Attachment Narrative

This document pretains to SES-MFS-20110314-00291 for Modification w/ Foreign Satellite (earth station) on a Satellite Earth Station filing.

IBFS_SESMFS2011031400291_875556

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

                                                     )
In the Matter of                                     )   File No. SES-MOD-2011__________
                                                     )   Call Sign E070273
ECHOSTAR CORPORATION                                 )
                                                     )   File No. SES-MOD-2011__________
Application for Modification of Earth Stations       )   Call Sign E980081
Under Call Signs E070273, E980081, and               )
E050017 to Add EchoStar 6 at 76.95° W.L. as a        )   File No. SES-MOD-2011__________
Point of Communication                               )   Call Sign E050017
                                                     )


       APPLICATION FOR MODIFICATION OF EARTH STATION LICENSES1

       Pursuant to Section 309 of the Communications Act of 1934, as amended, 47 U.S.C. §

309, and Part 25 of the Commission’s rules, EchoStar Corporation (“EchoStar”)2 hereby files

this application to modify three transmit/receive earth station authorizations (Call Signs


       1
           In concurrence with this application, EchoStar is filing the following: (1) an application
to transfer the EchoStar 6 satellite to QuetzSat to facilitate re-flagging under Mexican authority,
and (2) an application to modify its blanket earth station authority to add the EchoStar 6 satellite
as a point of communication at 76.95° W.L. (Call Sign E050196) (“Blanket Earth Station
Application”). EchoStar has been granted the following authority to operate the EchoStar 6
satellite at 76.95° W.L. under temporary U.S. authority: (1) space station STA to operate
EchoStar 6 at 76.95° W.L., Stamp Grant, File No. SAT-STA-20110207-00026 (granted Feb. 11,
2011) (“EchoStar 6 Application”), Stamp Grant, File No. SAT-STA-20110225-00036 (granted
Mar. 1, 2011); and (2) earth station STA to provide TT&C and feeder link communication for
EchoStar 6 at 76.95° W.L. (Call Signs E050017, E070273, and E980081), Stamp Grant, File
Nos. SES-STA-20110207-00120, SES-STA-20110207-00121, SES-STA-20110207-00122
(granted Feb. 10, 2011); Stamp Grant, File Nos. SES-STA-20110225-00205, SES-STA-
20110225-00203, SES-STA-20110225-00204 (granted Mar. 2, 2011).
       2
         On February 24, 2011, EchoStar Corporation filed an application requesting consent to
the pro forma assignment of its authorization to operate the above-referenced earth stations to
EchoStar Broadcasting Corporation. File No. SES-ASG-INTR2011-00567 (filed Feb. 24, 2011).
EchoStar requests that, in the event this application is granted prior to consummation of the pro
forma assignment, that EchoStar be authorized to assign any authority granted in response to this
request on a pro forma basis to EchoStar Broadcasting Corporation.


E070273, E980081, and E050017) to add EchoStar 6 as a point of communication. Specifically,

EchoStar seeks authority to add the EchoStar 6 satellite as a point of communication at 76.95°

W.L., where it will be operated by QuetzSat, S. de R.L. de C.V. (“QuetzSat”) as a Mexican-

licensed satellite. As the Commission is aware, QuetzSat is an affiliate of SES Latin America,

S.A. (“SES-LA”) and SES S.A. (collectively, “SES”), with which EchoStar has entered into an

agreement for the development of the Mexican BSS location at the nominal 77° W.L. orbital

location.

