Attachment STA Request

This document pretains to SES-STA-20130528-00449 for Special Temporal Authority on a Satellite Earth Station filing.

IBFS_SESSTA2013052800449_998071

                                     Description of STA Request


       Comtech Mobile Datacom Corporation (“CMDC”) hereby requests that the Commission
renew and extend, with condition, the special temporary authority (“STA”) that the Commission
granted with condition on April 1, 2013 for E090027 (the “ROUS” license)1 in File No. SES-
STA-20130301-00222 (“ROUS STA”). The currently operative ROUS STA is scheduled to
expire on May 30, 2013.
        CMDC provides mobile packet data communications services to federal government and
commercial customers throughout the United States and overseas. (While CMDC currently has
no commercial customers, it has served such customers in the past.) The ROUS license was set
to expire on April 1, 2013. CMDC filed on February 6, 2013, a modification application
(“Modification Application”), as directed in its current license conditions, to extend the term of
the ROUS license for two years and to add a Site ID to this license which, once effectuated, will
eliminate the need for continuation of a separate blanket license E990143 (the “Spike” license).2
See SES-MOD-20130206-00159. Aside from enabling the consolidation of the Spike authority
into the ROUS license, the modification application does not seek to alter the Company’s
licensed authority. The Application does seek to clean up certain items within the licenses in
conjunction with the modification. In anticipation that the Modification Application would not
be granted prior to the expiration of the ROUS license, CMDC was granted an STA to take effect
starting on April 1, 2013.3 CMDC is filing the instant request for renewal and extension of the
ROUS STA because, following discussion with Staff, it is similarly likely that grant of the
Modification Application will not occur prior to the expiration date for the ROUS STA. CMDC
seeks continued special temporary authority pending action on its Modification Application.
       In support of this STA request, CMDC refers to the information provided in its
Modification Application, including Exhibit A (Description of Application, Services to be
Provided, Frequencies Requested and Public Interest Showing); Exhibit B (Radiation Hazard
Study); Exhibit C (Information Required by Section 25.137 on Non-U.S. Licensed Satellite); and
Exhibit D (Request for Waiver).
       CMDC notes that it has been operating under the ROUS license and the ROUS STA
pursuant to a waiver of footnotes US308 and US315 to the U.S. Table of Frequency Allocations
and Section 25.136(d) of the Commission’s Rules with respect to the operation of its MTM202

1
       Satellite Communications Services Information re: Actions Taken, Report No. SES-01395 (Nov. 2, 2011)
       (granting license for additional 2-year period).
2
       Comtech Mobile Datacom Corp., Application for Modification of Blanket Earth Station Authorization,
       Order and Authorization, DA 09-906, rel. May 15, 2009; Satellite Communications Services Information
       re: Actions Taken, Report No. SES-01346 (May 11, 2011) (granting license for additional 2-year period, on
       terms of 2009 grant order). Pending grant of the Modification Application, continued operations pursuant
       to the Spike license are being conducted under a separate STA. File No. SES-STA-20130325-00295
       (issued May 1, 2013).
3
       The STA granted “authority, with conditions, for a period of 60 days, to continue to operate blanket
       licensed half-duplex terminals in the 1631.5-1660.5 MHz (Earth-to-Space) and 1530-1559 MHz (space-to-
       Earth) frequency bands and to operate Site ID “R-OldM-AKHI” within the parameters specified in its
       pending application for regular authority. . . ” Report No. SES-01540 (Apr. 3, 2013).


half-duplex terminals outside of the continental United States. The Company’s MTM202
terminals do not comply with the National Telecommunications and Information
Administration’s (“NTIA’s”) interpretation of these footnotes with respect to the shutdown
requirement. The Modification Application requests grant of this waiver for an additional two-
year period. In order to continue operations following expiration of the current ROUS STA and
prior to grant of the Modification Application, however, CMDC respectfully requests that the
STA renewal requested herein include temporary grant of this waiver as well. This request is
reasonable for all the reasons discussed in the Modification Application, Exhibit D, Request for
Waiver. In particular, as explained in the Modification Application, the likelihood that a single
packet will exceed the prescribed duration for shutdown – the basis for the waiver requirement –
is exceptionally low and materially lower than had been the case when the waiver was last
extended in 2011. Further, grant of this temporary waiver will serve the public interest insofar as
continued operations pursuant to the renewed and extended ROUS STA will be impracticable
without the waiver.
      CMDC requests that the Commission renew and extend the current ROUS STA, effective
May 30, 2013 for a minimum of 60 days and continue, if necessary, until such time as the
Commission acts on the Modification Application.
        Section 25.120(b)(1) of the Commission’s Rules provides that the Commission may grant
a temporary authorization only upon a finding that there are extraordinary circumstances
requiring temporary operations in the public interest and that delay in the institution of these
temporary operations would seriously prejudice the public interest. CMDC submits that such
extraordinary circumstances exist here. CMDC is requesting renewal and extension of the
current ROUS STA to continue to satisfy the needs of its current customer, notably including the
U.S. Army, for service in the U.S. and worldwide. Specifically, the U.S.Army’s Force XXI
Battle Command, Brigade and Below (“FBCB2”) command and control system relies upon
CMDC’s services. Grant of the requested STA will advance the public interest in that it will
enable CMDC to satisfy the needs of the Army without disruption of service. At the same time,
CMDC’s operations pursuant to the authority requested herein will not, in all likelihood, result in
any harm to the public interest. While CMDC’s terminals and operations, continuance of which
is proposed herein, do not entirely comply with the letter of the Commission’s requirements for
priority access and real-time preemption in the L-band, they comply with the spirit of those
requirements. And, as noted, the remaining potential for noncompliancewith the prescribed
duration for shutdown is minimal. As discussed in the Modification Application, Exhibit D, the
Commission’s previous grant of a waiver of footnotes US308 and US315 and Section 25.136(d)
in conjunction with past grants of authority to operate pursuant to CMDC’s E090027 license
provides precedent for grant of a similar (temporary) waiver in connection with this STA
request.
       CMDC acknowledges that any grant of this STA request is without prejudice to, and will
be conditioned on, the Commission’s final action on any CMDC application.
       For the reasons set forth above, CMDC respectfully requests that this STA request be
granted no later than May 30, 2013.


                                      VERIFICATION



       I, Greg Handermann, am a Senior Vice President of Comtech Mobile Datacom

Corporation ("CMDC"). I am authorized to represent CMDC and to make this verification on its

behaif. The statements in the foregoing document relating to CMDC are true and correct to the

best of my knowledge and belief.


       I declare under penalty of perjury that the foregoing is true and correct.




                                                      Greg Handermann

                                                      Senior Vice President, Advanced Systems

May 22, 2013



Document Created: 2013-05-24 16:51:00
Document Modified: 2013-05-24 16:51:00

© 2024 FCC.report
This site is not affiliated with or endorsed by the FCC