Attachment Annual Repoprt

Annual Repoprt

LETTER submitted by Lerman Senter PLLC

Annual Report

2009-03-25

This document pretains to SES-MOD-20071217-01705 for Modification on a Satellite Earth Station filing.

IBFS_SESMOD2007121701705_708118

                                                          RECEIVED
                          MA N                             MAR 3 6 2009
                          T                                Satellite Division
               6   PLLC                                           .
                                                          International Bureau
                                                                                     Strrurn D. B
       c           aon       ~                                                            202416.6
  WASHINGTON, DC                                                                 SBARUCHGLERMANSE

                                               March 25, 2009
                                                                                             LEACDEpre,
Marlene H. Dortch, Secretary                                                             Retiry MQH 25 ZUUQ
Federal Communications Commission                                                              COMimypina.
           —
445 Twelfth Street, S.W.
                                                                                              Office 0f thes@mra;},m'ss‘“"
                                                                                                         es"8 COMinje :
Washington, D.C. 20554

                          Re: Section 25.145(f)(2) Report for Call Sign E060445

Dear Ms. Dortch:

       HNS License Sub, LLC ("Hughes"), byits attorneys, hereby submits the annual report
that Section 25.145(f)(2) of the Commission‘s Rules requires of holders oflicenses for blanket
earth stations that operate in the fixed—satellite service in the 20/30 GHz bands. See 47 C.E.R. §
25.145(f)(2). Hughes is the licensee of Ka—band blanket licensedearth stations under Call Sign
E060445, and these antennas are used primarily to communicate with the SPACEWAY 3
satellite that is operated by Hughes® corporate parent in the 19.7—20.2 GHz and 29.5—30 GHz
frequency bands at the 94.95° W.L. orbital location.

       Section 25.145(f)(2) obligates blanket licensees of 20/30 GHz earth stations to submit to
the Commission an annual report indicating the numberof earth stations actually brought into
service underits blanket license. The report is to indicate the deployment figures for the
preceding calendar year. 47 C.F.R. § 25.145(F)(2).

       Commercial operation of the SPACEWAY 3 satellite commenced in April 2008. As of
December 31, 2008, 95,000 earth terminals of various types authorized underthe license for Call
Sign E060445 were in service via SPACEWAY 3.

       Please associate this submission with the above—referenced license, and contact me if you
have any questions or require any additional information.




                                                   Attorney for HNS License Sub, LLC




                           2000 K STREET     . SuTE 600    ASHINGTON. DC20006—1809
                          TE 20242089      | Fax 20229     | WWWLLERMANSENTER.COM



Document Created: 2009-04-15 12:46:55
Document Modified: 2009-04-15 12:46:55

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