Attachment Narrative

This document pretains to SAT-STA-20110401-00067 for Special Temporal Authority on a Satellite Space Stations filing.

IBFS_SATSTA2011040100067_880048

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


                                                    )
In the Matter of                                    )
                                                    )   Call Sign S2232
ECHOSTAR CORPORATION                                )
                                                    )   File No. SAT-STA-2011__________
Application to Renew its Special Temporary          )   File No. SAT-STA-20110225-00036
Authority to Operate EchoStar 6 at 76.95° W.L.      )   File No. SAT-STA-20110207-00026
                                                    )
                                                    )


             APPLICATION TO RENEW SPECIAL TEMPORARY AUTHORITY

       By this Application, EchoStar Corporation (“EchoStar”)1 requests renewal of its Special

Temporary Authority (“STA”),2 under Section 25.120(b)(3),3 for an additional 60 days to operate

the EchoStar 6 satellite from the 76.95º W.L. orbital location. The current STA expires on April

11, 2011.4



       1
         On February 24, 2011, EchoStar Corporation filed an application requesting consent to
the pro forma assignment of its authorization to operate the EchoStar 6 satellite (Call Sign
S2232) and the associated special temporary authority to operate the satellite at 76.95 W.L. to
EchoStar Satellite Operating Corporation. File No. SAT-ASG-20110224-00033 (filed Feb. 24,
2011). EchoStar requests that, in the event this STA request is granted prior to consummation of
the pro forma assignment, that EchoStar be authorized to assign any authority granted in
response to this request on a pro forma basis to EchoStar Satellite Operating Corporation.
       2
         In conjunction with this application, EchoStar is filing an application to renew its STA
to operate three transmit/receive earth stations to provide TT&C and feeder link service to
EchoStar 6 while it is located at 76.95 W.L.
       3
           47 C.F.R. § 25.120(b)(3).
       4
          File No. SAT-STA-20110225-00036 (granted Mar. 1, 2011). The technical parameters
of the satellite and its operations were provided in the Technical Annex and Schedule S
submitted with the original application. See File No. File No. SAT-STA-20110207-00026 (filed
Feb. 7, 2011).


        EchoStar 6 arrived at the 76.95 W.L. orbital location on February 13, 2011, and began

providing service on February 14, 2011. The relocation was prompted by a single event upset

(“SEU”) that temporarily affected the EchoStar 8 satellite.5 On March 14, 2011, EchoStar filed

an application to transfer the satellite to QuetzSat, S. de R.L. de C.V. (“QuetzSat”), which will

operate the satellite under Mexican authority from the 76.95 W.L. orbital location.6 EchoStar

also filed an application to modify its blanket earth station authorization to provide service from

the Mexican-licensed EchoStar 6 satellite.7 This request is necessary to allow EchoStar to

continue operating EchoStar 6 while these applications remain pending.

        The Mexican concessionaire for the 77 W.L. orbital location informed COFETEL of

EchoStar 6’s relocation, and COFETEL “expressed no objection to placement of the Echo 6

satellite in the 77 W cluster.”8


I.      BACKGROUND

        The nominal 77º W.L. orbital location is allotted to Mexico under the Region 2

Broadcasting-Satellite Service plan set forth in Appendices 30 and 30A to the International

Radio Regulations. In addition to the EchoStar 6 satellite, EchoStar currently operates three

Direct Broadcast Satellite (“DBS”) service satellites at the nominal 77° W.L. orbital location

under Mexican authority issued to its partner, QuetzSat, S. de R.L. de C.V. (“QuetzSat”):

        5
         See Letter from Petra A. Vorwig, Counsel for EchoStar Corporation, to Marlene H.
Dortch, Secretary, FCC, filed in File No. SAT-T/C-20090217-00026 (Feb. 1, 2011).
        6
            See File No. SAT-T/C-20110314-00054 (filed Mar. 14, 2011).
        7
        See File No. SES-MFS-20110314-00288 (filed Mar. 14, 2011) (“Blanket Earth Station
Application”).
        8
         See Letter from Ricardo Ríos Ferrer, Legal Representative, QuetzSat, S. de R.L. de
C.V., to EchoStar Satellite Service LLC (Feb. 4, 2011), filed in File No. SAT-STA-20110207-
00026, Attachment 2.



