Attachment Exhibit D

This document pretains to SES-MOD-INTR2018-05792 for Modification on a Satellite Earth Station filing.

IBFS_SESMODINTR201805792_1530404

                                             Exhibit D

                                    Description of Application

         Pursuant to 47 C.F.R. §25.117(c), Ligado Networks Subsidiary LLC (“Ligado”) hereby

requests authority to modify its blanket mobile earth terminal (“MET”) license (the “License,”

call sign E980179) to reflect the pending change in orbital location of MSAT-2 (call sign

AMSC-1) from its current position at 103.3°WL to a new location at 106.5°WL. Ligado is

simultaneously filing with the Commission applications under §25.114(c) to (1) modify Ligado’s

license for MSAT-2 to authorize operation at the new orbital location1 and (2) modify Ligado’s

license for its earth station in Reston, Virginia (call sign E930124) to reflect the new orbital

location. MSAT-2 is expected to be relocated from its current orbital position to 106.5ºWL in

September/October 2018.2

         Currently, the METs communicate with SkyTerra-1 as authorized by the License, and

MSAT-2 acts as a backup. Ligado will continue operating MSAT-2 as a backup after relocation

to the new orbital location, and thus anticipates communication from the METs to MSAT-2 only

to the extent service failures or other exigencies require MSAT-2’s use.

         An updated Schedule B has been filed with this application, and an updated Schedule S



1
    See File No. SAT-MOD-20180912-00070. To the extent necessary, Ligado incorporates by
    reference the technical information submitted in that proceeding relevant to the relocation of
    MSAT-2. As noted in that filing, because 106.5°WL is an orbital location under Canadian
    authority, Ligado filed an application on August 20, 2018 with Innovation, Science &
    Economic Development (“ISED”) Canada to establish telemetry, tracking and command
    (“TT&C”) communications with MSAT-2 and will soon file a further application to operate the
    satellite’s service and feeder links from that location. Ligado has requested that the
    Commission indicate to ISED that it consents to relocating MSAT-2 to bring back into use the
    orbital location at 106.5°WL.
2
    Ligado has already received authorization from the Commission to drift MSAT-2 to the new
    location pursuant to its recent application for Special Temporary Authority. See FCC File No.
    SAT-TA-20180810-00061 (granted Aug. 28, 2018). The details of that application are
    incorporated by reference.


                                                  1


reflecting the relocation of the satellite and associated technical changes related to the L-Band

operations of the satellite is being provided with the modification to Ligado’s license for MSAT-

2 mentioned above. This application does not request authorization for new frequencies or any

other change in the currently authorized earth station parameters defined in the License. As such,

as required by the Commission’s rules,3 Ligado hereby certifies that all other information related

to this earth stations operations and not addressed in this application has not changed.

         Grant of the application will facilitate the relocation of MSAT-2, without interference or

harm to other operators, resulting in MSAT-2 being better accommodated in a fully coordinated

orbital location and providing future certainty for backup MSS operations. Accordingly,

modifying the License in the public interest.

         For all of these reasons, Ligado submits that the Commission should grant this

application for the modification of the License to reflect the relocation of MSAT-2.




3
    See 47 C.F.R. § 25.117(c).


                                                  2


                                      Technical Certification

       I, Maqbool Aliani, Senior Vice President of Spectrum Standards & Technology for

Ligado Networks Subsidiary LLC, certify under penalty of perjury that:



       I am the technically qualified person with overall responsibility for preparation of the

technical information contained in this application. I am familiar with the requirements of Part

25 of the Commission’s rules, and the information contained in the application is true and correct

to the best of my knowledge and belief.

                                                                  /s/
                                                     Maqbool Aliani

Dated: September 12, 2018



Document Created: 0360-04-12 00:00:00
Document Modified: 0360-04-12 00:00:00

© 2024 FCC.report
This site is not affiliated with or endorsed by the FCC