Petition to Deny or

PETITION submitted by Iridium Satellite LLC

Petition to Deny or Defer

2015-10-16

This document pretains to SES-LIC-20150604-00340 for License on a Satellite Earth Station filing.

IBFS_SESLIC2015060400340_1108790

                                       Before the
                        FEDERAL COMMUNICATIONS COMMISSION
                                 Washington, D.C. 20554


In the Matter of                             )
                                             )
HNS License Sub, LLC                         )      File Nos. SES-LIC-20150604-00336
                                             )                SES-LIC-20150604-00337
Application for Earth Station Licenses       )                SES-LIC-20150604-00339
                                             )                SES-LIC-20150604-00340
                                             )                SES-LIC-20150604-00342
                                             )                SES-LIC-20150604-00344
                                             )                SES-LIC-20150604-00346
                                             )                SES-LIC-20150604-00347
                                             )


                                  PETITION TO DENY OR DEFER

          On September 16, 2015, the International Bureau released a Public Notice

accepting for filing the above-captioned applications (the “Applications”) filed by HNS

License Sub, LLC (“HNS”).1 For the reasons stated below, Iridium Satellite LLC

(“Iridium”), by its attorneys, hereby petitions for the Bureau to deny the Applications or

defer their processing.


          In the Applications, HNS seeks licenses for eight earth stations that will

communicate with the Jupiter 97W satellite at 97° W.L. The frequencies on which HNS

proposes to operate these earth stations include the 29.25-29.3 GHz band, which Iridium

uses for its NGSO MSS feeder links. The rules require HNS to demonstrate in its




1   Public Notice, Report No. SES-01782.


                                                         -2-


Applications that it either has coordinated with Iridium’s feeder links or will not cause

unacceptable interference to the feeder links.2


           HNS attempts to satisfy this requirement by stating in the Applications that HNS

and Iridium “have concluded a coordination agreement that will ensure the protection

of Iridium’s operations.”3 But the coordination agreement the parties concluded applies

to HNS’ originally-proposed 97° W.L. satellite network that was submitted to the ITU

by the administration of the United Kingdom, and not its currently-proposed 97° W.L.

satellite network that was submitted to the ITU by the administration of Papua New

Guinea (“PNG”).




2   See 47 C.F.R. §§ 25.203(k). See also 47 C.F.R. § 25.258.
3   Applications, Narrative at 9.


                                          -3-


      HNS and Iridium are discussing a modified coordination agreement that would

apply to the satellite network submitted by PNG, and Iridium is optimistic this

modified agreement can be entered into soon. At present, however, there is no

coordination agreement covering the point of communication proposed in the

Applications. The Bureau should not act on the Applications until a coordination

agreement has been concluded.

                                         Respectfully submitted,

                                         IRIDIUM SATELLITE LLC

                                        By: /s/ Joseph A. Godles
                                           Joseph A. Godles
                                           GOLDBERG, GODLES, WIENER
                                             & WRIGHT LLP
                                           1229 19th Street, N.W.
                                           Washington, D.C. 20036

                                            Its Attorneys

October 16, 2015


                            CERTIFICATE OF SERVICE

       I hereby certify that a true and correct copy of the foregoing PETITION TO
DENY OR DEFER was sent via first class mail on this 16th day of October, 2015, to the
following:

             Jennifer Manner
             HNS License Sub, LLC
             11717 Exploration Lane
             Germantown, Maryland 20876


                                              /s/ Brenda Campbell
                                                    Brenda Campbell



Document Created: 2015-10-16 08:54:48
Document Modified: 2015-10-16 08:54:48

© 2024 FCC.report
This site is not affiliated with or endorsed by the FCC