Attachment Opposition

Opposition

OPPOSITION submitted by Iridium Satellite LLC and Iridium Carrier Services LLC

Opposition

2006-02-16

This document pretains to SES-MOD-20050927-01330 for Modification on a Satellite Earth Station filing.

IBFS_SESMOD2005092701330_485562

RECEIVED                                                                          ORIGINAL
 FEB 2 2 2006                          Before the                                   RE
 Satalte Dvision        FEDERAL COMMUNICATIONS commiissION                             CEIVED
Intonatonal Bureau               Washington, D.C. 20584                              FEB 18 ome
                                                                               FedralConmuntcaton Conm
   In the Matter of                                                                   OfrceofSermiay isstn
   Iridium Satelite LLC and                                File Nos. SES—MOD—20050927—01329,
   Iridium Carrier Services LLC                                        SES—MOD—20050927—1330,
   Mobile Earth Station Modification Applications                      SES—AMD—20051222—01791 &
                                                                       SES—AMD—20051222—01792

   Special Temporary Authority                             File Nos. SES—$TA—20050930—01349 &
                                                                     SES—STA—20050930—01350



                        OPPOSITION TO SECOND PETITION TO DENY

          Pursuant to Section 25.154(c) ofthe Commission‘s rules, 47 C.F.R. § 25.154(c), Iidium
  Satellte LLC and Iridium Carrier Services LLC (collectively, "Iridium") oppose the second
  petition ("Second Petition") of Globalstar LLC ("Globalstar®),fled on February 3, 2006,
  requesting denial ofthe above—captioned modification applications ("Applications") to add
  amplifier equipment to the mobile satellite service (MSS") handsets authorized under Iridium‘s
  existing blanket mobile earth terminal (*MET) licenses.\ The Commission should dismiss the
  Second Petition as procedurally defective.. Alternatively, the Commission should deny the
  Second Petition on its merits because the issues raised in the petition have been fully resolved by
  Iridium‘s prior filings in this proceeding.
          As an inital matter,the Second Petition is untimely fled and not permitted under the
  Commission‘s rules. Globalstar previously filed a petition to deny ("First Petition") the


  ‘ See Globalstar Second Petition at 1 (Feb. 3, 2006).




  dessios9


Applications on November 14, 2005," in response to the Commission‘s public notice ofthe filing
of the Applications." Pursuant to the Commission‘s grant ofan extension request, ridium timely
filed both an opposition tothe Fizst Petition and minor amendments (‘Minor Amendments®) to
the Applications on December 22, 2005.* The Commission also extended the fling deadline for
Globalstar‘s reply until January 20, 2006, but Globalstar chose not to fle a reply.
       Although the Commission, on January 4, 2006, issued a public notice accepting the filing
of the Minor Amendments, the public notice did not establish an additional period for filing
petitions to deny or comments:" Section 25.154(@)() ofthe Commission‘s rules requires
petitions to deny and comments to be filed "within thity (30) days after the date of public notice
announcing the acceptance forfling ofthe application or major amendment thereto."* As
Iridium noted, the Minor Amendments are not "major amendments," as defined under Section
25.116(b) ofthe Commission‘s rules, 47 C.F.R. § 25.1 16(b), because they do not seek any
changes that would increase the potential for nterference, modify the proposed operating
frequencies or orbital locations, or have a significant environmental effect." Globalstar does not
dispute this and, in fact, acknowledges that the Minor Amendments "provide reduced power,




* See Globalstar First Petition at 1 (Nov. 14, 2005).
* See FCC Public Notice, Satellite Communications Services, Report No. SES—00756 (Oct. 12,
2003).
* See Iridium Opposition to Petition to Deny (Dec. 22, 2005); Irdium Amendments (De. 22,
2003).
* See FCC Public Notice, Satellite Communications Services, Report No. SES—00781 (Jan. 4,
2006).
©47 C.FR. § 25.154(@)Q) (emphasis added).
" See Attachment to Iridium Carrier Amendment, at 1 ; Attachment to Iridium Satellte
Amendment, at 1.


