Attachment ERRATA

This document pretains to SES-STA-20051216-01761 for Special Temporal Authority on a Satellite Earth Station filing.

IBFS_SESSTA2005121601761_475391

                                   STEPTOE &JOHNSON«
                                           atrorneys at caw

Mare A Pat                                                                           1310 Connectiut Avenve. NW
roram e«                                                                              Washingon. DC 20036—795
mpaul@iteproccom                                                                                Ter2024293000
                                                                                                 ac2024293002
                                                                                                     steptoccom




January 5, 2006

BY HAND DELIVERY

Marlene H. Dortch                                              Faterd
Secretary
Federal Communications Commission
445 12th Street NW
Washington, DC 20554

Re:—      Stratos Communications, Inc.
          ERRATA for File Nos. SES—STA—20051216—01760, SES—STA—20051216—01761, SES—STA—
          20051216—01762, SES—STA—20051216—01763 and SES—STA—20051216—01764

Dear Ms. Dortch:
        Stratos Communications, Inc. ("Stratos") hereby files this "Errata" to correct certain
typographical errors in the above—captioned requests for special temporary authorization.. While each of
the FCC 312 forms for the above—captioned requests contain the correct information regarding the
relevant call—signs and services provided, there were severaltypographical errors in the narrative
descriptions attached to these requests.
          The typographical errors which Stratos seeks to correct are as follows:
Ss—sTA—20051216—01760 (000180

       * In the last paragraph of page 1 of Attachment A, the FCC should be deleted from the list of
         government customers for the Inmarsat services distributed by Stratos.




washincton          +   new york      +    enotnix     +   tos anorits        +.    towpon      +.   aausstis


                                                                             STEPTOE &JOHNSON

Marlene H. Dortch
January 5, 2006
Page 2

SEs—STa—20051216—01761 (E010047)

   * In the last paragraph of page 1 of Attachment A, the FCC should be deleted from the list of
      government customers for the Inmarsat services distributed by Stratos.
   * in firsfull paragraph ofpage 2 of Attachment A, the references in sentence 4 to "Inmarsat M4"
     should refer to "Inmarsat M" service and the call—sign reference to "EOOO180" should read
     "EO10047.". n addition the parenthetical listing the other Inmarsat services should read
     "including B, C, M4 and Mini—M."
   * In the last paragraph ofpage 2 of Attachment A, the last sentence should refer to "Inmarsat M
      customers" and not "Inmarsat M4 customers."
   * In the first paragraph ofpage 4 of Attachment A, the referenced file number should read "SES—
     MFS—20051122—01618"and the call—sign should read ©©010047."
Sis—sTA—20051216—01762 (£010048)

   * In first paragraph ofpage 1 of Attachment A, the referenced call—sign should be ©E010048."
   * In third paragraph of page 1 of Attachment A, the first sentence should refer to "File No. SES—
      MEFS—20051122—01616" and to "call—sign EO10048."
   * Footote 1 of Aftachment A should refer to "Inmarsat M4, M, B, and C services."
   * In the last paragraph of page 1 of Attachment A, the FCC should be deleted from the list of
     government customers for the Inmarsat services distributed by Stratos
   * In first full paragraph on page 2 of Attachment A,the first sentence should refer to "File No.
      SES—MFS—20051122—01616."
   * In first full paragraph on page 2 of Attachment A, the second sentence should refer to "File No.
      SES—MFS—20051122—01616."
   * In firs full paragraph on page 2 of Attachment A, the references in sentence 4 to "Inmarsat M"
      should refer to "Inmarsat mini—M" service and the call—sign reference to "£010047" should read
      "EO10048"., In addition the parenthetical listing the other Inmarsat services should read
     "including B, C, M4 and M."
   * In the last paragraph of page 2 of Attachment A, the last sentence should refer to "Inmarsat mini—
     M" and not "Inmarsat M."
   * In the first paragraph of page 4 of Aftachment A, the referenced file number should read "SES—
     MFS—20051122—01616" and the call—sign should read "©010048."
Ss—sTA—20051216—01763 (£010049

   * In first paragraph ofpage 1 of Attachment A, the referenced call—sign should be "£010049."
   * In third paragraph opage 1 ofAttachment A, the first sentence should refer to "File No. SES—
     MFS—20081122—01617" and to "call—sign E010040."
   * Footnote 1 of Aftachment A should refer to "Inmarsat M4, M, Mini—M, and C services."


