Attachment supplmental

supplmental

SUPPLEMENT submitted by Sirius

supplemental

2007-04-26

This document pretains to SAT-STA-20061013-00121 for Special Temporal Authority on a Satellite Space Stations filing.

IBFS_SATSTA2006101300121_563717

                                             Before the
                      FEDERAL COMMUNICATIONS COMMISSION
                               Washington, D.C. 20554

In the Matter of                                    )
                                                    )
Sirius Satellite Radio Inc.,                        )       File No. SAT—STA—20061013—00121
                                                    )
Request for Modification of Satellite Digital       )       File No. SAT—STA—20061013—00122
Audio Radio Service Terrestrial Repeater            )
Special Temporary Authority                         )

                                                    )                    FILED/ACCEPTED
                                                    g                          APR 2 6 2007
                                                    )                   Federal Communications Commission
                                                   )                          Office of the Secretary



                               SUPPLEMENTAL INFORMATION


        Sirius Satellite Radio Inc. ("Sirius"), by its counsel and as requested by the International

Bureau,‘ hereby supplements the above—referenced pending requests for special temporary

authority ("STA") to operate 11 terrestrial repeaters. As the Bureau is aware, Sirius has turned

off the repeaters at issue in these applications, and seeks authority to resume service to customers.

This supplement provides, in priority order, specific information for the following markets

affected by the loss of terrestrial repeater service: Harrisburg, Pennsylvania; Wilmington,

Delaware; Orlando, Florida; Detroit, Michigan; Atlanta, Georgia; Monterey, California;

Philadelphia, Pennsylvania; Greensboro, North Carolina; Akron, Ohio; Knoxville, Tennessee;

and Pebble Beach, California.




147 CFR. § 25.111.


L.      MARKET SPECIFIC ANALYSIS

        1.      The Commission Should Grant Sirius an STA for Its Repeater in
                Harrisburg, Pennsylvania.

        The International Bureau authorized Sirius to déploy a terrestrial repeater in Harrisburg,

Pennsylvania with the technical parameters that Sirius specified in its application for special

temporary authority ("STA"). Specifically, the STA approved a single—antenna repeater with a

beam width of 90° and an antenna height of 178 feei. However, Sirius‘ third party contractors

deployed a bi—sectorized, omni—directional antenna with a height of 290 feet. Additionally, as

built, the repeater has a power level of 1800 watts per sector — a power level far below the

authorized maximum of 22400 watts. The location of the actual repeater differs from the STA.

Recognizing that the technical parameters specified in its STA did not precisely match the

technical parameters of the as—built terrestrial repeater, Sirius turned off, and has not operated,

this terrestrial repeater since October 13, 2006.

       The public interest would be served by modifying Sirius‘ STA to specify the technical

parameters of the actual repeater. The repeater as built is much more spectrally efficient than the

operation originally authorized by the Commission because it more precisely fills gaps in Sirius‘

satellite service. As demonstrated by the Harrisburg coverage area map in Appendix A, Sirius‘

actual repeater covers 58.0% less area than was permitted by the STA and is more targeted to

areas where listeners might experience signal blockage. Moreover, because ofits precision, thé

repeater also can operate at less than one—tenth the originally authorized maximum power.

Moreover, Sirius received no interference complaints during the period it operated this repeater.

Accordingly, grant of the requested modification would maximize the quality of coverage to

subscribers through a substantially more efficient operation.

       Grant of the STA for the as—built repeater will restore service to the over 47,000 residents


of Harrisburg and the thousands of motorists who travel on the numerous major highways

surrounding the city, including Interstates 81, 83 and 76, U.S. Highways 322, 15 and 11, and

State Highways 581 and 944. Moreover, as the Commission is aware, since turning off the

repeater in October 2006, many customers previously accustomed to uninterrupted satellite radio

have experienced unsatisfactory service. Indeed, Sirius has received complaints from Harrisburg

residents regarding the loss of service. Until Sirius is permitted to turn on the Harrisburg

repeater, Sirius is unable to provide these customers with the high—quality satellite radio service

intended by the Commission.


        2.     The Commission Should Grant Sirius an STA for Its Repeater in
               Wilmington, Delaware.

        The repeater authorized by the International Bureau to operate in Wilmington, Delaware

is more powerful and has a greater antenna height than the repeater actually deployed by Sirius.

