Attachment Supplement

Supplement

SUPPLEMENT submitted by Lampert & O'Connor, P.C.

Supplement

2007-10-12

This document pretains to SES-STA-20070112-00112 for Special Temporal Authority on a Satellite Earth Station filing.

IBFS_SESSTA2007011200112_598708

                                         [( Lampert & O‘Connor, P.C.
                                                   1776 K Street NW
                                                      Suite 700
                                                Washington, DC 20006

Helen E. Disenhaus                                                                                   Tel 202/887—6230
disenhaus@l—olaw.com                                                                                 Fax 202/887—6231




          Via Hand Delivery

                                                 October 12, 2007

          Marlene H. Dortch, Secretary
          Federal Communications Commussion
          Office of the Secretary
          c/o Natek, Inc.
          236 Massachusetts Avenue NE, Suite 110
          Washington, DC 20002

                   Re:   Horizon Mobile Communications, Inc.
                         Supplement to Application for Special Temporary Authority
                         File No. SES—STA—20070112—00012
                         File No. SES—STA—INTR2007—00961 (Call Sign E070006)

          Dear Ms. Dortch:

                   Enclosed please find five copies of a Supplement to the above—referenced pending request
          for Special Temporary Authority. The original (non—facsimile) copy of the Supplement will be
          filed at the Commuission upon receipt by Lampert & O‘Connor, P.C.

                  Should you have any questions concerning this matter, please contact E. Ashton Johnston
          or the undersigned at (202) 887—6230.

                                                       Very truly yours,


                                                         em
                                                          Ya t                                 an/
                                                       Helen E. Disenhaus
                                                       Counsel to Horizon Mobile Communications, Inc.


          cc w/encl:     Roderick Porter (Roderick.Porter@fce.gov)
                         Gardner Foster (Gardner.Foster@fec.gov)
                         Scott Kottler (Scott.Kotler@fcee.gov)
                         Steve Duall (Stephen.Duall@fce.gov)

                         Counsel of Record (via regular mail)
                         Jennifer A. Manner
                         Bruce D. Jacobs
                         Tony Lin
                         Diane J. Cornell
                         John P. Janka
                         Jeffrey A. Marks


FROM :SATCOM Distribution                 FAX NO.     :215 541—1009             Oct.   12 2047 @9:540M   P1




                             HORIZON MOBILE COMMUNICATIONS, INC,
                                        2250 Skyview Lane
                                      Harleysville, PA 19038



                                              October 11, 2007



          Marlenc Dortch
          Secrctary
          Federal Communications Commission
          445 12"" Street, NW.
          Washington, DC 20544


                 Re:     Horizor 1 Mobile Communications, Inc.
                         Supplet icnt to Application for Special Temporary Authority
                         File No SES—STA—20070112—00012
                         File No . SES—STA~INTR2007—00961 (Call Sign B070006)

          Dear Ms. Dortch:

                 Horizon Mobili c Communications, Inc. ("Horizon") hereby supplements its above—
          referenced ponding reqjuest for Special Tomporary Authority ("STA") to provide
          Broadband Clobal Are a Network ("BGAN®) service in the United States. This
          Supplement provides aidditional information demonstrating the important, immediale
          public intercst benefits that will be achicved by a prompt grant of the requested STA.

                 Supplementing the information provided in the STAas previously filed, Horizon
          provides the following additional information:

                  1.      Horizo h acknowledges that grant of the requested STA will be subject to
          the same terms and co nditions previously applied to the requests for STA to offer RGAN
          service in the Uniled & tates that have already been granted.‘

                 2.      For nat fonal security and national emergency reasons, i1 is importantthat
          Horizon‘s BGAN ser ise be available to both military and civilian users. Underits
          Continuity of Operati ns Pian (COOF) mandate, the Commission is charged with
          cnsuring that first resp onders and other public safety personnel have available to themthe
          full range of comnror ications resources and tools that will allow them to perform their




          | See, eg., Satellite C ommunications   Services Information re: Actions Taken, Public
          Notics, Report No, St 18—00835 (July 5, 2006) at 3 (reporting grant with conditions of
          STArequest of Thran c & Thrane Airtime LTD., File No. SES—STA—20060522—00857).


FROM :SATCOM Distribution                      FAX NO.    :215 541—1009              Oct.   12 2007 @9:540M       P2



          Marlenc Dortch
          October 11, 2007
          Page 2

          duties safely and effect ivc:ly.2 Satellite communications play an important role in this
          effort. Horizon and it & parent company and affitiates (collectively, the "SatCom
          Ciroup") are United Stq tes Government—accredited suppliors ofsatellite communications
          services, Our experier ce in talloring service for coastal and offshore applications that
          must function during s rvere weather events provides important benefits to users, Our
          customers include both the State of Louisiana and the Louis Armstrong New Orlcans
          International Airport ( he "Airport"), which is owned and operated by the City of New
           Orleins, The importar ce of communications servicesto these customers, particularly
           during weather—related emergencies and their aftermath, cannot be overstated,

