20111014 HNS E040382

REQUEST submitted by HNS License Sub, LLC

Construction Deadline Extension Request

2011-10-14

This document pretains to SES-MOD-20090518-00601 for Modification on a Satellite Earth Station filing.

IBFS_SESMOD2009051800601_921335

L             LERMAN
 S            SENTER
              PLLC

                                                                                       STEPHEN D. BARUCH
                                                                                           202.416.6782
  WASHINGTON, DC                                                                    SBARUCH@LERMANSENTER.COM

                                          October 14, 2011

Marlene H. Dortch
Secretary
Federal Communications Commission
445 Twelfth Street, S.W.
Washington, DC 20054

               Re:     HNS License Sub, LLC
                      File No. SES—MOD—20090518—00601, Call Sign E040382

Dear Ms. Dortch:

       HNS License Sub, LLC ("Hughes"), licensee of the above—referenced earth station in
New York City, NY, by its attorneys, hereby requests an additional 12 months to meet the
construction deadline for the earth station. The modification application was granted on
October 14, 2009. The conditions in Section H of the modified authorization include the
obligation to complete construction by the "required date of completion" unless an extension is
requested and supported. Under Section 25.133(b) of the Commission‘s rules, the required date
of completion for the modified facility was October 14, 2010.

        On October 14, 2010, Hughes requested a one—year extension of the deadline for
completion of construction to October 14, 2011, citing its inability to secure requisite
construction approvals from the owner of the property on which the antenna is to be built.
Hughes hereby requests an additional one—year extension of the deadline — or until October 14,
2012 — for completion of construction. Hughes continues to be unable to secure the requisite
construction/installation approvals from the owner of the property on which the antenna is to be
sited, and this inability is a matter beyond Hughes‘s control. Hughes emphasizes that it is
prepared to proceed promptly with the installation once approval is obtained. This is not a
zoning issue.

       Please address any questions or requests for further information to me.




                                              Attorney for HNS License Sub, LLC



                        2000 K STREET NW, SUITE 600 | WASHINGTON, DC 20006—1809
                       TEL 202.429.8970 | FAX 202.293.7783 | WWW.LERMANSENTER.COM



Document Created: 2011-10-14 18:11:24
Document Modified: 2011-10-14 18:11:24

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