The STA granted by the Commission allows Sirius to Operaté a repeater with a 90° beam width

and a single 430—foot high antenna. Sirius has determined that it can provide more precise

coverage using a bi—sectorized repeater with a beam width of 90° and an antenna height of only

312 feet. Significantly, Sirius‘ as built repeater operates at a power level of only 2900 watts per

sector, a level well below the authorized maximum of 14100 watts. The location of the actual

repeater is very close to the location authorized by the STA. Recognizing that the technical

parameters of the actual repeater differ from those specified in the STA, Sirius turned off its

Wilmington repeater, and has not operated it since October 13, 2006.

       Grant of this STA to authorize the technical specifications of the actual repeater would

serve the public interest. The repeater deployed by Siriu’s’ 1s much more spéétrallj; effiyé’ient than

the repeater actually authorized by the Bureau because it more precisely fills p.ossib]e coverage

gaps from Sirius‘ satellite service. As evidenced by the Wilmington coverage map included in


Appendix A, Sirius‘ actual repeater covers 22.0% less terrain than the authorized repeater,

because the repeater is more precisely targeted to cover areas where listeners could experience

signal blockage. Because Sirius has been able to identify and cover these areas more accurately,

it has also been possible to lower the power drastically from the authorized power level of 14100

watts to a level of only 2900 watts per sector. Sirius has not received any interference

complaints during the period it operated this repeater

        Wilmington, Delaware has a population of over 72,000 residents. The repeater ensuring

high—quality satellite radio coverage to these residents, and to the thousands of motorists who

travel the eastern seaboard on interstate I1—95 has not operated since October 2006. Sirius has

received complaints from Wilmington residents regarding the loss of service. Grant of this STA

will allow Sirius to ensure that allof its subscribers in this area are able to receive high—quality

satellite radio service as intended by the Commission.


        3.     The Commission Should Grant Sirius an STA for Its Repeater in Orlando,
               Florida.                                                   '

        The International Bureau authorized Sirius to deploy a terrestrial repeater in Orlando,

Florida with the technical parameters that Sirius specified in its application for STA. Sirius was

authorized to deploy a single antenna repeater with a beam width of 80°, an antenna height of 90

feet, and a power level of 800 watts. Sirius deployed, through third party contractors, a single

antenna repeater with a beam width of 65°, an antenna height of 90 feet, and a power level of

7000 watts. The location of the actual repeater also differs from the STA. Recognizing that the

technical parameters specified in its STA did not match the technical parameters of the as—built

repeater, Sirius turned off, and has not opérated, this terrestrial repeater since October 13, 2006.

       Grant of this STA to authorize the technical specifications of the actual repeater would

serve the public interest. Although Sirius has deployed a more powerful repeater, Sirius has not


received any interference complaints during the period it operated this repeater.

        Orlando, Florida has a population of over 213,000 residents. The Orlando area also

encompasses many major roads, including Interstate 4, U.S. Highway 414 and State Highways

528 and 15, over which thousands of motorists travel daily. Grant of the STA for the as—built

repeater will ensure that Sirius is able to provide quality satellite radio service to these residents

and motorists. Additionally, as depicted in Appendix A, the actual repeater allows Sirius to

ensure satellite radio coverage to the Orlando International Airport, where potential customers

rent and drive Hertz cars with Sirius radios. Since turning off the repeater in October 2006,

Sirius has been unable to ensure quality coverage to all of these customers. To remedy this

potential harm to Sirius customers, Sirius thus urges the Bureau to grant this STA and permit

Sirius to resume operation of the Orlando repeater.


        4.     The Commission Should Grant Sirius an STA for Its Repeatef in Detroit,
               Michigan.

        Sirius was authorized by the Intémational Bureau to deploy a repeater in Lansing,

Michigan. The technical specifications for vthis repeater authorized Sirius to deploy a single

antenna repeater with a beam width of 90° and an antenna height of 345 feet. Sirius determined

that it could provide better coverage to its customers by deploying, through a third—party

contractor, a multi—sector repeater in Detroit, Michigan, with antennas that had beam widths of

only 28° and heights of only 150 feet. Additionally, Sirius‘ as built repeater operated at power

levels of only 225 watts — well below the authorized power level of 7000 watts. Recognizing

that the technical parameters of its STA did not match the technical parameters of the as—built

terrestrial repeater, Sirius turned off, and has not operated this repeater since Octéber 13, 2006.

        The public interest would be served by modifying Sirius‘ STA to specify the technical

parameters of the actual repeater. Sirius determined that a more spectrally efficient, precise


repeater in Detroit, Michigan, could more specifically target potential gaps in satellite coverage.

As evidenced by the coverage map of the Detroit repeater in Appendix A, the as built repeater _

covers an area that is 97.5% smaller than the authorized coverage area. Moreover, Sirius

recognized that this more targeted repeater could be operated at drastically lower power levels.

