PAC Mod App 1.65 Let

Section 1.65 Notification submitted by Panasonic Avionics Corporation

1.65 Notification

2012-09-18

This document pretains to SES-MFS-20120913-00818 for Modification w/ Foreign Satellite (earth station) on a Satellite Earth Station filing.

IBFS_SESMFS2012091300818_966739

                                                                                     Squire Sanders (US) LLP
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                                                                                     Carlos M. Nalda
                                                                                     T +1 202 626 6659
                                                                                     carlos.nalda@squiresanders.com



September 18, 2012

VIA ELECTRONIC FILING

Marlene Dortch
Secretary
Federal Communications Commission
445 12th Street SW
Washington, DC 20554


Re:     Application for License Modification of Panasonic Avionics Corporation,
        File No. SES-MFS-20120913-00818, Call Sign E100089

Dear Ms. Dortch:

        Panasonic Avionics Corporation (“Panasonic”), pursuant to Section 1.65 of the
Commission’s Rules, 47 C.F.R. § 1.65, hereby submits this letter to correct certain information
relating to the above-referenced application for license modification filed with the Commission
on September 13, 2012.

         Panasonic wishes to correct two minor typographical errors regarding the additional
satellite points of communication identified in the application narrative and Schedule B of Form
312. First, references to “Anik F1R” should read “Anik F1” located at 107.3° W.L. Second, the
directional longitude of the Apstar 7 satellite was inadvertently omitted from the Schedule B
entry, which should reflect that Apstar 7 is located at 76.5° “E.L.”

         Panasonic would also note one minor discrepancy in the antenna specification sheet
prepared for the Aura LE terminal and submitted with the application. See License Modification
Application, Attachment 2 at 2. Specifically, the receive minimum G/T value should be 10 dB/K
rather than 9 dB as indicated. (The 12 dB typical value is consistent with the correct 10-14 dB/K
range properly included in the application narrative and technical appendix.) Although the G/T
values do not impact the interference potential of Aura LE transmit operations, Panasonic seeks
to clarify this issue to avoid any confusion regarding the values.




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       Please feel free to contact the undersigned with any questions you may have or if
Panasonic can provide any additional information to facilitate expeditious action on its
application.

Respectfully submitted,

Squire Sanders (US) LLP


/s/ Carlos M. Nalda
______________________________________
Carlos M. Nalda

Counsel to Panasonic Avionics Corporation

cc:      Paul Blais, FCC International Bureau
         Stephen Duall, FCC International Bureau




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Document Created: 2012-09-18 14:20:48
Document Modified: 2012-09-18 14:20:48

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