Exhibit 1

0259-EX-PL-2014 Text Documents

DRS Technical Services, Inc.

2014-05-28ELS_149682

                                                      “Public” Interest Statement Exhibit 1


                            REQUEST FOR EXPERIMENTAL LICENSE


1.     Introduction

    DRS, a world leader in system development is presently performing a government contract
which calls for DSR to develop communications systems for the Army Material Command
(AMC), Research and Development Engineering Command (RDECOM), under the Last Tactical
Mile (LTM) Support Contract, W15P7T-10-D-D416. The Army POC for this Contract is Lisa
Gaydas, Army Contracting at (443)861-4923. Although DRS will be operating the facilities, the
equipment involved is Government Furnished Equipment. DRS is the primary contractor to
provide support services for system development and fielding of LTM Solutions at the
Communications – Electronics Research, Development and Engineering Center’s (CERDEC’s)
Intelligence and Information Warfare Directorate (I2WD). This task will include engineering
services, technology insertion and integration, software and hardware engineering, systems
integration support, test and evaluation, integrated logistics support, communication frequency
logistics support, new equipment training, maintenance and engineering support, installation and
de-installation, and business operations support. DRS shall support supply procurement efforts
required for LTM. This effort will support emerging Army Division Modularity Initiative
requirements and is critical to the Global War on Terrorism (GWOT) and Operation Enduring
Freedom campaigns.

    Grant of the requested license is requested with Station Class “XT”, as the experiment is
intended to support both Internal Research and Development as well as the above-referenced
contract activity.


2.     Purpose and Nature of the Operation

        We are applying for an experimental license so that we may test, develop, and operate
equipment needed by the Warfighter as a quick react solution to meet their tactical needs. Test
requirements may materialize quickly and are vital to military mission success. There are other
scheduled events that the Army sponsors for the development of new technologies that we
currently support at the same locations on a regular basis. This is also true of training operations
with the Warfighters on equipment that is being integrated into their units’ operations. The
intent is to ensure the protection of the Warfighter and to reduce the impact to the surrounding
civilian population. Some of the testing we do is to ensure that our systems will not interfere
with the civilian population where our soldiers are fighting.

        Technologies are rapidly changing within the civilian world. These changes impact the
way that the Army’s equipment must operate. We are tasked with ensuring that the soldiers have
systems that support their mission. Because vendors do not support equipment for long
durations, we must determine if their new components are compatible with our fielded systems.
This requires field testing since a laboratory environment cannot simulate the number of
variables seen in the field.


                                                 1


        The soldiers using our systems need to be trained for correct operations. This is not just a
functional issue but also a safety concern. Procedures are only effectively developed through use
of the systems. DRS Field Service Representatives (FSRs) operate the equipment and develop
the operating procedures used by the Warfighter in the field.

        Also, there are times that deployed equipment is not operating correctly. Working with
this equipment in a range environment gives the FSRs and engineers greater insight to the
problems, which, in turn, can be used to isolate configuration, operator, and even some
environmental issues.

       A waiver of the Station ID requirement of Section 5.115 is respectfully requested.

3.     Interference Mitigation

        DRS is well aware of its obligation under Part 5 of the Federal Communications
Commission’s Rules to avoid interference to co-channel licenses in non-experimental services
and will take steps to ensure compliance with this obligation. This is why DRS performs a radio
frequency (RF) Site Survey before beginning any operations at Fort Huachuca, AZ, Fort Dix, NJ,
Fort Bliss, TX, and Aberdeen Proving Ground (APG), MD.

        The RF Site Survey covers beyond our bands of operation to ensure that we are aware of
all users of the spectrum in the site of our operations. The spectral plots are collected in four
directions: north, east, south, and west. After the data is collected, the spectrum plots are
reviewed for potential interference. The direction of this source of interference is noted, and our
operational plan is adjusted to ensuring we don’t affect other users of the frequency spectrum.
The FCC database is reviewed for users of the spectrum as well. These users are noted, and we
review how much of them we see during our RF Site Survey. Since our testing and development
can involve different ranges at a facility, spectrum data is collected at each range we plan on
operating. An RF Site Survey Report is generated after each period of data collection. This
report highlights our concerns and proposes means of mitigating potential interference.

        The facilities that we are requesting this license for can monitor the RF spectrum during
our testing. This would give us the ability to see how the RF environment changes with our
operations. The data collected from this equipment are added to our RF Site Survey.

4.     “Stop Buzzer”

        DRS’s FSRs will control the operation of the equipment during all phases of its use on
the ranges of Fort Huachuca, AZ, Fort Dix, NJ, Fort Bliss, TX and APG, MD. The following
DRS personnel will be available by wireless telephone and will act as a “stop buzzer” if any
issues regarding interference arise during testing: Program Operations Manager, Rich Ramsey
and he can be reached at Cell: (443) 280-5352.

         For the foregoing reasons, DRS respectfully submits that the approval of this application
is in the public’s interest, convenience, and necessity.




                                                 2



Document Created: 2014-05-28 15:49:45
Document Modified: 2014-05-28 15:49:45

© 2025 FCC.report
This site is not affiliated with or endorsed by the FCC