Attachment 20111014150311.pdf

20111014150311.pdf

DECISION submitted by IB/FCC

STA Grant

2011-10-14

This document pretains to SES-STA-20110526-00632 for Special Temporal Authority on a Satellite Earth Station filing.

IBFS_SESSTA2011052600632_921269

                                            E100143        SES—STA—20110526—00632   1B2011001499
                                            ViaSat, Inc.



                                                                                                                       Approved by OMB
                                                                                                                              3060—0678

                            APPLICATION FOR EARTH STATION SPECIAL TEMPORARY AUTHORITY



APPLICANT INFORMATIONEnter a description of this application to identify it on the main menu:
Green Bay User Terminal STA with 109.2 POC
 1. Applicant

           Name:        ViaSat, Inc.                         Phone Number:                   760—476—2583

           DBA Name:                                         Fax Number:                     760—929—3941
           Street:      6155 El Camino Real                  E—Mail:                         daryl.hunter@viasat.com


           City:        Carlsbad                             State:                           CA
           Country:     USA                                  Zipcode:                        92009       —
           Attention:   Mr Daryl T Hunter




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Conditions of Grant of SES—STA—20110526—00632
Call Sign E100143
Vicinity of Green Bay, WI

ViaSat Inc. is granted Special Temporary Authority to provide launch and early orbit
phase services for the VIASAT—1 satellite (§$2747), to enable in—orbit testing and short—
term operations at 109.2° W.L. and also while VIASAT—1 is drifted to its assigned orbital
location at 115.1° W.L. This STA is granted for a period not to exceed ninety (90) days
from the date of launch which is expected to be on 19 October 2011.

Operations will be performed within the parameters of SES—LIC—20101217—01585
as amend by SES—AMD—20110128—00074 and amended attachment A to SES—STA—
20110927—01148 under the following conditions.

1. ViaSat will have personnel on duty at all times during the STA period and can be
contacted at (720) 493—7300.

2. Earth station operations must accept interference from the terrestrial fixed services
that have co—primary status with GSO/FSS in the 18.3—18.58 GHz (space—to—Earth) until
November 19, 2012 per 47 C.F.R. Section 101.147(r ).

3. GSO Earth station operations in the 18.8—19.3 GHz band shall not claim protection
from any current or future authorized non—Federal NGSO FSS system that VIASAT has
not reached a coordination arrangement with; and, any authorized Federal GSO FSS or
NGSO FSS system that VIASAT has not reached a coordination arrangement with.

4. Earth station operations must accept interference from the terrestrial fixed services
that have the co—primary status with NGSO FSS in the 19.2—19.3 GHz (space—to—Earth)
until October 13, 2011 per 47 C.F.R. Section 101.147(r ).

5. Earth station operations must protect primary NGSO/FSS service from interference in
the 28.6—29.1 GHz (Earth—to—space).

6. Applicable to all transmitting frequency bands. Authority is granted to transmit any
number of RF carriers with the specified parameters on any discrete frequencies within
associated band in accordance with the other terms and conditions of this authorization,
subject to any additional limitations that may be required to avoid unacceptable levels of
inter—satellite interference.

7. The licensee shall take all necessary measures to ensure that the antenna does not
create potential exposure of humans to radiofrequency radiation in excess of the FCC
exposure limits defined in 47 CFR 1.1307(b) and 1.1310 wherever such exposures might
occur. Measures must be taken to ensure compliance with limits for both
occupational/controlled exposure and for general population/uncontrolled exposure, as
defined in these rule sections. Compliance can be accomplished in most cases by
appropriate restrictions such as fencing. Requirements for restrictions can be determined


by predictions based on calculations, modeling or by field measurements. The FCC‘s
OET Bulletin 65 (available on—line at www.fcec.gov/oet/rfsafety) provides information on
predicting exposure levels and on methods for ensuring compliance, including the use of
warning and alerting signs and protective equipment for workers. [

8. The 17.8 — 20.2 GHz band is shared with U.S. Government space stations and
associated earth stations in the fixed—Satellite Services. Services within the United States
over the satellite network of which this is a cooperating earth station are subject to
coordination under US334 and operation of the earth station(s) authorized herein will be
subject to any technical constraints resulting from this coordination. See 47 C.F.R.
Section 2.106, Footnote US334.

