Attachment STA Request

This document pretains to SES-STA-20150408-00202 for Special Temporal Authority on a Satellite Earth Station filing.

IBFS_SESSTA2015040800202_1082636

April 8, 2015


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

Re:       Request for Extension of Special Temporary Authority
          Fillmore, California Earth Station E000363

Dear Ms. Dortch:

Intelsat License LLC (“Intelsat”) herein requests an additional 30 days—from April 12, 2015
through May 11, 2015—of the Special Temporary Authority (“STA”)1 previously granted
Intelsat to use its Fillmore, California C-band earth station—call sign E000363—to provide
launch and early orbit phase (“LEOP”) services for the ABS-3A satellite.2 ABS-3A was
successfully launched March 1, 2015.3 The LEOP period is expected to last approximately 240
days.4

The ABS-3A LEOP operations will continue to be performed in the following frequency bands:
6420.00 MHz and 6425.00 MHz in the uplink (LHCP), and 4194.5 MHz and 4197.0 MHz in the
downlink (LHCP).

The LEOP operations will continue to be coordinated with all operators of satellites that use the
same frequency bands and are in the LEOP path.5 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.

The 24x7 contact information for the ABS-3A LEOP mission is as follows:


1
 Intelsat has filed this STA request, an FCC Form 159, and a $195.00 filing fee electronically via the
International Bureau’s Filing System.
2
 See Satellite Communications Services Information; Actions Taken, Report No. SES-01731, File No.
SES-STA-20150306-00116 (Mar. 11, 2015) (Public Notice).
3
 The permanent orbital location for ABS-3A, which Intelsat understands is licensed by Papua New
Guinea, will be at 3° W.L. The in-orbit testing location will be 3° W.L.
4
  Intelsat is also seeking authority for 180 days to accommodate the longer orbit-raising time period
required for an electric propulsion satellite. See Satellite Communications Services; Satellite Radio
Applications Accepted for Filing, Report No. SES-01738, File No. SES-STA-20150203-00051 (Apr. 8,
2015) (Public Notice).
5
    Intelsat will handle the coordination.


Ms. Marlene H. Dortch
April 8, 2015
Page 2

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 extension request, Intelsat incorporates by reference Exhibits A and B
submitted with its original, March 6, 2015, STA request, which contains technical information
and a waiver request. During the ABS—3A LEOP mission, Intelsat will continue to operate in the
frequencies listed in its original request at power levels not to exceed 25.5 dBW. The technical
information submitted with Intelsat‘s original STA request reflects a power level as high as 26.2
dBW because Intelsat might operate at this level in the event an emergency necessitates the use
of a higher power in order to command the satellite. In the extremely unlikely event that harmful
interference should occur due to transmissions to or from its earth station, Intelsat will take all
reasonable steps to eliminate the interference.

During the ABS—3A LEOP mission, Boeing will continue to serve as the mission manager.
Boeing will build and send the commands to the Intelsat antenna, which will continue to process
and execute the commands. Telemetry received by Intelsat will continue to be forwarded to
Bocing. Intelsat will continue to perform the ranging sessions by sending a tone to the spacecraft
periodically. Intelsat will remain in control of the baseband unit, RF equipment, and antenna.

Grant of this STA extension request will allow Intelsat to continue aiding in the launch of the
ABS—3A satellite. This, in turn, will result in the provision of VSAT, TV distribution, IP
trunking, cellular backhaul, and maritime services from the 3° W.L. orbital location and thereby
promotes the public interest.

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

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

Respectfully submitted,




Cynthia J. Grady
Regulatory Counsel
Intelsat Corporation




ge:     Paul Blais



Document Created: 2015-04-08 13:42:02
Document Modified: 2015-04-08 13:42:02

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