Attachment Dismissal letter

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

IBFS_SESAMD2006080401310_568744

                           Federal Communications Commission
                                   Washington, D.C. 20554


                                                                                         DA 07—1362


                                           March 20, 2007


Keith H. Fagan
1101 Wootton Parkway
10th Floor
Rockville, MD 20852

                                                   Re: Call Sign E980136
                                                       File No. SES—MFS—20060725—01253
                                                       File No. SES—AMD—20060804—01310
                                                       File No. SES—AMD—20060918—01749
                                                       File No. SES—AFS—20061115—02010


Dear Mr. Fagan:

         On July 25, 2006, Telenor Satellite, Inc. (Telenor) filed the above—captioned application
to modify the license for earth station E980136 located in Santa Paula, CA. The application was
amended on August 4, September 18, and November 15, 2006. Telenor also filed a request for
Special Temporary Authority (STA) to operate the earth station on July 25, 2006. In the
modification application, as amended, Telenor seeks authority to add the United Kingdom‘s
Inmarsat—3F4 satellite located at the 142° W.L. orbit location as a point of communication, using
the L—Band" and extended C—Band" frequencies. It also seeks to add a 1.8 meter L—band antenna
to the earth station license. For the reasons stated below, pursuant to Section 25.112(a)(1) of the
Commission‘s rules, 47 C.F.R. §25.112(a)(1), we dismiss the applications, as amended, as
defective without prejudice to refiling.

           In the cover letter to the November 15, 2006 amendment, Telenor indicates the earth
station will transmit in the 6454.32—6456.52 MHz band. This is inconsistent with Telenor‘s
Schedule S, in which Telenor lists the frequency band used by the Inmarsat—3F4 satellite as
6454.4—6456.6 MHz. Thus, we cannot determine the exact bands in which the earth station will
operate.

          Further, earth station operators seeking to add a non—U.S.—licensed satellite as a point of
communication are required to provide all the information for that satellite that is required of U.S.
satellite license applicants." Sections 25.114(d)(7) and 25.140(b)(2) of the Commission‘s rules,
47 C.F.R. §§25.114(d)(7) and 25.140(b)(2), require applicants to submit an interference analysis


_   1574.4—1576.6 MHz band.

2   3629.4—3631.6 and 6454.32—6456.52 MHz bands.

* See 47 C.FR. §25.137.


                                      Federal Communications Commission                          DA 07—1362


 to demonstrate that the proposed system is compatible with any space station operating 2 degrees
 away from the proposed space station. Telenor‘s interference analysis is based on a maximum
 EIRP of 78 dBW.* However, in response to item E48 of Schedule B in its modification
 application, Telenor indicates the maximum EIRP for the r.f. carrier is 83 dBW. While
 acknowledging this discrepancy, Telenor only supplies an interference analysis based on a 78
 dBW value.

          For these reasons, we dismiss Telenor‘s application as defective. If Telenor chooses to
 refile the application, we request that Telenor pay particular attention to the frequency band and
 bandwidths with which the earth station will operate. We note that another application proposed
 to provide the same service via the same satellite with slightly different operating frequencies."
 Consequently, we request Telenor to verify that its proposed operating frequencies are correct
 before any refiling.

         Finally, we note that Mobile Satellite Ventures Subsidiary LLC (MSV) filed comments
pertaining to Telenor‘s use of the 1545.8—1548 MHz band. Because we are dismissing the
application, we do not address MSV‘s concerns here.

         Accordingly, pursuant to Section 25.112(a)(1) of the Commission‘s rules, 47 C.F.R.
 §25.112(a)(1), and Section 0.261 of the Commission‘s rules on delegations of authority, 47
 C.F.R. §0.261, we dismiss the above—captioned applications without prejudice to refiling."


                                                       Sincerely,
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                                                       Scott A. Kotler
                                                       Chief, Systems Analysis Branch
                                                       Satellite Division
                                                       International Bureau


ce:       David S. Konczal
          Pillsbury Winthrop
          Shaw Pittman, LLP
          2300 N Street, NW
          Washington, DC 20037—1128




* Telenor application, File No. SES—MFS—20060725—01253, table A12—3 (Navigation C—L and C—C link
budgets), table A17—1 (Summary of the C—band feederlink transmission parameters) and Sections S13 (1),
(j) and (k) of the schedule S.

°_    See File No. SES—MFS—20060615—01010 as amended by SES—AMD—20061213—02137.

° If Telenor refiles an application identical to the one dismissed, with the exception of supplying the
corrected information, it need not pay an application fee. See 47 C.F.R. Section 1.1109(d).



Document Created: 2019-04-18 10:41:35
Document Modified: 2019-04-18 10:41:35

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