Attachment Telenor's response

Telenor's response

LETTER submitted by Telenor Satellite, Inc.

Telenor's response

2006-09-14

This document pretains to SES-AMD-20060804-01310 for Amended Filing on a Satellite Earth Station filing.

IBFS_SESAMD2006080401310_529900

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                                                                                   Stamp and Returm é_/ telenor
                                                                                                                                  Keith H. Fagan
                                                                                                                                  Senior Counsel




                                                                   September 14, 2006                                         RECEIVED
       Ms. Marlene Dortch                                                                                                        SEP 1 4 2006
       Secretary       2o           20.                                                                                   Faderal Communications Commission
       Federal Communications Commission                                                                                           Office of Secratary
       Washington, DC 20554

                    To:         International Bureau

                   Re:         File No. SES—MFS—20060725—01253
                               File No. SES—AMD—20060804—01310
                               Call Sign E980136

       Dear Ms. Dortch:

               On September 8, 2006, Mobile Satellite Ventures Subsidiary LLC ("MSV") filed a
       petition to hold in abeyance the above—referenced application. The petition seeks to raise issues
       with respect to the possible use by Telenor of the 1545.8—1548 MHz band. As a general matter,
       Telenor should have the ability to use any portion of the L—band that is currently used by
       Inmarsat to serve the United States, However, Telenor‘s application for this particular earth
       station does not seek authority to use the frequencies identified by MSV. The antenna in
       question is used exclusively for the FAA/WAAS program and, as MSV admits, Telenor has
       already told the Bureau (and MSV) that those frequencies are not needed for that program. See
       Telenor Satellite, Inc., Opposition, File No. SES—MFS—20060130—00172 (April 6, 2006). Thus,
       MSV‘s rationale for holding this application in abeyance is utterly baseless, and MSV knows it.
       MSV should stop burdening the Commission and the parties with these spurious petitions.

                                                                                 Respectfully submitted,



                                                                                 Keith    H. Fagan

       ce:         David Konczal, Esq.
                   Jeffrey Marks, Esq.




Telenor Satellite Services Holdings, Inc.   Address:                    Telephone:          E—mail:                                                   |
                                            1101 Wootton Parkway        +1 301 838 7860     keith.fagan@telenor—usa.com                               [
                                            10th Floor                  Fax:                Web site:                                                 |
                                            Rockville, MD 20852 USA     +1 301 838 7752     telenor.com/satellite                                     i
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Document Created: 2006-09-15 10:02:13
Document Modified: 2006-09-15 10:02:13

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