Consequently, rather than operating at the authorized power level of 7000 watts, Sirius was able

to operate the as built repeater at a power level of only 225 watts per sector, and rather than using

a beam width of 90°, Sirius was able to use a beam width of only 28°. Sirius received no

interference complaints during the period it operated this repeater.

        Grant of the STA for the as—built repeater will restore quality satellite radio service to the

over 888,000 residents of Detroit, Michigan. Additionally, as an area renowned for its

production of American—made cars, an increasing number of which contain Sirius radios, Sirius

seeks to ensure that all of these motorists receive quality satellite radio service. To remedy any

interruption of sgrvice to Sirius customers, Sirius urges the Bureau to grant this STA and permit

Sirius to resume operation of the Detroit repeater.


        5.     The Commission Should Grant Sirius an STA for Its Repeater in Atlanta,
               Georgia.

        The International Bureau authorized Sirius to operate a terrestrial repeater in Atlanta,

Georgia, to provide seamless satellite radio coverage throughout the city. The STA granted by

the Bureau authorized Sirius to deploy a single—antenna repeater with a beam width of90° and an

antenna height of 190 feet. In order to most effectively cover the Atlanta area, Sirius‘ third—party

contractors deployed a bi—sectorized repeater with a beam width of only 65° and an antenna

height of only 130 feet. Additionally, the as built repeater has a powef ]evelwérl;oinly 3500 watts

per sector, even though it was authorized to operate at a maximum of 7000 watts. The location

of the actual repeater also differs slightly from the authorized repeater. Because the technical


specifications of the granted STA did not match the precise technical parameters of the actual

repeater, Sirius turned off, and has not operated, this terrestrial repeater since October 13, 2006.

        The public interest would be served by modifying this STA to specify the technical

parameters of the actual repeater. The actual repeater is more spectrally efficient than the

operation authorized by the Comumission because it more accurately fills gaps in Sirius‘ satellite

service in and around the Atlanta area. In particular, the precision of the as built repeater allows

Sirius to isolate and to remedy specific gaps in coverage, such as areas where listeners may

experience signal blockage. Because of this precision, the as built repeater can operate at a lower

power level than was originally authorized by the Commission. Sirius has received no

interference complaints during the period it operated this repeater. Thus, grant of the requested

modification would maximize the quality of coverage to subscribers in Atlanta through more

efficient operation.

        Grant of the STA for Sirius‘ as—built repeater will restore service to the over 470,000

residents of Atlanta. Additionally, as demonstrated by the Atlanta coverage area map in

Appendix A, the as built repeater also provides uninterrupted service to the thousands of

motorists who travel daily through the roads and interstates in and around Atlanta, including

Interstates 75, 85 and 285 and State Highways 139, 166, 331 and 54. Prior to October 2006,

subscribers in Atlanta and traveling on Atlanta‘s busy roads had grown accustomed to high—

quality satellite radio service. Sirius urges the Bureau to grant the currently pending STA

application so that the company can once again provide this service.


       6.      The Commission Should Grant Sirius an STA for Its Repeater in Monterey,
               California.

       In Monterey, California, Sirius was authorized by the International Bureau to deploy a

single antenna repeater with a beam with of 180° and an antenna height of 135 feet. Sirius has


 developed a repeater that more precisely targets areas with specific satellite coverage problems.

This repeater, which has been located in a different site from its authorized site, is a multi—sector

repeater with three antennas. Each antenna has a beam width of 80° and a height of 110 feet.

Additionally, as built the repeater has a power level of only 250 watts per sector — a power level

far below the authorized maximum of 9000 watts. Recognizing that the technical parameters

specified in its STA did not match the technical parameters of the as built repeater, Sirius turned

off, and has not operated, this terrestrial repeater since October 13, 2006.

        The public interest would be served by modifying Sirius‘ STA to specify the technical

specifications of the actual repeater. The as built repeater is much more spectrally efficient than

the authorized repeater because it more precisely fills gaps in Sirius‘ satellite service. As

demonstrated by the Monterey, California coverage area map in Appendix A, Sirius‘ actual

repeater covers 44.0% less area than was permitted by the actual authorization and is more

targeted to areas where listeners might experience signal blockage. Additionally, although Sirius

was authorized to operate its Monterey repeater at a power level of up to 9000 watts, Sirius has

only found it necessary to operate its more spectrally efficient repeater at power levels of only

250 watts per sector. Sirius has received no interference complaints from the operation of the

Monterey repeater.

