Attachment Exhibit B

This document pretains to SAT-PPL-20160111-00001 for Permitted List on a Satellite Space Stations filing.

IBFS_SATPPL2016011100001_1121032

                                             Inmarsat plc
                                            FCC Form 312
                                               Exhibit B
                                        Response to Question 36

        Inmarsat plc (“Inmarsat”) submits this response to Question 36 of FCC Form 312 out of
an abundance of caution. In 2005, the Commission dismissed a Petition for Declaratory Ruling
(the “Petition”) filed by Inmarsat’s affiliate, Inmarsat Global Limited (“Inmarsat Global”),
seeking access to the United States market to provide MSS in the 2 GHz band. Subsequent to
Inmarsat Global’s filing, the Commission assigned all 2 GHz spectrum currently allocated for
MSS in the United States to two other satellite operators, and thus dismissed Inmarsat Global’s
Petition.1 Although Inmarsat Global sought reconsideration of those decisions, the Commission
dismissed that request eight years later in light of the Commission’s actions with respect to
licensing of the AWS-4 band.2




1
    See Use of Returned Spectrum in the 2 GHz Mobile Satellite Service Frequency Bands, 20 FCC Rcd. 19696
    (2005); Inmarsat Global Ltd., 20 FCC Rcd. 19409 (2005).
2
    See Use of Returned Spectrum in the 2 GHz Mobile Satellite Service Frequency Bands, 28 FCC Rcd. 7522
    (2013).



Document Created: 2019-04-23 23:49:35
Document Modified: 2019-04-23 23:49:35

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