Attachment ex parte

ex parte

Ex PARTE PRESENTATION NOTIFICATION LETTER submitted by National Associations of Broadcasters

ex parte

2006-12-14

This document pretains to SAT-STA-20061013-00119 for Special Temporal Authority on a Satellite Space Stations filing.

IBFS_SATSTA2006101300119_540472

     Nom
                                                                                        Larry Walke
                                                                            Associate General Counsel
            4     ®
                                                                            Legal & Regulatory Affairs
       ROADCAS                                        1771 N Street, NW * Washington DC 20036—2800
     B        TERS                                               C (202) 429—5313 '*’Fax: (202) 775—3526




                                                   December 14, 2006
                                                                                      FILED/AceEPTEp
                                Ex Parte Communication
                                                                                            DEC 1 4 2006
Ms. Marlene H. Dortch                                                             Federat Communicay
                                                                                                  atl
Secretary                                                                                Office of the sggfect:r?mlss’o
Federal Communications Commission                                                                                      "
445 12"" Street, S.W.
Washington, D.C. 20445

       Re:      XM Radio: SAT—8TA—20061002—00114; SAT—STA—20061013—00119;
                Sirins: SAT—STA—20061013—00121; SAT—STA—20061013—0122

Dear Ms. Dortch:

       On December 13, Jane Mago, David Layer and the undersigned of the National
Association of Broadcasters ("NAB"), and Frank R. Jazzo of Fletcher, Heald & Hildreth‘
met with the following members of the Commission‘s staff to discuss the above—
captioned applications for Special Temporary Authority ("STAs"): Julius Knapp,
Stephen Duall, Roderick Porter, Bruce Romano, Shabnam Javid, Karl Kensinger, Robert
Nelson, Cassandra Thomas, JoAnn Lucanik, Roy Stewart, Gardner Foster, Marilyn
Simon, Jeffrey Neumann, and Keith Larson.

       Specifically, the parties discussed Sirius Satellite Radio, Inc. and XM Radio,
Inc.‘s requests for STA approval of their as—built terrestrial repeaters that both have
operated for some time inconsistently with the STA authorizations of the repeaters in
question. We urged the Commission to place both the 30—day and 180—day STA requests
filed by Sirius and XM regarding these repeaters on public notice so that interested
parties may have an opportunity to comment on the satellite radio companies® evidence
and arguments related to the legitimacy of the repeaters. We also requested that the
Commission launch an investigation into the facts and circumstances surrounding both
companies‘ deployment of the relevant repeaters.


‘ Mr. Jazzo attended on behalf of the Alaska Broadcasters Association, however, the
parties specifically did not discuss Sirius Satellite Radio‘s pending request for an STA to
serve Alaska and Hawaii, SAT—STA—20061107—00131, because this proceeding has not
yet been designated as "permit—but—disclose" for purposes of the Commission‘s rules
governing ex parte communications. 47 C.F.R. §§ 1.1200(a) and 1.1206.


       The attached letter from David K. Rehr, President and CEO of NAB, to Chairman
Kevin J. Martin (dated October 23, 2006) was distributed at this ex parte meeting."

       Please direct any questions concerning this matter to the undersigned.

                                                    Respectfully submitted,

                                                    NATIONAL ASSOCIATION OF
                                                    BROADCASTERS
                                                    1771 N Street, N.W.
                                                    Washington, D.C. 20036
                                                    Tel: (202) 429—5430

                                                     cAz                  &      UGZ._
                                                    Larry Walke

Attachment

ce (via email):
Julius Knapp
Stephen Duall
Roderick Porter
Bruce Romano
Shabnam Javid
Karl Kensinger
Robert Nelson
Cassandra Thomas
JoAnn Lucanik
Roy Stewart
Gardner Foster
Marilyn Simon
Jeffrey Neumann
Keith Larson.




