Attachment SESSTA2014091700736.

SESSTA2014091700736.

DECISION submitted by FCC

STA GRANT WITH CONDITIONS

0000-00-00

This document pretains to SES-STA-20140917-00736 for Special Temporal Authority on a Satellite Earth Station filing.

IBFS_SESSTA2014091700736_1064939

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                                            KL92          SES—STA—20140917—00736   1B2014001850
                                            Intelsat License LLC




                                                                                                                           Approved by OMB


                                APPLICATION FOR EARTH STATION SPECIAL TEMPORARY AUTHORITY



    APPLICANT INFORMATIONEnter a description of this application to identify it on the main menu:
    Request for Special Temporary Authority Using Castle Rock, Colorado Earth Station KL92
     1. Applicant


               Name:        Intelsat License LLC                Phone Number:                     703—559—7848
               DBA Name:                                        Fax Number:                       703—559—8539
               Street:      c/o Intelsat Corporation            E—Mail:                           susan.crandall@intelsat.com
                            7900 Tysons One Place
               City:        McLean                              State:                            VA
               Country:     USA                                 Zipcode:                          22102        —5972
               Attention:   Susan H. Crandall


Applicant: Intelsat License LLC
Call Sign: KL92
File No.: SES—STA—20140917—00736
Special Temporary Authority (STA)

Intelsat License LLC is granted STA to operate its earth station Call Sign KL92 in Castle
Rock, Colorado for 30 days to conduct launch and early orbit phase (LEOP) services and
provide telemetry, tracking, and control (TT&C) functions during in—orbit testing (IOT)
and drift of the U.S. licensed Intelsat 30 satellite. The satellite is expected to be launched
on October 16, 2014. The LEOP and TT&C operations during IOT will be under the
following conditions:

        1. Intelsat will perform the operations in the uplink frequencies (Earth—to—space):
           13750.50 MHz and 14003.50 MHz (LHCP) and the downlink frequencies
           (space—to—Earth): 11198.00 MHz, 11198.50 MHz, 11199.25 MHz and
           11199.75 MHz (RHCP). The maximum EIRP shall not exceed 85 dBW per
           NTIA manual US 356.

           Intelsat will coordinate the proposed IOT operations at IOT location 132.0°
           W.L. with operators of co—frequency satellites within six degrees. During the
           drift from 132.0° W.L. to the satellite‘s permanent orbital location 95.05°
           W.L., Intelsat will coordinate with operators of co—frequency satellites in the
           drift path.

           LEOP operations must be coordinated with all operators of satellites that use the
           same frequency bands and are in the LEOP path. 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. Currently the 24x7 contact
           information for the Intelsat 30 LEOP mission is as follows: Ph.: (703) 559—7701 —
           East Coast Operations Center (primary); (310) 525—5591 — West Coast Operations
           Center (back—up). Request to speak with Harry Burnham or Kevin Bell.

           Operations, shall not cause harmful interference to, and shall not claim
           protection from, interference caused to it by any other lawfully operating
           station and it shall cease transmission(s) immediately upon notice of such
           interference.

           In the event of any harmful interference under this grant of STA, Intelsat
           License LLC KL92 must cease operations immediately upon notification of
           such interference, and must inform the Commission, in writing, immediately
           of such an event.

           Grant of this authorization is without prejudice to any determination that the
           Commission may make regarding pending or future Intelsat License LLC
           applications.


. Any action taken or expense incurred as a result of operations pursuant to this
  STA is solely at Intelsat License LLC‘s risk.

._ This action is issued pursuant to Section 0.261 of the Commission‘s rules on
   delegated authority, 47 C.F.R. §0.261, and is effective immediately.


2. Contact


             Name:         Susan H. Crandall                   Phone Number:                          703—559—7848
             Company:      Intelsat Corporation                Fax Number:                            703—559—3957
             Street:       7900 Tysons One Place               E—Mail:                                susan.crandall@intelsat.com


             City:         McLean                              State:                                 VA
             Country:      USA                                 Zipcode:                               22102       —5972
             Attention:    Susan H. Crandall                   Relationship:                          Legal Counsel


(If your application is related to an application filed with the Commission, enter either the file number or 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).
C Governmental Entity        C Noncommercial educational licensee
C Other(please explain):

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

5. Type Request


+   Use Prior to Grant                             4   Change Station Location                        @   Other


