Attachment Clarification

This document pretains to SES-LIC-20051123-01636 for License on a Satellite Earth Station filing.

IBFS_SESLIC2005112301636_472274

                                                   @
                               LEVENTHAL SENTER & LERMAN PLLC




                                            December 14, 2005


STePHEN D. BaRUcH                                                                                   EMALL
   (202)416—6782                                                                             SBARUCH@LSL—LAW.COM

                                                                                                  DIRECT FAX
                                                                                                 (202) 429—4626




    BY HAND DELIVERY:
    Ms. Marlene H. Dortch
    Secretary
    Federal Communications Commission
    445 12"" Street, S.W., Rom TW—B204
    Washington, D.C. 20054

                                   Re:    Application of Lockheed Martin Corporation for
                                          Brewster, WA Earth Station to Operate with the
                                          RPS—2 Satellite, File No. SES—LIC—20051123—01636

    Dear Ms. Dortch:

              Lockheed Martin Corporation ("Lockheed Martin"), by its attorney and pursuant to
    Section 25.110(a) of the Commission‘s Rules, 47 C.F.R. § 25.110(a), hereby provides the
   following clarifying information regarding the "receive" element of its above—referenced
   proposed transmit/receive earth station in Brewster, Washington. In its application, Lockheed
   Martin identified its proposed earth station as "transmit/receive" in response to Question No. 26
   on FCC Form 312, as the station will uplink to Lockheed Martin‘s RPS—2 satellite in the 6 GHz
   band and will receive radionavigation—satellite service ("RNSS") signals from the satellite in the
   1176 MHz and 1574 MHz bands. Specifics on the technical characteristics of both directions
   were provided in response to the information requests in Schedule B of the FCC Form 312.
   Lockheed Martin is providing this clarification, in response to a Commission request for
   additional information, to advise the Commission that it does not seek any independent or
   additional protection — beyond that to which it is entitled by virtue of its license from the
   Commission granting it authority to transmit from the RPS—2 satellite in the 1176 MHz and 1574
   MHz frequency bands — for the reception of RNSS signals at the proposed Brewster, Washington
   station. Therefore, as it is Lockheed Martin‘s understanding that there is no requirement to have
   an earth station license from the Commission to receive the RNSS signals transmitted from the
   RPS—2 satellite in the 1176 MHz and 1574 MHz frequency bands, the information in the
    application pertaining to these bands may be considered as having been provided for information
    only.


                                                &
Ms. Marlene H. Dortch
December 14, 2005
Page 2




          Please let me know if there are any questions regarding the foregoing clarification.

                                                Respecifully submitted,


                                                               hS
                                                 ephen 1). Baruch
                                               Attorneylfor Lockheed Martin Corporation

c6:       Scott Kotler (by e—mail)
          Jennifer Warren




#222832



Document Created: 2005-12-15 09:19:37
Document Modified: 2005-12-15 09:19:37

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