Attachment Astrium Declarations

This document pretains to SES-MFS-20130612-00485 for Modification w/ Foreign Satellite (earth station) on a Satellite Earth Station filing.

IBFS_SESMFS2013061200485_998096

        EXHIBIT WITH ASTRIUM DECLARATIONS ON COMPLIANCE
             WITH 25.221(A)(1)(i) and 25.222(A)(1)(i) OF THE
        COMMISSION‘S RULES FOR EARTH STATIONS ON VESSELS

_    DECLARATIONS ADDRESS — _

                                            Sea Tel:

     Model 9707/9797/9711 C—band Antennas;
     C—band side of the Model 971100R Antennas;
     Model 4003 Ku—band Antennas;       >
     Model 4006/4009/4010 Ku—band Antennas;
     Model 49961 Ku—band antennas;                '
     Model 5009/5010 Ku—band Antennas;                   .
     Ku—band side of the Model 9711 QOR Antennas
     Model 6006/6009 Ku—band Antennas;
     Model 9797/9711 Ku—band Antennas;
    ~ Model USAT—30/3011 Ku—band Antennas;
     Model 3612 Ku—band Antennas; and
     Model 4012 Ku—band Antennas.



                                _ Thrane & Thrane:

     Model TT—7090A Sailor 900 Ku—band Antennas.



                                            Intellian:

     Model v240 2.4 Meter C—band Antennas;
     Model v60G Ku—band Antennas;
     Model v80G Ku—band Antennas; and _
     Model v110 Ku—band Antennas.


                            DECLARATION OF ALAIN BERTRAND

I, Alain Bertrand, hereby declare as follows:

    1. I am employed by Astrium Services, the company within the Astrium Group ("Astrium")
       responsible for Satellite Services to ESVs, My title is Head of Maritime Engineering. In
       that capacity, I am responsible for all Earth Station on Vessel (ESV) operations through
        Astrium‘s earth stations, including those in Southbury, CT and Santa Paula, CA, as well
        as Astrium ESV operations that are uplinked via the Intelsat Mountainside teleport near
        Hagerstown, MD pursuant to a telehousing arrangement.

     . Ihave read the .Sea Tel FCC Declaration of Conformity

     . I am aware that, in order to meet the off—axis EIRP spectral density limits defined in
       Section 25.221(a)(1)—(4) of the FCC‘s ESV Rules, the input power to the antenna system
        must be limited as follows:

        2 4 meter C Band, Models 9797, 9707 and 9711 are limited to          —7 dBW/4kHz

     . Astrium will take all necessary steps to ensure that the input powerto the Sea Tel
       antennas is limited as stated above. Astrium will ensure that the specified power spectral
       densities are not exceeded by using the appropriate coding. For C—band, 3/4 QPSK will
       typically meet the requirements. Astrium will also monitor absolute power levels, either
       directly through its hub earth stations or by working with the satellite operators.

I, Alain Bertrand declare under penalty of perjury that the foregoing is true and correct to the
best of my knowledge and belief.

Executed on May 2"", 2013.



                                                       Pay,/M
                                                                                  /




                O 6'& {ALF             (yg    Alain Berffand _


                            DECLARATION OF ALAIN BERTRAND

 I, Alain Bertrand, hereby declare as follows:

        1. I am employed by Astrium Services, the company within the Astrium Group
 ("Astrium") responsible for Satellite Services to ESVs. My title is Head of Maritime
 Engineering, In that capacity, I am responsible for all Earth Station on Vessel (ESV) operations
through Astrium‘s earth stations, including those in Southbury, CT and Santa Paula, CA, as well
as Astrium ESV operations that are uplinked via the Intelsat Mountainside teleport near
Hagerstown, MD pursuant to a telehousing arrangement.

       2. I have read the attached Declaration of Cobham SATCOM — Marine Systems, Sea Tel
Products (Sea Tel), and have worked closely with Sea Tel to ensure that Astrium‘s ESV
operations will be in compliance with the FCC‘s ESV rules.

       3. I am aware that, in order to meet the off—axis EIRP spectral density limits defined in
Section 25.222 (a)(1)(i) of the FCC‘s ESV Rules, the input power to the SeaTel Ku—band ESV
antennas must be limited as follows:


0.6 Meter Ku Band, Models 2406 and USAT—24 are limited to              »21.6 dBW/AkHz
0.75 Meter Ku Band, Models 3011 and USAT—30 are limited to             ~21.6 dBW/AkHz
0.9 Meter Ku Band, Model 3612 is limited to                            —20.3 dBW/4kHz
1.0 Meter Ku Band, Models 4003/4006/4009/4010 are limited to          ~16.3 dBW/4kHz
1.0 Meter Ku Band Model 4012 is limited to                            ~16.6 dBW/4kHz
1.2 Meter Ku Band, Models 4996/5009/5010 are limited to               —14.0 dBW/4kHz
1.5 Meter Ku Band, Models 6006/6009 are limited to                    —14.0 dBW/AkHz
2.4 Meter Ku Band, Models 9797 and 9711QOR are limited to             —14.0 dBW/AkHz


        4. Astrium will take all necessary steps to ensure that the input power to the various Sea
Tel antennas is limited in the manner described above. Astrium will ensure that the specified
power spectral densities are not exceeded by using the appropriate coding. For Ku—band, 3/4
QPSK will typically meet the requirements. Astrium will also monitor absolute power levels,
either directly through its hub earth stations or by working with the satellite operators.

