Telesat Canada Permi

NOTICE submitted by Telesat Canada

Section 25.137(g) notice of pro forma TC

2017-03-22

This document pretains to SAT-PPL-20060516-00061 for Permitted List on a Satellite Space Stations filing.

IBFS_SATPPL2006051600061_1202443

                                               LAW OFFICES
                           GOLDBERG, GODLES, WIENER & WRIGHT LLP
                               1025 CONNECTICUT AVENUE, N.W., SUITE 1000
                                      WASHINGTON, D.C. 20036-2413


HENRY GOLDBERG                                                                                (202) 429-4900
JOSEPH A. GODLES                                                                              TELECOPIER:
JONATHAN L. WIENER                                                                            (202) 429-4912
DEVENDRA (“DAVE”) KUMAR                                                                           e-mail:
     ________
                                                                                         jgodles@g2w2.com
HENRIETTA WRIGHT                                                                      website: www.g2w2.com
THOMAS G. GHERARDI, P.C.
COUNSEL
    ________

THOMAS S. TYCZ*
SENIOR POLICY ADVISOR
*NOT AN ATTORNEY
                                           March 22, 2017


    FILED ELECTRONICALLY
    Ms. Marlene H. Dortch
    Secretary
    Federal Communications Commission
    445 12th Street, SW
    Washington, DC 20554

                        Re: Telesat Canada, Pro Forma Transfer of Control of Non-U.S.
                            Licensed Operator of Space Stations
                            Anik F1R, Call Sign S2674, File No. SAT-PPL-20050504-00094;
                            Anik F2, Call Sign S2646, File No. SAT-PPL-20041004-00194; and
                            Anik F3, Call Sign S2703 File No. SAT-PPL-20110630- 00123

    Dear Ms. Dortch:

           Pursuant to Section 25.137(g) of the Commission’s rules,1 Telesat Canada
    (“Telesat”), the operator of the non-U.S. licensed satellites identified above that have
    been authorized to serve the United States, hereby notifies the Commission that it has
    undergone a pro forma transfer of control.

            The pro forma transfer of control is the result of a corporate restructuring.2 Prior
    to the corporate restructuring, Telesat had two holding companies above it in its
    corporate structure. Telesat was a wholly owned subsidiary of Telesat Interco Inc.
    which, in turn, was a wholly owned subsidiary of Telesat Holdings Inc. (“Telesat
    Holdings”). As a result of the corporate restructuring, the former shareholders of


    1 47 C.F.R. § 25.137(g).
    2 The restructuring occurred on January 1, 2017, and due to an oversight was not
    reported within 30 days. To the extent required, Telesat hereby requests a waiver of the
    time for reporting requirements that are stated in Section 25.137(g).


Telesat Holdings became direct shareholders of Telesat, having the same interests and
the same voting rights as they had held previously in Telesat Holdings.3 The transfer of
control, therefore, was entirely pro forma; there was no change in ultimate control.

      Please direct any questions concerning this matter to the undersigned.

                                  Respectfully submitted,



                                  Joseph A. Godles
                                  Attorney for Telesat Canada




3 This restructuring was accomplished by merging Telesat Holdings and Telesat Interco
into a new entity that was merged with Telesat.



Document Created: 2017-03-22 17:24:55
Document Modified: 2017-03-22 17:24:55

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