Attachment SEA Tel 6006 EIRP de

SEA Tel 6006 EIRP de

PROOF OF PUBLICATION submitted by P. Blais

SEA Tel 6006 antenna

2010-04-30

This document pretains to SES-MOD-20100513-00590 for Modification on a Satellite Earth Station filing.

IBFS_SESMOD2010051300590_842356

 Showing of Compliance with Section 25.222 and Supporting Exhibits

                                         Vizada, Inc.

                           Application for Modification of License to
            Add up to 400 SeaTel Model 6006 1.5 Meter Remote ESV Antennas to its
              Authorization to Provide ESV Service via its Southbury, CT Teleport

                                       Call Sign KA313
         By this application applicant Vizada, Inc. (Vizada, formerly Telenor Satellite,
 Inc.) seeks authority to add up to 400 SeaTel model 6006 1.5 meter remote ESV antennas
 to its authorization to provide ESV service via its Southbury, CT teleport, call sign
 KA313. These remote ESVs will be located on vessels traveling in U.S. and international
 waters. They will operate with a hub antenna at Southbury that has already been licensed
 by the commission and will be utilized to provide ESV service as previously authorized
 by the commission.

        Vizada‘s current KA313 ESV authorization is pursuant to File Number SES—
 MOD—20070925—01318, granted November 20, 2007. This grant authorized Vizada to
 operate up to 550 SeaTel model 4003A, model 4006 and model 4996T remote ESV
 antennas to communicate via All U.S. Domestic (ALSAT) Satellites, the Galaxy 10R
 satellite @ 123 W.L. and the INTELSAT 705 satellite @ 50 W.L. to provide ESV
 service.

         Vizada now seeks authorization to add up to 400 SeaTel model 6006 1.5 meter
 remote ESV antennas to the authorization previously granted by the commussion for the
 ESV Remotes to communicate via the Galaxy 10R satellite @ 123 W.L., the INTELSAT
 705 satellite @ 50 W.L. and ALSAT Satellites on the Permitted Space Station List to
 provide ESV service. As with the other SeaTel antennas previously authorized for ESV
 service operation of the model 6006 ESV antennas will be in full compliance with the
 requirements set forth in the commission‘s ESV order, 20 FCC Red 674 (2005), and in
 part 25 of the Rules as well as all provisions of the call sign KA313 license.

         Vizada‘s Showing of Compliance with Part 25 of the Commission‘s Rules and the
 exhibits required by Section 25.222 follow herewith.




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                                         Vizada, Inc.

                         Application for Modification of License to
          Add up to 400 SeaTel Model 6006 1.5 Meter Remote ESV Antennas to its
            Authorization to Provide ESV Service via its Southbury, CT Teleport

                                       Call Sign KA313

                 Showing of Compliance with Part 25 of the Commission‘s Rules

Section 25.222

   (a) (1) Comply. See Blaney and Varan declarations and Figure 1.

   (a) (2) Comply. See Blaney and Varan declarations and Figure 2.

   (a) (3) Comply. See Blaney and Varan declarations and Figure 1.

   (a) (4) Comply. See Blaney and Varan declarations and Figures 3 and 4.

   (a) (5) Comply. The SeaTel antennas provide automatic polarization adjustments. Further,
       the cross pole isolation is measured during the process of commissioning with the
       assistance of the satellite operator‘s test center to verify proper alignment.

   (a) (6) Comply. See Blaney declaration.

   (a) (7) Comply. See Blaney declaration.

   (a) (8) Comply. The Vizada Security Officer has authority and ability to cease all emissions
       from ESVs through the facilities of Telenor‘s Southbury Teleport. This point of contact
       is available 24 hours a day, seven days a week by calling +1—301—838—7700.

   (a) (9) Comply. The SeaTel antennas provide field—programmable blockage to prevent
       radiation toward occupied areas if necessary. Further, Radiation Hazard Warning signs
       are used to alert persons nearby of the potential hazard.

   (a) (10) Comply. See Figure 5, 6 and 7.

   (b) Comply. See Blaney and Varan declarations and Figure 1, Figure 2, Figure 3 and Figure
       4.                                                 |

   (c) (1) Comply. These records are being collected and maintained as specified. Requests to
       make this data available may be directed to the Vizada Security Officer by calling
       +1—301—838—7700.

   (c) (2) Comply.




2 oFr             12—                         1


     (c) (3) Comply.

    (d) Comply. We will not operate in the 14.0—14.2 GHz band in the specified locations.

    (e) Comply. We will not operate in the 14.47—14.5 GHz band in the specified locations.

    (f) Comply.




3 of— 12


                         Marine Stabilized Am‘enna System s

                                    Declaration of Sea Tel, Inc.

