Attachment STA Request

This document pretains to SES-STA-20100507-00570 for Special Temporal Authority on a Satellite Earth Station filing.

IBFS_SESSTA2010050700570_815190

             |     May 7, 2010


                   Ms. Marlene H. Dortch
                   Secretary
                   Federal Communications Comm1ss1on
                   445 12"" Street, S.W.
                   Washington, D.C. 20554
INTELSAT —         Re:      Request for Further Extension of Special Temporary Authority
                            Clarksburg, Maryland Earth Station KA258 _

                   Dear Ms. Dortch:

                   Intelsat North America LLC ("Intelsat") herein requests a further 30—
                   day extension —— through June 12, 2010 —— of the Special Temporary
                   Authority ("STA")" previously granted Intelsat to use its Clarksburg,
                   Maryland Ku—band earth station —— call sign KA258 —— to provide
                 _ telemetry, tracking and command ("TT&C") serv1ces for the Intelsat 16
                   satellite at its permanent location of 58.10° W.L." Intelsat has a
                  pending application to modify the KA258 license to add 58.10° W.L. as
                   a point of communication."

                   Intelsat 16 was launched on February 11, 2010 and has commenced
                   operations at 58.10 W.L.* The Intelsat 16 TT&C operations will
                  continue to be performed at 58.10° W.L. in the following frequency
                  bands: 13997.5 MHz and 14499.5 MHz in the uplink and 12198.25
                  MHz and 12198.75 MHz in the downlink. Intelsat will continue to



                  ‘ Intelsat has filed its STA request, an FCC Form 159, a $175.00 filing
                  fee and this supporting letter electronically via the International
                  Bureau‘s Filing System ("IBFS").
                  * See Policy Branch Information; Actions Taken, Report No. SES—
                  02227, File No. SES—STA—20100127—00125, (Mar. 17, 2010) (Public
                  Notice); Intelsat North America LLC Requestfor Extension ofSTA,
                  File No. SES—STA—20100409—00429 (stamp granted issued by Kathyrn
                  Medley, Chief, Satellite Engineering Branch, on Apr. 14, 2010).
                  * See Satellite Policy Branch Information, Applications Acceptedfor
                  Filing, Report No. SES—01239 (Apr. 28, 2010) (Public Notice).
                  * See Policy Branch Information; Actions Taken, Report No. SAT—
                  00610, File No. SAT—LOA—20080416—00085 (June 5, 2009) (Public
                  Notice); Letter from Susan H. Crandall, Intelsat Corporation, to
                  Marlene H. Dortch, Federal Communications Commission (Mar. 31,
                  2010) (noting that Intelsat 16 commenced service as of March 19,
                  2010).


                  Intelsat Corporation
                  3400 international Drive NW, Washington DC 20008—3006 USA www.intelsat.com T +1 202—944—6800 F+1 202—944—7898


Ms. Marlene H. Dortch
May 7, 2010      '
Page 2


operate the TT&C transmissions in conformance with its coordination
agreements for the nominal 58.0° W.L. location, as well as with the
FCC‘s rules designed to allow co—frequency operations in a two—degree
separation environment.                |

Operations in the 14499.5 MHz, 12198.25 MHz and 12198.75 MHz
frequencies will continue to be consistent with the antenna‘s licensed
parameters. With respect to operations in the 13997.5 MHz frequency,
Intelsat herein incorporates by reference the Exhibit A supplied with
the original STA request, which contains technical information that
demonstrates that the operation of the earth station will be compatible
with its electromagnetic environment and will not cause harmful
interference into any lawfully operating terrestrial facility." In the
extremely unlikelyevent that harmful interference should occur due to
transmissions to or from its earth station, Intelsat ‘will take all
reasonable steps to eliminate the interference.

The continued provision of TT&C services to the Intelsat 16 satellite at
58.10° W.L. is critical to ensure the safe station—keeping of the satellite
at that location. This, in turn, results in additional capacity at the
nominal 58.0° W.L. location and thereby promotes the public interest. ;

Please direct any questions regarding this STA further extension
request to the undersigned at (202) 944—7848.

Respectfully submitted,




Susan H. Crandall |
Assistant General Counsel
Intelsat Corporation




Co:      Kathyrn Medley     _


* The EIRP levels for transmissions in the 13997.5 MHz frequency will
continue to be consistent with the antenna‘s licensed parameters.



Document Created: 2010-05-07 15:37:41
Document Modified: 2010-05-07 15:37:41

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