Attachment Motion

Motion

MOTION submitted by VIZADA

Motion to Designate Proceeding as Permit But Disclose

2007-10-18

This document pretains to SES-STA-20071017-01429 for Special Temporal Authority on a Satellite Earth Station filing.

IBFS_SESSTA2007101701429_600761

                                    Before the
                     FEDERAL COMMUNICATIONS COMMISSION
                                                                                  FIf. ED/ACCfPTeD
                              Washington, D.C. 20554                                  03’I 8 2007

In the Matter of                   )
                                   )
VIZADA Services LLC                )         File No. SES-STA-2007 1017-01429


        MOTION TO DESIGNATE PROCEEDING AS PERMIT BUT DISCLOSE

               VIZADA Services LLC (“VIZADA”) hereby requests that the Commission

designate VIZADA’s above-captioned request for extension of special temporary authority as

permit but disclose under the Commission’s rules governing ex parte communications.’

               The extension request seeks continuing authority for VIZADA to offer Inmarsat’s

Broadband Global Area Network (“BGAN”) service. The Commission recently granted a

request by Inmarsat to designate a number of pending proceedings relating to BGAN service,

including VIZADA’s previous STA extension request, as permit but disclose for exparte

purposes.’ Similar treatment is warranted for VIZADA’s most recent extension request for the

reasons presented in the Inmarsat motion. Grant of permit but disclose status here will serve the

public interest by facilitating discussion with Commission staff concerning the issues raised by

VIZADA’s BGAN STA extension request.




’ 47 C.F.R. 9 1.1200 et seq.
’See Motion of Inmarsat Ventures Limited to Designate Proceedings as “Permit-But-Disclose,”
File Nos. SES-STA-20070814-01092 et al., grant stamp dated Oct. 10,2007.


               For the foregoing reasons, VIZADA respectfully requests that the Commission

classify the above-captioned STA extension request as permit but disclose for ex parte rule

purposes.

                                              Respectfully submitted,

                                              VIZADA SERVICES LLC

                                              By:
                                              Peter A.Rohrbach
                                              Karis A. Hastings
                                              Hogan & Hartson L.L.P.
                                              555 Thirteenth Street, N.W.
                                              Washington, D.C. 20004
                                              (202) 637-5600

                                              Its Attorneys

October 18, 2007




                                                2


                                 CERTIFICATE OF SERVICE

               I, Cecelia Burnett, hereby certify that on this 18th day of October, 2007, I caused

to be served a true copy of the foregoing by electronic mail or by first-class, postage-prepaid

U.S. mail upon the following:

Stephen Dual1
International Bureau
Federal Communications Commission
445 1 2 ' ~Street, S.W.
Washington, D.C. 20554

Jennifer A. Manner
Vice President, Regulatory Affairs
Mobile Satellite Ventures Subsidiary LLC
1002 Park Ridge Boulevard
Reston, VA 2019 1

Bruce D. Jacobs
Tony Lin
Pillsbury Winthrop Shaw Pittman LLP
2300 N Street, N.W.
Washington, DC 20037



Document Created: 2007-10-29 13:44:39
Document Modified: 2007-10-29 13:44:39

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