Attachment request

This document pretains to SAT-MOD-20090429-00047 for Modification on a Satellite Space Stations filing.

IBFS_SATMOD2009042900047_710545

      pillsbury
Pillsbury Winthrop Shaw Pittman LLP
2300 N Street, NW | Washington, DC 20037—1122 | tel 202.663.8000 | fax 202.663.8007



                                                                                                 Bruce D. Jacobs
                                                                                                 tel 202.663.8077
                                                                              bruce.jacobs@pillsburylaw.com


                                       | FORINTERNAL USE ONLY |
April 30, 2009                         [                                      |
                                       f»        NON—PLUBLIG
By Hand Delivery                        ©

Marlene H. Dortch
Federal Communications Commission                                                         APR 3 0 20
445 1_2“‘ Street, S.W.                                                            FEGETA! COMIRUpine n       09
Washington, DC 20554                                                                    Ofice ofthsgoct.Ctmisgign
                                                                                                         Tétary

Re:          REQUEST FOR CONFIDENTIAL TREATMENT
             Confidential Appendix
             SkyTerra Subsidiary LLC
             File Nos. SAT—MOD—20090429—00046
                       SAT—MOD—20090429—00047
                       SES—MOD—20090429—00536

Dear Ms. Dortch:

        SkyTerra Subsidiary LLC ("SkyTerra") hereby requests confidential treatment for the
attached document (hereafter "Confidential Appendix") submitted in connection with the
above—referenced modification applications to SkyTerra‘s authority to operate an Ancillary
Terrestrial Component ("ATC") in the L band.‘ The Confidential Appendix contains
information pertaining to SkyTerra‘s international L—band frequency coordination agreements
and the status of negotiations with other L—band operators. Consistent with Commission
precedent, the information should be treated as confidential." If disclosed, it would violate
confidentiality agreements with those operators and prejudice negotiations. This would
undermine the ability of SkyTerra to obtain optimal use of the L—band spectrum, resulting in
substantial competitive harm to SkyTerra. Moreover, disclosure of the Confidential Appendix



‘ A copy of this request for confidential treatment without the Confidential Appendix is being filed in
the public record.
* See Robert J. Butler, 6 FCC Red 5414 (1991); In the Matter ofAmendment ofthe Commission‘s
Rules to Establish Rules and Policies Pertaining to a Non—voice, Non—Geostationary Mobile Satellite
Service, 8 FCC Red 8450, at [ 10 (1993); Comsat Corporation d/b/a Comsat Mobile Communications,
et al., 16 FCC Red 21661, at §« 110—11 (2001).
                                                                         [FOR INTERNAL USE ONLY ’

                                                                          |           NON—PUBLC


Marlene H. Dortch
April 30, 2009
Page 2

would undermine the ability of the United States, as SkyTerra‘s licensing administration, to
conclude and maintain coordination agreements with other administrations." For these
reasons, SkyTerra submits that the Commission should grant this request for confidential
treatment.

       In conformity with Section 0.459(b) of the Commission‘s rules, SkyTerra submits the
following:

47 C.F.R. § 0.459(b)(1)             ——   Identification of the specific information for
                                         which confidential treatment is sought

       SkyTerra seeks confidential treatment of the information contained in the attached
Confidential Appendix, pertaining to SkyTerra‘s international L—band frequency coordination
agreements and the status of negotiations with other L—band operators.

47 C.F.R. § 0.459(b)(2)             ——   Identification of the Commission proceeding in
                                         which the information was submitted or a
                                         description of the circumstances giving rise to
                                         the submission

        The information contained in the Confidential Appendix is being submitted in
connection with SkyTerra‘s modification applications to operate an ATC in the L band. See
File Nos. SAT—MOD—20090429—00046, SAT—MOD—20090429—00047,
SES—MOD—20090429—00536.