   1. Sea Tel designs, develops, manufactures and services marine stabilized antenna systems
      for satellite communications at sea. Vizada Inc., proposes to use the Sea Tel Model 6006
      antenna as part of its Ku—band Earth Station on Vessels ("ESV") network.
   2. The Sea Tel Model 6008 antenna, referenced in paragraph 1, will meet the off—axis EIRP
      spectral density envelope set forth in FCC 47 C.F.R. § 25.222(a)(1)—(4) when the input
      power to the antenna system is limited to —14 dBW/4kHz.
   3. The Sea Tel antennas referenced in paragraph 1 will maintain a stabilization pointing
      accuracy of better than 0.2 degrees under specified ship motion conditions. FCC compliant
      supervisory software has been developed to continuously monitor the pedestal pointing
      error and will trip an error flag whenever an unexpected event occurs that causes the
      instantaneous pointing error to exceed 0.5 degrees. This flag will not clear until the pedestal
      error decreases to 0.2 degrees or less. The state of this flag is used as an additional logic
      input to the existing "Transmit Mute" function of the Sea Tel below decks controller. By
      connecting the "Transmit Mute Output" of the Sea Tel below decks controller to the "Mute
      Input" of the satellite modem, the provisions of FCC 47 C.F.R. § 25.222(a)(7) are satisfied.
   4. Sea Tel maintains all relevant test data, which is available upon request, to verify these
      declarations.




   Executed on:     __8—Nov—2007                        By:
                                                               |!!r
                                                                 G. Blaney
                                                               Vice President, Product Development
                                                               Sea Tel, Inc.




   Sea Tel, Inc. * 4030 Netson Avenue * Concord, CA 94520 e Tel (925) 798—7979 » FAX (925) 798—7986




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                            DECLARATION OF CHRISTER VARAN

I, Christer Varan, hereby declare as follows:

        1. I am employed by Vizada AS ("Vizada"). My title is Product Manager, Sealink. In
that capacity, I am responsible for all ESV operations through Telenor‘s earth stations, including
those in Southbury, CT and Santa Paula, CA,

      2. I have read the attached Declarations of SeaTel, Inc. dated October 16, 2006 and
November 8, 2007, and have worked closely with SeaTel to ensure that Telenor‘s ESV
operations will be in compliance with the FCC‘s ESV rules.

        3. The SeaTel Ku—band antennas that will operate throughthe Southbury and Santa Paula
earth stations are the Model 4003A, the Model 4006, Model 4996T and Model 6006. I am aware
that, in order to meet the off—axis EIRP spectral density limits defined in Section 25.222(a)(1)—(4)
ofthe FCC‘s ESV Rules, the input power to the antenna system must be limited to —17.9
dBW/4kHz for the 4003A and 4006 antennas, —174BW/4kHz for the 4996T and —14 dBW/4kHz
for the 6006.

       4. Telenor will take all necessary steps to ensure that the input power to the various
SeaTel antennas is limited in the manner described above. Telenor will ensure that the specified
power spectral densities are not exceeded by using the appropriate coding. For Ku—band, %
QPSK will typically meet the requirements. Telenor will also monitor absolute power levels,
either directly through its hub earth stations or by working with the satellite operators.

1, Christer Varan, declare under penalty of perjury that the foregoing is true and correct to the
best of my knowledge and belief.

Executed on November 12, 2007.




                                         *       /%rifl%/
                                                Christer Varan
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                                                                                           Sea Tel, Inc.
                                                 1.5 Meter EIRP Spectral Density @ —14 dBW / 4kHz input and 0.75 dB radome loss

                                                                                  14.25 GHz EIRPsd H—Plane




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                                                                                        Degrees (Narrow Az Sweep)


                                                                                  14.25 GHz EIRPsd H—Plane




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       —180.0   —160.0    —140.0     —120.0   —100.0       —80.0     —60.0     —40.0      —20.0    0.0    20.0      40.0    60.0     80.0     100.0         120.0     140.0    160.0    180.0
                                                                                        Degrees (Wide Az Sweep)


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                                                                           Sea Tel, Inc.
                                          1.5 Meter EIRP Spectral Density @ —14 dBW / 4kHz input and 0.75 dB radome loss


                                                                   14.25 GHz EIRPsd E—Plane
EIRPsd dBW/AkHz




                  —30.0   —25.0   —20.0     —15.0       —10.0       —5.0         0.0       5.0        10.0       15.0      20.0   25.0   30.0
                                                                    Degrees (Elevation Sweep)




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                                                                                          Sea Tel, Inc.
                                                       1.5 Meter EIRP Spectral Density @ —14 dBW / 4kHz input and 0.75 dB radome loss


                                                                                14.25 GHz EIRPsd Cross Pol
EIRPsd dBW/AkHz




                  —10.0   —9.0   —8.0   —17.0   —6.0      —5.0   —~4.0   —3.0   —2.0      —1.0   0.0   1.0       2.0   3.0   4.0   5.0   6.0   7.0   8.0   9.0   10.0
                                                                                       Degrees (Azimuth Sweep)


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                                                        1.5 Meter EIRP Spectral Density @ —14 dBW / 4kHz input and 0.75 dB radome loss


                                                                                14.25 GHz EIRPsd Cross Pol
 EIRPsd dBW/A4kHz




                    —10.0   —9.0   —8.0   —7.0   —6.0      —5.0   4.0   300     —200   4.00   000    4.00      200   300   4.00   5.0    6.0   7.0   8.0   9.0   10.0
                                                                                   Degrees (Elevation Sweep)




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Document Created: 2019-04-19 23:17:15
Document Modified: 2019-04-19 23:17:15

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