       The Commission recently granted EchoStar STA to relocate the EchoStar 6 satellite to,

and operate it at, 76.95° W.L. in response to a single event upset (“SEU”) that temporarily

affected the EchoStar 8 satellite at 77° W.L.3 The transfer of traffic to EchoStar 6 was necessary

to conduct tests on EchoStar 8 following the SEU without disrupting service to customers. Upon

completion of the tests, EchoStar 6 will continue to supplement service to the United States from

the nominal 77° W.L. orbital location, as described in the Technical Annex and Schedule S

previously submitted to the Commission.4




       3
         As EchoStar stated to the Commission in a letter dated February 1, 2011, EchoStar
believes that the SEU, which occurred on January 30, 2011, did not cause any significant or
permanent damage that will affect EchoStar 8’s future operations. See Letter from Petra A.
Vorwig, Counsel for EchoStar Corporation, to Marlene H. Dortch, Secretary, FCC, filed in File
No. SAT-T/C-20090217-00026 (Feb. 1, 2011).
       4
         See EchoStar 6 Application. As noted in that application, the Schedule S was created
based on an orbital location of 77.0° W.L.; however, EchoStar 6 will operate at 76.95° W.L. The
0.05° offset from the orbital position described in the Schedule S will affect the interference
analysis provided in the Schedule S by only 0.003 dB for a 50 cm antenna, which in practical
terms is negligible.




                                               -2-


       QuetzSat, which holds the Mexican concession for the BSS frequencies at the 77° W.L.

slot,5 has advised the Mexican Administration of its plan to operate EchoStar 6 under that

concession to provide service to Mexico and the United States, and understands that the Mexican

Administration has no objection to this plan. The two administrations have already exchanged

letters regarding the use of EchoStar 4, EchoStar 1, and EchoStar 8, formerly U.S.-licensed

satellites, at the nominal 77º W.L. orbital location.6 Nevertheless, to the extent that the

“reflagging” of EchoStar 6 is subject to the additional exchange of letters between the two

administrations, EchoStar respectfully requests that the Commission proceed with the necessary

preparation for the exchange. The letters can be solidly anchored on the precedent of the letter

exchange concerning the other satellites.

I.     BACKGROUND

       The nominal 77º W.L. orbital location is allotted to Mexico under the Region 2

Broadcasting-Satellite Service plan set forth in Appendices 30 and 30A to the international

Radio Regulations. EchoStar currently operates three satellites -- EchoStar 1, EchoStar 4, and

EchoStar 8 -- at the nominal 77° W.L. orbital location under Mexican authority issued to its

partner, QuetzSat, and pursuant to a commercial agreement between EchoStar and SES (the




       5
         Secretariat of Communications and Transportation Vice-Ministry of Communications,
Concesion Para Ocupar La Posicion Orbital Geoestacionaria 77º Oeste Asignada al Pais y
Explotar Sus Respectivas Bandas de Frecuencias 12.2 – 12.7 GHz y 17.3-17.8 GHz, Asi como
los Derechos de Emision y Recepcion de Señales, granted February 2, 2005, (“BSS
Concession”), filed in File No. SAT-STA-2008-0616-00121, (“EchoStar 8 STA Application”),
Attachment 2.
       6
         See EchoStar Satellite L.L.C., Order and Authorization, 21 FCC Rcd. 4011 at Appendix
A (2006); Stamp Grant, File No. SAT-T/C-20090217-00026 at Annex A (granted Sept. 17,
2010); Stamp Grant, File No. SAT-T/C-20090217-00027 at Annex A (granted Sept. 17, 2010).




                                                -3-


“Agreement”).7 The satellites are used by EchoStar’s customers, DISH Network L.L.C.

(“DISH”) and DISH Mexico, to provide DBS service in the United States and Mexico,

respectively. The U.S. service includes local-into-local programming in a number of markets in

the southern United States.

        EchoStar 6 will supplement the service currently provided from the 77° W.L. orbital

location, and it will provide spare capacity that may be deployed quickly in response to a

problem suffered by any of the satellites currently operating at that location. The importance of

such spare capacity was recently made clear when EchoStar 8 experienced an SEU that

temporarily affected its operations. EchoStar 4 has reached the end of its design life and has

been retired from commercial service. As for EchoStar 1, a satellite launched in December 1995,

it has limited capability (only up to 16 transponders), and thus it, too, is inadequate to serve as an

in-orbit spare.

