Attachment Narrative

This document pretains to SAT-STA-20140523-00054 for Special Temporal Authority on a Satellite Space Stations filing.

IBFS_SATSTA2014052300054_1047958

                                 Sirius XM Radio Inc.
                             Request for Extension of Special
                          Temporary Authority for FM-6 Satellite

Satellite CD Radio LLC, a wholly-owned subsidiary of Sirius XM Radio Inc. (“Sirius
XM”), herein requests an additional 180 days, commencing June 6, 2014, of the Special
Temporary Authority (“STA”) previously granted1 to conduct performance testing and
TT&C of the FM-6 satellite (call sign S2812) at the 120.5° W.L. orbital.

Sirius XM has previously received authority to conduct in orbit testing (“IOT”) of the
FM-6 spacecraft at 120.5° W.L. for 180 days, commencing approximately 30 days after
launch of the satellite, and to use TT&C both to support IOT at 120.5° W.L. and to drift
the satellite to its permanent location at 116.15° W.L.2 With this STA request, Sirius XM
seeks to extend the authorized period of FM-6’s operations at 120.5° W.L. to allow for
performance testing and continued TT&C. Sirius XM currently expects the performance
testing to end by December 2014. After performance testing is complete, Sirius XM will
relocate FM-6 to its permanently licensed location at 116.15° W.L.

Sirius XM will conduct performance testing and TT&C in the satellite’s authorized
frequency bands:

7051.5 – 7052.5 MHz and 7055.5 – 7056.5 MHz (command)
2320.0 – 2332.5 MHz (service transmissions and telemetry)
7060.0 – 7072.5 MHz (uplink)

Grant of this STA will serve the public interest by ensuring continued quality satellite
radio services to customers. As the Commission is aware, the FM-6 satellite, a
geostationary orbit (“GSO”) satellite, ultimately will be used in conjunction with Sirius
XM’s FM-5 satellite (call sign S2710) to replace Sirius XM’s current non-geostationary
satellite orbit (“NGSO”) constellation (call sign S2105) launched in 2000.3 The
performance testing of FM-6 at 120.5° W.L. will include a series of tests to confirm the
signal quality and service availability of this GSO satellite. The tests generally would
monitor the satellite’s signal reception on the ground using current and future subscriber
receivers.

Grant of this request will not cause harmful interference to other satellite operators.
Sirius XM won exclusive satellite rights to the 2.3 GHz S-band spectrum at auction and
will coordinate internally its performance testing and TT&C operations with its other in-
orbit satellites. No other satellite operators will be affected by Sirius XM’s use of these
1
         Policy Branch Information: Actions Taken, Public Notice, Report No. SAT-00973, DA 13-1935,
File No. SAT-STA-20130701-00091 (Sept. 20, 2013).
2
         Id.; Policy Branch Information; Actions Taken, Public Notice, Report No. SAT-00805, DA 11-
1498, File No. SAT-MOD-20110525-00099 (Sept. 2, 2011).
3
        Id.


frequencies. Moreover, the testing and TT&C will not cause harmful interference to the
operations of any other spacecraft. No satellites use the S-band or X-band frequencies
within two degrees of 120.5° W.L.

Sirius XM agrees to comply with the conditions set forth in its existing STA during the
additional 180 day period. In light of the above, Sirius XM respectfully requests
Commission approval of this STA request.



Document Created: 2019-04-17 13:55:43
Document Modified: 2019-04-17 13:55:43

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