0% found this document useful (0 votes)
685 views18 pages

Starlink V-Band

This application requests approval from the FCC for SpaceX to deploy and operate a non-geostationary satellite system using V-band frequencies. The system would consist of two constellations - a LEO constellation of 4,425 satellites operating between 1,110-1,325 km, and a VLEO constellation of 7,518 satellites operating between 335-346 km. Both constellations would use V-band spectrum for user links and gateway links. The combined system would provide broadband services globally with increased capacity and frequency reuse compared to SpaceX's previously proposed Ka/Ku-band system.

Uploaded by

michaelkan1
Copyright
© © All Rights Reserved
We take content rights seriously. If you suspect this is your content, claim it here.
Available Formats
Download as PDF, TXT or read online on Scribd
0% found this document useful (0 votes)
685 views18 pages

Starlink V-Band

This application requests approval from the FCC for SpaceX to deploy and operate a non-geostationary satellite system using V-band frequencies. The system would consist of two constellations - a LEO constellation of 4,425 satellites operating between 1,110-1,325 km, and a VLEO constellation of 7,518 satellites operating between 335-346 km. Both constellations would use V-band spectrum for user links and gateway links. The combined system would provide broadband services globally with increased capacity and frequency reuse compared to SpaceX's previously proposed Ka/Ku-band system.

Uploaded by

michaelkan1
Copyright
© © All Rights Reserved
We take content rights seriously. If you suspect this is your content, claim it here.
Available Formats
Download as PDF, TXT or read online on Scribd
You are on page 1/ 18

Before the

FEDERAL COMMUNICATIONS COMMISSION


Washington, D.C. 20554

____________________________________
)
Application of )
)
SPACE EXPLORATION HOLDINGS, LLC ) Call Sign:
)
For Approval for Orbital Deployment ) File No. _________________
and Operating Authority for the )
SpaceX NGSO Satellite System )
____________________________________)

APPLICATION FOR APPROVAL FOR ORBITAL DEPLOYMENT AND


OPERATING AUTHORITY FOR THE SPACEX NGSO SATELLITE SYSTEM

William M. Wiltshire Tim Hughes


Paul Caritj Senior Vice President

HARRIS, WILTSHIRE & GRANNIS LLP Patricia Cooper


1919 M Street, N.W. Vice President of Satellite Government
Suite 800 Affairs
Washington, DC 20036
202-730-1300 tel SPACE EXPLORATION TECHNOLOGIES CORP.
202-730-1301 fax 1030 15th Street, N.W.
Suite 220E
Counsel to SpaceX Washington, DC 20005
202-649-2700 tel
202-649-2701 fax

March 1, 2017
TABLE OF CONTENTS
Page

I. BACKGROUND AND SYSTEM PARAMETERS ............................................................................ 5

A. SpaceX Background .......................................................................................................... 5

B. The SpaceX System ............................................................................................................ 6

1. Space Segment ................................................................................................................. 7


2. Ground Segment ............................................................................................................... 9

II. GRANT OF THIS APPLICATION WOULD SERVE THE PUBLIC INTEREST .............................. 10

A. Eligibility and Operational Requirements .................................................................... 14

III. ITU COST RECOVERY ....................................................................................................... 15

IV. CONCLUSION ..................................................................................................................... 16


Before the
FEDERAL COMMUNICATIONS COMMISSION
Washington, D.C. 20554

____________________________________
)
Application of )
)
SPACE EXPLORATION HOLDINGS, LLC ) Call Sign:
)
For Approval for Orbital Deployment ) File No. _____________________
And Operating Authority for the )
SpaceX NGSO Satellite System )
____________________________________)

APPLICATION FOR APPROVAL FOR ORBITAL DEPLOYMENT AND


OPERATING AUTHORITY FOR THE SPACEX NGSO SATELLITE SYSTEM

Space Exploration Holdings, LLC, a wholly owned subsidiary of Space Exploration

Technologies Corp. (collectively, “SpaceX”), requests operating authority (that is, approval for

orbital deployment and a station license) for use of V-band frequencies with a non-geostationary

orbit (“NGSO”) satellite system in the Fixed-Satellite Service (“FSS”). A completed Form 312,

accompanying Schedule S, Technical Attachment, and Waiver Request are associated with this

application, consistent with the information required by the Commission’s rules in support of the

requested authorization.

