Attachment ex parte

ex parte

Ex PARTE PRESENTATION NOTIFICATION LETTER

ex parte

2006-11-06

This document pretains to SAT-STA-20061002-00114 for Special Temporal Authority on a Satellite Space Stations filing.

IBFS_SATSTA2006100200114_535608

                                 EX PARTE OR LaTe FiLep
HARRIS,                                                                                   1200 EichteentH street, Nw
                                                                                          WASHINGTON, DC 20036


                                                                                          TEL 202.730.1300 FAX 202.730.1301
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                                                       F"_ED/ACCEPTED
G RAN N I S LLP


 6 November 2006
                                                             NOV — 6 2006
                                                      Federal Communications Commission
 Ex Parte                                                   Office of the Secretary

 Ms. Marlene Dortch                                                                   ORIGlNAL
 Secretary
 Federal Communications Commission
 445 12"" Street, S.W.
 Washington, DC 20554

 Re:       Requestfor Special Temporary Authorityfor 30 days; SAT—STA—20061002—00114

 Dear Ms. Dortch:

 On 3 November 2006, in connection with the above—noted request for an STA, undersigned counsel, and
 James S. Blitz and Robert Smith of XM Satellite Radio, met with the following members of the
 International Bureau staff: Stephen Duall, Richard Engelman, Shabnam Javid, Karl Kensinger, Jo Ann
 Lucanik, Robert Nelson, Rod Porter, and Cassandra Thomas. During this meeting, we asked that the
 Commission grant XM‘s request for a thirty—day STA and noted:

  1. The Commission has already granted STAs covering the XM repeater network and the pending thirty—
       day STA request is, as a practical matter, nothing more than a request temporarily to modify the
       existing STAs.

 2.    While there are many variances between the XM repeater network "as built" and the existing STAs,
       the network is smaller, less powerful and has less interference potential than what the FCC has
       already authorized.

 3.    Granting the thirty—day STA will restore robust service to tens of thousands of consumers whose
       service on a number of major roadways has been degraded by the remedial actions XM has taken to
       reduce the number of variances while the STA request is pending, and ensure that XM can provide
       uninterrupted service to all of its seven million consumers.

 4.    The repeater network "as built" has not caused a single case of known interference, and granting the
       30—day STA will cause no interference to anyone.

 Please let me know if you have any questions about this filing.

                                                     Sincerely yours,



                                              SQ::T—\” k\P&E&
                                                     Scott Blake Harris
                                                     Counsel to XM Satellite Radio
 Ce: Meeting Participants



Document Created: 2006-11-14 16:24:42
Document Modified: 2006-11-14 16:24:42

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