Attachment LightSquared - Keh f

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

IBFS_SATMOD2010111800239_866368

 January 13, 2011                                                                        Eiiecei\led & \nspecmfii

 The Honorable Julius Genachowski                                                              JAN 2 ‘1 2{“1
 Chairman, Federal Communication Commission                                                                —
 Room 8—B201                                                                                           «
 445 12th Street, SW                                                                       FCC Mail Room
 Washington, DC 20554

 Subject: FCC File No. SAT—Mod—20101118—00239, LightSquared Subsidiary LLC Request for Modification of Its
          Authority for an Ancillary Terrestrial Component

 Dear Mr. Genachowski:


 We are deeply concerned that the proposal by LightSquared referenced above will interfere with GPS receiver
 operation. It is imperative that the GPS national utility remain free of impediments to operation for more than 75
 mnillion North American GPS users.

 This is not simply a "turf war" over spectrum allocation. It is a public safety issue that would threaten the national
 transportation grid, national financial system, national security, and virtually everyone in the United States.

 The LightSquared proposal will result in an unreliable GPS signal reception with the following effects:

       e   Inability of emergency responders to effectively answer calls

       e   Loss of pilots‘ primary means of navigation during a final approach

       e   Disruption of training exercises for military service members who routinely use commercial GPS systems

       e   Loss of the precise timing provided by GPS which is essential for operation of the financial system, power
           grid network synchronization, and cellular telephone system synchronization and cost accounting

 Furthermore, the U.S. GPS constellation is currently undergoing an $8 billion upgrade. Approval of the
 LightSquared proposal without adequate testing will result in a poor return on this huge taxpayer investment.

 We urge the FCC to conduct technical interference analysis BEFORE granting a waiver to effectively allow a
 reallocation of spectrum use from mobile satellite space service to terrestrial wireless service that is adjacent to
 the band where GPS operates. Further, we urge the FCC to consider this request from LightSquared under the
 Notice of Proposed Rule—Making process initiated in ET Docket No. 10—142 to ensure adequate opportunity for
 public comment.

 Very truly yours,

x‘%fi’ o Ael—
— James S Keh
  CEO
 Auto Nav 2000 Plus, Inc
 438 South Bascom Ave
 San Jose CA 95128
 408—298—8188


 CC:       Commissioner Michael J. Copps
           Commissioner Robert M. McDowell
           Commissioner Mignon L. Clyburn
           Commissioner Meredith A. Baker



Document Created: 2019-05-10 00:16:14
Document Modified: 2019-05-10 00:16:14

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