Attachment Ligado - Redacted Qu

This document pretains to SAT-MOD-20101118-00239 for Modification on a Satellite Space Stations filing.

IBFS_SATMOD2010111800239_1626273

                                     REDACTED FOR PUBLIC INSPECTION

I ig
   NETWORKS
                    Making
                    Stronger
                    Connections




                                                January31, 2019
                                                                                       copy
    Marlene H. Dortch                                                            Accepted I FHed
    Secretary
    Federal Communications Commission                                                  JAN31 2019
    Office of the Secretary
    445 12th Street SW                                                         Federal Communications Commission
                                                                                      Office of the Secretary
    Washington, DC 20554

            Re:     lB Docket No. 08-184 and IBFS File No. SAT-MOD-20
                                                                      101118-00239
    Dear Ms. Dortch:

   Ligado Networks Subsidiary LLC (‘Ligado”)1 hereby subm
                                                            its this quarterly report
   pursuant to the Memorandum Opinion and Order and
                                                       Declaratory Ruling adopted by the
   Commission on March 26, 2012 in lB Docket No. 08-184
                                                           (the “MO&O”), and the Order
   andAuthorization adopted by the Commission on Janu
                                                       ary26, 2011 in lEES File No.
   SAT-MOD-20101 118-00239 (the “O&A”). By separate
                                                        letter, Ligado requests
   confidential treatment of this report.

   With regards to Condition 3 of the MO&O, Ligado has not
                                                               commenced the provision of
   commercial MSS/ATC or terrestrial-only services. Accord
                                                              ingly, the number of active
   terminals and active users on its network in these categ
                                                            ories is zero. For similar
   reasons, the number of total bytes carried by Ligado’s terre
                                                                strial network also is zero.
   Pursuant to Condition lll.B of the O&A, Ligado is providing
                                                                the following list of
   components available from mainstream component supp
                                                             liers to support L-Band dual-
   mode operations:




  This component list may be updated in future quarterly
                                                         reports following grant of
  Ligado’s pending license modification applications.2



  1 See
        Letter from LightSquared to FCC (July 20, 2010) (notifying
                                                                   the Commission that SkyTerra had
  changed its name to LightSquared); Letter from Ligado Netwo
                                                                rks to FCC (Feb. 11 2016) (notifying the
  Commission that LightSquared had changed its name
                                                       to Ligado Networks).
  2 See (SF5
              File Nos. SES-MOD-20151231-00981, SAT-MOD-20151231
  20151231-00091.                                                         -00090 & SAT-MOD-



                             10802 Parkhdge BouLevard, Reston, VA 20191   I   tigado.com                           I


                              REDACTED FOR PUBLIC INSPECTION


  Please contact the undersigned should you have any ques
                                                          tions in this matter.


                                                Sincerely,

                                                 (iV
                                                Beth Creary
                                                Vice President & Assistant General Counsel


 cc:   Thomas Johnson, Jr.
       Tom Sullivan
       Jennifer Gilsenan
       lB-SATFO@fcc.gov




• • • • •             10802 Parkridge Boutevard, Reston, VA 20191   Iigado.com               2



Document Created: 2019-02-06 18:07:37
Document Modified: 2019-02-06 18:07:37

© 2024 FCC.report
This site is not affiliated with or endorsed by the FCC