       Grant of the STA for the as built repeater will allow Sirius to resume ensuring quality

satellite coverage to the over 29,000 residents of Monterey, California. Since turning off the

repeater in October 2006, Sirius has been unable to ensure this quality service to these residents,

and to the many motorists traveling along the California coast on and around the surrounding

areas on State Highways 1, 68 and 218. Until Sirius is permitted to resume operation of the


Monterey repeater, Sirius is unable to provide these customers with the high—quality satellite

radio service intended by the Commission.


        7.     The Commission Should Grant Sirius an STA for Its Repeater in
               Philadelphia, Pennsylvania.

        The population of Philadelphia, Pennsylvania includes more than 1.4 million people. In

order to provide adequate satellite radio coverage to this population, and to the motorists

traveling on the area‘s numerous interstates and highways, including Interstates 76, 276 and 476

and U.S. Highways 202 and 30, Sirius‘ third party contractors deployed a repeater with two

antennas that have beam widths of 65° and 90°, power levels of 3500 watts and 2900 watts, and

heights of 60 feet. These technical specifications are smaller and less powerful than the repeater

Sirius was authorized by thé International Bureau to deploy, which included a single antenna .

with a 90° beam width, a power level of 7000 watts, and a height of 280 feet. Because the

technical specifications and the location of the actual repeater differ from the authorized repeater,

Sirius has turned off, and has not operated, this terrestrial repeater since October 13, 2006.

       The public interest would be served by modifying Sirius‘ STA to specify the technical

parameters of the actual repeater. As shown in the Philadelphia coverage map in Appendix A,

the as built repeater is much more spectrally efficient than the operation originally authorized by

the Commission because it more pfecisely fills gaps in Sirius‘ satellite service. Because of the

more precise coverage of the actual repeater, Sirius was able to lower to power levels from an

authorized level of 7000 watts to lower power levels of 3500 watts and 2900 watts per sector.

Sirius received no interference complaints during the period it operated this repeater.

Accordingly, grant of the requested modification would maximize the quality of coverage to

subscribers through a substantially more efficient operation.

       Grant of the STA for the as built repeater will allow Sirius to restore quality satellite


radio service to the city of Philadelphia. Since turning off the repeater in October 2006, Sirius

has been unable to ensure that these subscribers have had access to the same level of quality

satellite radio to which they had become accustomed. Operation of Sirius‘ repeater has not

caused harmful interference, but failure to operate this repeater since October 2006 has harmed

Sirius‘ customers. Until Sirius is permitted to turn on the Philadelphia repeater, Sirius is unable

to provide these customers with the high—quality satellite radio service intended by the

Commission.


        8.      The Commission Should Grant Sirius an STA for Its Repeater in
                Greensboro, North Carolina.

        The International Bureau granted Sirius authority to operate a repeater in Greensboro,

North Carolina with a beam width of 90° and an antenna height of 504 feet. Sirius, through a

third party contractor, deployed a bi—sectorized, omni—directional repeater with an antenna height

of 320 feet. Additionally, as built the repeater h;as a power level of only 1800 v,vatts per sector —

a level well below the authorized maximum of 141 00 watts. The location of the actual repeater

also differed from the authorized location. Recognizing that the technical parameters specified

in its STA did not precisely match the technical parameters of the as—built terrestrial repeater,

Sirius turned off, and has not operated, this terrestrial repeater since October 13, 2006.

        The public interest would be served by modifying Sirius‘ STA to specify the technical

parameters of the as built Greensboro repeater. Sirius‘ actual repeater was much more spectrally

efficient than the authorized repeater because it more precisely filled gaps in satellite coverage.

The actual repeater also operated at a considerably lower level of power than the authorized

power level; rather than operating at a power level of 14100 watts, the actualréréensboylr‘(‘)

repeater operated at a power level of only 1800 watts per sector. Moreover, Sirius received no

interference complaints during the period it operated this repeater.


                                                  10


        Grant of the STA for the as built Greensboro repeater will allow Sirius to ensure quality

satellite radio service to the over 231,000 residents of Greensboro. As shown in the coverage

map of Greensboro in Appendix A, grant of the STA will also ensure that more than 23,000

motorists traveling along Interstates 40, 85 and 840, and U.S. Highways 29, 70, and 220 daily do

not experience interruptions in service. The residents and motorists in the Greensboro area are

accustomed to a certain level of quality satellite radio. Until Sirius is permitted to turn on the

Greensboro repeater, Sirius is unable to provide these customers with the high—quality satellite

radio service intended by the Commission.


