Attachment Withdrawal

Withdrawal

WITHDRAWAL submitted by TerreStar Networks, Inc; TMI Communications and Company Limited Partnership

withdrawal

2007-05-18

This document pretains to SAT-MOD-20061206-00144 for Modification on a Satellite Space Stations filing.

IBFS_SATMOD2006120600144_571323

                                              LAW OFFICES
                          GOLDBERG, GODLES, WIENER & WRIGHT
                                  1229 NINETEENTH STREET, N.W.
                                   WASHINGTON, D.C. 20036—2413

HENRY GOLDBERG                                                                           (202) 429—4900
JOSEPH A. GODLES                                             o    ‘AmmCoTem              TELECOPIER:
JONATHAN L. WIENER                                          FILED/ACCEPTED               (202) 429—4912
LAURA A. STEFAN!                                                         .
DEVENDRA ("DAVE") KUMAR                                        MAY 18 2007                  e—mail:
HENRIETTA WRIGHT                                                                       general@g2w2.com
THOMAS G. GHERARDI, PC.                                                              website: www.g2w2.com
CoUnsEL
THOMAS S. TYCZ*
SENIOR POLICY ADVISOR
*NOT AN ATTORNEY
                                             May 18, 2007

       Marlene H. Dortch, Secretary
       Federal Communications Commission
       445 12t" Street, S.W.
       Washington, D.C. 20554



                            Re: SAT—MOD—20061206—00144; Withdrawal of "Request for
                                Selected Assignment of 2 GHz Mobile Satellite Service
                                Operating Frequencies" (the "Request")

       Dear Ms. Dortch:

              TerreStar Networks Inc. ("TerreStar") hereby withdraws the Request submitted
       by TMI Communications and Company, Limited Partnership ("TMI") on behalf of itself
       and TerreStar‘ for modification of its spectrum reservation to reflect assignment of
       specific operating frequencies in the 2 GHz Mobile Satellite Service bands.

               While TerreStar still would prefer the certainty of designating operating
       frequencies now in order to build its integrated satellite and terrestrial network in an
       efficient and cost effective manner, TerreStar has concluded that achieving this through


       1 The Request was filed by TMI on behalf of itself and TerreStar, because at the time the
       spectrum reservation for the 2 GHz MSS Letter of Intent ("LOI") authorization was in
       TMI‘s name and it had been proposed in a pending modification application to list the
       spectrum reservation in TerreStar‘s name instead. Since that time, the Commission has
       granted the consent to the modification application. See Order, Application for
       Modification of Spectrum Reservation for 2 GHz Mobile Satellite Service System, DA 07—2028
       (Int‘l Bur., May 10, 2007). Therefore, this withdrawal of the Request is submitted by
       TerreStar.


Marlene H. Dortch, Secretary
May 18, 2007
Page 2



a regulatory solution is not practicable at this time. TerreStar, therefore, will get as
much certainty as possible through other means and, therefore, will withdraw its
Request for frequency assignment.

       Please direct any questions regarding the foregoing to the undersigned.

                                                  Respectfully submittedn




                                                  Heny Goldber
                                                  Jonathan L. Wiener
                                                  Attorneys for TerreStar Networks, Inc.



Attachment




                                       GOLDBERG, GODLES, WIENER & WRIGHT


                              CERTIFICATE OF SERVICE


      I hereby certify that a true and correct copy of the foregoing Withdrawal of

"Request for Selected Assignment of 2 GHz Mobile Satellite Service Operating

Frequencies" was sent by first class United States mail, postage prepaid on the 18th day

of May, 2007, to each of the following:


      William T. Lake
      Wilmer Cutler Pickering Hale and Dorr LLP
      1875 Pennsylvania Avenue, NW
      Washington, DC 20006

      Suzanne Hutchings Malloy
      Senior Regulatory Counsel
      New ICO Satellite Services G.P.
      815 Connecticut Avenue, NW., Suite 610
      Washington, D.C. 20006

      Cheryl A. Tritt
      Phuong N. Pham
      Morrison & Foerster LLP
      2000 Pennsylvania Ave., NW.
      Suite 5500
      Washington, DC 20006




                                          /s/ Deborah Wiggins
                                             Deborah Wiggins




                                      GOLDBERG, GODLES, WIENER & WRIGHT



Document Created: 2007-05-22 15:03:50
Document Modified: 2007-05-22 15:03:50

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