The requested authorization of V-band capability augments an NGSO system SpaceX

previously proposed for operation in Ku-band and Ka-band frequencies,1 enabling the combined

NGSO system to provide a broader range of services, higher capacity, and enhanced operational

flexibility. Specifically, SpaceX seeks authority to operate using V-band spectrum to expand its

Ka/Ku-band NGSO constellation in two ways:

1
See IBFS File No. SAT-LOA-20161115-00018 (“Ka/Ku Application”).

1
 First, utilizing the same number of satellites as originally proposed (4,425) in the Ku and

Ka bands, this enhancement would create additional spectrum diversity by enabling use of

both Ku- and V-band spectrum for user links and both Ka- and V-band spectrum for

gateway links and tracking, telemetry and control (“TT&C”) functions. As before, the

system would operate in 83 orbital planes (at altitudes ranging from 1,110 km to 1,325

km), along with associated ground control facilities, gateway earth stations and end user

earth stations.2 These V-band assets, referred to herein as the “LEO Constellation,” would

provide high-speed broadband service in the United States and around the world, including

in remote and rural locations currently unserved by other providers.

 Second, SpaceX would add a very-low-Earth orbit NGSO constellation, consisting of 7,518

satellites operating at altitudes from 335 km to 346 km, using V-band spectrum for all links

to and from associated earth stations. These assets, referred to herein as the “VLEO

Constellation,” would enhance capacity where it may be needed most, enabling the

provision of high speed, high bandwidth, low latency broadband services that are truly

competitive with terrestrial alternatives.

When combined into a single, coordinated system (the “SpaceX System”), the LEO and VLEO

Constellations would provide both diverse geographic coverage and the capacity to support a wide

range of broadband and communications services for residential, commercial, institutional,

governmental and professional users in the United States and globally.

SpaceX has designed its V-band system to provide efficient, high-capacity connectivity, to

include connectivity for rural, remote, and hard-to-reach end-users. Operating at an altitude of

1,110 km or more, satellites in the LEO Constellation will have a relatively larger footprint, which

2
To the extent necessary, SpaceX hereby incorporates by reference relevant portions of the Ka/Ku Application.

2
will enable them to deploy narrow spot beams over a fairly broad coverage area. Because the

VLEO Constellation operates at approximately one-third the altitude of the LEO Constellation, it

benefits from commensurately smaller spot beam sizes on the surface of the Earth. This, of course,

necessitates the deployment of a larger number of satellites, but would allow substantially greater

spectrum reuse capability, enabling the VLEO Constellation to deliver more bandwidth, more

satellite diversity options for serving customers,3 or a combination of the two.

The V-band operations of the LEO and VLEO Constellations would enhance the operations

of the Ka/Ku-band system previously proposed in several ways. First, the increase in capacity and

frequency reuse increases the number of customers who could be served. Second, the increase in

bandwidth available per user improves the quality of service. Third, the combination of satellites

with narrow, steerable spot beams in higher and lower orbits creates opportunities to optimize

spectrum use, which will reduce interference both within the SpaceX System and in coordination

with other NGSO, GSO, and terrestrial wireless systems.

The same advanced beam-forming and digital processing technologies within the satellites

previously proposed in the Ka/Ku-band application will ensure that the entire system makes highly

efficient use of V-band resources and has the flexibility to share that spectrum with other licensed

satellite and terrestrial users. Likewise, gateway earth stations will apply advanced phased array

technologies to generate high-gain steered beams to communicate with multiple NGSO satellites

from a single gateway site. User terminals operating with the SpaceX System will use similar

phased array technologies to allow for highly directive, steered antenna beams that track the

3
As explained by the Commission, “[w]ith satellite diversity, NGSO FSS systems can avoid an in-line interference
event by selecting another visible satellite within their system constellation (performing a hand-over process)
whenever the current satellite approaches the in-line event with a satellite operating in another NGSO FSS system
constellation.” Establishment of Policies and Service Rules for the Non-Geostationary Satellite Orbit, Fixed
Satellite Service in the Ka-Band, 18 FCC Rcd. 14708, ¶ 44 (2003).

3
system’s satellites. The system will employ optical inter-satellite links for seamless network

management on-orbit and continuity of service, while also aiding compliance with emission

constraints designed to facilitate spectrum sharing with other space-based and terrestrial systems.

As with the proposed Ka/Ku-band system, SpaceX anticipates that the first 800 LEO

satellites deployed will enable the system to provide initial U.S. and international coverage for

broadband services. Deployment of the remainder of that constellation will complete coverage

and add capacity around the world. The VLEO Constellation will add enhanced capacity where

demand may be greatest, and satellite enhancements derived from lower power demand and more

compact spot size will add user value without increasing system costs. Once fully optimized

through deployment of all satellites, the system would be able to provide high bandwidth, low

latency broadband services.