        9.     The Commission Should Grant Sirius an STA for Its Repeater in Akron,
               Ohio.                   —

       The International Bureau granted Sirius an authorization to deploy a repeater in Akron,

Ohio with the technical parameters specified by Sirius in its STA application. Specifically,

Sirius was authorized to deploy a single—antenna repeater with a beam width of 90° and an

antenna height of 150 feet. Sirius, through a third—party contractor, deployed a bi—sectorized

repeater with a beam width of 180° and antenna heights of 325 feet. Additionally, Sirius‘ as

built repeater has power levels of only 150 watts per sector, which is far below the authorized

power level of 14100 watts. The location of the actual repeater also differed from the authorized

location. Because of the inconsistency between the technical parameters of the authorized and as‘

built Akron repeater, Sirius turned off and has not operated the repeater since October 13, 2006.

       Grant of the STA to authorize the technical specifications of the actual repeater would

serve the public interest. The repeater deployed by Sirius more precisely fills the gaps in Sirius‘

satellite service. As shown in the Akron éoverage map in Appendix A, fhe actual repeater covers

an area that is 70.4% smaller than the authorized area. Sirius has been able to lower the power

level from an authorized level of 14100 watts to only 150 watts per sector. Moreover, Sirius


                                                 11


received no interference complaints during the period it operated this repeater.

        The city of Akron, Ohio has over 210,000 residents. The major interstate routes in the

Akron area, including Interstates 76, 77, and 277, U.S. Highway 224 and State Highways 8, 18

and 59 serve nearly 150,000 vehicles a day. Grant of the STA for the as built Akron repeater

will allow Sirius to continue to ensure quality satellite coverage to subscribers in and traveling

through Akron, Ohio. These customers had become accustomed to uninterrupted satellite radio

coverage throughout the area. Until Sirius is permitted to turn on the Akron repeater, Sirius is —

unable to provide these customers with the high—quality satellite radio service intended by the

Commission.


        10.    The Commission Should Grant Sirius an STA for Its Repeater in Knoxville,
               Tennessee.

        The International Bureau granted STA for Sirius to operate a single antenna repeater in

Knoxville, Tennessee. The repeater was authorized to operate using a 90° beam width and a 265

foot antenna. Sirius determined, however, that it could better provide satellite radio coverage by

deploying a bi—sectorized, omni—directional repeater with an antenna height of 332 feet.

Additionally, as built, the repeater has a power level of only 1800 watts, which is far below the

authorized maximum of 22400 watts. The location of the actual repeater also differs from the _

location authorized by the STA. Because of the discrepancy between the technical parameters of

the authorized repeater and Sirius‘ actual repeater, Sirius turned off and has not operated the

Knoxville repeater since October 13, 2006.

       Grant of the STA to authorize the technical specifications of the actual repeater would

serve the public interest. The as built repeater is much more spectrally efficient‘fh’;m the repeater

authorized by the Commission because it more precisely fills gaps in Sirius‘ satellite service. As

demonstrated by the Knoxville coverage map in Appendix A, the actual repeater covers 16.0%


                                                 12


 less area than the authorized repeater. This precision has also permitted Sirius to lower the

 power level to one—tenth of the power level authorized in the STA. Sirius has received no

 complaints of interference during the period it operated this repeater. Accordingly, grant of the

 requested modification would maximize the quality of coverage to subscribers through a

 substantially more efficient operation.

        In order to continue to ensure quality satellite radio coverage to the over 180,000

residents of Knoxville and the over 71,000 motorists that daily use the surrounding roads,

including Interstates 40, 75, 275, and 640 and State Highways 158 and 71, Sirius urges the

Bureau to grant the STA for the as built Knoxville repeater. Since turning offthe repeater in

October 2006, Sirius has been unable to ensure that subscribers in and around Knoxville are

provide&llthe same level of quality satellite radio to whiéh they were accustomed. To prevent

harm to these subscribers, Sirius requests authority to resume operation of the Knoxville

repeater.


        11.    The Commission Should Grant Sirius an STA for Its Repeater in Pebble
               Beach, California.

        The International Bureau granted Sirius an STA to operate a single—antenna repeater with

a beam width of 90° and an antenna height of 45 feet in Pebble Beach, California. Sirius found

that it could provide better service to customers in and around Pebble Beach by deploying a bi—

sectorized, omni—directional antenna with a height of 50 feet. Additionally, the as built repeater

has a power level of only 1800 watts per sector, even though it was authorized to operate at a

maximum of 7000 watts. The location of the actual repeater is slightly removed from the

location authorized by the STA. Recognizing that the technical parameters of the actual repeater

differ from those specified in the STA, Sirius turned off its Pebble Beach repeater, and has not

operated it since October 13, 2006.