9. The waiver request by Viasat to operate blanket licensed terminals in the 28.6—29.1
GHz and 18.8—19.3 GHz bands is granted based on the information presented concerning
interference mitigation capabilities of VIASAT—1 presented in Narrative Exhibit A of File
No. SES—LIC—20101217—01585. We therefore grant a blanket license provided that
communications between VIASAT—1 and ViaSat‘s network of earth terminals not
interfere with or seek protection from any primary NGSO operations currently planned or
authorized in the future.




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2. Contact


             Name:         Daryl T. Hunter                     Phone Number:                       760—476—2583

             Company:      ViaSat, Inc.                        Fax Number:                         760—929—3941
             Street:       6155 El Camino Real                E—Mail:                              daryl.hunter@viasat.com


             City:         Carlsbad                            State:                               CA

             Country:      USA                                Zipcode:                             92009      —
             Attention:                                       Relationship:                         Same


(If your application is related to an application filed with the Commission, entereither the file numberor the IB Submission ID of the related
application. Please enter only one.)
3. Reference File Number or Submission ID

 4a. Is a fee submitted with this application?
) IfYes, complete and attach FCC Form 159.         If No, indicate reason for fee exemption (see 47 C.F.R.Section 1.1114).
«3 Governmental Entity       ¢ Noncommercial educational licensee
x73 Other(please explain):

4b. Fee Classification    CGX — Fixed Satellite Transmit/Receive Earth Station

5. Type Request


g74 Use Prior to Grant                            3 Change Station Location                       @ Other


6. Requested Use Prior Date
      07/20/2011
7. CityGreen Bay                                                         8. Latitude
                                                                         (dd mm ss.s h)   0   0   0.0


9. State   WI                                                              10. Longitude
                                                                           (dd mm ss.s h)    0   0    0.0
11. Please supply any need attachments.
Attachment 1: Attachment A                        Attachment 2:                                      Attachment 3:


12. Description.   (If the complete description does not appear in this box, please go to the end of the form to view it in its entirety.)
     See Attachment A.           Exact location of the antenna has not yet been determined.                                     ViaSat will
    provide the exact coordinates when the location has been selected.




13. By checking Yes, the undersigned certifies that neither applicant nor any other party to the application is               Yes        y No
subject to a denial of Federal benefits that includes FCC benefits pursuant to Section 5301 of the Anti—Drug Act
of 1988, 21 U.S.C. Section 862, because of a conviction for possession or distribution of a controlled substance.
See 47 CFR 1.2002(b) for the meaning of "party to the application" for these purposes.


14. Name of Person Signing                                                 15. Title of Person Signing
   Daryl T. Hunter                 |                                          Director, Regulatory Affairs
           WILLFUL FALSE STATEMENTS MADE ON THIS FORM ARE PUNISHABLE BY FINE AND / OR IMPRISONMENT
                  (U.S. Code, Title 18, Section 1001), AND/OR REVOCATION OF ANY STATION AUTHORIZATION
                   (U.S. Code, Title 47, Section 312(a)(1}), AND/OR FORFEITURE (U.S. Code, Title 47, Section 503).


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The public reporting for this collection of information is estimated to average 2 hours per response, including the time for reviewing instructions,
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Remember — You are not required to respond to a collection of information sponsored by the Federal government, and the government may not
conduct or sponsorthis collection, unless it displays a currently valid OMB control number or if we fail to provide you with this notice. This
collection has been assigned an OMB control number of 3060—0678.

THE FOREGOING NOTICE IS REQUIRED BY THE PAPERWORK REDUCTION ACT OF 1995, PUBLIC LAW 104—13, OCTOBER
1, 1995, 44 U.S.C. SECTION 3507.


                                                                                     Attachment A




         Request for Special Temporary Authority to Communicate with VIASAT—1

                ViaSat, Inc. ("ViaSat") requests Special Temporary Authority ("STA") to use
certain earth station facilities to communicate with its Ka—band VIASAT—1 satellite to enable in—
orbit testing and short—term operations at 109.2° W.L. and also while VIASAT—1 is drifted to its
ultimate location at 115.1° W.L. The 109.2° W.L. location is not occupied at Ka band and thus is
available for these operations.

