PAC_1.65 Letter_Fina

LETTER submitted by Panasonic Avionics Corporation

1.65 Letter

2018-07-18

This document pretains to SES-MFS-20180122-00052 for Modification w/ Foreign Satellite (earth station) on a Satellite Earth Station filing.

IBFS_SESMFS2018012200052_1465391

                  ..000...
                                                                     LMI Advisors LLC
            1*°              0                                       2550 M Street, NW
         2                                                            Suite 345
        s LM I                                                       Washington, D.C. 20037
        &                                                            Jason Davila
         wA                                                          T +1 609 902—1670
              %, ABVIsORS                                            {davila@Imiadvisors.com



July 18, 2018

Ms. Marlene H. Dortch
Secrctary
Federal Communications Commission
445 12th Street, SW
Washington, DC 20554

        Re: Panasonic Avionics Corporation — Section 1.65 Submission
            Modification Application File Nos. SES—MFS—20180122—00052, SES—AMD—
            20180208—00096 & SES—AMD—20180225—00161, Call Sign E100089

Dear Ms. Dortch:

        Pursuant to Section 1.65 of the Commission‘s rules, 47 C.F.R. § 1.65, Panasonic Avionics
Corporation ("‘Panasonic") hereby clarifies certain information in the above—referenced application to
modify its earth station aboard aircraft ("ESAA") blanket license, as amended (‘Modification
Application"), in response to an inquiry from the International Bureau staff.

         First, in the Modification Application narrative, Panasonic included a request to correct the
satellite are for the Apstar 7 satellite in "Section C (Frequency Coordination Limits)" of the license.
This was a typographical error and Panasonic clarifies that this request should be in reference to the
Apstar 6 satellite. Accordingly, Panasonic requests that the Commission update Apstar 6 satellite are
range in Section C of the ESAA blanket license to "134E—134E."

        Second, Panasonic requested that certain additional receive frequencies be included in "Section
B (Particulars of Operation)" of the license outlining authorized parameters of its ESAA terminals.
Panasonic acknowledges, however, that Section C of the license correctly captures all of the
frequencies used by the ESAA terminals with each satellite point of communication, including the
receive bands at issue. Thus, Panasonic agrees that no further action is required and respectfully
withdraws this request.

        Please do not hesitate to contact the undersigned with any questions regarding this matter.

                                                       Respectfully submitted,


                                                          on Davila
                                                           [ Advisors, LLC

ce:     Paul Blais, FCC International Bureau



Document Created: 0640-04-10 00:00:00
Document Modified: 0640-04-10 00:00:00

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