REQUEST FOR EXTENSIO

REQUEST submitted by Iridium Satellite LLC

Request for Extension of Time

2014-12-23

This document pretains to SES-MOD-20130416-00322 for Modification on a Satellite Earth Station filing.

IBFS_SESMOD2013041600322_1071936

                                       Before the
                        FEDERAL COMMUNICATIONS COMMISSION
                                 Washington, D.C. 20554


In the Matter of                         )
                                         )
Iridium Satellite LLC                    )      File Nos. SES-MOD-20130416-00322;
                                         )      Call Sign E960132
                                         )
Iridium Carrier Services LLC             )      File No. SES-MOD-20130416-00323;
                                         )      Call Sign E960622
                                         )
Applications for Modification of Earth   )
Station AMS(R)S Authority                )




                          REQUEST FOR EXTENSION OF TIME

       Iridium Satellite LLC and Iridium Carrier Services LLC (together, “Iridium”),

pursuant to Section 1.46 of the rules of the Federal Communications Commission (the

“Commission” or “FCC”), by their attorneys, hereby request a one week extension of

time, through and including January 9, 2015, in which to submit their reply to the

Request to Hold in Abeyance (“Request”) submitted by Inmarsat, Inc. (“Inmarsat”) with

regard to the applications submitted by Iridium in the above-captioned proceedings.


       Inmarsat filed its Request on December 19, 2014, and served the Request on

Iridium by mail. Pursuant to Sections 1.4(h) and 1.45 of the Commission’s rules,

without an extension, Iridium’s reply would be due on January 2, 2015. Iridium’s

principal counsel for this matter is out of the country on holiday during most of the

period during which a reply would need to be prepared. It would be difficult for that

counsel to work on the matter while travelling. Given the number of issues raised, to


                                            -2-



allow Iridium sufficient time to work with its counsel in preparing a reply, the brief

extension herein requested is made.


      Iridium has contacted counsel for Inmarsat to advise Inmarsat that this request is

being made. Inmarsat’s counsel has advised that Inmarsat has no objection to the

extension herein requested.


                                  Respectfully submitted,



                                  By: /s/
                                        Jonathan L. Wiener
                                        GOLDBERG, GODLES, WIENER
                                          & WRIGHT LLC
                                        1229 19th Street, N.W.
                                        Washington, D.C. 20036

                                         Counsel for Iridium Satellite LLC and Iridium
                                         Carrier Services LLC

December 23, 2014


                              CERTIFICATE OF SERVICE


       I hereby certify that a copy of the foregoing Request for Extension of Time was

sent by United States first class mail on this the 23rd day of December, 2014, to the

following:


              Christopher J. Murphy
              Vice President, Government Affairs
              INMARSAT, INC.
              1101 Connecticut Avenue, N.W., Suite 1200
              Washington, DC 20036

              John P. Janka
              Elizabeth R. Park
              LATHAM & WATKINS LLP
              555 Eleventh Street, N.W., Suite 1000
              Washington, DC 20004



                                                 /s/
                                                        Brenda Campbell



Document Created: 2014-12-23 13:58:06
Document Modified: 2014-12-23 13:58:06

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