                                                                            STEPTOE &JOHNSONw
Marlene H. Dortch
January 5, 2006
Page3

   * In the last paragraph ofpage 1 of Attachment A, the FCC should be deleted from the list of
       government customers for the Inmarsat services distributed by Stratos.
   * In first full paragraph on page 2 ofAttachment A, the first sentence should refer t "File No.
       SES—MFS—20051122—01617."
   * In fist full paragraph on page 2 of Attachment A, the second sentence should refer to "File No:
       SES—MFS—20051122—01617."
   * In first full paragraph on page 2 ofAttachment A, the references in sentence 4 to "Inmarsat mini—
       M" should refer to "Inmarsat B" service and the call—sign reference to "©O10048" should read
       ©E010049®..In addition the parenthetical listing the other Inmarsatservices should read
       "including C, Md4, M and mini—M."
   * In the last paragraph of page 2 ofAttachment A, the last sentence should refer to "Inmarsat B"
       and not "Inmarsat mini—M."
   * In the first paragraph of page 4 ofAttachment A, the referenced file number should read "SES—
       MFS—20051 122—01617"and the call—sign should read "£O10049."
SEs.sTA—20051216—01764 (£010050

   * In the last paragraph of page 1 of Attachment A, the FCC should be deleted from the list of
     government customers for the Inmarsat services distributed by Stratos.
        For the convenience ofthe Bureau, we have attached corrected versions of Attachment A for
each ofthe applications to replace the current version of Attachment A. The changes listed above are
the only changes made to corrected versions of Attachment A.. Please feelfree to contact me, if you
have any questions regarding these applications.


                                                           Respectfully submitted,

                                                             Mus 0 Rul/BDX
                                                           Mare A. Paul

                                                           Counselfor Stratos Communications, Inc.

Artachments


                                                                             STEPTOE &JOHNSONw

                                 CERTIFICATE OF SERVICE
        1, Brendan Kasper, an attomey with the law firm of Steptoe & Johnson LLP, hereby
certify that on this 5th day of January, 2006, served a true copy of the foregoing letter by first
class mail, postage pre—paid (or as otherwise indicated) upon the following:
Tames Ball®                                         Andrea Kelly®
Intemational Bureau                                 Interational Bureau
Federal Communications Commission                   Federal Communications Commission
445 12" Street, S.W.                                445 12" Street, SW.
Washington, DC 20554                                Washington, DC 20554

Cassandra Thomas®                                   Scott Kotler®
International Bureau                                Intemational Bureau
Federal Communications Commission                   Federal Communications Commission
445 12" Street, S.W.                                445 12" Street, SW.
Washington, DC 20554                                Washington, DC 20554
Howard Griboft®                                     Karl Kensinger®
International Bureau                                International Bureau
Federal Communications Commission                   Federal Communications Commission
445 12" Street, S.W.                                445 12" Street,SW
Washington, DC 20554                                Washington, DC 20554
Fem Jamulnek®                                       Tohn Martin®
Interational Bureau                                 International Burcau
Federal Communications Commission                   Federal Communications Commission
445 12" Street, S.W.                                445 12" Strect, S.W.
Washington, DC 20554                                Washington, DC 20554
Stephen Duall*                                      Jennifer A. Manner
Intemational Bureau                                 Vice President, Regulatory Affairs
Federal Communications Commission                   Mobile Satellite Ventures Subsidiary LLC
445 12" Street, S.W                                 1002 Park Ridge Boulevard
Washington, DC 20554                                Reston, Virginia 20191
Robert Nelson®                                      Bruce D. Jacobs
International Burcau                                David S. Konezal
Federal Communications Commission                   Pillsbury Winthrop Shaw Pittman LLP
445 12" Street, S.W.                                2300 N Street, N.W.
Washington, DC 20554                                Washington, DC 20037—1128


                                                          STEPTOE &JOHNSON«
Marlene H. Dortch
January 5, 2006
Page 5


ToAnn Ekblad®                       Tohn P. Janka
International Bureau                Jeffrey A. Marks
Federal Communications Commission   Latham & Watkins LLP
445 12" Street, SW.                 555 Eleventh Street, N.W., Suite 1000
Washington, DC 20554                Washington, D.C. 20004




* by Hand Delivery


                                                              Stratos Communications, Inc.
                                                                              STA Request
                                                                 Corrected — Attachment A
                                     SES—STA—20051216—01761 (EO10047 — Inmarsat M Service)