Consistent with the principles of good spectrum stewardship, the SpaceX System has been

designed to maximize the efficient use of spectrum and to ensure protection of other satellite and

terrestrial systems by mitigating harmful interference to such systems. The system will be

designed for high degrees of adaptability, making it more flexible to accommodate evolutions in

broadband service demand and better able to coordinate with existing and future space and

terrestrial systems. SpaceX is also committed to meeting or exceeding best practices and

international norms to ensure the safety of space. Here, SpaceX will employ advanced space-

situational awareness techniques and other methods to mitigate the potential creation of additional

orbital debris. To this end, SpaceX will implement an operations plan for the orderly de-orbit of

satellites nearing the end of their useful lives (roughly five to seven years) at a rate far faster than

is required under international standards. Satellites in the LEO Constellation will de-orbit by

propulsively moving to a disposal orbit from which they will reenter the Earth’s atmosphere within

4
approximately one year after completion of their mission. Because the VLEO Constellation

operates at an altitude where atmospheric drag necessitates constant station keeping in order to

remain in orbit, its satellites would naturally de-orbit within a matter of weeks at the end of their

useful lives. At this very-low operational altitude, other space debris also naturally re-enters the

atmosphere, resulting in a safer environment for space operations.

I. BACKGROUND AND SYSTEM PARAMETERS

A. SpaceX Background

SpaceX is a private company founded in 2002 by Chief Executive Officer and Lead

Designer Elon Musk to revolutionize space technologies, with the ultimate goal of enabling

humanity to become a multi-planetary species. The company designs, manufactures, and launches

advanced rockets and spacecraft. It has approximately 5,000 employees based in the United States

at the company’s headquarters in Hawthorne, California; launch facilities at Cape Canaveral Air

Force Station and Kennedy Space Center, Florida, and Vandenberg Air Force Base, California; a

private launch facility under construction in Brownsville, Texas; and offices in the Washington,

D.C. and Seattle, Washington areas.

Since its founding in 2002, SpaceX has achieved a series of historic milestones. In

December 2010, SpaceX became the first private company ever to successfully launch and return

a spacecraft (Dragon) from low-Earth orbit. In May 2012, the company again made history when

Dragon berthed with the International Space Station (“ISS”), delivered cargo, and returned safely

to Earth – a technically challenging feat previously accomplished only by nations. In December

2015, SpaceX successfully returned a first stage rocket booster to land after carrying a payload to

space, and has now successfully landed its first stage booster seven times on land and upon

5
droneships at sea. SpaceX will reuse these flight-proven boosters for various missions, including

the upcoming launch of a high-value commercial satellite.

SpaceX’s current and planned space-based activities illustrate and underscore its

commitment to space safety. The company is highly experienced with space-based operations and

debris mitigation practices. SpaceX maintains deep ties with the domestic and international

institutions tasked with ensuring the continued safety of space operations, which facilitates

aggressive and effective space-debris mitigation practices. SpaceX brings this commitment and

experience to all aspects of its space-based operations.

B. The SpaceX System

The SpaceX System consists of a constellation of low- and very-low-Earth orbit satellites

and ground-based technologies. The system is highly spectrum-efficient, sharing Ku-, Ka-, and V-

band spectrum with conventional GSO satellite and terrestrial networks without causing harmful

interference. SpaceX will submit to the Commission network filings for submission to the

International Telecommunication Union (“ITU”) on its behalf for the V-band components of its

system.

SpaceX has designed its system to achieve the following objectives:

 High capacity: By combining the umbrella coverage of the LEO Constellation with the
more intensive coverage from the VLEO Constellation, the SpaceX System will be able to
provide high volume broadband capacity over a wide area. SpaceX will periodically
improve the satellites over the course of the multi-year deployment of the system, which
may further increase capacity.

 High adaptability: The system leverages phased array technology to dynamically steer a
large pool of narrow beams to focus capacity where it is needed. Optical inter-satellite
links permit flexible routing of traffic on-orbit. Further, the constellation ensures that a
variety of frequencies can be reused effectively across different satellites operating at
different altitudes and in different planes to enhance the flexibility, capacity, and
robustness of the overall system.

6
 Expansive coverage: With deployment of the first 800 satellites of the LEO Constellation,
the system will be able to provide initial U.S. and international broadband connectivity;
when fully deployed, the system will add capacity and availability at the equator and poles.

 Efficiency: SpaceX is designing the overall system from the ground up with cost-
effectiveness and reliability in mind, from the design and manufacturing of the space and
ground-based elements, to the launch and deployment of the system using SpaceX launch
services, development of the user terminals, and end-user subscription rates.

