Attachment STA Extension Reques

This document pretains to SAT-STA-20100503-00091 for Special Temporal Authority on a Satellite Space Stations filing.

IBFS_SATSTA2010050300091_813925

SIRIUS XM
                 RADIO INC.
1500 Eckington Place, NE
Washington, D.C. 20002
Tel: 202—380—4000
Fax: 202—380—4500
waw.sinlus.com www.xmradio.com


May 3, 2010

Via IBFS
Ms. Marlene H. Dortch, Secretary
Federal Communications Commission
445 12th Street, S.W.
Washington, D.C. 20554

        Re:     Sirius XM Radio Inc.
                Request for Extension of 180—Day Special Temporary Authority to Operate
                Two Low Power Terrestrial Repeaters in Kokomo, Indiana
                File No. SAT—STA—20091104—00116

Dear Ms. Dortch:

        Pursuant to Section 25.120(b)(2) of the Commission‘s rules, 47 C.F.R. § 25.120(b)(2),
Sirius XM Radio Inc. ("Sirius XM"), a satellite radio licensee in the Satellite Digital Audio
Radio Service, hereby requests extension ofthe above—referenced Special Temporary Authority
("STA") to operate in its licensed frequency band multiple two low powerterrestrial repeaters,
each with an average Effective Isotropically Radiated Power ("EIRP") of 800 watts. Sirius XM
requests that the Commission renew this STA for a period of 180 days or until the Commission
issues a blanket license for repeaters used in connection with satellite radio. Absent renewal, this
STA is scheduled to expire on May 10, 2010.‘


        Sirius XM currently operates one of the repeaters in connection with the legacy Sirius
frequency band (2320—2332.5 MHz) and one of the repeaters in connection with the legacy XM
Radio Inc. (*XM") frequency band (2332.5—2345 MHz), pursuant to the STA granted by the
International Bureau on December10, 2009. Sirius XM has not changed technical parameters


    ‘   Because this request is timely, pursuant to Section 1.62 of the Rules, this STA will
continue in effect without further action by the Commission until such time as the Commission
shall make a final determination with respectto this request. See 47 C.F.R. § 1.62.


Ms. Marlene H. Dortch
May 3, 2010
Page 2


for the repeaters since the original grant of the STA and is not herein requesting modification of
any ofthose parameters. Renewing this STA will serve the public interest by enabling Sirius
XM to continue to provide quality service to Delphi employeesat its facility in Kokomo, Indiana
and in the surrounding area. Without these low powerterrestrial repeaters, Sirius XM cannot
provide the signal quality that Delphi needs to continue its process of developing and testing new
satellite radios at the facility.

Sirius XM has been using the repeaters authorized in the above—referenced STA for over 180
days and is not aware of any incidents where the equipment has caused any interference to other
radio services. Sirius XM emphasizes that the repeaters operate at a power level ofnot more
than 800 watts. Asthe Bureau acknowledged in granting Sirius XM‘s original repeater STA
requests, and the WCS licensees have confirmed, operating terrestrial repeaters at an EIRP of
2000 watts or less does not pose interference concerns."

Sirius XM will continue to comply with the conditions the Commission imposed in granting the
above—referenced STA to operate the repeaters. These conditions and the technical parameters of
the repeaters have provided sufficient protection to other radio services. Therefore, prompt grant
ofSirius XM‘s extension request will allow for the continued reception of the SDARS signal in
the Kokomo, Indianaarea.

Please direct any questions regarding this matter to the undersigned.


                                                     Véry truly yours,


                                                     J    W\—
                                                         ce President, Regulatory Counsel


    * See XM Radio, Inc., Application for Special Temporary Authority to Operate Satellite
Digital Audio Radio Service Complimentary Terrestrial Repeaters, Order and Authorization, 16
FCC Red. 16781 4 12 ("The comments from WCS licensees express concern about blanketing
interference from DARS repeaters that operate with an Equivalent Isotropically Radiated Power
(EIRP) above 2 kW."). Moreover, in March 2007, the WCS Coalition said that it will defer from
objecting to STA requests that propose operations of no more than 2,000 watts EIRP, even if
they do not specify peak or average EIRP, provided that grant of the STA (i) is conditioned on
operation on a non—interference basis; and (ii) is subject to the condition that the issue of peak
versus average EIRP will be addressed in the pending DARS rulemaking (IB Docket No. 95—91).
See Letter from Paul J. Sinderbrand, Counsel to the WCS Coalition, to Ms. Helen Domenici,
FCC, File No. SAT—STA—20061207—00145 (March 19, 2007). Sirius XM agrees to these
conditions.


Ms. Marlene H. Dortch
May 3, 2010
Page 3




ge:      Stephen Duall, FCC International Bureau
         Jay Whaley, FCC International Bureau
         Sankar Persaud, FCC International Bureau



Document Created: 2019-04-14 12:23:58
Document Modified: 2019-04-14 12:23:58

© 2024 FCC.report
This site is not affiliated with or endorsed by the FCC