I, Alain Bertrand, declare under penalty ofperjury that the foregoirig is true and correct to the
best of my knowledge and belief.


Executed on: ’bJfiS' * (hs




               OU     bE HALEF         6
                                                     Aup
                                              Alain Bertrand


                             DECLARATION OF ALAIN BERTRAND

_ 1, Alain Bertrand, hereby declare as follows:

         1. . I am employed by Astrium Services, the company within the Astrium Group
              ("Astrium") responsible for Satellite Services to ESVs. My title is Head of Maritime
              Engineering. In that capacity, I am responsible for all Earth Station on Vessel (ESV)
              operations through Astrium‘s earth stations, including those in Southbury, CT and
              Santa Paula, CA, as well as Astrium ESV operations that are uplinked via the Intelsat
              Mountainside teleport near Hagerstown, MD pursuant to a telehousing arrangement.

         2. Ihave read the Thrane & Thrane FCC Declaration of Conformity.

         3. J am aware that, in order to meet the off—axis EIRP spectral density limits defined in
             Section 25.222 (a)(1)(i) of the FCC‘s ESV Rules, the input power to the Sailor 900
            Ku—band ESV antenna must be limited to —15.8 dBW/AkHz.

        4. Astrium will take all necessary steps to ensure that the input power to the Sailor 900
           antenna is limited as stated above. Astrium will ensure that the specified power
           spectral densities are not exceeded by using the appropriate coding. For Ku—band, 3/4
           QPSK will typically meet the requirements. Astrium will also monitor absolute
           power levels, either directly through its hub earth stations or by working with the
           satellite operators.

I, Alain Bertrand declare underpenalty of perjury that the foregoing is true and correct to the
best ofmy knowledge and belief.


Executed on: _3} C1 |5                              ‘                                         _



                 | on bEWALE          6t
                                                          Aodog
                                              Alain Bertrand


                           DECLARATION OF ALAIN BERTRAND

I, Alain Bertrand, hereby declare as follows:

    1. I am employed by Astrium Services, the company within the Astrium Group ("Astrium") —
       responsible for Satellite Services to ESVs, My title is Head of Maritime Engineering. In
       that capacity, I am responsible for all Earth Station on Vessel (ESV) operations through
       Astrium‘s earth stations, including those in Southbury, CT and Santa Paula, CA, as well
       as Astrium ESV operations that are uplinked via the Intelsat Mountainside teleport near
        Hagerstown, MD pursuant to a telehousing arrangement,

        I have read the Intellian FCC Declaration of Conformity.

     . I am aware that, in order to meet the off—axis EIRP spectral density limits defined in
       Section 25.221(a)(1)—(4) ofthe FCC‘s ESV Rules, the input powerto the antenna system
       must be limited as follows:

       Intellian v240C, 2.4m C—band matritime system          ~8.37 dBW/AkHz

         Astrium will take all necessary steps to ensure that the input power to the Intellian
        antenna is limited in the manner described above. Astrium will ensure that the specified
        power spectral densities are not exceeded by using the appropriate coding. Astrium will
      _ also monitor absolute powerlevels, either directly through its hub earth stations or by
        working with the satellite operators.

1, Alain Bertrand, declare under penalty of perfury that the foregomgis true and correct to the
best of my knowledge and belief,.


Executed on;     z / S, C 13




                      oN bHHAKLE o¢
                                                     Add [
                                             Alain Bertrand


                              DECLARATION OF ALAIN BERTRAND

 1, Alain Bertrand, hereby declare as follows:

         1. Iam employed by Astrium Services, the company within the Astrium Group
            ("Astrium") responsible for Satellite Services to ESVs. My title is Head of Maritime
            Engineering. In that capacity, I am responsible for all Earth Station on Vessel (ESV)
            operations through Astrium‘s earth stations, including those in Southbury, CT and
             Santa Paula, CA, as well as Astrium ESV operations that are uplinked via the Intelsat
             Mountainside teleport near Hagerstown, MD pursuant to a telehousing arrangement.

        2.    Ihave read the Intellian FCC Declaration of Conformity.

        3. I am aware that, in order to meet the off—axis EIRP spectral density limits defined in
           Section 25.222 (a)(1)(i) of the FCC‘s ESV Rules, the input power to the Intellian Ku—
           band ESV antennas must be limited as follows:                                  .

             For the V60G antenna                —22.3 dBW/4kHz.
             For the V80G antenna                —20.13 dBW/4kHz.
             For the V100GX antenna              —16.66 dBW/4kHz
             For the V110 antenna                —16.2 dBW/4kHz.
             For the V 130 antenna               ~14.0 dBW/AkHz.

        4. Astrium will take all necessary steps to ensure that the input power to the Intellian
             antenna is limited in the manner described above. Astrium will ensure that the
             specified power spectral densities are not exceeded by using the appropriate coding.
             Astrium will also monitor absolute power levels, either directly through its hub earth
             stations or by working with the satellite operators.

I, Alain Bertrand, declare under penalty ofperjury that the foregoing is true and correct to the
best of my knowledge and belief.


Executed on: '.’)f/ \, ‘“07




                            ON GJHALE o T Alain Bertrand



Document Created: 2013-05-09 16:14:49
Document Modified: 2013-05-09 16:14:49

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