* Although Mr. Rehr‘s letter only references Sirius and XM‘s requests for 180—day STAs
regarding the noncompliant repeaters (SAT—STA—20061013—00121 and SAT—STA—
20061013—00119, respectively), NAB hereby respectfully requests that Mr. Rehr‘s letter
also be placed in the application files for both Sirius and XM‘s requests for 30—day STAs
regarding their noncompliant repeaters (SAT—STA—20061013—00122 and SAT—STA—
20061002—00114, respectively).


                               CERTIFICATE OF SERVICE

I, Joan Richards, hereby certify that I have caused copies of the foregoing Ex Parte
Communication, to be served via U.S. Mail on this 14° day of December 2006, on the
following parties listed below:


Mr. Patrick L. Donnelly
Sirius Satellite Radio, Inc.
121 Avenue of the Americas
36 Floor
New York, NY 10020


Mr. James S. Blitz
XM Radio, Inc.
1500 Eckington Place, NE
Washington, DC 20002


Natonal Association of

       P                                                                           David K. Rehr, Ph.D.
                                                                                            President & CEO
            A                                             1771 N Street, NW * Washington, DC 20036—2800
                                                                         (202) 429—5449 *« Fax: (202) 429—5410
BROADCASTERS                                                                                   drehr@nab.org


    October 23, 2006


    The Honorable Kevin J. Martin
    Chairman
    Federal Communications Commission
    445 12"" Street, SW
    Washington, DC 20554


    Dear Mr. Chairman:

    NAB writes to express our alarm regarding recent separate requests by Sirius Satellite
    Radio, Inc. and XM Radio, Inc. for special temporary authorizations ("STAs") to
    knowingly continue or resume operating satellite digital audio radio service ("SDARS")
    terrestrial repeaters that were constructed and deployed inconsistently with the terms and
    conditions of the STAs under which the FCC initially authorized (and repeatedly re—
    authorized) Sirius and XM‘s terrestrial repeater networks." Given the scope of Sirius and
    XM‘s wanton disregard of the FCC‘s rules, NAB respectfully submits that the FCC
    should immediately launch a full investigation into both companies®‘ conduct and candor
    before the Commission to determine the true extent of their persistent and pervasive
    noncompliance with the FCC‘s regulations, and impose appropriate sanctions.‘


    * Application for Space Station Special Temporary Authority, XM Radio Inc., File
    Number SAT—STA—20061013—00119 (filed Oct. 13, 2006)("XM 180—day STA");
    Application for Space Station Special Temporary Authority, Sirius Satellite Radio Inc.,
    File Number SAT—STA—20061013—00121 (filed Oct. 13, 2006)("Sirius STA"). Both XM
    and Sirius also filed requests for 30—day STAs, with both stating that the FCC can act
    upon these shorter requests immediately (and without public notice) while the 180—day
    STA requests are considered under the FCC‘s processes for longer term STAs.

    * In addition to the FCC‘s general rule that any applicant for any FCC authorization must
    provide only truthful and accurate statements to the FCC, 47 C.F.R. § 1.17, the FCC‘s
    standard application for space station special temporary authority cautions that "Willful
    False Statements Made on This Form are Punishable by Fine and/or Imprisonment (U.S.
    Code, Title 18, Section 1001), and/or Revocation of Any Station Authorization (U.S.
    Code, Title 47, Section 213(a)(1)), and/or Forfeiture (U.S. Code, Title 47, Section 503)."


The Honorable Kevin J. Martin
October 23, 2006
Page 2

Although the specifics of Sirius and XM‘s STA requests differ slightly, both requests are
little more than transparent attempts to legitimize the continued or resumed unlawful
operation of numerous repeaters. For instance, among other breaches of the FCC‘s rules,
XM admits that:

   *     19 of XM‘s repeaters were never authorized at all, yet XM continues to operate
         four of those repeaters despite their admitted illegality.
   *     142 of XM‘s repeaters were constructed and deployed at locations that differ by at
         least five seconds (%e., roughly 500 feet) from their FCC authorized locations.
         This equates to almost 18% of the 794 repeaters listed in XM‘s STA request. XM
         does not discuss how many others of these 794 repeaters may be located between
         one and five seconds away from their authorized locations.
   *     At least 221 repeaters (or almost 28% of XM‘s total) have been operating at
         power levels that exceed authorized levels, and that XM continues to operate at
         least two repeaters at excessive power levels despite their illegality.
   e     At 21 repeater stations, XM has installed a second or third unauthorized antenna,
         and at 79 repeater locations, it has installed antennas at heights that exceed
         authorized levels. XM STA Request at 2—5.