                                                13


         Grant of the STA to authorize the technical specifications of the actual repeater will serve

 the public interest. As shown in the Pebble Beach coverage map in Appendix A, the as built

 repeater is more spectrally efficient than the repeater authorized by the Commission because it

 more accurately fills gaps in Sirius‘ satellite service. Additionally, Sirius has been able to lower

 the power level from an authorized 7000 watts to a power level of only 1800 watts per sector.

 Sirius received no interference complaints during the period it operated this repeater. Grant of

 the requested modification would maximize the quality of coverage to Sirius subscribers in and

 around Pebble Beach.

         Grant of the requested STA for this as—built repeater will ensure quality satellite radio

 service to the over 4,500 residents of Pebble Beach and the many motorists who travel daily on

 surrounding roads, including State Highways 1 and 68. Since turning off the repeater in October

| 2006, Sirius has been unable to ensure that subscribers have access to the uninterrupted satellite

 radio service to which they had become accustomed. Until Sirius is permitted to turn on the

 Pebble Beach repeater, Sirius is unable to provide these customers with the high—quality satellite

 radio service intended by the Commission.


 II.     CONCLUSION

        As evidenced by the supplemental information provided for each of the affected markets,

 grant of STA will not cause harmful interference and will allow Sirius to provide high—quality

 satellite radio service to its customers. Therefore, Sirius urges the grant the requested STA

 without further delay.




                                                  14


                             Respectfully submitted,

                             Wiley Rein LLP



                             By:     /s/ Robert L. Pettit
                                   Robert L. Pettit
                                   Jennifer D. Hindin
                                   Colleen King
                                   Wiley Rein LLP
                                   1776 K Street NW
                                   Washington, DC 20006

Dated: April 26, 2007              Counselfor Sirius Satellite Radio Inc.




                        15


                           CERTIFICATE OF SERVICE

       I, Christy Wright Hammond, do hereby certify that on this 26"" day of April 2007,
I caused copies of the foregoing "Supplemental Information" to be delivered to the
following via First Class U.S. mail:


Larry Walke
National Association of Broadcasters
1771 N Street, NW
Washington, DC 20036—2800




                                                       /s/ Christy Wright Hammond
                                                        Christy Wright Hammond


APPENDIX A


                                                           Akron, OH — Repeater Coverage Plot
                                                                                                                                                        —Percentage Change in Coverage
                                                                                                                                                      | Area = —70.4




Granted STA Akran, OH
Numberof Sectors = 1
Antennia= HMOS8YIO—ROS—H
Beamwidth= 90            ‘
Azimuth = 320
Cowntiit= 0
EIPP=14100 W
Longitude:= §1—30—1 4.00
Latitude= 41—03—53.00
Height= 150

Actual Repeater Akron, OH
Numberaf Sectors= 2 | _
Antenna= HMDOSPY!T80O—ROS—H                                                                                                               ;                                      J          {                  .
Beamwidth = 180                         ;          }                  /:         ue             t           414            :                          \                          "A, e                 w sls
Azimuth=
Downtilt=
          Gand 180        _   |=            !_               C             2 & Noptt                        ts 4sl                   \—           Mea l                                                |_          e
          0                                 4000                            *                                                                             A5         40   1203       [E         Actual Repeater
EIPP‘= 150 W per sector                       ‘        .         [s   J          ‘        60¥   &   ¢             2o   P   e                                   L.¥          fo l                Coverage Area
Longitude= 81—31—09.00             re                  L                    an       in     B               m o        t       P l            1                h                 e
Latitude= 41—04—53.80         £                        *              ‘                                 :                                                                                       :Granted STA
Height= 325                                                                                                                                                                               [§] Repeater Coverage
                                                                                                                                                                                                Area


                               Atlanta, GA — Repeater Coverage Plot
                                                                      ~Percentage Change in
                                                                       Coverage Area = 30.5

   o              35| in
    Pm
    —., miles




Granted STA Atlanta, GA
Number of Sectors=1
Antenna= EMS FR3801 7—O00NVL
Beamwidth = 80
Azimuth = 220
Downtilt = 0
EIPP= 7000 W
Longitude= §4—25—30.26
Latitude= 33—39—35.60
Height= 199


Actual Repeater Atlanta; 6A
Number of Sectors = 7. _ _
Antenna= EMS FR65—1 8—00NVL
Beamwidth = 65
Azimuth = 160 and 230
                                                                                     Actual Repeater
Downtiit= 0
                                                                                  ~" Coverage Area
EIPP = 3500¥Y¥ per sector
Longitude = 84—25—54.7018                                                            Granted STA
Latitude = 33—39—37.40                                                               Repeater Coverage
Height= 130                                                                          Area


