Attachment STA Request

This document pretains to SAT-STA-20100614-00132 for Special Temporal Authority on a Satellite Space Stations filing.

IBFS_SATSTA2010061400132_822117

             June 14, 2010

             Ms. Marlene H. Dortch
             Secretary
             Federal Commumcatlons Commission
             445 Twelfth Street, S.W.
             Washington, D.C. 20554

JP tssat
             Re:       Request for Special Temporary Authority to Operate Intelsat 603 in C—
                       and Ku—band Frequencies for 180 Days at 11.5° E.L.; Call Sign: $2399

             Dear Ms. Dortch:<                        |                j                                      \

             Intelsat North Amerlca LLC ("Intelsat") herein requests Spe01a1 Temporary
             Authority ("STA*")‘ for 180 days to operate certain C— and Ku—band
             communications frequencies, along with TT&C carriers, on the Intelsat 603
             satellite (call sign $2399) at 11.5° E.L.

             The Intelsat 603 satellite is currently located at 11.5° E.L.* and operating
             pursuant to an FCC grant of STA in the 4040—4200 MHz (space to.Earth)and
             6265—6425 MHz (Earth to space) frequencies, along with TT&C carriers."
             Intelsat also has a pending request to re—flag Intelsat 603 from United States
             licensing to United Kingdom licensing.* Until such time as the exchange of
             licensing administrations can occur, Intelsat seeks STAto operate additional C—
             andKu—band frequencies on the Intelsat 603 satellite at 11.5° E.L., along with >


             ‘ Intelsat has filed this STA request, an FCC Form 159 and an $830.00 fihng fee
             electronically.—via the International Bureau‘s Filing System.

             * See Intelsat North America LLC Applicationfor Special Temporary Authority
             for Intelsat 603 Satellite, §2399, File No. SAT—STA—20091209—00143 (filed
             Dec. 9, 2009; granted with conditions Mar. 4, 2010).

             * See Intelsat North America LLC Applicationfor Special Temporary Authority
           _ for Intelsat 603 Satellite, §2399, File No. SAT—STA—20100519—00104 (filed
             May 19, 2010; granted with conditions May 20, 2010; expires June 18, 2010).
             Intelsat will file a renewal request for an additional 30 days to operate in the
             4040—4200 MHz (space to Earth) and 6265—6425 MHz (Earth to space)
             frequencies, along with TT&C carriers, no later than June 15, 2010.

            \4 See Intelsat North America LLC Application to Transfer Control ofIntelsat
             603 Space Station Authorization to United Kingdom Licensing Authority, File
             No. SAT—T/C—20100112—00008 (filed Jan. 12, 2010; supplemented February 16,
             2010).



             Intelsat Corporation
             3400 International Drive NW, Washington DC 20008—3006 USA www.intelsat.com T+1 202944—6800 E+1 202—944—7898


Ms. Marlene H. Dortch
June 14, 2010
Page 2 .      '
                                                                          C


the C—band frequencies and TT&C carriers previously authorized. Intelsat will
concurrently file a 30—day STA to operate in these additional bands so as to
meet the service demands of a U.S. Government customer.

Operational Frequencies: The spec1fic communications frequencies for which
Intelsat seeks authority are:

       3700—4200 MHZ
       5925—6425 MHz®_
       10950—11200 MHz >
       11450—11700 MHz
       14000-14500 MHz

TT&C Frequencies: The spe01fic TT&C frequenc1es are:

Telecommand frequencies:         6173.7 MHz (LHCP) and 6176.3 MHz(LHCP)
Telemetry frequencies: |        3947.5 MHz (RHCP), 3948.0 MHz (RHCP),
                                3952.0 MHz (RHCP) and 3952.5 MHz (RHCP)

Geographic Service Area: The communications frequencies being requested
here will be received or transmitted through C—band beams that cover Europe,
Africa, and small portions of Asia and South America and two Ku—band spot
beams that cover east Africa and portions of the Middle East.