                STA is requested for a period not to exceed ninety (90) days from the date of
launch, which is expected to occur in late July or early August 2011.‘ ViaSat anticipates being
able to notify the Commission about the precise scheduled launch date of VIASAT—1 prior to
actual grant of this STA.

                ViaSat is filing concurrently the following requests for STA to operate earth
stations to communicate with VIASAT—1 at 109.2° W.L. The Commission currently has before it
the pending applications referenced below, which contain the salient technical parameters that
are not contained in this STA request:

Antenna Type              Antenna Location              Pending Application
TT&C and Gateway          Rapid City, SD                E110015
                                                        SES—LIC—20101217—01585
                                                        SES—AMD—20110128—00074
TT&C and Gateway          Milford, UT                   E110026
                                                        SES—LIC—20110228—00212
                                                        SES—AMD—20110502—00541
Gateway                   Denver, CO                    E110048
                                                        SES—LIC—20110328—00379
                                                        SES—AMD—20110502—00537
User Terminal             Vicinity of Green Bay, WI     E100143
                                                        SES—LIC—20101217—01585
                                                        SES—AMD—20110128—00074
User Terminal             Vicinity of Phoenix, AZ       E100143
                                                        SES—LIC—20101217—01585
                                                        SES—AMD—20110128—00074
User Terminal             Vicinity of San Diego, CA     E100143
                                                        SES—LIC—20101217—01585
                                                        SES—AMD—20110128—00074

              These STAs will allow ViaSat to conduct in—orbit testing of VIASAT—1
immediately after its launch, perform TT&C at 109.2° W.L., and drift the spacecraft from
109.2° W.L. to 115.1° W.L. They also will enable short—term operations at 109.2° W.L. with less


        The proposed STA operations would commence after the satellite is located at 109.2°
        W.L. by ViaSat‘s satellite manufacturer, which is expected to occur approximately 11
        days after launch.


DC\1448922.1


than full two—degree spacing from other existing Ka band satellite operations—namely, ViaSat‘s
WildBlue service on WildBlue—1 and Anik F2 at 111.1° W.L. Such short—term operations
generally will be consistent with the parameters specified in the pending applications cited above
or in the VIASAT—1 authorization, and will allow ViaSat to gather valuable technical data that
could assist in the development, coordination and/or operation of broadband satellite systems at
locations where the "offsets" required by the Commission‘s safe flight policies do not allow full
two—degree spacing. Thus, the proposed operations at 109.2° W.L. present a unique opportunity
to create a controlled environment for evaluating actual Ka—band broadband operations at less
than two—degree spacing.

               ViaSat is coordinating the proposed operations with operators of commercial
Ka—band satellites within six degrees of 109.2° W.L. In the unlikely event that harmful
interference nonetheless occurs, ViaSat will take all appropriate steps to eliminate the
interference. In addition, ViaSat has initiated the US334 coordination process for the proposed
operations.

               ViaSat has evaluated the potential for an overlapping station—keeping volume with
another spacecraft near 109.2° W.L. No satellite system is currently located at 109.2° W.L., and
ViaSat is unaware of any other system that will be located in the immediate vicinity during these
proposed operations.

               In—orbit testing will consist of performance verification testing of each beam on
VIASAT—1. The Rapid City and Milford gateways will provide TT&C and backup TT&C
functionality during the testing and will operate at power levels consistent with regular
operations. The Denver gateway will be used to transmit and receive test signals, and, consistent
with industry practices and as detailed below, that gateway will temporarily need to transmit to
the spacecraft at higher—than—normal power levels during certain tests.

                In order to allow the Denver gateway to test each beam in each direction (both
uplink and downlink), the spacecraft will be oriented at various times to position a given beam
over Denver for the appropriate test. In closed—loop tests, the satellite will be oriented such that
both the uplink and downlink beams being tested are positioned over the Denver gateway. In
open—loop uplink tests, each uplink beam will be positioned over the Denver gateway, which will
result in the corresponding downlink beam illuminating a different geographic area than under
regular operations (with that signal not intended to be received by any earth station). Open—loop
downlink tests will be performed on a "noise loaded" basis (there will be no uplink
transmission), with each downlink beam under test being positioned over the Denver gateway.