                                 Harrisburg, PA — Repeater Coverage Plot
                                                                           Percentage Change in
                                                                           Coverage Area= —58.0




Granted STA Harrisburg, PA
Number of Sectors=1     _
Antenna= HMD8Y30—RO5—H
Beamwidth= 90           '
Azimuth = 140
Cowntiit= 0
EIPP= 22400 W
Longitude= 76—586—45.00
Latitude = 40—19—07:00
Height= 178

Actual Repeater Hatrisburg, PA
Number of Sectors =2>    [ _
Antenna= Andrew HMOSV38O
Beamwidth= 360
Azimuth = 0
Downtilt = 0
EIPP= 1800W¢ per sector .
                                                                                      ~Actual Repeater
                                                                                      iCoverage Area
Longitude = 76—52:45 .14
Latitude= 40—15—36.01                                                                 :‘Granted STA
Height= 290                                                                           Repeater Coverage
                                                                                       Area


                                     Lansing/Detroit, MI — Repeater Coverage Plot
                                 1
Actual Repeater
                    Percentage Changein                                             Granted STA Lansing, M
Coverage Area
                                                                                    Number of Sectors= 1‘
                    Coverage Area= —97 .5                                           Antenna =EMS FRQQ—17—00NVWL
Granted STA
Repeater Coverage                                                                   Beamwidth = 90
Area                                                                                Azimuth = 120
                                                                                    Downtilt= 0
                                                                                    EIPP = 7000 vY       o.
                                                                                    Longitude = 84—33—07 .21
                                                                                    Latitude = 42—43—56.76
                                                                                    Height= 345

                                                                                    Actual Repeater Detroit, MI
                                                                                     Number of Sectors =2
                                                                                    Antenna= DBS92HG28N—S
                                                                                    Beamwidth = 28

                                                                                    Downtilt= 0
                                                                                    EIPP = 225¥¥ per sector
                                                                                    Longitude = 83—18—56.52
                                                                                    Latitude = 42—22—57.65
                                                                                    Height= 150




                                                                                            es           Detroif
                                                                                                         Actual }
                                                                                                         Site


                                   Monterey, CA — Repeater Coverage Plot
                                                                               Percentage Change in
                                                                               CoverageArea= —44.1




Granted STA Monterey, CA
Number of Sectors = 1
Antenna= HMOBPY180—ROS—H
Beamwidth = 180
Azimuth = 180
Cowntilt= 0.
EIPP = 9000 V
Longitude = 121—51—24.00
Latitude = 36—36—286.00
Height= 135


Actual Repeater Monterey; CA
Number of Sectors = 3 _
Antenna= EMS RV8O—18—00NYV
Beamwidth = 80
Azimuth =1 2002300350
                                                                                        Actual 'fiepeater |
Downtilt = 0
                                                                                        CoverageAréa
EIPP = 250WW per sector                                               .
Longitude= 121—53—38.4                      hok )                          0            Cranted STA
Latitude = 36—36—02.10         w                se                &                     Repeater Coverage
Height= 110                    &                     :                                  Area


                                      Orlando, FL — Repeater Coverage Plot
                                                          Gae       CC               ~$264
                                               |                                             x                  Percentage Change in
                                      \                                                      ~                  Coverage Area= 149.9




Granted STA Orlando, FL
Number of Sectors=1
Antenna =EMS RV8O—18—O00NY
Beamwidth= 80            |
Azimuth= 130
Downtiit= 0
EIPP= 800 W
Longitude= §1—2041.7.6
Latitude = 28—27—15.7
Height= 90:

Actual Repeater Orlanda; FL
Number of Sectors =A1 _
Antenna= EMS FR6S—18—O0NVL
Beamwidth = 65                            u4




                                                                                                                                  wue
Azimuth = 120                         &
Cowntilt= 0
                                                                                                                        Actual Repeater
EIPP = 7TO0OYY                             m                                                      .                     Coverage Aréa
Longitude= 81—21—54,00                                               &
Latitude = 28—28—51.00                              .                _                           § .        ‘           :Granted STA
Height= 90       _                                 [1z}         ~    |       '                   Ciig                   Repeater Coverage
                              —   P                                      .       C                      ;               Area


                                   Pebble Beach, CA — Repeater Coverage Plot
                                                                               Percentage Change in
                                                                               Coverage Area =6.9




