2015 HNS Ka Band Rep

OTHER submitted by HNS License Sub, LLC

Section 25.145(f)(2) Report

2016-03-17

This document pretains to SES-LIC-20061226-02232 for License on a Satellite Earth Station filing.

IBFS_SESLIC2006122602232_1130286

                                          March 17, 2016

BY ELECTRONIC FILING

Ms. Marlene H. Dortch
Secretary, Federal Communications Commission
445 12th Street, SW
Washington, DC 20554
ATTN: International Bureau

RE:        Section 25.145(f)(2) Report for Call Signs E060445 and E110149


Dear Ms. Dortch:

        HNS License Sub, LLC (“Hughes”) hereby submits the annual report that Section
25.145(f)(2) of the Commission’s Rules requires of holders of licenses for blanket earth stations
that operate in the fixed-satellite service in the 20/30 GHz bands.1

        Hughes is the licensee of Ka-band blanket licensed earth stations under Call Signs
E060445 and E110149. The antennas under Call Sign E060445 are primarily used to communicate
with the SPACEWAY 3 and EchoStar XVII satellites, which are operated by Hughes’s corporate
parent in the 20/30 GHz frequency bands at the nominal 95° W.L. and 107° W.L. orbital locations,
respectively. The antennas under Call Sign E110149 are gateway antennas used to communicate
with the EchoStar XVII satellite at the nominal 107° W.L. orbital location.

         Commercial operation of the SPACEWAY 3 satellite commended in April 2008, and
commercial operation of the EchoStar XVII satellite commenced in October 2012. As of
December 31, 2015, approximately 1,016,000 user terminals of various types authorized under the
license for Call Sign E060445 had been brought into service via SPACEWAY 3 and EchoStar
XVII. As of the same date, 14 earth terminals authorized under the license for Call Sign E110149
had been brought into service via EchoStar XVII.

       Please associate this submission with the above-referenced licenses, and contact me if you
have any questions or require any additional information.



                                                 Respectfully submitted,


                                                 Jennifer A. Manner
                                                 Vice President, Regulatory Affairs

cc:        Columbia Operations Center




1
    47 C.F.R. § 25.145(f)(2).



Document Created: 2016-03-17 17:44:20
Document Modified: 2016-03-17 17:44:20

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