Row 44 - 1-22-2009 E

Ex PARTE PRESENTATION NOTIFICATION LETTER submitted by Row 44 Inc.

01-22-2009 Ex Parte Notice

2009-01-22

This document pretains to SES-AMD-20090115-00041 for Amended Filing on a Satellite Earth Station filing.

IBFS_SESAMD2009011500041_690278

         LERMAN
         SENTER
         PLLC



 2000 K Street NW | Washington, DC 20006—1809
 Tel 202.429.8970 | Fax 202.293.7783 | www.lermansenter.com

                                                                                        Davip S. KEmr
                                                                                            202.416.6742
                                                                                 dkeir@lermansenter.com



                                      January 22, 2009




Ms. Marlene H. Dortch
Secretary
Federal Communications Commission
445 12" Street, S.W.
Washington, D.C. 20554

                Re:    Ex Parte Notice —— Applications of Row 44, Inc. (Call Sign E080100;
                       File Nos. SES—LIC—20080508—00570, SES—AMD—20080619—00826;
                       SES—AMD—20080819—01074; SES—AMD—20080829—01117; SES—AMD—
                       20090115—00041; and SES—STA—20080711—00928)


Dear Ms. Dortch:

       This letter provides notice on behalf of Row 44, Inc. ("Row 44"), pursuant to Section
1.1206(b)(2) of the FCC‘ s Rules, that on January 21, 2009, the undersigned counsel had a
telephone conversation with Scott Kotler, Chief of the Systems Analysis Branch, Satellite
Division, concerning the above—referenced applications. The supplemental coordination letters
filed in File Number SES—AMD—20090115—00041 were discussed.

        In particular, it was emphasized that Row 44 believes that its request for special temporary
authority ("STA"), filed in July 2008 (File No. SES—STA—20080711—00928), should be processed
and granted immediately, and independent of final action on the underlying application (FCC File
No. SES—LIC—20080508—00570). Indeed, the two supplemental coordination letters make plain
that the signatory satellite operators would like the operation outlined in the STA request to
proceed as a means of confirming the conclusion that the proposed antenna will operate in
compliance with the Commission‘s two—degree spacing requirements.

        Counsel also confirmed that the supplemental coordination letters each contained
clarifying information requested previously by the Satellite Division.


L                 January 22, 2009
       S          Page 2 of 2



           Should there be any questions regarding this matter, please contact the undersigned
counsel.


                                                                 lly submitted,




                                                         Counsel to   Row 44, Inc.



 cc:   Scott Kotler
       John Janka, Counsel to ViaSat



Document Created: 2009-01-22 19:08:29
Document Modified: 2009-01-22 19:08:29

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