        Because the anticipated arrival of QuetzSat-1 is not due until the fourth quarter of 2011,

EchoStar now seeks to modify the licensing authority under which the EchoStar 6 satellite will

operate at 77° W.L. Specifically, EchoStar requests that the EchoStar 6 satellite be authorized to

serve the United States under Mexican authority, instead of U.S. authority. EchoStar

understands that the use of the EchoStar 6 satellite at 77° W.L. is directly encompassed within

the authority granted in QuetzSat’s existing concession.8 Bringing EchoStar 6 into service under


        7
         See Satellite Relocation and Use Agreement for the 77° W.L. Orbital Location, as
amended, filed in EchoStar 8 STA Application, Attachment 3. Amendment 2 to the Agreement
authorizes EchoStar to operate the EchoStar 6 satellite at 77° W.L. pursuant to the Agreement.
See id.
        8
           That concession is not limited to the operations of any particular satellite at 77° W.L.
See BSS Concession, at 4, filed in EchoStar 8 STA Application, Attachment 2 (defining the
satellite system as “one or more satellites with associated frequencies and their control centers
operating in an integral manner to make satellite capacity available for the rendering of satellite
                                                                                        (Continued …)


                                                -4-


Mexican authority, pursuant to the Agreement among EchoStar and its partners, will allow

QuetzSat to continue to meet its obligations under the BSS Concession and provide EchoStar

additional capacity at 77° W.L. to provide DBS service into the United States.

II.    THIS APPLICATION IS LEGALLY AND TECHNICALLY COMPLETE

       The legal qualifications of EchoStar to receive the requested authority are a matter of

record with the Commission. EchoStar has previously submitted all of the technical information

required by Sections 25.137 and 25.114 of the Commission’s rules9 in the Schedule S and

Technical Annex attached to the EchoStar 6 Application, which is hereby incorporated by

reference.

       In addition, the proposed operation of EchoStar 6 at 76.95° W.L. to provide service to the

United States is fully compliant with the Commission’s technical rules. With respect to the

geographic service requirements in Section 25.148(c) of the Commission’s rules,10 DBS service

to Alaska and Hawaii is not technically feasible from the 76.95° W.L. orbital location, as the

Commission recognized in granting EchoStar’s request to transfer the EchoStar 8 satellite to

QuetzSat for re-flagging under Mexican authority.11

III.   GRANT OF THIS APPLICATION IS IN THE PUBLIC INTEREST

       Granting EchoStar’s Application is in the public interest for the reasons set forth in the

Blanket Earth Station Application, which are incorporated herein by reference. Furthermore,


services”).
       9
           47 C.F.R. §§ 25.114, 25.137.
       10
          Id. § 25.148(c) (requiring service to Alaska and Hawaii “where such service is
technically feasible”).
       11
         See Radio Station Authorization, File No. SAT-T/C-20090217-00026 (granted Sept.
17, 2010).




                                               -5-


grant of this application will ensure the safe operation of EchoStar 6 at the 76.95º W.L. orbital

location. EchoStar will operate EchoStar 6 within the specifications of this coordination

agreement, as well as the informal operator-to-operator arrangement it has established with

DIRECTV to ensure compatibility among their satellites operating at 77° W.L. and 72.5° W.L.

respectively.

IV.    CONCLUSION

       For the foregoing reasons, EchoStar respectfully requests that the Commission grant this

application to modify three transmit/receive earth station authorizations (Call Signs E070273,

E980081, and E050017) to add EchoStar 6 as a point of communication.

                                              Respectfully submitted,

                                                       /s/
Pantelis Michalopoulos                         Alison Minea
Petra A. Vorwig                                Corporate Counsel
L. Lisa Sandoval                               EchoStar Corporation
Steptoe & Johnson LLP                          1110 Vermont Avenue, NW, Suite 750
1330 Connecticut Avenue, N.W.                  Washington, D.C. 20005
Washington, D.C. 20036                         (202) 293-0981
(202) 429-3000
Counsel for EchoStar Corporation




March 14, 2011




                                               -6-



Document Created: 2011-03-14 18:56:54
Document Modified: 2011-03-14 18:56:54

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