Waivers: Intelsat requests that, to the extent necessary, the Part 25 waivers
originally granted to the Intelsat 603 spacecraft continue to apply at the 11.5°
E.L. location, namely, the waivers of Sections 25.202(g), 25.210(a)(1),       _| _
25.210(a)(3), 25.210(c), 25.210(i) and 25.211(a) of the Commission‘s rules.‘

Conditions. Intelsat agrees to accept the following conditions on its use of the
10950—11200 MHz and 11450—11700 MHz frequencies:
                                  \




5 Intelsat does not seek STA to operate Intelsat 603‘s 3625—3700 MHz payload.

© Intelsat does not seek STA to operate Intelsat 603‘s 5850—5925 MHz payload.

" See Applications ofIntelsat LLCfor Authority to Operate and Further
Construct, Launch, and Operate C—Band and Ku—Band Satellites that Form a
Global Communications System in Geostationary Orbit, 15 FCC Red 15460,
15529(Appendix C) (2000) (Memorandum Opinion and Order and
Authorization), recon. denied, 15 FCC Red 25234 (2000) (Order on
Reconsideration).                     |


  Ms. Marlene H. Dortch _
  June 14, 2010
— Page 3>


            (1) Operations in the 10950—11200 MHz and 11450—11700 MHz
            frequency bands shall comply with the terms of footnote US211 to the
         United States Table of Frequency Allocations, 47 C.F.R. § 2.106,            ‘
         US211, which urges applicants for airborne or space station assignments
         to take all practicable steps to protect radio astronomy observations in
         the adjacent bands from harmful interference.

          (2) Operations in the 10950—11200 MHz and 11450—11700 MHz
        ~ frequency bands are limited to international operations in accordance
          with footnote NG 104 to the United States Table of Frequency
          Allocations, 47 C.F.R. § 2.106, NG 104, and footnote 2 of Section
         25.202(a)(1) of the Commission‘s rules, 47 C.F.R. § 25.202(a)(1).

  Grant of this application will serve the public interest by allowing Intelsat to
  operate in additional C— and Ku—band frequencies on the Intelsat 603 satellite
 and thus best meet its customers‘ needs — in particular, a U.S. Government
 .customer seeking immediate coverage of the Middle East. Intelsat‘s prior
  request for STA contained only a limited number of frequencies required to
  transition two customers off the NSS—S5 satellite. In addition;, grant of this
  request will provide additional time for the FCC and regulatory agency in the
  United Kingdom, Ofcom, to reach an understanding on the transfer of licensing
  responsibility for the Intelsat 603 spacecraft.

  Grant of this STA is not expected to cause any harmful interference. Intelsat
  will operate the C—band frequencies at levels low enough to ensure the
  protection of the W2A satellite operated by Eutelsat, which is the only C—band
  satellite within 5° of 11.5° E.L. Intelsat 603‘s Ku—band beams are pointed and
  will be operated in such a way that they have significant spatial and/or
  polarization isolation with respect to the operation of Eutelsat satellites at 10°
  E.L. and 13° E.L. Moreover, Intelsat agrees to operate the frequencies
  identified above on a non—interference, non—protected basis and in the unlikely
  circumstance that interference is generated to any other satellite, Intelsat agrees _
 ‘to immediately cease transmissions until the interference concerns of the
  interfered—with operator are satisfactorily resolved.

' Upoh grant, Intelsat shall prepare and submit to the FCC materials for
  submission to the ITU, pursuant to No. 8.4 of the Radio Regulations, in >
  connection with the operation of Intelsat 603 at 11.5° E.L.


Ms. Marlene H. Dortch
June 14, 2010‘
Page 4
 ,                          .
For the reasons set forth herein, Intelsat respectfully requests that the
Commission expeditiously process and grant this request for STA for 180 days
to operate certain C— and Ku—band frequencies on Intelsat 603 at 11.5° E.L.
                                               I

                                (

Sincerely,

/s]) Susan‘H. Crandall

Susan H. Crandall
Assistant General Counsel
Intelsat Corporation



cc: Bob Nelson
     Karl Kensinger
     Kathyrn Medley
     Stephen Duall



Document Created: 2019-04-19 05:49:36
Document Modified: 2019-04-19 05:49:36

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