Attachment STA Extension

This document pretains to SES-STA-20170512-00556 for Special Temporal Authority on a Satellite Earth Station filing.

IBFS_SESSTA2017051200556_1221557

                                                                Anadarko Petroleum Corporation
                                                            Fixed Satellite Service, Earth Stations


                 REQUEST FOR SPECIAL TEMPORARY AUTHORITY

        Anadarko Petroleum Corporation (“Anadarko”), pursuant to Section 1.931 of the Rules
and Regulations of the Federal Communications Commission (“FCC” or “Commission”),
respectfully requests an extension of its Special Temporary Authority (“STA”) effective as soon
as possible for a period of 60 days, or until the Commission has granted Anadarko’s regular
authority for modifications to its Earth Station licenses identified by Call Signs E140005 (Lucius
Spar), E030216 (Marco Polo), and E150008 (Heidelberg), (the “Earth Stations”) as discussed
below.

                                           Background

        Anadarko is among the largest independent oil and natural gas exploration and
production companies in the world, with approximately 2.06 billion barrels of oil equivalent of
proved reserves at year-end 2015. Anadarko’s operations are weighted towards resource plays in
Texas and the southern US, the Rocky Mountain region in Colorado, Wyoming, and Utah, as
well as the Appalachian region and Marcellus Shale in Pennsylvania and the Gulf of Mexico.
Anadarko’s Earth Stations provide voice and data services to personnel on its Lucius Spar,
Marco Polo, Heidelberg, and Independence Hub oil platforms in the Gulf of Mexico.

        On March 16, 2017, the FCC granted Anadarko STA for a period of 60 days to operate
its Earth Stations with the added Emission Designator 9M38G7W.1 Anadarko completed
frequency coordination for its regular authority modifications for the Earth Stations and
submitted regular authority modifications to the Commission. The regular authority
modification applications appeared on Public Notice on May 3 and May 10, 2017.2

                                     Special Temporary Authority

         The Commission may grant STA “in emergency situations,” “to permit restoration or
relocation of existing facilities to continue communications service,” and “in other situations
involving circumstances which are of such extraordinary nature that delay in the institution of
temporary operation would seriously prejudice the public interest.”3 Anadarko’s C-band Earth
Stations provide critical broadband connectivity for voice and data transmissions to and from its
oil platforms. The bandwidth currently authorized under its Earth Station licenses is not
sufficient to support Anadarko’s communications requirements.

        seeks an extension of its STA’s to permit continued operation of its Earth Stations with
the added Emission Designator 9M38G7W. Micronet Communications, Inc. has completed
frequency coordination and has certified that all sites pass with the requested bandwidth and
Micronet has certified that the Maximum EIRP Density will not increase beyond what is
currently authorized under the existing licenses. Moreover, Anadarko submitted regularl

1
  FCC File Numbers SES-STA-20170309-00253, SES-STA-20170309-00248, SES-STA-20170309-00245.
2
  FCC File Numbers SES-MOD-20170427-00476, SES-MOD-20170427-00477, SES-MOD-20170427-00481.
3
  47 C.F.R. § 1.931(b)(2)(ii),(v).


                                                               Anadarko Petroleum Corporation
                                                           Fixed Satellite Service, Earth Stations


authority modification applications to add the new Emission Designator and make other
technical changes which are now pending with the FCC.

        Without increased bandwidth, Anadarko’s satellite communications capabilities will be
limited during the pendency of its modification applications, which will limit critical
communications supporting Anadarko’s oil production in the Gulf of Mexico. Reliable
broadband connectivity is critical to operational integrity and the safety of personnel and the
environment. Anadarko’s C-Band transmissions are the most important component of its
communications for its production platforms.


        In light of the foregoing, Anadarko submits that grant of the requested STA extensions
will serve the public interest, convenience, and necessity and favorable Commission action is
warranted.

                                            *      *       *

       Should the Commission require additional information, it is asked to contact Wes Wright
or Tim Doughty of Keller and Heckman LLP, 1001 G Street NW, Washington, DC 20001;
(202)434-4296; e-mail: wright@khlaw.com; (202)434-4271; e-mail: doughty@khlaw.com.



Document Created: 2017-05-12 16:54:29
Document Modified: 2017-05-12 16:54:29

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