Attachment Supplemental Info

This document pretains to SCL-LIC-20070516-00008 for License on a Submarine Cable Landing filing.

IBFS_SCLLIC2007051600008_579454

                                                                                                                     Page 1 of 3

 Mikelle Morra

  From:      Hector Mora [hmora@wmr-intl-law.com]
  Sent:      Monday, July 23, 2007 3:39 PM
  To:        David Krech
  Cc:        lwellstein@wmr-intl-law.com
  Subject: RE: Sub Cable Landing License Application - Columbus Networks USA, Inc - CFX -1 System

Mr. Krech;

Thank you very much for your confirmation. The Applicant indeed will have sole ownership over the landing station and all
elements of the terrestrial segment in the United States. In addition, the Applicant will have ownership and control of the
other landing stations through the named affiliated entities (under common control and ownership of Columbus
international, Inc.). The only third party owned facility that will be leased is the landing station for the in-country festoon in
Copa Club, Jamaica.

Again thank you very much and please do not hesitate if additional information is needed.

Best regards,

Hector

          -----Original Message-----
          From: David Krech [mailto:David.Krech@fcc.gov]
          Sent: Monday, July 23, 2007 2:38 PM
          To: Hector Mora
          Cc: lwellstein@wmr-intl-law.com; Imani Ellis; George Li
          Subject: RE: Sub Cable Landing License Application - Columbus Networks USA, Inc - CFX-1 System

          Thank you. I believe this answers my question.

          In the application you state that Columbus Networks USA, the applicant, may lease premises in each landing
          point to house the Terminal Station Equipment (page 3 of the application). As you know, our rules require that
          any entity that owns or controls the U.S. cable landing station must be an applicant/licensee (47 C.F.R. 1.767
          (h)). Our concern was that if Columbus Networks USA leased the U.S. cable landing station that the application
          would need to be amended to include the owner of the cable landing station as an applicant/licensee. As I
          understand the supplemental information that you filed regarding the cable landing stations this will not be the
          case, and Columbus Networks USA will own and control the U.S. landing station.

          From: Hector Mora [mailto:hmora@wmr-intl-law.com]
          Sent: Friday, July 20, 2007 12:52 PM
          To: David Krech
          Cc: lwellstein@wmr-intl-law.com
          Subject: Sub Cable Landing License Application - Columbus Networks USA, Inc - CFX -1 System
          Importance: High

          Dear. Mr. Krech,

          I received your voice message regarding the necessity of providing some additional information about
          ownership over cable landing stations. I called your office and left you a voice mail. In any case, I want
          to provide you with the ownership information for the terrestrial segments of the CFX-1, including
          ownership of each existing or proposed landing station. I will give you another call to follow up on this
          matter and ensure the Commission has all what is need to process and adjudicate the cable landing
          application.



7/24/2007


                                                                                                      Page 2 of 3
      THE UNITED STATES OF AMERICA:

      Boca Raton, Florida (Landing Point in the United States)
      ·     Cable Station will be built, owned, operated and maintained by Columbus Networks USA, Inc.
      (the Applicant)
      ·     99.9% Land Route to be used by CFX-1 was built by Tyco in 2000 but was acquired by Columbus
      Networks, USA, Inc. The remaining 300ft will be built and owned, operated and maintained by
      Columbus Networks., USA, Inc. In conclusion, 100% of the infrastructure utilized as part of the
      terrestrial segment in the U.S. will be owned and operated by the Applicant.


      JAMAICA:

      Morant Point, Jamaica (Landing Point in Jamaica)
      ·     Cable Station will be built, owned, operated and maintained by the Applicant. There is a subsidiary
      100% controlled by Columbus International, Inc., Fibralink Jamaica, Ltd, which will be responsible
      for overseeing the constructions, operation and providing maintenance to the station.
      ·     The entire land route will be built, owned, operated and maintained by Fibralink Jamaica, Ltd.
      The landing station of the submarine cable in Jamaica will be 100% owned and operated by the
      Applicant, through an affiliated under common control and ownership of Columbus International, Inc.


      Copa Club, Jamaica (Landing of the in-country festoon of the CFX-1).
      ·    Cable Station is an existing station currently owned by AT&T. (Fibralink Jamaica Ltd., a 100%
      owned subsidiary of Columbus International, Inc., has collocation space in the building that allows
      housing of the festoon terminal equipment and will be utilized as landing station).
      ·    The entire land route up to the existing station will be built, owned, operated and maintained by
      the Applicant, through its affiliate Fibralink Jamaica, Ltd.


      COLOMBIA:

      Cartagena, Colombia
      ·    Cable Station will be built, owned, operated and maintained by the Applicant, through its affiliate
      Columbus Networks de Colombia, which is also a 100% owned subsidiary of Columbus International,
      Inc.
      ·    The entire land route will be built, owned, operated and maintained by Columbus Networks de
      Colombia.


      Mr. Krech, I would highly appreciate if you can confirm whether or not the information above is
      sufficient. If additional information is needed, please do not hesitate to let us know and we will make all
      possible efforts to gather the information as soon as possible.


      Best regards,


      Hector Mora




7/24/2007


                                                                                                                            Page 3 of 3
      Héctor G. Mora, Esq.
      Wellstein Mora Rodriguez International
      1250 24th Stret, N.W., Suite 300
      Washington, DC 20037
      PH: +1 202 -250-3488
      Mobile:+1 202-341-4187
      FAX: +1 202-518-0714
      hmora@wmr-intl-law.com
      www.wmr-intl-law.com

      This communication contains information which is confidential and may be protected by attorney/client or other applicable
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7/24/2007



Document Created: 2019-04-08 19:20:40
Document Modified: 2019-04-08 19:20:40

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