Attachment Exhibit 3

This document pretains to SES-MOD-20170907-00989 for Modification on a Satellite Earth Station filing.

IBFS_SESMOD2017090700989_1272122

                                                                                            FCC Form 312
                                                                                                Exhibit 3




                         REQUEST FOR EXTENSION OF TIME




        Pursuant to Section 25.117(e) of the Commission’s rules, Telesat Network

Services, Inc. (“Telesat Network Services”) hereby requests that the Commission modify

its licenses for two fixed satellite service earth stations (Call signs E160134 and E160135)

by extending by one year, until November 8, 2018, the date by which each station must

be constructed and placed into operation. This exhibit accompanies two modification of

license applications, one for E160134 and the other for E160135.


        Such an extension is necessitated by the fact that the satellite with which each

earth station will communicate, Telesat’s Telstar 19 VANTAGE satellite (“T19V”),1 will

not be placed into service until the summer of 2018, at the earliest.2 The date by which

T19V can be placed into service is largely a function of the date by which the satellite’s

manufacturer completes construction of the satellite and the satellite can then be

launched by Telesat’s launched service provider. With well over 150 million U.S.




1 The licensee for T19V is Telesat International Limited (“Telesat International”), a commonly controlled
affiliate of Telesat Network Services. Telesat Network Services and Telesat International are together
referred to herein as “Telesat”.
2 At this time, the earliest practical time period for the satellite to be placed into service and the earth

stations employed is July 2018. Given the kinds of scheduling delays that are relatively common in a
project of this magnitude, a full year’s extension is requested to allow for reasonable margin without
having to go back to the Commission for a further extension.


                                                                                           FCC Form 312
                                                                                               Exhibit 3


dollars spent on these activities, Telesat has every incentive to work with its contractors

to have T19V built, launched, and then placed into service at the earliest practical date.


        The earth stations are an important component of Telesat’s overall T19V project.

They will serve as gateways for the Ka-band payload on T19V that will provide high

capacity links to customers in the Caribbean. Especially in light of current earth station

siting restrictions and the uncertainties associated with potential changes to these

requirements, failing to extend the time period for the earth stations to be constructed

and placed into operation could severely impinge on Telesat’s ability to provide this

service.


        Telesat’s extension request is consistent with Commission precedent. The

Commission’s International Bureau previously granted another earth station licensee,

Hughes Network Services (”HNS”), a one year extension of the deadline for its earth

stations be constructed and placed into operation under substantially comparable

circumstances.3 Like Telesat’s earth stations, HNS’ earth stations are licensed to

communicate with T19V. HNS requested an extension based on the fact that T19V




3See, Public Notice, Satellite Communications Services Information re: Actions Taken, Report No. SES-01979,
HNS License Sub, LLC at 8 – 12, Aug 2, 2017.


                                                                                      FCC Form 312
                                                                                          Exhibit 3


would not be launched and operational when its earth stations would have been

required to commence service.4


       Telesat respectfully submits that in light of: (i) the public interest benefits the

subject earth stations will serve; and (ii) Commission precedent, Telesat’s request for

additional time to complete the construction of its earth stations and place them into

operation should be granted.




4See HNS Licensee Sub, LLC, Applications for Modification, IBFS File No. SES-MOD-20170607-00622, Call
sign E160068; IBFS File No. SES-MOD-20170607-00623, Call sign E160069; IBFS File No. SES-MOD-
20170607-00626, Call sign E160066; IBFS File No. SES-MOD-20170607-00627, Call sign E160065; IBFS File
No. SES-MOD-20170607-00628, Call sign E160067.


                                                                            FCC Form 312
                                                                                Exhibit 3


                                   DECLARATION




          I, Elisabeth Neasmith, Director, Spectrum Management and Development,

hereby declare under penalty of perjury that the statements of fact made in the

foregoing Request for Extension of Time, in particular as to Telesat's inability to place

the referenced earth stations into operation within the time permitted under their

current licenses, are true and correct to the best of my knowledge, information, and

belief.


                                                                    2M*

          Signature                                     Date



Document Created: 2017-09-07 14:51:04
Document Modified: 2017-09-07 14:51:04

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