Attachment June 2011 Supplement

June 2011 Supplement

SUPPLEMENT submitted by Turner

Supplement and Waiver

2011-06-29

This document pretains to SES-ASG-20090911-01155 for Assignment on a Satellite Earth Station filing.

IBFS_SESASG2009091101155_911871

                                 [(Tarrmer
                                      A TimeWarner Company

                                          June 29, 2011

Karl Kensinger,
Associate Division Chief
Jeanette D. Spriggs
Satellite Division
International Bureau
Federal Communications Commission
445 12"" Street, S.W.
Washington, DC 20554

Re:    SUPPLEMENT TO DESCRIPTION OF TRANSACTION AND WAIVER
       REQUEST
       IBFS File Nos. SES—ASG—20090911—01155, SES—ASG—20090911—01162, and
       SES—ASG—20090911—01163

Dear Mr. Kensinger and Ms. Spriggs:

       The following information is submitted to clarify the description of the transaction
submitted as part of this application, and to request waiver of Section 25.119(f) of the
Commission‘s rules.

        Cable News Network, LP, LLLP (the "Assignor") was a wholly—owned, direct subsidiary
of Turner Broadcasting System, Inc. ("Turner") and the original licensee of the licenses involved
in the above—referenced applications. On December 31, 2006, Turner‘s controlling 10 percent
general partnership interest in the Assignor was contributed to Turner‘s wholly owned
subsidiary, CNN Investment Company, Inc. ("Investment Co."), which at that time held the
remaining 90 percent limited partnership interest. Immediately thereafter, the Assignor was
merged into Investment Co., the latter of which was the surviving entity. Investment Co.
simultaneously changed its name to Cable News Network, Inc. All of these events occurred on
the same day, and resulted in a pro forma transfer of control of the Assignor, immediately
followed by a pro forma assignment of the licenses to Cable News Network Inc. The above—
referenced applications also sought approval for the additional pro forma assignment of the
licenses from Cable News Network, Inc. to the assignee identified in the above—referenced
applications.

        The applicants hereby request waiver of Section 25.119(f) for submission of a notice of
consummation more than 60 days after the grant of the application. A notice of consummation
was originally submitted on February 16, 2010 for this application, reporting a consummation
date of December 31, 2006. That notice of consummation erroneously did not distinguish
between a prior pro forma reorganization that was consummated on December 31, 2006, and the
consummation of the pro forma assignment to the assignee. The consummation of the pro forma
assignment to the assignee occurred on June 28, 2011.

       Please direct any questions you have on this matter to Michael G. Jones at 202—303—1141,
mjones@willkie.com, Willkie Farr & Gallagher LLP, 1875 K Street, N.W., Washington, D.C.
20006.


       Please direct any questions you have on this matter to Michael G. Jones at 202—303—1141,
mjones@willkie.com, Willkie Farr & Gallagher LLP, 1875 K Street, N.W., Washington, D.C.
20006.

                                                   Very truly yours,

                                                        ichdlo %ym
                                                   Michelle Hylton
                                                   Senior Counsel



Document Created: 2011-07-25 11:59:03
Document Modified: 2011-07-25 11:59:03

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