Attachment KA312

This document pretains to SES-MOD-20020919-01620 for Modification on a Satellite Earth Station filing.

IBFS_SESMOD2002091901620_289010

                                  Before the                                 NOV - 1 2002
                   FEDERAL COMMUNICATIONS COMMISSION
                            Washington, D.C. 20554



In the Matter of             l!#wYt    sm2       )
                                                 )
T E L E N O R S A T E L L I T E - ~~@l~~epi~ em )
                              InttemaWnal Ww4i.f )
Application to Modify Earth Station Authority )      File Nos. SES-MOD-20020919-01620
In the Domestic Fixed-Satellite Service                          KA312



                   COMMENTS OF PANAMSAT CORPORATION

        PanAmSat Corporation (“PanAmSat”), by its attorneys, hereby comments on

the above-referenced modification application (“Application”) of Telenor Satellite, Inc.

(“Telenor” or “Applicant”). For reasons that are discussed below, it is not possible to
evaluate properly, based on the information that Telenor has provided, whether
Telenor’s proposed operations could interfere with adjacent PanAmSat satellites. The

Commission, therefore, should require Telenor to clarify matters, and should give

PanAmSat an additional opportunity to comment, before acting on Telenor’s

application.

                                      D ISCUSSION

       Among other things, Telenor is seeking to add ALSAT as a point of
communication and to use additional emissions. It is unclear, however, which

emissions are associated with ALSAT and which are associated with Inmarsat satellites,

As a result, one cannot determine which C-band emissions, if any, Telenor is proposing

to use to communicate with Inmarsat 2 at 98 W.L., which is one degree from

PanAmSat’s Galaxy VI at 99” W.L. and three degrees from PanAmSat’s Galaxy III-C at
95” W.L. PanAmSat operates C-band payloads on both satellites.


                                             2


       Telenor’s proposed C-band transmissions include TT&C and non-TTK carriers.
If Telenor intends to operate non-TTY&C C-band carriers at 98 W.L., it is a virtual

certainty that those carriers will interfere with PanAmSat’s adjacent satellite operations.

Even if Telenor’s C-band plans at 98 W.L. were limited to TT&C transmissions,

moreover, at a minimum those transmissions would have to be coordinated with
PanAmSat to avoid objectionable interference. Accordingly, Telenor should be required
to revise its applications to provide information clearly identifying the relevant carriers
and associated satellites. Based on the additional information Telenor provides, it may
be necessary to condition any grant on successful coordination with PanAmSat.

                                      CONCLUSION
        For the foregoing reasons, the Commission should require Telenor to clarify
what it is requesting, and give PanAmSat an additional opportunity to comment, prior
to action on the Application.



                                          Respectfully submitted,




                                          GOLDBERG, GODLES, WIENER & WRIGHT
                                          1229 Nineteenth Street, N.W.
                                          Washington, D.C. 20036
                                          (202) 429-4900
                                          Its Attornevs

November 1,2002


                              CERTIFICATE OF SERVICE




        I hereby certify that a true and correct copy of the foregoing was sent by first-
class mail, postage prepaid, this 1st day of November, 2002, to the following:


                Telenor Satellite, Inc.
                Attention: Bruce A Henoch
                6560 Rock Spring Drive
                Bethesda, MD 20817-1145



Document Created: 2002-11-06 14:53:11
Document Modified: 2002-11-06 14:53:11

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