Attachment Supplement

This document pretains to SES-MFS-20060726-01265 for Modification w/ Foreign Satellite (earth station) on a Satellite Earth Station filing.

IBFS_SESMFS2006072601265_515047

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                               LEVENTHAL SENTER & LERMAN PLLC

                                                   July 17, 2006

Steen D. BarucH                                                                                          Em
  (202) 4166782                                                                                SeaRUCHaSLLAW.COM

                                                                                                       precr rax
                                                                                                   gon 294026

        BY HAND DELIVERY

        Marlene H. Dortch
        Secretary
        Federal Communications Commission
        445 Twelfth Street, S.W., Room TW—B204
        Washington, D.C. 20554

                                         Re: Application of HNS Licensee Sub, LLC,
                                               File No. SES—MFS—20060713—01156
        Dear Ms. Dortch:

                  HNS Licensee Sub, LLC ("Hughes"), by its attorneys and pursuant to Section
         1.65 of the Commission‘s Rules, 47 C.F.R. § 1.65, hereby provides additional
        information relevant to its above—referenced application to modify its earth station
        authorization under Call Sign EO00166. In its application, Hughes requested, inter alia,
        to add the Mexican Satmex—6 satellite as a point of communication forits authorized and
        proposed antennas. It represented that a coordination agreement had been reached in
        principle with the operator of Satmex—6, butthat the joint Hughes/Satmex—6 coordination
        letter memorializing the agreement had not yet been finalized. See Hughes Modification
        Application, Exhibit A at 8, n.5.

                  The letter in question has now been fully executed, and a copy is enclosed. Please
        associate this letter with Attachment 3 to Exhibit A to Hughes® July 13 modification of
        license application.

                  Any questions concerning this matter should be directed to me.

                                                        Respectfelly submitted,


                                                                   hS
                                                                 D. Baruch
                                                         ou    I for HNS Licensee Sub, LLC
        Enclosure

        ce (w/encl.):    Scott Kotler, Chief, System Analysis Branch (by e—mail)
                         Steven Doiron, Hughes (by e—mail)



                                     K STAEET, NW. SU


                                                                                                   July 13, 2006
SATMEX
   Federal Communications Commission — International Bureau
   445 12th Street, S.W.
   Washington, D.C. 20554

   Subject: Engineering Certification of Satelites Mexicanos S.A. de C.V. (SATMEX)

   To whom it may concemn:

   This letter certifies that Satelites Mexicanos S.A. de C.V. (SATMEX) is aware that
   Hughes Network Systems, LLC (HNS), is seeking FCC authorization to access Satmex—
   5 at 116.8 degrees W.L. and Satmex—6 at 113.0 degrees W.L., using Ku—band
   transmit/receive antennas that are not strictly compliant with the FCC 2—degree spacing
   requirements for off—axis sidelobe gain. The Satmex—5 satellite currently provides
   coverage of the Continental United States (CONUS) from this orbital location, at 116.8
   degrees W.L. Satmex 6 was launched on 27 May, 2006 and will operate under
   authorization from the Government of Mexico.         The application for the inclusion of
   Satmex—6 to the U.S. Permitted List has been submitted to the FCC and is presently on
      public notice.‘

   SATMEX understands that HNS will be deploying 74 cm equivalent transmit/receive
   remote terminals for its two—way VSAT services working with the hubs located at
   Germantown, MD, and North Las Vegas, NV, under the FCC call signs E000166 and
   E940460 respectively. These terminals can be deployed with either Prodelin HANT—
   91TR antenna or with Raven 74 cm antenna (model number HNS—1035610), where both
   have a performance that is equivalent to a 74 cm circular aperture antenna. SATMEX
   understands that HNS will also operate 98 cm transmit/receive circular aperture remote
   terminals in the U.S. These antennas are to be installed with a nominal pointing
   accuracy of less than or equal to +/—0.6 degrees. (See Attachment 1 HNS Commitment
      and Attachment 2 Terminal Performance)

   All the above are not strictly compliant with the FCC part 25 rules: the antennas will
   meet the antenna sidelobe performance 29—25L0g(0) starting at an angle slightly larger
      than that specified in the FCC part 25 rules, but still smaller than 1.9 degrees. SATMEX
      has made a commitment that the carrier parameters it will assign will not exceed the
      technical parameters establish in coordination agreement with Telesat Canada.

