Attachment Supplement

Supplement

SUPPLEMENT submitted by Horizon Mobile Communications, Inc. (Horizon)

Supplement

2007-02-16

This document pretains to SES-LFS-20070109-00042 for License to use Foreign Satellite (earth) on a Satellite Earth Station filing.

IBFS_SESLFS2007010900042_551558

                                      [E Lampert & O‘Connor, P.C.
                                                 rrgiesueet w                     RECEIVED
                                              Washington, DC 20006
                                                                                    FeB 2 1 2007           nswan
rabtntimam                                                                                   owiah         PM#
                                                                                   internatonal Burea
                                               February 16, 2007
  Via Hand Delivery                                                          FiLep/AccerteD
  Marlene H. Dortch                                                             gee 1 6 2007
  Secretary              2                                                                     conninien
  Federal Communications Commission                                          ruveonnoerizn
  445 12" Street, N.W.
  Washington, DC 20554
          Re:—    TTC—214—20070110—00021;
                  ISP—PDR—20070129—00001
                  SES—LEs—200701             on
  Dear Ms. Dortch:

         Horizon Mobile Communications,Inc.(‘Horizon"),by ts attomeys, hereby supplements
 the above—referenced applications to provide the following information regarding the principal
 place of business ofthe entities in Horizon‘s vertical ownership chain. Specifically, set forth
 below is information regarding the principal place ofbusiness! ofSatCom Group Holdings, Ple
 and each owner ofHorizon identified in Horizon‘s above—referenced application for authority to
 provide Broadband Global Area Network (*BGAN") services."
         *    SatCom Distribation, Inc. (owner of 100% ofstock of Horizon Mobile
              Communications, Inc.J:
         (1) County ofincorporation, organization or charter: United States (Delaware
         corporation).


 * The informationprovided conforms o the Commision‘s estalished tetfo establishingprincpal place of
 busines. See Foreign Ownership Guidelines for FCC Common Carier and Aeronautcal Radio Licenses, 19 FCC
 Red 22012 (1B 2004 In re Applications of Space Sutions Syatem License, Inc. and Prdium ConstelationLLC,
 Memorandn Opinien Order and Authorization, 17 FCC Red 2271 (2002)

* in additin, Horizon claifies thatthe srvices fr which it secks authoriyare limited to BGAN servics provided
via the Inmarsat 4F2 srelite, As described in Horison‘ applications, BGAN provides mobilebroadband access o
e—mail, locl area ntworks,the Iatemet,intanetextrants, video conferencing services, ideoon—demand, ad voice
communications from nearly anywhere in the world.


[®@rampert & O‘Connor, P.C.
   Marlene H. Dortch
  February 16, 2007
  Page 2
               (2) Nationality of all investment principals, officers, and directors: Mr. Mark White
               and Ms. Alexandra Johnson are citizens ofthe United Kingdom. Mr. Adam Thompson is
               a citizen of the United States
               (3)       Country in which its world headquarters is located: United Kingdom.
               (4) Country in which the majority of its tangible property, including production,
               transmission, billing, information, and control facilities, is located: United Kingdom:
            (5)         Country from which it derives the greatest sales and revenues from its operations:
               United Kingdom
            *        SatCom Distribution, Ltd. (owner of 100% of the stock of SatCom Distribution, Inc.)

           (1)          County of incorporation, organization or charter: United Kingdom.
           (2)    Nationality of all investment principals, officers, and directors: Messrs. White
           and Martin Ward and Ms. Johnson are citizens of the United Kingdom. Mr. Thompson is
           a citizen of the United States.