Granted STA Pebble Beach, CA
Number of Sectors = 1      |
Antenna= EMS FR30—17—00NVL
Beamwidth= 90              |
Azimuth = 270
Downtilt= D
EIPP= 7000 W
Longitude= 121—55—198:00
Latitude =36—35—10.00
Height= 45                                                                                                  —
Actual Repeater Pebble Beach, CA
Number of Sectors = 2 | |
Antenna = Andrew HMDSV360—RO5—H
Beamwidth= 360         |
Azimuth= 0
Downtilt= 0                                                                              ~
EIPP= 1800W per sector                                                                       Actual Repeater
                                                                                                uo ePArea
                                                                                             Coverage
Longitude=121—55—22.50
Latitude= 36—35—9.70                                                                         Granted STA
Height= 50                                                                                   ~Repeater Coverage
                                                                                             Area


                                   Philadelphia, PA — Repeater Coverage Plot
                                                                               Pércentage Change in
                                                                               Coverage Area= 0.4




Granted STA Philadelphia, PA
Number of Sectors=1
Antenna= EMS FR90—1 7—O00NVL
Beamwidth = 90
Azimuth = 300
Cowntilt= 0
EPP = 7000 Y¥
Longitude= 75—1247411.16
                                                                                   ranted STA
Latitude = 40—00—1 1 .52
Height= 280

Actual Repeater Philadelphia, PA
Number of Sectors = 2          —
Antenna= EMS FR65/80—17—O00NVL
Beamwidth= 65. and 90
Azimuth = 30 and 315
Downtilt= 0
                                                                                                Actual Repeater
EIPP = 3§500¥¢¥ and 29000                                                                       Coverage Aréa
Longitude = 75—19—32.00
Latitude= 40—04—06.00                                                                           Granted STA |
Height= 60                                                                                      Repeater Coverage
                                                                                                Area


                                             Wilmington, DE — Repeater Coverage Plot
                                                                        _ fls                       C Percentage Change in            /
                                                                   -m¢' _                            Coverage Area= —22.0




                                                                                               a




                                                                          ftonActual rd peater ©,




                    a
                     i

Granted STA Wilmington, DE
Numbeéer of Sectors =1
Antenna = HMOSY80—ROS—H
Beamwidth = 90
Azimuth = 225                      .
Downtift= 0.                       £*°
EIPP = 14100 W
Longitude= 75—32—49.00
Latitude= 39:44—53.00
Height= 430

Actual Repeater Wilmington DE:|,
Number of Sectors= 2 °_
Antenna= EMS FR80—417—O00NVL
Beamwidth = 90
Azimuth= 190 and 260
                                       199




Cowntilt= 0
                                       se




                                                                                                                   Actual Repeater
EIPP = 2900 YY per sector                                                                                          Cm.-erage Area
Longitude= 75—32—48.6$
Latitude= 39—44—53.:58                                                                                         4   Granted STA
Height= 312                                                                                                        Repeater Coverage
                                                                                                                   Area


                                Greensboro, NC — Repeater Coverage Plot
                                                                            Percentage Change in
                                                                          _ Coverage Area=5.4




                                                                                                         mennds
Granted STAGreensbora, NC
Number.of Sectors:=1
Antenna=HMDSYVI0—ROS—H
Bearmwidth= 90—
Azimuth =240
Downtilt=0
EIPP=14100 w¥
Longitude =79—45—38.10
Latitude =36:05—10.30
Height= 504

Actual Repeater Greensboro, N
Number of Sectorse = 2
Antenna= HMDSPY360—RO5—H
Beamwidth= 360
Azimuth= 0
Downtilt= 0
EIPP = 41800WW per—sector                                                           ‘Actual Repeater
                                                                                     Coverage Area
Longitude=79—47—28.90
Latitude= 36—04—30;50                                                                Granted STA
Height= 320                                                                          Répeater Coverage
                                                                                     Area


                                          Knoxville, TN — Repeater Coverage Plot
                                                                                   /Percentage Change
                                                                                    in Coverage Area=
                                                                                    16.0




Granted STA Knoxville, TN
Number of Sectors= 1
Antenna= HMD8YSO—ROS—H
Beamwidth = 90            :
Azimuth = 90
Downtilt= 0
EIPP= 22400 W
Longitude = 84—01—22.60
Latitude = 35—57—46.:20
Height= 265


Actual Repeater Knowille; TN
Number afSecters= 2           _   _
Antenna= Andrew HMDSV3G6O—R
Beamwidth = 360
Azimuth=0
Downtilt= 0
                                                                                        Actual Repeater
                                                                                         Coverage Area
EIPP = 1800v¢ per sector
Longitude =83—54—58.40                ‘                                                  Granted ‘S’Th
Latitude = 35—57—45.30                                                                   Repeater Coverage
Height= 332                                                                              Area



Document Created: 2007-05-01 10:50:39
Document Modified: 2007-05-01 10:50:39

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