                             DESCRIPTION OF STA REQUEST


               By this application, Stratos Communications, Inc. (‘Stratos") requests grant by
January 13, 2006 of special temporary authority ("STA") for sixty (60) days to allow Stzatos to
maintain existing services toits currently licensed Inmarsat M terminals (call—sign EO10047)
with the recently launched fourth—generation Inmarsat satellite to be located at 52.75° W.L.
("Inmarsat 4F2").
               Stratos is not asking to offer any new service. Stratos merely wants to continue to
provide essential services, which have been licensed for more than four years, to the U.S. armed
forces, Federal Emergency Management Ageney ("FEMA®), U.S. Coast Guard, U.S. law
enforcement, First Responders from state and local government, and important private sector
customers.
               Stratos recently filed a modification application (File No. SES—MFS—20051 122«
01618) for call—sign E010047 in order to add the Inmarsat 4F2 as a point of communication.‘
Stratos hereby incorporates by reference that modification application and its technical details
and material for purposes of this STA request. The Stratos modification application was placed
on Public Notice on December 7, 2005, and the time to file any Petitions and/or Comments on
this modification application expires on January 6, 2006. On November 30, 2005, Mobile
Satellte Ventures Subsidiary LLC (‘MSV®)filed a Notice of Intent to Participate, and in
addition,it filed a Motion to designate the proceeding as "permit—but—disclose." See MSV Notice
of Intent to Participate (Nov. 30, 2005); Motion to Designate Proceedings As "Permit—But—
Disclose®(Nov. 30, 2005).
                Since October 2001, Stratos has been licensed by the FCC to provide Inmarsat
services domestically in the United States, including the operation of Inmarsat B, C, M, mini—M
and M4 terminals.". As set forth in the attached Declaration of Robert J. Roe, Senior Vice
President of Sales for Stzatos, Stratos‘s customers for Inmarsat services encompass a wide range
of U.S. customers, including the U.S. military, the Federal Government, state and local
governments and private sector end—users. See Declaration of Robert J. Roc at 1 5 (Attachment
B). U.S. military users include: the U.S. Army, Navy and Air Force. See Declaration ofRobert
J. Roe at 46. Federal Government users include: the State Department, FEMA, the U.. Coost

        * Additional modification applications were fled to modify the call—signs associated with
the Stratos licenses to provide the Inmarsat M4, mini—M, B and C services. Similar STA
requests are being filed for each ofthese services
        * See, e.g, In the Matter ofCOMSAT Corporation d/b/a COMSAT Mobile
Communications et al., 16 FCC Red 21661 (rel. Oct. 9, 2001) ("Inmarsat Market Access
Order").


Guard and the Pederal Bureau of Investigation. See Declaration of Robert J. Roc at 17. State
and local government customers include: New York Fire Department, Los Angeles Fire
Department and National Guard Units restoring devastated areas impacted by the recent
hurricanes in the Gulf, See Declaration of Robert J. Roe at1 $. U.S. private sector customers
include: Chevron/Texaco, Global Santa Fe and Edison International (parent company of
Southem Califomia Edison). See Declaration of Robert J. Roat 49.
               As set forth in File No. SES—MFS—20051122—01618, the Inmarsat4F2 is licensed
by the United Kingdom and will be located at the 52.75° W.L. orbital location. It was launched
on November 8, 205. As set forth in File No. SES—MFS—20051 122—01618, grant ofthe
modification application is in the public interest, is consistent with the ORBIT Act? and satisfies
the Commission‘s DISCO II standard.* Absent authority to communicate with the Inmarsat 4F2,
Stratos will not be able to continuto provide the Inmarsat M service, lcensed under call—sign
E010047, t its existing or future customers because the M service, along with other Inmarsat
services (including B, C, M4 and mini—M),will be migrated from the third generation Inmarsat
sutellite currently at 54° W.L.to the Inmarsat4F2 satellite at 52.75° W.L.
               Inmarsatis scheduled to migrate these services to the Inmarsat 4F2 on January 15,
2006. Stratos has been informed by Inmarsat that maintaining this schedule is necessary because
the Inmarsat 3 satellite currently at 54° W.L. needs to be moved to 142° W.L.. where it will
replace a second generation Inmarsatsatelite, which is running out of fuel and needs to be
decommissioned shortly. This second generation satellite at 142° W.L. is currently providing
essential Inmarsat lease services to the U.S. Navy and U.8. Coast Guard. See Declaration of
Robert J. Roe at 4. An untimely migration of the "existing and evolved services"from the third
generation Inmarsat satelite to the new Inmarsat 4F2 satellite would jeopardize the continuity of
these essential ervices currently being provided by the second generation satelite at the 142°
W.L. orbitallocation

               Since the current Public Notice period forthe Stratos modification application is
scheduled to expire on January 6, 2006 and MSV has already indicated ts intent to participate in
this application proceeding, Stratos believes that it is unlikely that the International Bureau will
be able to act on the modification application in advance ofthe scheduled January 15, 2006
migration ofthe Inmarsat M service to the new Inmarsat4F2 satellte at 52.75° W.L."
Accordingly, Stratos is requesting this STA to ensure that there is no disruption of service to
Stratos‘s existing Inmarsat M customers when Inmarsat migrates the services to the new satellte



       * See 47 U.S.C. § 761 et seq.

