Attachment KA313

This document pretains to SES-MOD-20020919-01633 for Modification on a Satellite Earth Station filing.

IBFS_SESMOD2002091901633_290049

    N&l ,I 5 28Iye                    Before the
                        FEDERAL COMMUNICATIONS COMMISSION
                                                                                         RECEIVED
                                 Washington, DC 20554
Satdlit~ ~~~~~~~~~~ BniPch                                                                 NW 1 2 2002
    Lnttemtbnal Bureau
                                                                                     WE&u COwtwmoNs COWI-
    In the Matter of                               )                                      Of%E OF THE SECRETARY

                                                   1
    TELENOR SATELLITE, INC.                        >      File No. SES-MOD-200209 19-01633
                                                   )
    Application for Modification of                1
    Earth Station License KA-3 13                  >



    REPLY OF TELENOR SATELLITE, INC. TO COMMENTS OF PANAMSAT

             Telenor Satellite, Inc. (“Telenor”) hereby files this response to the comments filed

    on November 1,2002, by PanAmSat Corporation (“PAS”) in the above-referenced

    proceeding.’ Telenor is tiling this response for the purpose of clarifying for the

    Commission the issue raised by PAS.

             Telenor has filed its application to add ALSAT as a point of communication and

    to use additional frequencies and emissions with its antenna. PAS in its comments claims

    that it cannot determine what C-band emissions, if any, that Telenor is proposing to use

    to communicate with the Inmarsat-2 satellite at 98 degrees West longitude. PAS states

    that the Commission should require Telenor to provide further information regarding this

    usage.

             Telenor notes that the antenna in question is already licensed by the Commission

    to communicate with the Inmarsat-2 satellite at 98 West. Telenor does not by virtue of

    the additional authority it seeks herein intend to modify its existing uses with respect to

    this satellite. Accordingly, Telenor does not object if the Commission concludes that it is


    ’ Comments of PanAmSat Corporation, File No. SES-MOD-20020919-O 1633, filed Nov. 1,2002.


necessary to impose a condition on the modified license that would prevent Telenor from

expanding its use of the antenna in question with the Inmarsat-2 satellite at 98 West

beyond what is permitted under Telenor’s current license. Such limitation would, of

course, apply only with respect to this one satellite.

        Telenor believes that the imposition of this condition with respect to the Inmarsat-

2 satellite at 98 West would address fully the concerns expressed by PAS and that there is

no additional inquiry required with respect to this matter. The Commission should

therefore deny as moot the request in the PAS comments for additional clarification.



                                       Respectfully submitted,

                                       TELENOR SATELLITE, INC.


                                   By:-B
                                       Bruce A. Henoch
                                                                      #L
                                       TELENOR SATELLITE, INC.
                                       6560 Rock Spring Drive
                                       Bethesda, MD 208 17
                                       (301) 214-3347

                                       Its attorney




November 11,2002


The undersigned hereby certifies that a true and complete copy of the foregoing REPLY
OF TELENOR SATELLITE, INC. TO COMMENTS OF PANAMSAT was sent on this
day by U.S. Mail, postage prepaid, to the following:


                                   Joseph A. Godles
                                   Michael A. McCoin
                                   Goldberg, Godles, Weiner & Wright
                                   1229 Nineteenth Street, N. W.
                                   Washington, D.C. 20036




                                         / ;li; I/( &
                                           Bruce A. Henoch


November 11,2002



Document Created: 2002-11-18 14:49:10
Document Modified: 2002-11-18 14:49:10

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