Attachment Motion

Motion

MOTION submitted by SkyWave

Motion to Accept Late-filed Reply

2006-02-28

This document pretains to SES-MFS-20051207-01709 for Modification w/ Foreign Satellite (earth station) on a Satellite Earth Station filing.

IBFS_SESMFS2005120701709_599487

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

In the Matter of                                            1
                                                            1
SkyWave Mobile Communications, Corp.                        )   File No. SES-MFS-2005 1207-01709
Application for Blanket License to                          )   (Call Sign E030055)
Operate Mobile Earth Terminals with                         )
Inmarsat 4F2 at 52.75” W                                    1

To: International Bureau


                        MOTION TO ACCEPT LATE-FILED REPLY

                SkyWave Mobile Communications, Corp. (“SkyWave”) hereby files this Motion

to Accept a Late-Filed Reply to the Opposition to Motion to Strike (“MSV Opposition”) filed by

Mobile Satellite Ventures Subsidiary LLC (“MSV”) in the above-referenced application

(“SkyWave Modification Application”).

                The deadline for SkyWave to file its Reply to the MSV Opposition was February

27,2006. While every effort was made to file the Reply with the Commission on February 27,

2006, the Reply was not filed on February 27,2006 due to an inadvertent miscommunication

with the messenger service delivering the pleading to the Commission. Accordingly, SkyWave

is filing the Reply today, February 28, 2006, along with this Motion.

                SkyWave recognizes that late-filed pleadings are not routinely accepted by the

Commission without good cause. SkyWave respectfully submits that the delay in filing the

Reply with the Commission was inadvertent, and not intended to somehow deceive the Bureau,

or MSV.’ Further, there has not been undue prejudice to MSV -- a copy of the Reply was in fact


          See In the Matter of Lockheed Martin Corporation et al., 18 FCC Rcd. 16605, 16611
(2003) (dismissing a late-filed reply where it appeared a party intentionally filed its reply late,
intentionally did not seek leave to file a late-filed pleading and did not serve the reply on parties
to the proceeding).


sent by first class mail postage prepaid on February 27,2006 to MSV. Further, the

Commission's Rules do not contemplate an additional pleading by MSV in response to this

Reply. As a result, the one day delay in filing this Reply has not hindered or affected MSV's

ability to file a pleading in this matter. In contrast, rejecting the Reply would result in an

incomplete record in this matter.

               SkyWave respectfully requests that its late-filed Reply be accepted by the Bureau.

Acceptance of the Reply will not unduly prejudice MSV and will ensure a complete record in

this matter.



                                       Respectfully submitted,

                                       SkyWave Mobile ommun' ations, Corp.


                                         L O
                                       Alfred M. Mamlet
                                       Marc A. Paul
                                       Brendan Kasper
                                       Steptoe & Johnson LLP
                                       1330 Connecticut Avenue, NW
                                       Washington, DC 20036
                                       (202) 429-3000

                                       Counsel for Shy Wave Mobile Communications, Corp.

February 28,2006




       'Late-filed pleadings have been accepted for purpose of creating a complete record in a
proceeding. See, e.g., In the Matter of Loral Satellite, Inc. and Loral Spacecom Corporation et
al., 19 FCC Rcd. 2404,241 1 (2004) (accepting a late-filed petition filed with the International
Bureau in order to create a "full and complete factual record"); see also In the Matter of
Application of Verizon Hawaii, Inc. et al., 19 FCC Rcd. 24 110,24 1 11 (2004) (finding that the
Wireless Bureau has "discretion to accept late-filed pleadings to develop a complete record").

                                                  2


                                CERTIFICATE OF SERVICE

        I, Marc A. Paul, an attorney with the law firm of Steptoe & Johnson LLP, hereby certify
that on this 28th day of February, 2006, served a true copy of the foregoing Motion by first class
mail, postage pre-paid (or as otherwise indicated) upon the following:

Robert Nelson*                                    Andrea Kelly*
International Bureau                              International Bureau
Federal Communications Commission                 Federal Communications Commission
445 1 2 ' ~Street, S.W.                           445 12* Street, S.W.
Washington, DC 20554                              Washington, DC 20554

Cassandra Thomas*                                 Scott Kotler*
International Bureau                              International Bureau
Federal Communications Commission                 Federal Communications Commission
445 12' Street, S.W.                                        Street, S.W.
                                                  445 1 2 ' ~
Washington, DC 20554                              Washington, DC 20554

Howard GribofP                                    Karl Kensinger*
International Bureau                              International Bureau
Federal Communications Commission                 Federal Communications Commission
445 1 2 ' ~Street, S.W.                           445 1 2 ' ~Street, S.W.
Washington, DC 20554                              Washington, DC 20554

Fern Jarmulnek*                                   John Martin*
International Bureau                              International Bureau
Federal Communications Commission                 Federal Communications Commission
445 121hStreet, S.W.                              445 12'~Street, S.W.
Washington, DC 20554                              Washington, DC 20554

Stephen Duall*                                    Jennifer A. Manner
International Bureau                              Vice President, Regulatory Affairs
Federal Communications Commission                 Mobile Satellite Ventures Subsidiary LLC
445 12* Street, S.W.                              1002 Park Ridge Boulevard
Washington, DC 20554                              Reston, Virginia 20 19 1

James Ball*                                       Bruce D. Jacobs
International Bureau                              David S. Konczal
Federal Communications Commission                 Pillsbury Winthrop Shaw Pittman LLP
445 1 2 ' ~Street, S.W.                           2300 N Street, N. W.
Washington, DC 20554                              Washington, DC 20037- 1128


JoAnn Ekblad*                         John P. Janka
International Bureau                  Jeffrey A. Marks
Federal Communications Commission     Latham & Watkins LLP
445 12* Street, S.W.                  555 Eleventh Street, N.W., Suite 1000
Washington, DC 20554                  Washington, D.C. 20004

                                      Diane J. Cornel1
                                      Vice President, Government Affairs
                                      Inmarsat, Inc.
                                      1100 Wilson Blvd, Suite 1425



                                          A J Ju
                                      Arlin on, VA 222




* by Hand Delivery




                                    -2-



Document Created: 2007-10-19 10:21:36
Document Modified: 2007-10-19 10:21:36

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