                   3.      The Sat Com Group is a provider ofsatellite communications services (o
           the State of Louisiana, helping to mainlain vital communications links during the
           hurricane season, whic h has two more months to runthis year. Upon grant o[the
           requested STA, Horize n will be able to offer the State the additional benelfits ofthe
           portable, higher—speed BGAN service. The State of Louisiana selected us for oursatellite
           service needs particula ly because of our unique expertise in supplying integrated
           communications servi es, and our ability to offer a wide range of equipment for use on
           both land and sea, Th ; Culf region‘s recent hutricane experience demonstrated why
           access to the service ci pabilitiecs high—speed BCGAN service can offer would be cssential
           to any future disaster r plief effort. It is in the public interest for public safoty personnel   to
           be able to obtain BGA service from a provider with special knowledge ofthecoas
           environment.

                  4.     The Sat Com Group‘s contract with the Airport includes the provision of
           high—speed broadband data transmissions via satellite for use during emergency
           situations, both natural and man—made. As has been well—documented, in such situations
           many land—based comy runications services, whether wireline or wireless, have suffered
           severe oulages, someti mes extending for many days and weeks. For (wo days after
           Hutricane Katrina stru ck, in New Orleans many telephones, andvirtually all mobile
           phones, were out of se ‘vice in the area as a result of wind and water damageto
           communications infras tructure and power sources, and many outages lasted far          longer,
           Internet accoss was se erely disrupted. For many providers of emergency services,
           satellite—based commu mcations provided their only link. The Airport closed before the
           storm and remained ct ased to regular passenger service for two weeks, and could not


           2 "a primary goal oft} ie [Commussion‘s Public Safety & Homeland Security] Bureauis
           to support and advance initiatives that further strengthen and enhance the security and
           reliability ofthe nation ‘s communications infrastructure and public safely and emergency
           response capabilities t! at will better enable the CC to assist the public, first responders,
           law enforcement, hosp itals, the communications industry and all levels of governmentin
           the ovent ofa natural q isaster, pandemic or terrorist altack."
           http://w     te.gov/psl hs/aboutus.html . See aZso Presidential Decision Directive 63
           (May 22, 1998) (prote tion of infrastructure from intentional acts).

           * See hitp;//woww.fec.g ‘ov/bsl-ls/__clgaringl_muse/sate]]ité_h tml .


FROM :SATCOM Distribution                    FAX NO.   :215 541—1009             Oct.   12 2007 @9:5S0M   P3



          Marlene Dortch
          October 11, 2007
          Page 3

          resume full operations for one monith. During that time, it becarae a headquarters for
          rescue and humamlarian efforts, The Airport became the home ofsome 25,000 people
          for seven days, and ove in became a makeshift hospital. Particularly in such emergency
          situations, i1 is critical hat the Airport have access to all forms of advanced
          communications rviges, including the portable, high speed broadband service thai
          Horizon can provide th rough the BGAN service.

                  4.     This year, as in many years, the U.S., particularly in the Western part of
          the country, has experi enced devastating forest fires that have cost many lives and have
          caused huge losses to | orest resources and commercial and residential property. By
          permil{ing Horizon to offer BCGAN service in the United States, the Commission will
          allow Horizon to offer forestry industry customers an important new capability to fight
          dcadly forest fircs, pot entially helping to save many lives and milfions ofdollars in
          property damage. Unl ke other communications services, BGAN service provides a
          high—speed broadband transmission path that can carry voice and data traffic
          simultaneously via highly portable terminals. When firefighters arc risking theirlives to
          bring a firestorm unde ‘ control, it is imperative that they have immediately available to
          them the ability to con| act potential rescue parties, obtain the latest wind and weather
          information, and communicate to other firefighters and control centers the details of local
          conditions visually, or ally, and in writing. Grant ofthe requested STA will allow the
          forestry indusiry to tal e advantage ofthe substantial advances offered by BGAN service
          and will give them an mportant new tool in critical disaster situations as well as in
          conducting their busin Ess operations.

                 Grant of the re juested STA will permit Horizonto offer these and other users
          described in the STA equest the high speed satellite broadband services they require for
          the most effective reep onse to natural disaster and national security emergencics,
          Horizon‘s experience ill enable it to deftiver BGAN solutions taifored to the needs of
          coastal public agencie s and emergency relief personnel. The Commissgion should
          promptly grant the ST A\ and allow Horizon to expand the communications services
          available to first respo nders and others.




                                                                 Thompson

                                                          President,
                                                          Horizon Mobile Communications, Inc.


          CC       Roderick Ports r, Depuly Chicf, International Bursau
                   Gardner Foste , Legal Advisor, International Bureau
                   Sceoll Kottler, Chief, Systems Analysis Branch, Satellite Division
                   Steve Duall, P )licy Brarich, Satellite Division



Document Created: 2007-10-12 14:30:18
Document Modified: 2007-10-12 14:30:18

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