                                                -2-


EchoStar 1, EchoStar 4, and EchoStar 8. The satellites are used by EchoStar’s customer DISH

Network L.L.C. (“DISH”) and DISH Mexico, to provide DBS service in the United States and

Mexico, respectively. The U.S. service includes local-into-local programming in a number of

markets in the southern United States.

       EchoStar 6, operating with EchoStar 1 and EchoStar 8 at 77 W.L., will provide

sufficient capacity to avoid service disruptions from that slot in the event any of the satellites

experience a problem. EchoStar 1, a satellite launched in December 1995, has limited capability

(only up to 16 transponders), and EchoStar 4, having reached the end of its design life, has been

retired from commercial service.


II.    GRANT OF THIS APPLICATION IS IN THE PUBLIC INTEREST

       Renewal of EchoStar’s STA to operate EchoStar 6 at 76.95 W.L. is in the public interest

because it will continue to ensure the provision of DBS service to the United States, including

the provision of local-into-local service in the southern United States, and ensure continuity of

receipt of both national and local programming for the subscribers of EchoStar’s customer,

DISH, by providing spare capacity at 77 W.L. in the event EchoStar 1 or EchoStar 8 suffers a

problem.

       The continued operation of EchoStar 6 at 76.95º W.L. also will not cause harmful

interference to any other U.S.-licensed satellite operator. There is no DBS orbital location in the

vicinity of 77° W.L. that is assigned to the United States (the closest U.S. location is 61.5°

W.L.). There will likewise be no harmful interference from the operation of an additional

satellite at 76.95 W.L. into Canada’s DBS allotments at 72.5º W.L. and 82º W.L. There is an

existing coordination agreement between Mexico and Canada regarding the Mexican 77° W.L.

orbital location and the Canadian orbital locations 82° W.L. and 72.5° W.L. EchoStar will


                                                 -3-


operate EchoStar 6 within the specifications of this coordination agreement as well as the

informal operator-to-operator arrangement it has established with DIRECTV to ensure

compatibility among their satellites operating at 77° W.L. and 72.5° W.L., respectively.

EchoStar will also abide by the conditions imposed on the original grant.9

       Finally, the continued operation of the EchoStar 6 satellite at 76.95º W.L. will not create

any risk of in-orbit collision. EchoStar 6 will be maintained within +/- 0.05º east/west station-

keeping, which will ensure that its station-keeping volume will not overlap with EchoStar’s own

satellites at 77º W.L.


III.   WAIVER PURSUANT TO SECTION 304 OF THE ACT

       In accordance with Section 304 of the Communications Act of 1934, as amended,

47 U.S.C. § 304, EchoStar hereby waives any claim to the use of any particular frequency or of

the electromagnetic spectrum as against the regulatory power of the United States because of the

previous use of the same, whether by license or otherwise.


IV.    CONCLUSION

       For the foregoing reasons, EchoStar respectfully requests the grant of its application to

renew its special temporary authority to operate EchoStar 6 at the 76.95° W.L. orbital location

for an additional 60 days.




       9
           File No. SAT-STA-20110207-00026 (granted Feb. 11, 2011).



                                               -4-


                                   Respectfully submitted,



                                            /s/
Pantelis Michalopoulos              Alison Minea
Petra A. Vorwig                     Corporate Counsel
L. Lisa Sandoval                    EchoStar Corporation
Steptoe & Johnson LLP               1110 Vermont Avenue, NW, Suite 750
1330 Connecticut Avenue, NW         Washington, D.C. 20005
Washington, D.C. 20036              (202) 293-0981
(202) 429-3000
Counsel for EchoStar Corporation


April 1, 2011




                                    -5-



Document Created: 2011-04-01 17:44:18
Document Modified: 2011-04-01 17:44:18

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