Attachment Exhibit E

This document pretains to SES-LIC-20120426-00397 for License on a Satellite Earth Station filing.

IBFS_SESLIC2012042600397_949501

                                      Inmarsat Hawaii Inc.
                                         FCC Form 312
                                           Exhibit E
                                     Response to Question 36

        Inmarsat Hawaii Inc. submits this response to Question 36 of FCC Form 312 out
of an abundance of caution. In 2005, the Commission dismissed a Petition for Declaratory
Ruling (the “Petition”) filed by the Inmarsat Hawaii Inc.’s affiliate, Inmarsat Global Limited
(“Inmarsat Global”), seeking United States market access to provide MSS in the 2 GHz band.
Subsequent to Inmarsat Global’s filing, the Commission assigned all 2 GHz spectrum
currently allocated for MSS in the United States to two other satellite operators, and thus
dismissed Inmarsat Global’s Petition. 1 Inmarsat Global has sought reconsideration of both
the Commission’s disposition of the 2 GHz band and the accompanying dismissal of its
Petition. 2




1
       Use of Returned Spectrum in the 2 GHz Mobile Satellite Service Frequency Bands, 20
       FCC Rcd 19696 (2005); Inmarsat Global Limited, Petition for Declaratory Ruling to
       Provide Mobile Satellite Service to the United States Using the 2 GHz and Extended Ku-Bands, 20
       FCC Rcd 19409 (2005).

2
       Inmarsat Ventures Limited and Inmarsat Global Limited, Petition for Reconsideration, File Nos. SAT-
       PPL-20050926-00184 et al. (filed Jan. 9, 2006).



Document Created: 2012-04-24 18:53:29
Document Modified: 2012-04-24 18:53:29

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