                 Tests that involve uplink transmissions will be performed using unmodulated CW
carriers transmitted from the Denver site. In certain cases, this will involve a maximum uplink
power level of 85 dBW, which exceeds the level specified in the pending applications and the
VIASAT—1 authorization. Operations at these higher—than—normal power levels will be short—
term (F.e., typically several minutes) and limited to two specific frequencies that, consistent with
Section 25.138, are being coordinated with adjacent satellites. Those frequencies currently are
planned to be at 28.61 GHz and 29.75 GHz, but could be anywhere within the 28.1—29.06 GHz
and 29.5—30.0 GHz ranges, depending on coordination. The corresponding downlink power level



DC\1448922.1


of 73 dBW is higher than the level authorized for VIASAT—1, and the resulting pfd will be
—89 dBW/m*/MHz, which exceeds the limit in Section 25.208(e). Those frequencies currently
are planned to be 18.81 GHz and 19.95 GHz, but could be anywhere within the 18.81—19.26 GHz
and 19.7—20.2 GHz ranges, depending on coordination of the corresponding uplink band. While
ViaSat does not believe that the brief duration of the testing at these power levels will result in
hartaful interference to terrestrial users, it bears emphasis that all remaining terrestrial users in
these frequency ranges operate on a secondary basis, and are not entitled to interference
protection in any event." To the extent necessary, ViaSat seeks a waiver of Section 25.208(e) to
allow the testing operations described above.

               The Commuission has granted U.S. market access for the Isle of Man/United
Kingdom—authorized VIASAT—1 satellite at 115.1° W.L., and has passed on the technical
specifications of this spacecraft." While at 109.2° W.L., VIASAT—1 currently is intended to
operate pursuant to a satellite authorization that Industry Canada has granted to Ciel Satellite
Limited Partnership. The DISCO IZ presumption of "market access" applies to Canadian—
licensed spacecraft, and the Commission consistently has approved the use of Canadian
spacecraft to provide WTO—covered services (%.e., excluding DBS, DTH and DARS) to, from,
and within the United States.* ViaSat will not use these STAs to provide DBS, DTH or DARS
service over VIASAT—1.

               ViaSat will make available a 24/7 point of contact in the event that any issues
arise in connection with the operations under the requested STAs. Personnel will be on duty at
all times during the STA period and can be contacted at (720) 493—7300.

                The proposed operations are a critical step in ensuring that VIASAT—1 will be
fully operational after its upcoming launch and upon arrival at 115.1° W.L. Furthermore, the
proposed operations will allow ViaSat to gather valuable technical data that could assist in the
development, coordination and/or operation of broadband satellite systems in a less—than—full—
two—degree—spaced environment. Moreover, all appropriate arrangements are in place with
ViaSat‘s manufacturer and launch provider to enable the launch into and testing of VIASAT—1 at
109.2° W.L. Thus, grant of the requested STAs would serve the public interest, convenience and
necessity.



2       See 47 C.F.R. § 101.147(r) (stations operating in the 18.8—19.3 GHz band are no longer
        co—primary with Part 25 services after June 8, 2010).
3       See SAT—LOI—20080107—00006; SAT—AMD—20080623—00131; SAT—AMD—20090213—
        00023 (Call Sign $2747), grant stamped Aug. 18, 2009.
        See e.g., Telesat Canada, Petition for Declaratory Rulingfor Inclusion ofAnik F2 on the
        Permitted Space Station List, Petition for Declaratory Ruling to Serve the U.S. Market
        Using Ka—band Capacity on Anik F2, File Nos. SAT—PDR—20010906—00082, SAT—PDR—
        20020321—00027, Order, DA 02—3490 (rel. Dec. 18, 2001); see also Amendment ofthe
        Commission‘s Regulatory Policies to Allow Non—U.S. Licensed Space Stations to Provide
        Domestic and International Satellite Service in the United States, Report and Order, 12
        FCC Red 24094, 24112, 24135 «[ 39, 94 (1997).

                                                  3
DC\1448922.1



Document Created: 2019-04-28 08:17:29
Document Modified: 2019-04-28 08:17:29

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