Attachment Permit-but-Disclose

Permit-but-Disclose

MOTION submitted by Satamatics, Inc.

Motion to Designate Proceeding as "Permit-but-Disclose"

2007-12-10

This document pretains to SES-STA-20071207-01678 for Special Temporal Authority on a Satellite Earth Station filing.

IBFS_SESSTA2007120701678_610152

                                                                                    FILEDIAGCEPTED
                                            Before the                                  DEC ’l0 2087
                                Federal Communications Commission                   FederalCommurncahomcommission
                                      Washington, D.C. 20554                               omce of the Secretary



In the matter of                                       )
                                                       1
SkyWave Mobile Communications, Corp.                   ) File No. SES-STA-2007 1207-01679
Request for Special Temporary Authority
                                                       1
                                                       1


         MOTION TO DESIGNATE PROCEEDING AS “PERMIT-BUT-DISCLOSE”

                   SkyWave Mobile Communications, Corp. (“SkyWave”) requests that the

 Commission designate File No. 2007 1207-01679 as “permit-but-disclose” under the

 Commission’s rules governing ex parte communications.’ This proceeding involves an earth

 station application to offer Inmarsat services in the United States.

                   The exparte rules provide that “[wlhere the public interest so requires in a

 particular proceeding, the Commission and its staff retain the discretion to modify the applicable

 exparte rules by order, letter or public notice.”* A change in the status to permit-but-disclose in

 this proceeding clearly is warranted in light of the issues raised, and in order to harmonize the

 status of this proceeding with that of numerous pending proceedings that also involve the

 applications to provide Inmarsat services, and which the Commission already has designated

 permit-but-disclose.

                   Virtually all pending applications seeking authority to provide Inmarsat services

 have been opposed by Mobile Satellite Ventures, Inc. (“MSV”). The Commission routinely has

 granted permit-but-disclose status in considering similar applications to provide Inmarsat

 ’   47 C.F.R. 8 1.1200 et seq.
 *   47 C.F.R. 9 1.1200(a).


services, finding the change in exparte status “will facilitate resolution of the complex policy

issues raised in the appli~ation.”~
                                  As in the other currently pending proceedings to provide

Inmarsat services, permit-but-disclose status in File No. SES-STA-2007 1207-01679 would serve

the public interest by facilitating discussion with Commission staff to address the issues raised in

this proceeding.

               For the foregoing reasons, SkyWave respectfully requests that the Commission

designate the ex parte status of this proceeding as “permit-but-disclose.”

                                                   Respectfully submitted,




                                                   Alfred M. Mamlet
                                                   Marc A. Paul
                                                   STEPTOE& JOHNSONLLP
                                                   1330 Connecticut Ave., N.W
                                                   Washington, D.C. 20036
                                                   Telephone: (202) 429-3000

                                                   Counselfor Sky Wave Mobile Communications,
                                                   Corp.


December 10,2007




  See, e.g., Public Notice, Rep. No. SES-00985 (rel. November 28,2007) (granting motion
  seeking permit-but-disclose status for application to provide Inmarsat services)


                               CERTIFICATE OF SERVICE

        I, Marc A. Paul, an attorney with the law firm of Steptoe & Johnson LLP, hereby certify
that on this 10th day of December 2007, I served a true copy of the foregoing Motion to
Designate Proceeding as “Permit-But-Disclose” by first class mail, postage pre-paid (or as
otherwise indicated) upon the following:


Stephen Dual1*                                   Jennifer A. Manner
International Bureau                             Vice President, Regulatory Affairs
Federal Communications Commission                Mobile Satellite Ventures Subsidiary LLC
445 1 2 ‘ ~Street, S.W.                          1002 Park Ridge Boulevard
Washington, DC 20554                             Reston, Virginia 20191

Bruce D. Jacobs                                  Diane J. Cornel1
Tony Lin                                         Vice President, Government Affairs
Pillsbury Winthrop Shaw Pittman LLP              Inmarsat, Inc.
2300 N Street, N.W.                              1101 Connecticut Ave, NW, Suite 1200
Washington, DC 20037-1 128                       Washington DC 20036

John P. Janka
Jeffkey A. Marks
Latham & Watkins LLP
555 Eleventh Street, N.W., Suite 1000
Washington, D.C. 20004



*   By electronic mail




                                                    Marc A. Paul



Document Created: 2007-12-12 14:37:03
Document Modified: 2007-12-12 14:37:03

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