      SATMEX has coordinated a maximum input power density at the antenna waveguide
      flange of —17.0 dBW/4 kHz in Ku band with adjacent satellite operators. This represents
      a level which is 3 dB more restrictive than the maximum flange power thatis routinely
      authorized by the FCC in §25.134(a)(1) of its regulations.
      The undersigned further certifies that the maximum downlink Satellite EIRP density of
      +13.0 dBW/4KHz or 37.0 dBW/MHz, operational level of the Ku—band VSAT network
      operated by HNS, is within the levels coordinated with Telesat Canada this operation will
      be consistent with the coordination Agreement.

      * Satelites Mexicanos, S.A. de C.V., Public Notice June 23, 2006, File Number SAT—PPL —20060329—00030, Call
      Sign $2695.


  w       ({                                               Page 1 of 7
      Rodolfo Gaona nim. 86 40. piso Lomas de Sotel 11200, México, D. F. Tel. +52 (55) 2629 5800,wiwsatmex.com


 :
SATMEX



   SATMEX will include the subject non—conforming earth station operations in all
   future satellite network coordinations, as is required in Sections 25.220(d)(1)(iii)
   of the Commission‘s rules.

   Si




   Regulatory Branch, Director



   Acceptance by HNS:

   HNS certifies that the information provided to SATMEX and reflected in this affidavit
   letter is true and accurate to the best of its knowledge. HNS agrees to abide by the




                                                       Page 2 of 7
   Rodolfo Gaona ném. 86 ao. plso Lomas de Sotelo 11200, Mérica, D. F. Tel. +52 (53) 2629 $800, satmex.com


                                ATTACHMENT 1



Prodelin, model number HANT—91TR, 98 by 56 cm elfiptical—aperture antenna
These antennas are to be installed with a nominal pointing accuracy of less than
or equal to +/—0.6 degrees.

Raven, model number HNS—1035610, 84 by 69 cm elfliptical—aperture antenna
These antennas are to be installed with a nominal pointing accuracy of less than
or equal to +/—0.5 degrees.

Prodelin, model number 9008668, 98cm circular antenna
These antennas are to be installed with a nominal pointing accuracy of less than
or equal to +/— 0.5 degrees.



&" ¢




                                                                                   SATMEX


                                     ~ATTACHMENT 2


Prodelin, model number HANT—91TR,           by 56 m elliptical—            intenna
 One terminal utilizes a 98 by 56 cm elliptical—aperture antenna having the sametransmit
 gain as a 74 cm equivalent circular—aperture (E74 cm) Prodelin antenna. These
 antennas generally exhibit their non—compliance in the region from 1.25 to 1.4 degrees
 off axis from maximum gain in the transmit band, due to the width of their main gain
 lobe. They are compliant with the side lobe pattern requirements specified in Section
 25.209 of the Commission‘s Rules in the plane of the geostationary satellite orbit as it
 appears at the particular earth station location for off—axis angles starting at 1.4 degrees
 in the transmit band.

‘Raven, model number HNS—1035610, 84 by 69 cm elliptical—aperture antenna
 One terminalutilizes a 84 by 69 om elliptical—aperture antenna having the same transmit
 gain as a 74 cm equivalent circular—aperture (E74 cm) antenna. These antennas
 generally exhibit their non—compliance in the region from 1.25 to 1.6 degrees off axis
 from maximum gain in the transmit band, due to the width of their main gain lobe. They
 are compliant with the side lobe pattern requirements specified in Section 25.209 of the
 Commission‘s Rules in the plane of the geostationary satellite orbit as it appears at the
 particular earth station location for off—axis angles starting at 1.6 degrees in the transmit
 band.

 Prodelin, model number 9008         98cm circular antenn.
 The other terminal utilizes a 98 cm circular—aperture Prodelin antenna. These antennas
 generally exhibit their non—compliance in the region from 1.25 to 1.6 degrees off axis
 from maximum gain in the transmit band, due to the width of their main gain lobe. They




&7
 are compliant with the side lobe pattern requirements specified in Section 25.209 of the
 Commission‘s Rules in the plane of the geostationary satellite orbit as it appears at the
 particular earth station location for off—axis angles starting at 1.6 degrees in the transmit
 band.




                                                                                                 SATMEX




Raven, model number HNS—1035610,84by 69 cmelliptical—aperture antenna




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Document Created: 2006-07-17 17:19:19
Document Modified: 2006-07-17 17:19:19

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