Attachment Minor Mod Exhibit A

This document pretains to SES-MOD-20140714-00598 for Modification on a Satellite Earth Station filing.

IBFS_SESMOD2014071400598_1053973

                                            Exhibit A

                       Description of Application and Waiver Request

        ViaSat, Inc. (“ViaSat”) seeks a minor modification to its current authorization to add
blanket authority to operate 250,000 0.695 meter VSAT earth stations to communicate with the
ViaSat-1 satellite, utilizing the 28.35-29.1 GHz and 29.5-30.0 GHz (uplink) bands and the 18.3-
19.3 GHz and 19.7-20.2 GHz (downlink) bands. ViaSat-1 is U.S. licensed and authorized to
serve the U.S. in these bands. ViaSat also seeks authority to operate these earth station antennas
with the WildBlue-1 and Anik-F2 satellites using the 29.5-30.0 GHz (uplink) band and the 19.7-
20.2 GHz (downlink) band. WildBlue-1 and Anik-F2 are Canadian licensed and are authorized
to serve the U.S. in these bands.

             ViaSat currently holds a blanket license authorization under call sign E120026
(SES-LIC-20120201-00133 to operate a large number of user terminals in the 18.3-19.3 GHz,
19.7-20.2 GHz, 28.35-29.1 GHz and 29.5-30.0 GHz bands using the ViaSat-1 satellite.

                This new model AN690KA206 antenna is a variation of the previously authorized
CPE-2 antenna on the current Blanket License. The new 0.695 m antenna uses the same
reflector and feed as the previously authorized antenna in the current Blanket License.
Principally the difference is a change in the outdoor electronics and related mounting bracket to
reduce cost an improve receive performance. However, these differences do not impact the
output power or the electrical characteristics of the antenna, and thus, the new antenna is
electrically identical to the current antenna already authorized on this license. Therefore, the
antenna patterns and radiation hazard analysis for the new antenna are identical to those for the
current CPE-2 antenna, and Exhibits B and C of Application File No. SES-LIC-20120201-00133
are incorporated by reference here to demonstrate compliance with Section 25.138(a). Similarly,
the radiation hazard analysis in Exhibit D of Application File No. SES-LIC-20120201-00133 is
incorporated by reference here, as it also applies to the new antenna.

                In granting the ViaSat-1 Blanket License and the authorization for the ViaSat-1
satellite, the Commission granted authority to operate on the 28.6-29.1 GHz band on a secondary
allocation and granted a waiver of the U.S. Table of Frequency Allocations to use the 18.8-19.3
GHz band for GSO FSS downlink operations.1 In addition, the Commission permitted blanket
licensing of earth stations in the 28.6-29.1 GHz and 18.8-19.3 GHz bands in the ViaSat-1
Blanket License. The new antenna type requested by this modification application will operate
on these same frequencies when communicating with ViaSat-1, and thus, ViaSat requests the
same waivers, to the extent necessary. The bases for such waiver showings for this new terminal
type are no different than those already approved in the ViaSat-1 Authorization and the ViaSat-1
Blanket License. ViaSat respectfully incorporates by reference those prior showings,2 and


1
       See ViaSat-1 Blanket License; see also File Nos. SAT-LOA-20110722-00132, as
       amended (granted Oct. 14, 2011); SAT-LOI-20080107-00006, as amended (granted Aug.
       18, 2009) (“ViaSat-1 Authorization”).
2
       See File Nos. SES-LIC-20101217-01585; SAT-AMD-20080623-00131.


requests that the Commission permit operations and blanket licensing in the 18.8-19.3 GHz band
in this case.




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Document Created: 2014-07-14 16:30:03
Document Modified: 2014-07-14 16:30:03

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