Attachment LightSquared - Kelly

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

IBFS_SATMOD2010111800239_927086

                                                                                 Received & Inspected
Mr. Julius Genachowski, Chairman
Federal Communications Commission                                                       J #5.201
445 12"" Street SW                                                                          ;
Washington, DC 20554                                                              FCC Mail Room
Dear Chairman Genachowski:

  As a licensed Property Line Surveyor in Maryland and a Licensed Professional Land Surveyor in
Delaware, Pennsylvania and Virginia, I must express serious concerns regarding the Federal
Communications Commission (FCC) granting LightSquared, LLC conditional approval to build a
nationwide 4G—LTE wireless broadband network (FCC File No. SAT—MOD—20101118—00239). Early
testing by GPS technology leaders, Garmin and Trimble Navigation, demonstrated that LightSquared‘s
technology would likely interfere with Global Positioning System (GPS) receivers, degrading their
performance in the best case scenario and completely jamming GPS receivers in the worst case scenario.

   The Department of Defense, FAA, DHS, NASA, DOI, DOT, DOC, and the Professional Land
Surveying and Engineering professions, have all expressed serious reservations in regards to this plan by
LightSquared, LLC to build 40,000 ground stations in the U.S. that could cause widespread interference
to GPS signals. This network of ground stations will transmit signals within the L—band frequency
immediately adjacent to the GPS L1 frequency at more than one billion times the strength of the low—
power GPS signal from space. Furthermore, each mobile phone using LightSquared‘s wireless service
would potentially become a portable GPS jamming device by jamming GPS receivers in its immediate
vicinity.

   High—precision GPS equipment used by Land Surveyors and other geomatics professionals costing
thousands of dollars per receiver would be more adversely affected than the consumer GPS devices
given their inherent design. Tens of thousands of high—precision GPS receivers are used in the United
States. GPS technology has transformed the way we build and manage our infrastructure, adding a
tremendous level of efficiency to the design, construction, and maintenance of roads, bridges,
commercial properties, residential subdivisions, parks, farms, golf courses, etc. GPS has become an
essential tool for design professmnals and it is imperative that these GPS signals are not jeopardized by
broadband technology.

   This situation has the potential of becoming a tremendous public safety issue and an economical
disaster not only for Maryland, but also for the United States as a whole. The members of the Maryland
Society of Surveyors urge you to reject the LightSquared application until such time that all tests
conclusively demonstrate there is no risk of interference.

                                                    Smcerely,


                                                    Edward F. Kelly,Associa
                                                    Morris & Ritchie Associates, Inc.
                                                    3445—A Box Hill Corporate Center Drive
                                                    Abingdon, Maryland 21009



Document Created: 2011-09-12 12:14:02
Document Modified: 2011-09-12 12:14:02

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