Attachment Exhibit C

This document pretains to SES-LIC-20120621-00605 for License on a Satellite Earth Station filing.

IBFS_SESLIC2012062100605_957115

                                     COMPLIANCE WITH 25.203(K)

        In this application, DIRECTV requests an earth station authorization with Ka-band
ALSAT as a point of communication, pursuant to the Ka-Band ALSAT Order adopted by the
Commission.1 This earth station will transmit in the 29.25-29.5 GHz band, which is allocated on
a co-primary basis to both GSO/FSS and NGSO/MSS feeder links. As required under Section
25.203(k) of the Commission’s rules, and as directed in footnote 31 to the Ka-Band ALSAT
Order, DIRECTV demonstrates below that the operation of this earth station with an ALSAT
designation will not cause interference to co-primary, co-frequency feeder link operations.
         Last year, DIRECTV applied for and received Ka-band ALSAT authority for several
earth station antennas.2 In the applications to modify the licenses for those antennas, DIRECTV
included an extensive analysis that showed that there would not be unacceptable interference to
co-frequency NGSO MSS feeder link operations from the operation of those antennas. In order
to demonstrate that operation of the currently applied-for earth station will not cause
unacceptable interference to co-primary, co-frequency feeder link operations, DIRECTV notes
the following points:
         The earth station antenna that is the subject of this application is technically identical
          to the DIRECTV Ka-band ALSAT earth station antennas that were licensed last year.
         The DIRECTV Ka-band antennas previously licensed with an ALSAT designation are
          located approximately 175-200 km from the closest NGSO MSS feeder link site. The
          antenna that is the subject of this application is over 900 km away from the nearest
          NGSO MSS feeder link site.
         As is stated in Recommendation ITU-R S.1419, “Interference mitigation techniques to
          facilitate coordination between non-geostationary-satellite orbit Mobile-Satellite
          Service feeder link and geostationary-satellite orbit Fixed-Satellite Service networks in
          the bands 19.3-19.7 GHz and 29.1-29.5 GHz,” geographical separation of
          approximately 225 km between GSO FSS and NGSO MSS earth stations is generally
          considered sufficient to ensure compatible GSO/NGSO operations.
         The Ka-band antenna that is the subject of this application will be located at a site
          where DIRECTV is already licensed for, and has been successfully operating, multiple
          Ka-band antennas in the same frequency band for several years without incident3.

Taken together, the above factors demonstrate that the operations of the applied-for Ka-band
ALSAT earth station antenna will not cause interference to co-primary, co-frequency feeder link
operations.

1
    See 2006 Biennial Regulatory Review – Revision of Part 25, 25 FCC Rcd. 1542 (2010) (“Ka-Band ALSAT
    Order”).
2
    See IBFS File Nos. SES-MFS-20111104-01314, -01315, -01317, -01320, -01322, -01324.
3
    See e.g. Call signs E050286, E080026



Document Created: 2019-04-13 07:16:29
Document Modified: 2019-04-13 07:16:29

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