47 C.F.R. § 0.459(b)(3)             ~—   Explanation of the degree to which the
                                         information is commercial or financial, or
                                         contains a trade secret or is privileged

        The Confidential Appendix contains information pertaining to SkyTerra‘s
international L—band frequency coordination agreements and the status of negotiations with
other L—band operators. That information is relevant to the amount of SkyTerra‘s authorized
and internationally coordinated spectrum, which impacts SkyTerra‘s commercial and
financial interests.*‘ As the Commission has concluded, such information is also confidential
because its disclosure would adversely affect the ability of the United States, as SkyTerra‘s
licensing administration, to negotiate L—band spectrum on SkyTerra‘s behalf.‘


* See Robert J. Butler, at "| 14.
* See Robert J. Butler, at « 12.
* Id. at | 13 (documents related to L—band coordination meeting are "privileged or confidential"
because disclosure would "hamper the United States‘ ability to engage in successful MSS negotiations
with the other entities and countries proposing MSS systems, for which the United States might
develop a different negotiation strategy.").




401189054v2v3


Marlene H. Dortch
April 30, 2009
Page 3


47 C.F.R. § 0.459(b)(4)          ——      Explanation of the degree to which the
                                         information concerns a service that is subject to
                                         competition

         The information contained in the Confidential Appendix concerns the market for
satellite and wireless services, in which SkyTerra faces competition from Mobile Satellite
Service providers and terrestrial wireless operators.

47 C.F.R. § 0.459(b)(5)          ~—      Explanation of how disclosure of the information
                                         could result in substantial competitive harm

         Disclosure of the Confidential Appendix would result in substantial competitive
harm. The Confidential Appendix contains information pertaining to SkyTerra‘s international
L—band frequency coordination agreements and the status of negotiations with other L—band
operators, and SkyTerra‘s negotiating strategies. If disclosed, it would prejudice negotiations
in international coordination with other operators. This would undermine the ability of
SkyTerra (and the United States) to obtain optimal use of the L—band spectrum, resulting in
substantial competitive harm to SkyTerra."

47 C.F.R. § 0.459(b)(6)          ——      Identification of any measures taken by the
                                         submitting party to prevent unauthorized
                                         disclosure

       SkyTerra has limited the distribution of the information contained in the Confidential
Appendix to authorized employees and agents. Additionally, as the Commission has
recognized, the terms of coordination agreements are confidential to the parties to the
agreements."




* See Robert J. Butler, at 15 (disclosure of information concerning L—band coordination meeting
would limit ability of the parties to adopt different negotiating positions in other L—band coordination
meetings, adversely affecting their ability to obtain the optimal amount of spectrum to conduct
business successfully).
" See, eg., Comsat Corporation d/b/a Comsat Mobile Communications, et al., 16 FCC Red 21661, at
4 110—11 (2001) ("The Mexico City Agreement and related coordination documents, such as minutes
of coordination meetings, are considered confidential.").




401189054v2v3


Marlene H. Dortch
April 30, 2009
Page 4

47 C.F.R. § 0.459(b)(7)            ——   Identification of whether the information is
                                        available to the public and the extent of any
                                        previous disclosure of the information to third
                                        parties

         The information contained in the Confidential Appendix has not been made available
to the public or disclosed to unauthorized third parties.

47 C.F.R. § 0.459(b)(8)            ——   Justification of the period during which the
                                        submitting party asserts that material should not
                                        be available for public disclosure

        There is no benefit to be derived from public disclosure of the Confidential Appendix.
But, as discussed above, there is the potential for substantial harm to SkyTerra if disclosed.
Therefore, the Confidential Appendix should be withheld permanently from public disclosure.

47 C.F.R. § 0.459(b)(9)            ——   Any other information that the party seeking
                                        confidential treatment believes may be useful in
                                        assessing whether its request for confidentiality
                                        should be granted

        Other foreign operators and administrations expect that coordination agreements and
discussions are conducted in private and held in confidence.‘ Accordingly, disclosure of the
information contained in the Confidential Appendix would impair the ability of the United
States in the future to conclude coordination agreements with other administrations, which
would be discouraged from negotiating openly.

       For these reasons, the Commission should grant the request for confidential treatment.
Please contact the undersigned with any questions.

                                               Very truly yours,




                                               Bruce D. Jacobs
                                               Tony Lin

co:      (w/confidential attachment)
         Robert Nelson
         Kathyrn Medley
         William Bell



8 See Robert J. Butler, at " 14.




401189054v2v3



Document Created: 2019-04-15 19:39:48
Document Modified: 2019-04-15 19:39:48

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