Attachment Grant

This document pretains to SES-STA-20040524-00717 for Special Temporal Authority on a Satellite Earth Station filing.

IBFS_SESSTA2004052400717_381306

FCC - Application for Earth Station STA                               E960132      SESSTA-2001052400717    IB2004OO1051
                                                                      Iridium Satellite LLC




              APPLICATION FOR EARTH STATION SPECIAL TEMPORARY AUTHORITY
                                           FOR OFFICIAL USE ONLY
                                         [Click here for INSTRUCTIONS.]
i




                                        APPLICANT INFORMATION

Enter a description of this application to identify it on the main menu:


                                        Phone
    Name:       Iridium Satellite LLC   Number:   301-571-6200


    Street:     670 1 Democracy Blvd. E-Mail: pat.mah

    City:       Bethesda




    Name:       Jennifer D. Hindin
    Company: Wiley Rein & Fielding LLP Fax Number: 202-719-7207
    Street:  1776 K Street, N.W.       E-Mail:     jhindin@wrf.com
    City:       Washington                  State:      DC
                                            Zipcode:    20006    -




http://svartifoss2.fcc.gov/cgi-bin/ws.exe/pro~ib/fo~s/getappn.
                                                           hts                                     5/25/2004


CONDITIONS:

The Eagle Broadband, Inc. full-duplex MSS repeaters added via this modification are to
be used only with non-common-carrier subscriber terminals, i.e. terminals provided to
government users and served by the Iridium DoD gateway. It is the responsibility of the
Licensee to insure that common-carrier subscriber terminals, i.e., those offered as CMRS
under Section 20.9(a)(lO) of the Commission's rules, do not make use of these repeaters.

This action is without prejudice to any enforcement action with respect to operation of
full-duplex MSS repeaters prior to the date of this grant.


FCC - Application for Earth Station STA                                                                           Page 2 of 2



      Use Prior to Grant         Change Station Location       Other
  6 . Requested Use Prior Date
  5/25/2004
                                                                              8. Latitude
  7. Clty                                                                     (dd mm ss.s h)
                                                                              10. Longitude
  9 State
                                                                              (ddmm ss.sh)
               .. .
  11. Please sumlv anv need attachments.



II IAttachment 1 .

  12. Description.
  See Attachment 1
                                     ' I     IlAttachment 2:                    11  Attachment 3:        m*ment            I
  13. By checking Yes, the undersigned certifies that neither applicant nor any other party to the
  application is subject to a denial of Federal benefits that includes FCC benefits pursuant to
  Section 5301 of the Anti-Drug Act of 1988,21 U.S.C. Section 862, because of a conviction for       @   Yes      r   NO
  possession or distribution of a controlled substance. See 47 CFR 1.2002(b)for the meaning of
  'party to the application"for these purposes.
                                                                               15. Title of Person Signing
  14. Name of Person Signing
                                                                              Vice President - Regulatory &
  Patricia A. Mahoney
                                                                              Snectrum Affairs


II'    WILLFUL FALSE STATEMENTS MADE ON THIS FORM ARE PUNISHABLE BY FINE AND/OR
                                                   IMPRISONMENT
       (U.S. Code, Title 18, Section IOOI), AND/OR REVOCATION OF ANY STATION AUTHORIZATION
       . (U.S. Code, Title 47, Section 312(a)(l)), AND/OR FORFEITURE (U.S. Code, Title 47, Section 503).
FCC NOTICE REQUIRED BY THE PAPERWORK REDUCTION ACT

The public reporting for this collection of information is estimated to average 2 hours per response,
including the time for reviewing instructions, searching existing data sources, gathering and
maintaining the required d ata, and completing and reviewing the collection of information. If you have
any comments on this burden estim ate, or how we can improve the collection and reduce the burden it
causes you, please write to the Federal Comm unications Commission, AMD-PERM, Paperwork
Reduction Project (3060-0678), Washington, DC 20554. We will also a ccept your comments regarding
the Paperwork Reduction Act aspects of this collection via the Internet if you se nd them to
jboley@fcc.gov. PLEASE DO NOT SEND COMPLETED FORMS TO THIS ADDRESS.

Remember - You are not required to respond to a collection of information sponsored by the Federal
governmen t, and the government may not conduct or sponsor this collection, unless it displays a
currently valid OMB cont rol number or if we fail to provide you with this notice. This collection has
been assigned an OMB control nu mber of 3060-0678.

THE FOREGOING NOTICE IS REQUIRED BY THE PAPERWORK REDUCTION ACT OF
1995, PUBLIC LAW 104-13, OCTOBER 1,19 95,44 U.S.C. SECTION 3507.




http :llsvartifoss2.fcc.govlcgi-bidws. exelprodliblformslgetappn.hts                                              512512004


                                                                      Mobile Earth Terminal STA Request
                                                                                 Response to Question 12
                                                                                             Page 1 o f 4


                                             ATTACHMENT 1

                                       Description of STA Request

         Pursuant to Section 25.120 of the rules of the Federal Communications Commission

(“FCC” or “Commission”),’ Iridium Satellite LLC (“Iridium”) requests a special temporary

authorization (“STA”), for a period of 60 days, to add new amplifier equipment to the mobile

satellite service (“MSS”) handsets authorized under its existing blanket mobile earth terminal

(“MET”) license (Call Sign E960132; File No. 423-DSE-P/L-96).* The proposed equipment

will be manufactured by Eagle Broadband, Inc. (“Eagle Broadband’,) (formerly, Eagle

Wireless International, Inc.), and will serve as an extension of the Iridium MSS handset by

amplifying signals to and from the handset in a linear, bi-directional manner.