de—asios9


antenna gain, and effective isotropic power ... levels."" Thus, because the Minor Amendments
are not "major amendments," the Commission‘s rules do not permit Globalstar an additional
period to file another petition to deny, and the Second Petition therefore should be dismissed on
this ground alone.
        Should the Commission address this procedurally defective petition on its merits, the
Second Petition should be denied because it merely rehashes issues that have been fully resolved.
First, Globalstar continues to argue that the Applications "seek more extensive use of spectrum
than is currently authorized,"" even though Iridium repeatedly has stated that "{t}he Applications
do not seek any changes to the frequencies authorized under Iridium‘s existing MSS and MET
Hicenses.""" As previously explained, Iridium‘s existing blanket MET license authorizes MSS
handsets that are "capable of operating in the 1616—1626.5 MHz frequency band." . In granting
this authority, the Commission distinguished between authorizing Iridium METs to transmit on
certain frequencies and authorizing them to have the "capability oftransmitting across a broader
spectrum segment, 1616—1626.5 MHz.""" The Commission concluded that the latter "comports
with the terms of the space—segment license ® and is consistent with the Commission‘s
declaration ... that liensees would [be] given authority to construct systems capable of
operating across the entire band allocated for tpertinent system architecture.""" Thus,
consistent with the terms of Irdium‘s existing blanket MET license,the proposed equipment will


* See Globalstar Second Petitionat 2.
* td ats.
‘° tridium Opposition to First Petition at 2.
"" U.S Leo Services, Inc., 11 ECC Red 20474, § 17 (Int‘l Bur. 1996) (emphasis added).
" 14 15.
"t



de—ssto89


be constructed to be capable of operating within the 1616—1626.5 Mz band, but wl re—transmit

only on frequencies on which Iridium METs already are authorized to operate.""
        Second, Globalstar does not allege that operation of the proposed equipment will vilate
any emission limits or technical rules, but rather claims that the equipment will cause harmful
interference to Globalstar‘s MSS operations, based upon an interference analysis that has no

support in the Commission‘s rules."" Globalstar does not dispute that the proposed equipment, as
modified pursuant to the Minor Amendments, will operate ata peak effective isotropic radiated
power ("EIRP") level lower than that of an ordinary Iridium handse, and therefore will be even
more benign, from an interference perspective, than an ordinary Iridium handsct."* Despitethis

lower risk of harmful interference, Globalstar offers no justification for imposing intererence

standards that are more stringent than those that apply to existing Iidium handsets."
        Finally, Globalstar requests that the Commission deny any further requests for extension

of Iridium‘s special temporary authority to operate the proposed equipment because the


"* Although Globalstar contends that Iidium has failed to coordinate use of the 1618.25—1621.35
MHz band with Globalstar, this procceding is not the proper forum for addressing this claim.
Because the proposed equipment merely re—transmits on frequencies on which the Iridium METs
already are operating, Commission approval of the proposed equipment will have no impact on
Iridium‘s existing or future use of the 1618.25—1621.35 MHz band.
‘* See Globalstar Second Petition at 4.
‘* See Iridium Opposition to First Petition at 3—5.
‘" Globalstar also claims that "[i}tis unclear from Iridium‘s applications whether or not the
repeaters will repeat more than one carrier, and . . ifthe reported EIRP is per carrier orif it is the
total EIRP for the device." Globalstar Second Petition at S. As Iridium stated in its Opposition
to the Fizst Petition, "[{Jhe combination ofthese factors will reduce the maximum EIRP from the
proposed equipment (spread evenly over one, two or three Iridium carriers), to a level no greater
than +10.3 dBW.". Tridium Opposition to First Petition at 4—5, This makes it clear thatthe
equipment may repeat more than one carrier, but tat the total EIRP of the equipment is 10.3
dBw.




