Attachment Request

Request

REQUEST FOR SUPPLEMENTAL INFORMATION submitted by FCC

Request for amendment

0000-00-00

This document pretains to SES-LIC-20040528-00749 for License on a Satellite Earth Station filing.

IBFS_SESLIC2004052800749_394453

                   FEDERAL COMMUNICATIONS COMMISSION
                          WASHINGTON, D.C. 20554


                                    September 3, 2004

Robert G. Allen, P.C.
9300 Forest Point Circle
P.O. Box 2126
Manassas, VA 20108

                                             Re:    Telco214, Inc. (“Telco214”)
                                             File Nos: SES-LIC-20040528-00747
                                                       SES-LIC-20040528-00748
                                                       SES-LIC-20040528-00749
Dear Mr. Allen:

Upon review of the above-captioned applications to request authority to operate a fixed
earth station located in Melbourne, Florida we find inconsistencies in the data provided
for points of communication, and we find that particulars of operation do not qualify for
routine authorization. We require that you provide the following information within 20
calendar days of the date of this letter, or the applications will be dismissed.


       1. Intelsat 511, 603, and 605, requested as Points of Communication by
          Telco214, are not at the locations specified in the application. Specifically,
          Intelsat 511 is no longer operational, Intelsat 603 is currently located at 340
          E.L. not at 335.5 E.L., and Intelsat 605 is at 33 E.L not at 332.5 E.L.
          Consequently, we are not able to determine the satellites with which Telco214
          seeks to communicate. If Telco214 refiles, it must accurately identify the
          satellites with which it seeks to communicate, the orbit locations at which they
          are operating or are authorized if not yet launched, and the frequency bands in
          which operations to and from each satellite will occur.

       2. For application SESLIC2004052800747, the EIRP density of 56.8
          dBW/4KHz entered for the emissions 2M46G7W and 205KG7W in Item E49
          of Schedule B, with gain of 56.8 for the antenna, results in an input power
          density of 0.0 dBW/4KHz, which exceeds the criteria for routine authorization
          for digital signals for the proposed transmit band 5925 to 6425 MHz. For
          applicatio n SESLIC2004052800748, the EIRP density of 53.9 dBW/4KHz
          entered for the emissions 2M46G7W and 205KG7W in Item E49 of Schedule
          B, with gain of 53.9 for the antenna, results in an input power density of 0.0
          dBW/4KHz which exceeds the criteria for routine authorization. Also, the
          emission 2M46G7W shows an eirp of 81.8 dBW, which is greater than
          possible with the stated maximum input power of 200 watts, or 23.01 dBw,
          and gain of 53.9. For application SESLIC2004052800749, the EIRP density


         of 53.9 dBW/4KHz entered for the emissions 2M46G7W and 205KG7W in
         Item E49 of Schedule B, with gain of 53.5 for the antenna, results in an input
         power density of 0.4 dBW/4KHz, which exceeds the criteria for routine
         authorization. To allow us to continue with review of these applications, you
         will need to either (1) amend the values for eirp density or other variables to
         values that meet criteria for routine authorization; or (2) provide date in the
         form of charts or tables that clearly show that the off axis eirp resulting from
         the values presently proposed is less than or equal to the off axis eirp that
         would result from an operation conforming to our criteria for routine
         authorization, or (3) obtain affidavits from operators of satellites adjacent to
         the points of communication for your proposed operation stating that those
         operators are aware of the particulars of the proposed operation and have no
         objection. In any case, you will need to insure that all data provided is
         consistent.

      3. We also note that for the frequency bands listed, 3700 to 4200 MHz for the
         downlink and 5925 to 6425 MHz for the uplink, ALSAT would include
         Satmex 5, Solaridad 2, and all Intelsat satellites, and that, if the values for eirp
         and eirp density result in power density conforming to our criteria for routine
         authorization, then ALSAT is permissible for points of communication, but
         not otherwise.

                                             Sincerely,

                                             William Howden
                                             Chief
                                             System Analysis Branch
                                             Satellite Division
                                             International Bureau

cc: Telco214, Inc.
2571 Kirby Avenue
Melbourne (Palm Bay)
Florida, 23901



Document Created: 2019-05-14 08:15:17
Document Modified: 2019-05-14 08:15:17

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