6. Requested Use Prior Date


7. CityCastle Rock                                                        8. Latitude
                                                                          (dd mm ss.s h)    39   16    38.0   N


9. State   CO                                                               10. Longitude
                                                                            (dd mm ss.s h)    104   48    25.0   W
11. Please supply any need attachments.
Attachment 1: STA Request                         Attachment 2: Exhibit A                            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.)
     Intelsat License LLC herein requests a grant of Special Temporary Authority for 30 days,k
     commencing October 16,             2014,     to use its Castle Rock,               Colorado Ku—band earth station,                      call
     sign KL92,      to provide launch and early orbit phase services for Intelsat 30,                                       which is
     expected to be launched on October 16,                       2014.      Intelsat also requests STA to provide




13. By checking Yes, the undersigned certifies that neither applicant nor any other party to the application is           @ Yes          £4 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
   Cynthia J. Grady                                                           Regulatory Counsel, Intelsat Corporation
           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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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.


12. Description

Intelsat Licenge LLC herein requests a grant of Special Temporary Authority for 30 days,
commencing October 16, 2014, to use its Castle Rock, Colorado Ku—band earth station, call sign
KL92, to provide launch and early orbit phase services for Intelsat 30, which is expected to be
launched on October 16,   2014.   Intelsat also requests STA to provide telemetry,   tracking,   and
control services at the in—orbit testing location,    132.0 W.L.,   and to drift the satellite from the
IOT location to the final location of Intelsat 30 at 95.05 W.L.                                        '


                                                                                      INTELSAT
                                                                                        Envision. Connect. Transform.



September 17, 2014

Ms. Marlene H. Dortch
Secretary
Federal Communications Commission
445 12th Street, S.W.
Washington, D.C. 20554

           Re:         Request for Special Temporary Authority
                       Castle Rock, Colorado Earth Station KL92

Dear Ms. Dortch:

Intelsat License LLC ("Intelsat") herein requests a grant of Special Temporary Authority ("STA")‘ for
30 days, commencing October 16, 2014, to use its Castle Rock, Colorado Ku—band earth station—call
sign KLQ92— to provide launch and early orbit phase ("LEOP") services for Intelsat 30, which is
expected to be launched on October 16, 2014. Intelsat also requests STA to provide telemetry, tracking,
and control ("TT&C") services at the in—orbit testing ("IOT") location, 132.0° W.L., and to drift the
satellite from the IOT location to Intelsat 30‘s final location at 95.05° W.L.

The proposed operations will be performed using the following frequencies: 13750.50 MHz and
14003.50 MHz in the uplink (LHCP), and 11198.00 MHz, 11198.50 MHz, 11199.25 MHz, and
11199.75 MHz in the downlink (RHCP). The proposed operations will be coordinated with all operators
of satellites that use the same frequency bands and are in the LEOP path, the drift path, or are potentially
affected by these operations at the IOT location." All operators of potentially affected satellites will be
provided with an emergency phone number where the licensee can be reached in the event that harmful
interference occurs.

The 24x7 contact information for the Intelsat 30 mission is as follows:

                       Ph.:   (703) 559—7701 —East Coast Operations Center (primary)
                              (310) 525—5591 — West Coast Operations Center (back—up)

                       Request to speak with Harry Burnham or Kevin Bell.

In further support of this request, Intelsat hereby attaches Exhibit A, 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 unlikely event that harmful interference should occur due to

‘ Intelsat has filed its STA request, an FCC Form 159, a $195.00 filing fee, and this supporting letter
electronically via the International Bureau‘s Filing System ("IBFS").
 Intelsat will handle the coordination.


Intelsat Corporation
7900 Tysons One Place, Mclean, VA 22102—5972 USA www.intelsat.com T +1 703—559—6800


Ms. Marlene H. Dortch
September 17, 2014
Page 2


transmissions to or from its earth station, Intelsat will take all reasonable steps to eliminate the
interference. Intelsat also notes that for purposes of the Intelsat 30 mission, it is seeking to operate in
the frequencies listed in this request at power levels not to exceed 28.0 dBW.

Grant of this STA request will allow Intelsat to help launch the Intelsat 30 satellite. This, in turn, will
help ensure continuity of service at the 95.05° W.L. orbital location and thereby promotes the public
interest.

