Attachment Clarification

This document pretains to SES-AMD-20040116-00057 for Amended Filing on a Satellite Earth Station filing.

IBFS_SESAMD2004011600057_383497

White & Case LLP                           Tel t 1 202 626 3600
601 Thirteenth Street, NW                  Fax t 1 202 639 9355
Washington, DC 20005-3807                  www.whitecase.com



Direct Dial + 202-626-3635   mmechanick@whitecase.com
                                                                          JUL 2 1 2004
         July 2 1,2004                                              FEDERAL COMMUNXATIONS COMMIXlOh
                                                                          OFFICE OF THE SECRETARY

         Marlene H. Dorch
         Secretary
         Federal Communications Commission
         Office of the Secretary
         Suite 100,236 Massacusetts Ave., N.E.
         Washington, D.C. 20002

         Re: Clarification of SWE-DISH Satellite Communications, Inc., FCC File Nos. SES-
             LIC-20030910-01236; SES-AMD-20040116-005.7


         Dear Ms. Dorch:

                 With regard to the Minor Amendment to the above captioned application filed yesterday
        with the Federal Communications Commission, the available downlink frequencies on the PAS
        1R satellite over the U.S. are in the 10.95-11.2 GHz and the 11.45-11.7 GHz bands and, as such,
        SWE-DISH’S request for use of the PAS-IR satellite would be for international use only and in
        such case would utilize those downlink frequencies. Further, with respect to the other five
        satellites with which SWE-DISH has requested authority to operate (Telstar 11, AMC 5 , AMC 3
        Telstar 6 and Galaxy 3C), this will reconfirm that use of those satellites would be for U.S.
        domestic use only and would utilize the downlink frequencies 11.7-12.2 GHz for this purpose.
        In providing this clarification, SWE-DISH’S sole objective to is to try to eliminate any confusion
        about the application in order to facilitate its prompt consideration by the Commission.

         Sincerely,



                      U
        Maury J. Mechanick
        Attorney for SWE-DISH Satellite
        Communications, Inc.

        cc: T. Tycz, J. Martin, S.Ghavami, FCC Satellite Division


                                 CERTIFICATE OF SERVICE



I hereby certify that a true and correct copy of the foregoing was sent by first-class mail, postage

prepaid, this 21thday of July, 2004, to the following:


William Coulter
Counsel to AvL Technologies
Coudert Brothers, LLP
1627 Eye Street, N.W.
Washington, D.C. 20006

Robert Mansbach
Counsel to Intelsat
htelsat Global Service Corporation
3400 International Drive, N.W.
Washington, DC 20036

Joe Godles
Counsel to PanAmSat
        a
Goldber , Godles, Wiener & Wright
1229 19' Street, N.W.
Washington, D.C. 20036

Marvin Shoemake
Executive Vice President
TriPoint Global
4825 River Green Parkway
Duluth, GA 30096




                                                              Maury J.&&I    anick



Document Created: 2004-07-23 11:00:59
Document Modified: 2004-07-23 11:00:59

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