de—as1os9


underlying Applications, on their face, are not grantable."" As demonstrated above, however,
Globalstar has provided no technical details that justify denial ofeither the Applications or
requestsfor STA extensions.""" Moreover,Iidium successfully has been operating the proposed

equipment under ts STA for more than a year without incident. A sudden discontinuance of the
existing STA operations would disserve the public interest and cause unnecessary disruptions for
Iridium customers that have come to rely upon the equipment for their communications needs.
       Commission action upon the Applications, filed more than a year ago, is long overduc.
The Commission must not permit any further delay that would deprive Iridium customers,
including U.S. militry and public safety organizations, ofinnovative equipment that serve to
enhance MSS communications capabilities during critical military operations and public safety
missions. Based upon the foregoing, Iidium urges the Commission to refect the Second Petition
and to grant the Applications,
                                                  Respectfully submitted,
                                                  IRIDIUM SATELLITE LLC and
                                                  IRIDIUM CARRIER SERVICES LLC
                                                  By: /s‘ Jennifer Hi
                                                  Jennifer D. Hindin
                                                  Wiley Rein & Fielding LLP
                                                  1776K St, NW
                                                  Washington, D.C. 20006
February 16, 2006                                 Their Attomey

‘* See Globalstar Second Petition at 5.
‘* Globalstar altematively requests that future STA grants should limit Iridium‘s operations to
the 1621.35—1626.5 MHz band. 14. As discussed above, however, the proposed equipment re—
transmits only on frequencies on which Iridium METs already are authorized to operate. Thus,it
would be inappropriate to restriet operation ofthe proposed equipment o a narrower frequency
band than is authorized under Iridium‘s existing blanket MET license


doas1o


                                 CERTIFICATE OF SERVICE

       1, Christopher E. Ryan, hereby certify that on February 16, 2006, a copy of the foregoing
OPPOSITION was served by U.S. first class,postage pre—paid mail,or as otherwise indicated
below, upon the following parties:
 William T. Lake                                      Robert G. Nelson*
 Josh L. Roland                                       Chief
 Wilmer Cutler Pickering Hale and Dore LLP            Satellte Division, International Bureau
 2445 M Street, NW                                    Federal Communications Commission
 Washington, D.C. 20037                               445 12th Street, SW
   Counsel for Globalstar LLC                         Washington, DC 20554
                                                      Email: robert.nelson@fec.gov

 Cassandra Thomas*                                    Fem Jamulnek®
 Satellite Division, International Bureau             Deputy Division Chief
 Federal Communications Commission                    Satellite Division, International Bureau
 445 12th Street, SW                                  Federal Communications Commission
 Washington, DC 20554                                 445 12th Street, SW
 Email: Cassandra Thomes@fee.gov                      Washington, DC 20554
                                                      Email: FemJarmulnck@fc.go

 Karl Kensinger®                                      Scott Kotler®
                sion Chief                            Branch Chief, Systems Analysis Branch
 Satellte Division, International Bureau              Satellite Division, International Bureau
 Federal Communications Commission                    Federal Communications Commission
 445 12th Street, SW                                  445 12th Street, SW
 Washington, DC 20554                                 Washington, DC 20554
 Email: Karl.Kensinger@fee.gov                        Email: seottkotler@fee.gov
 John Martin®                                         Frank Peace®
 Senior Engineer, Satellite Division                  Satellte Division, International Bureau
 Interational Bureau                                  Federal Communications Commission
 Federal Communications Commission                    445 12th Street, SW
 445 12th Street, SW                                  Washington, DC 20584
 Washington, DC 20554                                 Email: frankpeace@fee.gov
 Email: john.martin@fee.gov
 Hsing Lin®
 Satellite Division, International Bureau
 Federal Communications Commission
 445 12th Street, SW
 Washington, DC 20554
 Email: hsing lin@fec.gov




* By —mail delivery

deastoss



Document Created: 2006-03-02 15:01:27
Document Modified: 2006-03-02 15:01:27

© 2024 FCC.report
This site is not affiliated with or endorsed by the FCC