Please direct any questions regarding this STA request to the undersigned at (703) 559—6949.

Respectfully submitted,




Cynthia J. Grady
Regulatory Counsel
Intelsat Corporation



cc: Paul Blais


                                                 Exhibit A
                                       Intelsat License LLC
                                      Castle Rock, Colorado
                                   NEC 12.5 Meter Earth Station
                                           Call Sign: KL92

     Compliance with FCC Report & Order (FCC96—377) for the 13.75 — 14.0 GHz Band
                              Analysis and Calculations

1.       Background

This Exhibit is presented to demonstrate the extent to which the Intelsat License LLC ("Intelsat")
satellite earth station in Castle Rock, Colorado is in compliance with Federal Communications
Commission ("FCC") Report and Order 96—377. The potential interference from the earth station
to U.S. Navy shipboard radiolocation operations ("RADAR") and the National Aeronautics and
Space Administration ("NASA") space research activities in the 13.75 — 14.0 GHz band is
addressed in this exhibit. The parameters for the earth station are:

                          Table 1. Earth Station Characteristics


     e   Coordinates (NAD83):                        39° 16‘ 38.0° N, 104°48° 25.0" W

     e   Satellite Location for Earth Station:       IS—30 at 33.0° W to 177.0° W

     e   Frequency Band:                              13.75—14.5 GHz for uplink

     e   Polarizations:                              Circular

     e   Emissions:                                  816KF2D

     e   Modulation:                                 FM/PSK

     e   Maximum Aggregate Uplink EIRP:              92.0 dBW for all Carriers


     e   Transmit Antenna Characteristics
            Antenna Size:                            12.5 meter in Diameter
            Antenna Type/Model:                      NEC
            Gain:                                    64.0 dBi

     e   RF power into Antenna Flange:               28.0 dBW or —2.3 dBW/4 kHz (Maximum)

     e   Minimum Elevation Angle:
         Castle Rock, Co.                            5.3° @ 101.8° Az. at 33.0 W
                                                     5.0° @ 258.5° Az. at 177.0 W.


     e   Side Lobe Antenna Gain:                 29 — 25*log(0)



Because the above uplink spectrum is shared with the Federal Government, coordination in this
band requires resolution data pertaining to potential interference between the earth stations and
both U.S. Navy Department and NASA systems. Potential interference from the earth station
could impact the U.S. Navy and/or NASA systems in two areas. These areas are noted in FCC
Report and Order 96—377 dated September 1996, and consist of (1) Radiolocation and radio
navigation, (2) Data Relay Satellites.


Summary of Coordination Issues:

1) Potential Impact to Government Radiolocation (Shipboard Radar)
2) Potential Impact to NASA Tracking and Data Relay Satellite Systems ("TDRSS")



2.       Potential Impact to Government Radiolocation (Shipboard Radar)

Radiolocation operations ("RADAR") may occur anywhere in the 13.4 — 14 GHz frequency band
aboard ocean going U.S. Navy ships. FCC order 96—377 allocates the top 250 MHz of this 600
MHz band to the Fixed Satellite Service ("FSS") on a co—primary basis with the radiolocation
operations and provides for an interference protection level of —167 dBW/m*/4 kHz.

The closest distance to the shoreline from the Castle Rock earth station is approximately 1350
km Southwest toward the Pacific Ocean.

Therefore, there should be no interference to the U.S. Navy RADAR from the Castle Rock
Colorado due to distance and terrain blockage between the site and the shore.



3.       Potential Impact to NASA‘s Tracking and Data Relay Satellite System

The geographic location of the Intelsat earth station in Castle Rock, Colorado is outside the 390
km radius coordination contour surrounding NASA‘s White Sands, New Mexico ground station
complex. Therefore, the TDRSS space—to—earth link will not be impacted by the Intelsat earth
station in Castle Rock, Colorado.

The TDRSS space—to—space link in the 13.772 to 13.778 GHz band is assumed to be protected if
an earth station produces an EIRP less than 71 dBW/6 MHz in this band. The 12.5 meter earth
station antenna will have an EIRP greater than 71 dBW/6 MHz in this band. The total EIRP for
all carriers is 92.0 dBW, and the equivalent EIRP per 6 MHz segment remains at 92.0 dBW/6


MHz. Therefore, there will be potential interference to the TDRSS space—to—space link (Table
1).