       * See Amendment ofthe Commission‘s Polices to Allow Non—U.S. Licensed Space
Stations Providing Domestic and International Service in the United States, 12 FCC Red 24094
(1997) (‘isco im.
        5 n alllikelibood, Stratos and MSV will be in the middle of the pleading eycle for the
Stratos modification application.


               Grant ofthis STA requestis in the public interest. As set forth above, the
Inmarsat services provided by Stratos are used not only by private industry, but also by the U.8.
military, Federal Government, and state and local government, The Inmarsat services are used
by these entitiesto faciliate military communications, law enforcement and homeland security,
emergency relief efforts, protect lives and safeguard property and to provide critical
communications services to support business operations in remote areas. See Declaration of
Robert J. Roc at t¥ 5—8. Grant of this STA request will ensure that these end—users do not
experience any disruption to the Inmarsat services they currently use and rely on.

               As stated by Mr. Roc, "Inmarsat services are used and criticallyrelied upon by
government First Responders‘ and private industry, as a fexible and mobile backup to terrestrial
voiceand data communications networks in the event that a natural disaster or terroristattack
takes place." See Declaration ofRobert J. Roe at $ 10. Any disruption to the Inmarsat services
used by First Responders would seriously compromise their abilty to accomplish their ritical
missions. See Declaration of Robert J. Roe at 1 10.

               "The necessity of Inmarsat services was clearly demonstrated in the aftermath of
hurricanes Katrina, Rita and Wilma in the Gulf of Mexico..In response to these devastating
naturaldisasters, Stratos saw a noticeable increase in the demand for the Inmarsat servicesit
distributes. Several months later, Inmarsat services continue to play a vital rle in the Gulf of
Mexico region in connection with the recovery and restoration efforts being undertaken by
FEMA, the National Guard, the U.S. Army,state and local governments, law enforcement
personnel and the petrolcum industry." See Declaration of Robert J. Roe at 4 11. In the words of
Chairman Martin:

               If we leamed anything from Hurricane Katrina, it is that we cannot
               ely solely on terrestrial communications. When radio towers are
               knocked down, satellite communications are, in some instances,
               the most effective means of communicating
See Writen Statement ofChairman Kevin J. Martin at the Hearing on Communications in a
Disaster before the U.S. Senate Committee on Commerce, Science and Transportation at 7 (Sept
22, 2005). The grant of this STA would ensure that there is no disruption in service to these end—
wsers currently using and relying upon Inmarsat services.
               ‘The Inmarsat services which currently are being provided over the Inmarsat
satellite at 54° W.L. can and will be provided over the Inmarsat 4F2 at 52.75° W.L. without
adversely affecting the interference environment that exists today with respect to other operating
L—Band spacecraft. Specifically,() the EIRP spectzal density of the proposed carriers on the
Inmarsat 4F2 will be nogreater than the EIRP spectral density of the same services provided
today over the Inmarsat satelliteat 54° W.L., (i)the out—of—band emissions from the Inmarsat
4F2 carriers will not exceed the limits of §25.202(f) (1), (2) and (3),and (ii) no greater
protection from interference into the Inmarsat 4F2 spacecraft or the Inmarsat mobile carth
terminals, beyond the level ofprotection that exists today, is sought.. In sum, during the term of
this STA, these services can and will be provided on Inmarsat 4F2 within the technical envelope
pursuant to which these services are currently provided on the third generation Inmarsat satellte
currently located at 54° W.L.


               Stratos understands that grant ofthis requested STA will be without prejudice to,
and will be conditioned on, the Bureau‘s action on the underlying modification application (File
No. SES—MFS—20051 122—01618) to modify callsign E010047 to add the Inmarsat 4F2 as an
authorized point of communication.
               For the reasons set forth above, Stratos respectfully requests that this STA be
granted no later than January 13, 2006 for sixty (60) days




        * January 13, 2006 is the last business day before the planned January 15, 2006 cut—over
to the Inmarsat 4F2 satellte ofthe "existing and evolved" services.



Document Created: 2006-01-11 15:11:52
Document Modified: 2006-01-11 15:11:52

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