Attachment STA Request

This document pretains to SES-STA-20101206-01510 for Special Temporal Authority on a Satellite Earth Station filing.

IBFS_SESSTA2010120601510_855368

            December 6, 2010


           _ Ms. Marlene H. Dortch
            Secretary
            Federal Communications Commission
            445 12"" Street, S.W.
            Washington, D.C. 20554
INTELSAT
                      Re:       Request for Special Temporary Authority
                                Fillmore, California Earth Station E4132

           | Dear Ms. Dorfch:

            PanAmSat Licensee Corp. ("PanAmSat") herein requests a grant of Special
            Temporary Authority ("STA*)‘ for 30 days, beginning as soon as possible, to
            use its Fillmore, California earth station ——call sign E4132 —— to provide back—
            up TT&C services to the Galaxy 15 satellite in an effort to recover the satellite.
            As the Commission is aware, the Galaxy 15 satellite (call sign $2387) operated
            by PanAmSat experienced an anomaly on April 5, 2010 and is currently
            drifting East in an uncontrolled manner. Although PanAmSat is seeking
            immediate authority, actual transmissions to Galaxy 15 will not occur until the
            satellite begins to off—point and tumble. This is expected to occur some time in
            the month of December 2010.

            Currently, earth station call sign E030307 (Ellenwood, Georgia) receives only
            telemetry from Galaxy 15. When this off—point occurs, the satellite‘s TT&C:
            will be transferred to earth station call sign KA275 (Clarksburg, Maryland) or
            to its primary back—up, earth station call sign E040125 .(Riverside, California),
            or to E4132.* When tumbling, the Galaxy 15 satellite is expected to be located
            in a slightly inclined geostationary orbit (up to 0.6 degrees), at an orbital
            longitude that could be anywhere between 101° W.L. and 97° W.L.

            The Galaxy 15 emergency TT&C operations will be performed in the
            following frequency bands:

                 e    6420.5 MHz (V/RHCP) in the uplink, and
                 e    4198 MHz or 4199.875 MHz (H/LHCP) in the downlink

            The transmitted eirp for nominal recovery operations will be 85 dBW. That
            eirp level could be exceéded — up to the maximum antenna capability — in the
            case of emergency. During recovery operations, the E4132 antenna will

            ‘PanAmSat 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").
            > STA requests are being filed for all three antennas.



            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
December 6, 2010
Page 2


operate (if needed) at higher eirp levels than those currently approved in the
antenna‘s license: As such, PanAmSat includes as Exhibit A a coordination
report 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.

The proposed Galaxy 15 recovery operations have been coordinated with
operators of all satellites that could potentially be affected. As such,
PanAmSat does not expect any harmful interference into lawfully operating
satellite communication facilities during recovery operations. Nevertheless, all
operators of satellites in that path will be provided with an emergency phone
number where the licensee can be reached in the event that harmful
interference occurs.            '

Grant of this STA request will allow PanAmSat to potentially recover the
Galaxy 15 satellite and return it to a location where it can operate without
causing interference. This, in turn, will promote the public interest by
removing the threat of interference into other operators currently posed by
Galaxy 15, as well as returning the satellite to regular operation.

For the reasons set forth herein, PanAmSat respectfully requests that the
Commission expeditiously grant this extension request.

Respectfully submitted,

Qmfiu)&\
Susén H. Crandall
Assistant General Counsel
Intelsat Corporation




Co:      Paul Blais
         Kathyrn Medley



Document Created: 2010-12-06 17:19:33
Document Modified: 2010-12-06 17:19:33

© 2025 FCC.report
This site is not affiliated with or endorsed by the FCC