The Milestone Documents contain highly sensitive commercial and financial
information. Specifically, they include information regarding amounts due, payment
terms, and technical information specified in ICO‘s manufacturing contract. The
disclosure of this information likely would cause substantial competitive and financial
harm to ICO, and is therefore exempted from mandatory disclosure under Exemption 4
of the Freedom of Information Act ("FOIA Exemption 4")° and Section 0.457(d) of the
Commission‘s rules.‘ Accordingly, pursuant to Sections 0.457 and 0.459 of the
Commission‘s rules," ICO requests the Commission to withhold from public inspection
and accord confidential treatment to the Milestone Documents.

In support of its request for confidential treatment and pursuant to the requirements
under Section 0.459(b) of the Commission‘s rules, ICO states the following:

            1.   ICO seeks confidential treatment of the Milestone Documents, which
contains specific information regarding amounts due, payment terms, and technical
criteria.

       2.     As noted above, the Milestone Documents are being submitted to support
ICO‘s milestone certification, filed pursuant to Section 25.143(e)(3) of the
Commission‘s rules.

       3.     The Milestone Documents contain information regarding amounts due,
payment terms, and technical criteria, which constitutes trade secrets or sensitive
commercial and financial information that "would customarily be guarded from



4 See ICO Satellite Services, G.P., 20 FCC Red 9797, 4 39 (2005) ("ICO Modification Order).
° This contract milestone is separate and distinet from the required FCC implementation
milestones referenced in paragraph 38 of the ICO Modification Order.

6 5 U.S.C. § 552(b)(4). See Public Citizen Health Research Group v. FDA, 704 F.24 1280,
1290—91 (D.C. Cir. 1983).

747 C.F.R. § 0.457(d).

8 Id. §§ 0.457, 0.459.



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  MORRISON | FOERST

Marlene H. Dortch
June 22, 2007
Page Three



cornpetitors,”9 and is therefore exempted from mandatory disclosure under FOIA
Exemption 4 and Section 0.457(d) of the Commussion‘s rules.""

      4.     The Milestone Documents are related to the implementation of a 2 GHz
MSS system, which will be subject to competition from a number of other MSS
systems.

        5.     Disclosure of information regarding amounts due, payment terms, and
technical information likely would result in substantial competitive harm to ICO. For
example, disclosure of this information would allow competing MSS licensees to use
this information to their competitive advantage. Specifically, knowledge of financial
terms and conditions under ICO‘s manufacturing contract could allow competitors to
obtain comparable or more favorable terms from other manufacturers. Furthermore,
disclosure could harm ICO in future negotiations regarding satellite construction by
allowing manufacturers to extract more favorable terms.

        6.     Article 31 of ICO‘s manufacturing contract contains specific provisions
requiring both parties to the contract to maintain confidentiality of information furnished
in connection with the contract or the transactions contemplated under the contract.

        7.      Information regarding amounts due, payment terms, and technical
specifications is not available to the public. Consistent with and except as provided
under the confidentiality provisions of ICO‘s manufacturing contract, there has been no
disclosure of such information to any third parties.

        8.      ICO requests confidential treatment of the Milestone Documents for an
indefinite period. During the operational life of the ICO system, satellite manufacturers
and 2 GHz MSS competitors could use the otherwise confidential information to their
competitive advantage and to ICO‘s detriment.

        9.     The Commission has acknowledged that satellite construction contracts
contain competitively sensitive information requiring protection from public
disclosure."‘ Specifically, the Commission has found that financial and technical data
contained in a satellite construction contract constitutes confidential information


° Id. § 0.457(d)(2).

  5 U.S.C. § 552(b)(4); 47 C.F.R. § 0.457(d).

" See, eg., GE American Communications, Inc., 16 FCC Red 6731, 6731 (IB 2001).



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  MORRISON | FOERSTER |

 Marlene H. Dortch
 June 22, 2007
 Page Four



because its disclosure would cause substantial harm to the licensee‘s competitive
position."" Moreover, in requiring Big LEO and 2 GHz MSS licensees to submit annual
reports and any requested additional contract and construction information to
demonstrate compliance with the milestones, the Commission expressly contemplated
that licensees could seek confidential treatment of "any portion of their report, pursuant
to Section 0.459 of the Commission‘s rules.""

In order to provide adequate protection from public disclosure, the Commission should
strictly limit distribution of the Milestone Documents within the Commission on a "need
to know" basis. In the event that any person or entity outside the Commission requests
disclosure of the Milestone Documents, ICO requests that it be so notified immediately
so that it can oppose such request or take other action to safeguard its interests as it
deems necessary.

Please direct any questions regarding this submission to the undersigned.

                                                Respectfully submitted,
                                                                    [




                                                Cheryl A. Tritt
                                                Counsel for New ICO Satellite Services G.P.

Enclosures
cc: Robert Nelson
    Cassandra Thomas
     Karl Kensinger




* See American Satellite Co., 1985 FCC Lexis 3117, at *19 (1985).

 " See Amendment ofthe Commission‘s Rules to Establish Rules and Policies Pertaining to a
Mobile Satellite Service in the 1610—1626.5/2483.5—2500 MHz Frequency Bands, 9 FCC Red
 5936, 6010 (1994) (emphasis added); see also The Establishment ofPolicies and Service Rules
for the Mobile Satellite Service in the 2 GHz Band, 15 FCC Red 16127, 16181 (2000).



do—493762


ATTACHMENT 1


                                  CERTIFICATION


       Pursuant to Section 25.143(e)(3) of the Commission‘s rules, I, Dennis Schmitt,

certify under penalty of perjury that:

    1. I am a Senior Vice President of ICO Global Communications (Holdings) Limited,

       the ultimate parent of New ICO Satellite Services G.P. (“ICO”).i

   2. To the best of my knowledge, information, and belief, ICO has completed the

       thermal vacuum test of its satellite.




                                                   Dennis Schmitt




Date: June 19, 2007


       REDACTED FOR PUBLIC INSPECTION




ATTACHMENT 2


       REDACTED FOR PUBLIC INSPECTION




ATTACHMENT 3



Document Created: 2007-07-05 15:00:45
Document Modified: 2007-07-05 15:00:45

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