Attachment Exhibit 1

This document pretains to SES-STA-20190404-00491 for Special Temporal Authority on a Satellite Earth Station filing.

IBFS_SESSTA2019040400491_1644608

                                                                   GCI Communication Corp.
                                        Request for Extension of Special Temporary Authority


          REQUEST FOR EXTENSION OF SPECIAL TEMPORARY AUTHORITY

         By this application (the “Application”), GCI Communication Corp. (“GCI”) hereby

requests an extension of its special temporary authority (“STA”) to continue to operate, for 60

days or less pending a decision on its application for regular authority,1 a fixed earth station

antenna in Chevak, AK, at 61° 31’ 47.8” N, 165° 34’ 51.1” W with the EUTELSAT 115 WB

(SATMEX 7) (S2938) satellite at the 114.9° W.L. orbital location in the 3786-3858 MHz (space-

to-Earth) and the 6011-6883 MHz (Earth-to-space) frequency bands.2

         GCI initially sought an emergency STA pursuant to Section 25.120 of the Federal

Communications Commission (the “FCC” or “Commission”) rules due to extraordinary

circumstances. Specifically, GCI’s Askinuk Mountain tower was experiencing severe icing

issues that has caused its microwave link, which services remote villages in western Alaska

(Chevak and Hooper Bay), to become unreliable. This link is the primary link to

communications in these villages, and provides not only mobile wireless voice and broadband

services, but also supports telehealth services, school access services, wireless 911 routing, and

serves as a backup to wireline 911 services. GCI took several efforts to remedy the situation, as

described in the Chevak Initial STA Application, however because its services continued to be

severely impacted, it sought an STA to utilize the C-band spectrum.3 As explained, without a


1
 See IBFS File No. SES-LIC-20180608-01392 (filed June 8, 2018). This application was
accepted for filing on July 18, 2018. See Satellite Communications Services re: Satellite Radio
Applications Accepted for Filing, Public Notice, Report No. SES-02079 (rel. July 18, 2018).
2
  See IBFS File No. SES-STA-20180423-00391 (granted Apr. 25, 2018) (“Chevak Initial STA
Application”); IBFS File No. SES-STA-20180620-01772 (granted July 31, 2018); IBFS File No.
SES-STA-20180914-02716 (granted Sept. 21, 2018); IBFS File No. SES-STA-20181119-03269
(granted Nov. 30, 2018); IBFS File No. SES-STA-20190128-00044 (granted Feb. 8, 2019). The
most recent STA extension expires on April 9, 2019.
3
    See Chevak Initial STA Application, Exhibit 1.


                                                                     GCI Communication Corp.
                                          Request for Extension of Special Temporary Authority

grant of the requested temporary authority, remote residents in western Alaska may not have

access to vital communications services, including accessing 911 services.4

          Unfortunately, such extraordinary circumstances still exist today, and “delay in the

institution of these temporary operations would seriously prejudice the public interest.”5

Therefore, GCI is requesting an extension of its STA to continue to provide critical services to

approximately 2300 western Alaskan residents over this license. As previously explained, many,

if not most, of these affected residents rely solely on GCI’s services for a link to the world

outside of their remote villages.6 This is due in large part to the challenging nature of providing

mobile service in Alaska. Such challenges include “its remoteness, lack of roads, challenges and

costs associated with transporting fuel, lack of scalability per community, satellite and backhaul

availability, extreme weather conditions, challenging topography, and short construction

season.”7 GCI relies on the C-Band band in order to provide its FSS operations, and has a very

long history of providing C-band satellite communications solutions in Alaska in ways that

advance the satellite technology space in an effort to provide communications services in rural

Alaska. In addition, the substantial public service record of GCI indicates that the company is

committed to providing service to consumers in Alaska. Indeed, as noted above, GCI has sought

regular authority in order to avoid encountering a situation such as this next winter. Because



4
    Id.
5
    47 C.F.R. §25.120(b)(1).
6
    See Chevak Initial STA Application.
7
  Connect America Fund; Universal Service Reform – Mobility Fund; Connect America Fund -
Alaska Plan, Report and Order and Further Notice of Proposed Rulemaking, 31 FCC Rcd 10139,
10162,¶ 72 (2016) (“Alaska Plan R&O”) (citing Connect America Fund et al., Report and Order
and Further Notice of Proposed Rulemaking, 26 FCC Rcd 17663, 17829,¶ 507 (2011)
(“USF/ICC Transformation Order”), aff’d sub nom. FCC 11-161, 753 F.3d 1015 (10th Cir.
2014)).
                                                   2


                                                                  GCI Communication Corp.
                                       Request for Extension of Special Temporary Authority

GCI does not want service to its customers, including potential access to emergency services, to

be implicated during the pendency of this request, it is requesting an extension of the STA.

Allowing a STA to permit GCI to continue to provide service over the C-Band, for an additional

60 days or less pending a decision on its application for regular authority, would certainly be in

the public interest. This continued service illustrates a “compelling reason” to grant the

requested STA extension.




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Document Created: 2019-04-02 16:44:09
Document Modified: 2019-04-02 16:44:09

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