         Grant of this STA request will serve the public interest by permitting use of

equipment that will enhance the existing satellite services for Iridium subscribers who rely

upon those services for a variety of routine and mission-critical applications, including

government/military operations and homeland security efforts. Specifically, by amplifying

existing satellite signals, the proposed equipment will enable multiple MSS handsets to

transmit and receive satellite communications quickly and reliably. It operates within the

same technical parameters applicable to MSS handsets and has been certified under Part 2 of

the FCC’s rules to comply with the technical requirements of Part 25 of the FCC’s rules,



’ 47 C.F.R. 0 25.120.
* Section 25.120@)(3) of the FCC’s rules authorizes the Commission to grant an STA for 60 days “if the STA
request has not been placed on public notice, and the applicant plans to file a request for regular authority for
the service.” Iridium intends to file shortly an application for modification of its blanket MET license to obtain
regular authority to add new amplifier equipment to its licensed MSS handsets.


                                                                     Mobile Earth Terminal STA Request
                                                                                Response to Question 12
                                                                                            Page 2 of 4

including the out-of-band emission          limit^.^   Therefore, the proposed equipment will not

create any greater risk of interference than any MSS handset authorized under Iridium’s

blanket MET license.

         The proposed equipment is designed to serve as a lightweight, high-capacity, high-

reliability, full-duplex MSS repeater. Each unit consists of two repeaters, two exterior

antennas, and two interior antennas. The equipment may be installed within buildings,

aircraft, and other structures that otherwise could effectively block MSS signal reception.

Each of the four antennas is round in shape, is merely 2.75 in. (or 0.07 m.) in diameter and

0.6 in. (or 0.015 m.) in height, and weighs only 14 ounces. The two repeaters are housed in a

lightweight aluminum casing and can be installed to operate in various temporary or

permanent environments. Thus, the proposed equipment is suitable for installation in

buildings or other fixed structures; military, commercial, or private aircraft, ships, and

vehicles; and mobile or permanent government, military, or commercial facilities. Federal

Aviation Administration notification is not required under Part 17 of the Commission’s rules

because the exterior antennas will not extend more than 6.1 meters above an existing

~tructure.~

         Consistent with Iridium’s blanket MET license, the proposed equipment operates

only on those frequencies within the 1.6 GHz band that are assigned to the Iridium MSS

system. It cannot modify, process, or otherwise control the MSS signal in any way, but


 See Certification Issued Under the Authority of the FCC to Eagle Wireless International Inc., FCC ID
LOKJHJLBT05A0002 1 (granted on Oct. 25,2003) (“Certification”). A detailed description of the proposed
equipment, along with a demonstration of compliance with the Part 25 rules, is set forth in the underlying
application for the Certification. See Application of Eagle Wireless International Inc. for Certification,FCC ID
LOKJHJLBT05A00021 (granted on Oct. 25,2003), available ut
https://gullfoss2.fcc.gov/prodoet/cE/eas/reports/GenericSearch.cfm.




dc-379591                                               2


                                                          Mobile Earth Terminal STA Request
                                                                     Response to Question 12
                                                                                 Page 3 of 4

rather merely amplifies that signal. It cannot perform any frequency reuse function that

would provide for additional communications channels or otherwise increase the capacity of

the Iridium satellite system. Moreover, it does not consist of or communicate with any base

stations or switches.

        Two-way MSS transmissions are handled by two separate repeaters housed in a single

casing with full isolation. One repeater is utilized for uplink transmissions, and the other is   ,




utilized for downlink transmissions. Each repeater is attached to a dedicated receiving

antenna and a separate, dedicated transmitting antenna that will re-transmit the MSS signal.

        The proposed equipment employs narrowband filtering that limits all Iridium satellite

transmissions to the frequency band assigned to Iridium. Both repeaters are equipped with

six pole band pass filters centered on the frequency band assigned to Iridium. This ensures

that MSS uplink and downlink signals cannot interfere with each other.

        Extraordinary circumstances warrant the Commission’s grant of this STA request,

which will satisfy an immediate need and demand for the proposed equipment without

increasing the potential for harmful interference to other authorized services. Specifically,

Eagle Broadband, the equipment manufacturer, has advised Iridium that several military

customers have expressed an urgent need for new products such as the proposed equipment

that would enhance MSS communications to support U.S. military operations in Iraq. Eagle

Broadband further advised Iridium that a number of public safety agencies have requested

MSS equipment that would satisfy the pressing needs of first responders and homeland

security efforts. A delay in the grant of this STA request thus would seriously prejudice the


 See 47 C.F.R. 0 17.14(b).




dc-379591                                      3


                                                          Mobile Earth Terminal STA Request
                                                                     Response to Question 12
                                                                                 Page 4 of 4

 public interest by depriving Iridium customers of innovative equipment that would enhance

 their communications capabilities during critical military operations and public safety

 missions. Accordingly, Iridium urges the Commission to grant this STA request

 expeditiously,




dc-379591                                     4



Document Created: 2004-07-08 16:18:14
Document Modified: 2004-07-08 16:18:14

© 2025 FCC.report
This site is not affiliated with or endorsed by the FCC