4.   Coordination Result Summary and Conclusions

The results of the analysis and calculations performed in this exhibit indicate that compatible
operation between the earth station at the Castle Rock facility and the US Navy and NASA
systems space—to—earth link are possible. These analyses have been based on the assumption of
816 kHz bandwidth carriers. Operations in NASA systems space—to—space link (13772.0 to
13778.0 MHz) will not be permitted.

                                       Table 1
            Excluded Frequency Range for Intelsat License LLC Earth Station
                    System                       Frequency Restriction
                    TDRSS                   13.770—13.780 GHz (see Note 1)


Note 1: In order to meet the less than 71 dBW/6 MHz interference criteria, the earth station
would have to be limited to a maximum total EIRP of 70.9 dBW.

No interference to U.S. Navy RADAR operations from the Castle Rock, Colorado site earth
station will occur.


                                                                                      INTELSAT.
                                                                                       Envision. Connect. Transform.



September 19, 2014


Ms. Marlene H. Dortch
Secretary
Federal Communications Commission
445 12"" Street, S.W.
Washington, DC 20554

Re:        Supplement to Request for Special Temporary Authority for Castle Rock, Colorado Earth
           Station, Call Sign KL92; File No. SES—STA—20140917—00736

Dear Ms. Dortch:

Intelsat License LLC ("Intelsat") herein supplements its above referenced request for Special Temporary
Authority ("STA") to provide launch and early orbit phase ("LEOP") services for Intelsat 30; provide
telemetry, tracking, and control ("TT&C") services for Intelsat 30 at the in—orbit testing ("IOT")
location, 132.0° W.L.; and to drift the satellite from the IOT location to Intelsat 30‘s final location at
95.05° W.L. Specifically, Intelsat is seeking a waiver of the footnote NG52 to the U.S. Table of
Frequency Allocation.

In order to perform LEOP services and TT&C during IOT and drift on the 11198.0 MHz, 11198.5 MHz,
11199.25 MHz, and 11199.75 MHz frequencies, Intelsat requests a waiver of the footnote NG52 to the
U.S. Table of Frequency Allocations, which limits the use of the 10700—11700 MHz frequency band to
"international systems."‘ Intelsat seeks waiver to permit the Castle Rock, Colorado earth station, KL92,
to communicate with the Intelsat 30 satellite for the limited purposes of LEOP services, TT&C services
at 132.0° W.L., and to drift Intelsat 30 to its permanentlocation at 95.05° W.L.

The Commission may grant a waiver for good cause shown." The Commission typically grants a waiver
where the particular facts make strict compliance inconsistent with the public interest." In granting a
waiver, the Commission may take into account considerations of hardship, equity, or more effective
implementation of overall policy on an individual basis.* Waiver is therefore appropriate if special
circumstances warrant a deviation from the general rule, and such a deviation will serve the public
interest.




\ See 47 C.F.R. § 2.106 fa. NGS52.
247 C.F.R. §1.3.                      .
3 N.E. Cellular Tel. Co. v. FCC, $97 F.2d 1164, 1166 (D.C. Cir. 1990) ("Northeast Cellular®).
* WAIT Radio v. FCC, 418 F.2d 1153, 1159 (D.C. Cir. 1969); Northeast Cellular, 897 F.2d at 1166.

Intelsat Corporation
7900 Tysons One Place, Mclean, VA 22102—5972 USA www.intelsat.com T +1 703—559—6800


Ms. Marlene H. Dortch
September 19, 2014
Page 2


Good cause exists here to grant a waiver allowing KL92 to provide LEOP services and TT&C during
TIO0T and drift for Intelsat 30 in the 10700—1 1700 MHz band. LEOP, IOT, and the drift of the satellite
will only be for a short duration. In addition, as explained in the STA request, the proposed operations
will be coordinated with all operators of satellites that use the same frequency bands and are in the drift
path, or are potentially affected by these operations at the IOT location. To Intelsat‘s knowledge, there
are no co—frequency satellites within plus/minus six degrees of 132.0° W.L.

For the reasons set forth in its original STA request, Intelsat respectfully requests that the Commission
grant the request.

Respectfully submitted,




Cynthia J. Grady
Regulatory Counsel
Intelsat Corporation


co: Paul Blais



Document Created: 2014-10-15 11:45:06
Document Modified: 2014-10-15 11:45:06

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