Attachment LightSquared - Redac

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

IBFS_SATMOD2010111800239_986227

fiEDACTED FOR PUBLIC INSPECTION                                      10002Parkridgeoulevard; Reston{VA20191 wwwlightsquared.com



                                                                                                    LeoHeSousren §

                                             January 31, 201 EyepyaceEpTED
Marlene H. Dortch
Secretary                                                                   JAN 3 1 2013
Federal Communications Commission                                  Federal Communications Commission
Office of the Secretary                                       >           Office of the Secretary
445 12th Street SW
Washington, DC 20554                                                                                  .         L
                                                                    201011 1 & — OU&BC)
               Re: IB Docket No. 08—184 and IBFS File No. SAT—MOD—201H1118—00239

Dear Ms Dortch:

               LightSquared Subsidiary LLC (“LightSquared”)1 hereby submits this quarterly
report pursuant to the Memorandum Opinion and Order and Declaratory Ruling adopted by the
Commission on March 26, 2012 in IB Docket No. 08—184 (the "M{O&O"), and the Order and
Authorization adopted by the Commission on January 26, 2011 in IBFS File No. SAT—MOD—
20111118—00239 (the "O&44") (collectively, the "Orders"). By separate letter, LightSquared
requests confidential treatment of this report.

               With regards to Condition 3Jof the MO&O, LightSquared has not commenced the
provision of commercial MSS/ATC or terrestrial—only services. Accordingly, the number of
active terminals and active users on its network in these categories is zero. For similar reasons,
the number of total bytes carried by LightSquared‘s terrestrial network also is zero.

               Pursuantto Condition II.B of the O&4, LightSquared is providing the following
list of components available from mainstream component suppliers to support L—Band dual—
mode operations:




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




I      See Letter from Jeffrey J. Carlisle, Executive Vice President, LightSquared GP Inc., to Marlene H. Dortch,
       Secretary, FCC (July 20, 2010) (notifying the Commission of the corporate name changes affecting various
       SkyTerra—named entities).


REDACTED FOR PUBLIC INSPECTION

                             Sincerely,




                             Jeffrey J. Carlisle
                             Executive Vice President
                             Regulatory Affairs and Public Policy


CC:   Sean Lev
      John Leibovitz
      Mindel De La Torre
      Rod Porter
      Gardner Foster
      IB—SATFO@fcc.gov



Document Created: 2013-02-14 16:25:28
Document Modified: 2013-02-14 16:25:28

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