Attachment Introduction

This document pretains to SES-LIC-20100817-01141 for License on a Satellite Earth Station filing.

IBFS_SESLIC2010081701141_831787

July 27, 2010
                                                                          iNTELLICOM


To whom it may concern,

Vehicle mounted on-the-move SATCOM systems are needed by the US Army and Marines.
Several government procurements are currently underway to obtain these SATCOM systems for
deployment in current initiatives.

L3 is seeking a permanent VSAT/Blanket FCC license for the operation of its vehicle mounted
on-the-move SATCOM system.
    • L3/Linkabit MPM-1000 Modem and Controller Assembly
    • L3/Datron FSS-4180-LP Antenna Assembly
            o Non-Compliant with 47CFR25.209
    • Ku Band (14-14.5 GHz, 11.7-12.2 GHz)
    • All CONUS operation
    • Multiple Satellites
    • Mobile operation

The system utilizes advanced antenna pointing technology, spread spectrum modulation, and
centralized and distributed controls to ensure that interferences to others meet the requirements
of the FCC (and ITU). Extensive verification of this system has been performed since June/2005
under an FCC experimental license (call sign WD2XSJ) and the use of AMC-9, AMC-2, and
AMC-5. A permanent single earth station license was granted on 3/16/2009 (call sign E060390).
A complete technical brief describing the system is including in our filing.

L3 has developed methods to protect adjacent satellite operations. These methods have taken
several years to develop and refine and have been verified in laboratory and operational
conditions. A conservative analysis has been performed and has and will continue to be used to
protect adjacent satellite operations. Power Spectral Density (PSD) into the antenna shall be
managed within the required FCC (and ITU) limits by controlling the transmit power and/or
utilizing spread spectrum modulation. Interference effects to others will be less than or equal to
those of an FCC 25.209 compliant antenna. The system is compliant with FCC 25.226.

Please feel free to contact me with any questions or clarifications.

Regards,

Paul Moller
VP, Intellicom Technologies
480-993-2220
PMoller@ITCcom.net
www.ITCcom.net.com




                         iNTELLICOM Technologies, Inc.
                                PO Box 27056, San Diego, CA 92198
                            Tel: (858) 486-1115, Email: info@itccom.net
                                           www.itccom.net



Document Created: 2010-07-27 16:33:36
Document Modified: 2010-07-27 16:33:36

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