Attachment Ex Parte Statement

Ex Parte Statement

Ex PARTE PRESENTATION NOTIFICATION LETTER submitted by Paul Holland-McLean

The Boeing Company Application

2008-06-11

This document pretains to SES-LIC-20080527-00678 for License on a Satellite Earth Station filing.

IBFS_SESLIC2008052700678_646094

From: Scott Kotler
Sent: Wed 6/11/2008 9:20 AM
To: Paul Holland — McLean
Subject: RE: E080128 — 0.96m AVL

Unfortunately, I cannot comment on any pending matters. The 2 degree rules are shown in Part
25 and the ex—parte rules are listed in Part 1. Formal comments to a pending application on PN
must be filed within 30 days of the application being placed on PN. Given this email, | will treat it
as an ex—parte statement and will upload it into IBFS.

Scott Kotler
Chief, Systems Analysis Branch
Satellite Division
International Bureau
Federal Communications Commission
Phone: +1 202—418—0596



From: Paul Holland — McLean [mailto:Paul.Holland@Spacenet.com]
Sent: Wed 6/11/2008 9:01 AM
To: Scott Kotler
Subject: EO80128 — 0.96m AVL

Hi Scott,

I saw in last week‘s public notice that the FCC placed the Boeing application for a
submeter AVL 0.96 meter antenna to be used in the FSS Ku—band with an "ALSAT"
designation. No antenna off—axis gain performance documents were attached, but
I‘m pretty sure this antenna does not meet the performance required in Part
25.209. The maximum antenna input power spectral density applied for was —14
dBW/4kHz, so there was no reduction in the maximum allowed under Part 25.134
and 212. For example 128KG7W has an EIRP of 42.2 dBW with transmit gain of 41.2
dBi this translates to —14.0 dBW/4kHz. I was wondering if the FCC had changed its
position and was now allowing 0.96 meter antennas to receive ALSAT designation
with the maximum power spectral density input?

<<DOC—282662A1.pdf>> <<E080128—Boeing—0.96m.pdf>>
Paul Holland
Spacenet



Document Created: 2019-04-23 10:57:26
Document Modified: 2019-04-23 10:57:26

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