Attachment Section 1 65

This document pretains to SES-MOD-20060124-00090 for Modification on a Satellite Earth Station filing.

IBFS_SESMOD2006012400090_497382

A KIN         G U M P
S TR AUSS                   HAUER & FELD.uuLcr
                          Attorneys at Law



                                                                                    TOM W. DAVIDSON
                                                                                    202.887.4011/fax: 202.955.7719
                                                                                    tdavidson@akingump.com




                                             April 21, 2006
Ms. Marlene H. Dortch                |            RECE“,ED                              P & RETUP\N
Secretary
Federal Communications Commission                    APR 2 1 2(@“‘\
445 12th Street, > S.W.                                       j   ;   Commiss lo:
Washington, D.C. 20054                         Federal “&Qfi'fi@“fi?fim

        Re:   Section 1.65 Update to IBFS File No. SES—MOD—20040124—00090
              Update to Application to Modify Satellite Earth Station E900081

Dear Ms. Dortch:

        GeoLogic Solutions, Inc. ("GeoLogic‘), licensee of satellite earth station E900081
("Earth Station"), by its attorneys, hereby files this letter pursuant to Section 1.65 of the rules of
the Federal Communications Commission ("FCC" or "Commission") to update the above—
referenced application ("Application") seeking FCC consent to modify the license term of the
Earth Station authorization to permit GeoLogic to operate its currently licensed 50,100 half—
duplex mobile earth terminals ("METs") in the lower L—band for an additional four years, until
July 2, 2010. GeoLogic explained in the Application that the MET‘s operate on a multi—mode
satellite and terrestrial network, whereby communications are first attempted over terrestrial
networks. Where terrestrial coverage is unavailable, messages are routed over a lower L—band
satellite network. GeoLogic has entered into negotiations to make a significant investment in its
business that it would not otherwise make without the existence of the extended MET‘s license.
Because the proposed investment is time critical due to circumstances beyond GeoLogic‘s
control, GeoLogic finds itself in a near term need to make decision on the investment very
quickly. In light of the foregoing, GeoLogic requests that the Commission act upon the
Application without delay.

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

                                                        Sincerely,



                                                       Zoz/oce
                                                        Tom W. Davidson, Esq.
co:     Scott Kotler, Esq.
        Andrea Kelly, Esq.



Document Created: 2006-04-24 14:36:15
Document Modified: 2006-04-24 14:36:15

© 2025 FCC.report
This site is not affiliated with or endorsed by the FCC