           (3)          Country in which its world headquartersis located: United Kingdom.
           (4) Country in which the majority of its tangible property, including production,
           transmission, billing, information, and control facilities, is located: United Kingdom.
           (5)         Country from which it derives the greatest sales and revenues from its operations:
          United Kingdom.
           *     SatCom Group Holdings Pie (owner of 100% ofthe shares of SatCom Distribution,
                 Lid)

          (1)          County ofincorporation, organization or charter: United Kingdom.
          (2) Nationality of allinvestment principals,officers, and directors: Messrs. White
          and Ward and Ms. Johnson are citizens ofthe United Kingdom. Two non—exccutive
          directors, Mr. Richard Vos and Mr. Stephen Austin, also are citizens of the United
          Kingdom.
          (3)          Country in which its world headquarters is located: United Kingdom.
          (4) Country in which the majority of its tangible property, including production,
          transmission, billing, information, and control facilites, is located: United Kingdom.


[®Lampert & O‘Connor, P.C.
   Marlene H. Dortch
  February 16, 2007
  Page 3

             (5)      Country fromwhich it derives the greatest sales and revenues fromits operations:
             United Kingdom.
            *      Mark B.White (owner of 19.43% of SatCom Group Holdings Pl)

            (1) County of incorporation, organization or charter: Mr. White is a citizenofthe
            United Kingdom
            (2)       Nationality of all investment principals, officers, and directors: Not applicable.
            (3)      Country in which its world headquarters is located: Not applicable
            (4) Country in which the majority of is tangible property, including production,
            transmission, billing, information, and control facilites, is located: Not applicable
            (5)      Country from which it derives the greatest sales and reventies from its operations:
            * Adam C. Thompson (owner of 19.04% of SatCom Group Holdings Ple)
           (1)       County of incorporation, organization or charter: Mr. Thompson is a citizen of
           the United States.


           (2)       Nationality of all investment principals, officers, and directors: Not applicable
           (3)       Country in which its world headquarters is located: Not applicable.
           (4) Country in which the majority of is tangible property, including production,
           transmission, billig, information, and control facilties, is located: Not applicable.
           (5)       Country from which it derives the greatest sales and revenues from its operations:
           Not applicable
           * Alexandra M Johnson (owner of 19.04% of SatCom Group Holdings Ple)

           (1)      County ofincorporation, organization or charter: Ms. Johnson is citizen of the
           United Kingdom.
           (2)      Nationality of allinvestment principals, officers, and directors: Not applicable
           (3)      Country in which its world headquarters is located: Not applicable


[®zampert & O‘Connor, P.C.
  Marlene H. Dortch
  February 16, 2007
  Page 4
            (4) Country in which the majority of its tangible property, including production,
            transmission, billing, information, and control faciliies, is located: Not applicable
            (5) Country from which it derives the greatest sales and revenues from its operations:
            Not applicable
            *     Martin C. Ward (owner of 19.04% of SatCom Group Holdings Ple)

            (1) County of incorporation, organization or charter: Mr. Ward is a citizen of the
            United Kingdom.
            (2)      Nationality ofall investment principals, officers, and directors: Not applicable:
            (3)      Country in which its world headquarters is located: Not applicable.
           (4) Country in which the majority of its tangible property, including production,
           transmission, billing, information, and control faciliies,is located: Not applicable.
           (5)      Country from which it derives the greatest sales and revenues from its operations:
           Not applicable.
           Should there be any questions regarding the foregoing, kindly contact Horizon‘s
    undersigned undersigned.
                                           Respectfully submitted,
                                              >     ut
                                           E& /tat *4 2.tA..
                                           E. Ashton Johnston


   ce      Susan O‘Connell, Interational Bureau
           Howard GriboiT, International Bureau
           Jennifer A. Manner, Esq., Mobile Satellite Ventures Subsidiary LLC
           Bruce D. Jacobs, Esq.,Pillsbury Winthrop Shaw Pittman LLP
           David S. Konezal, Esg, Pillsbury Winthrop Shaw Pittman LLP
           Diane J. Comell, Esg., Inmarsat, Inc.
           Jeffrey A. Marks, Esq., Latham & Watkins LLP



Document Created: 2007-02-23 16:38:37
Document Modified: 2007-02-23 16:38:37

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