For its part, Sirius reveals problems with 11 ofits terrestrial repeaters, stating that with
"one exception, the repeaters were placed at locations that differ slightly from the STA —
more than half of them within two miles of their reported sites." Sirius STA Request at
2. However, Sirius‘ effort to minimize the significance of its transgressions is apparent.
Close examination of Sirius‘ request reveals that, of the 11 repeaters in question, 8 are
located at least 1.4 miles away from their authorized locations, four are placed at least
five miles from their reported locations, and one in Lansing, Michigan is located 67 miles
away from its FCC—authorized location. Id. at Exhibit 1.

Of course, the circumstances described above reflect only those violations of the FCC‘s
rules that Sirius and XM voluntarily admit in the recently filed STA requests. Both Sirius
and XM delicately word their applications to minimize the significance of their alleged
misconduct. For example, Sirius states that none of the 11 repeaters in question are
currently operating, yet notably fails to indicate when they turned off these repeaters or
how many years these repeaters were operating in violation of the FCC‘s authorizations.
Similarly, although XM lists 142 repeaters that were constructed at distance equivalent to
almost two football fields away from their authorized locations, this only begs the
question of how many of XM‘s repeaters were constructed somewhat closer to their
reported locations, yet still not in compliance with XM‘s authorizations.

Most importantly, neither Sirius nor XM explain why they initially chose to deploy
illegal facilities instead of following the FCC‘s rules, or why it has taken both companies
almost five years after the FCC authorization of their repeater networks to disclose these
problems. Speculation abounds whether it was just too much trouble for XM and Sirius
to find suitable repeater locations within the FCC‘s parameters, or if XM and Sirius were
rushing to beat each to market and could not slow down to comply with the FCC‘s rules.


The Honorable Kevin J. Martin
October 23, 2006
Page 3

Or, perhaps the nascent SDARS operators were wary of the impact that disclosure and
compliance with the FCC‘s authorizations would have on their stock price or Wall Street
financing.

NAB is particularly disturbed at Sirius and XM‘s transparent attempts in the STA
requests to downplay the seriousness of their non—compliance, as well as their audacity in
asking for FCC approval to continue or resume operation of hundreds of repeaters that
presumably have operated for years in violation of the FCC‘s rules. Coming on the heels
of both Sirius and XM‘s continued failure to resolve interference to FM service caused by
noncompliant radio devices already in circulation in the market," these latest disclosures
reveal a persistent corporate (if not industry) circumvention of the FCC‘s regulations.
Accordingly, the FCC should immediately commence a full investigation into both the
actual and reported operations ofSirius and XM‘s terrestrial repeater networks, including
both companies‘ conduct and candor before the FCC, and defer consideration of the STA
requests at hand until such an investigation is complete.

NAB looks forward to discussing these and other issues of concern with you and your
fellow Commissioners. Please let us know what we can do to assist the FCC in its
consideration of these or other matters.

Best wishes.

Sincerely,


  idb hah
David K. Rehr




ce:      Commissioner Michael J. Copps
         Commissioner Jonathan S. Adelstein
         Commissioner Deborah Taylor Tate
         Commissioner Robert M. McDowell
         John Giusti, Acting Chief, International Bureau
         Kris Monteith, Chief, Enforcement Bureau




* Letter from David K. Rehr, President & CEO, National Association of Broadcasters, to
Nate David, President & COO, XM Satellite Radio, Inc. and Mel Karmazin, CEO, Sirius
Satellite Radio, Inc., Sep. 21, 2006.



Document Created: 2019-04-14 16:29:16
Document Modified: 2019-04-14 16:29:16

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