The various space and ground facilities composing the SpaceX System are described below and

in more detail in Schedule S and the Technical Attachment (Attachment A) accompanying this

application.

1. Space Segment

The SpaceX System will consist of a total of 4,425 satellites in the LEO Constellation

and 7,518 satellites in the VLEO Constellation. When combined, these constellations would

enable SpaceX to provide full and continuous coverage of the Earth utilizing a minimum

elevation angle of 35 degrees. The LEO Constellation is configured as follows:

SPACEX SYSTEM LEO CONSTELLATION


Initial
Final Deployment
Parameter Deployment
(2,825 satellites)
(1,600 satellites)
Orbital Planes 32 32 8 5 6
Satellites per Plane 50 50 50 75 75
Altitude 1,150 km 1,110 km 1,130 km 1,275 km 1,325 km
Inclination 53º 53.8º 74º 81º 70º

The VLEO Constellation will be deployed over a range of three altitudes and three angles of

inclination. The satellites are distributed approximately equally across those altitudes and

inclinations, with the precise number in each chosen to maximize the spacing between satellites

and thereby preclude the risk of conjunction, while still providing even coverage on the ground.

7
However, each satellite will occupy a unique orbital plane in very low Earth orbit, as detailed in

the materials submitted with this application. The constellation can be summarized as follows:

SPACEX SYSTEM VLEO CONSTELLATION


Satellites per Altitude 2,547 2,478 2,493
Altitude 345.6 km 340.8 km 335.9 km
Inclination 53º 48º 42º

SpaceX will be able to provide early beta service with limited coverage at certain high

latitudes with deployment of as few as 100 satellites in the LEO Constellation (using 4 of the 32

planes at 53º inclination). As each additional satellite is launched and brought into operation, it

will be integrated into the system and used to enhance the overall broadband service offerings.

Deployment of the first 800 satellites in the LEO Constellation (32 planes with an initial

25 satellites per plane) will permit widespread U.S. and international coverage sufficient to offer

commercial broadband service. Completion of the 53º inclination orbit will add capacity

throughout the system and provide robust broadband connectivity around the globe, with service

concentrated in the area between 60 degrees North Latitude and 60 degrees South Latitude.

Launch of the final 2,825 satellites of the LEO Constellation will complete this aspect of the

overall system, further increasing available capacity and extending geographic coverage to polar

and high-latitude regions above 60 degrees North Latitude and below 60 degrees South Latitude.

Addition of satellites in the VLEO Constellation would enhance overall system capacity where

demand is highest.

8
The SpaceX System will use V-band spectrum for communications between satellites and user

terminals, gateway earth stations, and TT&C facilities.4 SpaceX requests authority to operate on the

following frequencies:

Type of Link and Transmission Frequency Ranges


Direction

Downlink Channels 37.5 – 42.5 GHz


Satellite to User Terminal or
Satellite to Gateway

Uplink Channels 47.2 – 50.2 GHz


User Terminal to Satellite or 50.4 – 52.4 GHz
Gateway to Satellite

TT&C Downlink 37.5 – 37.75 GHz


Beacon

TT&C Uplink 47.2 – 47.45 GHz

A more precise description of the frequency and channelization plan for the V-band operations

of the SpaceX System is included in Schedule S and the Technical Attachment accompanying

this application.

2. Ground Segment

The SpaceX System includes three broad categories of V-band earth stations: TT&C

stations; gateway earth stations; and user terminals. There will be relatively few TT&C stations

4
The system will also employ optical inter-satellite links for communications directly between SpaceX satellites. As the
Commission has previously found, “[b]ecause optical ISLs do not involve wire or radio frequency transmissions,
the Commission does not have jurisdiction over the use of optical ISLs.” Teledesic LLC, 14 FCC Rcd. 2261, ¶
14 (IB 1999). Moreover, to the extent that the use of optical ISLs alleviates congestion in radio frequency bands,
it is to be encouraged. Id.

9
(e.g., primary and back-up TT&C locations in the United States, with further locations distributed

internationally). The gateway earth stations will use phased array antenna technology, with

several hundred locations anticipated within the U.S., co-located with or sited near major Internet

peering points to provide the required Internet connectivity to the satellite constellation. The user

terminals will also utilize phased array antenna technology.

At the appropriate time, SpaceX will submit applications to the Commission requesting

individual licenses for any TT&C stations and gateway earth stations, and a blanket license for user

terminals to be located in the United States, pursuant to Sections 25.115 and 25.130 of the

Commission’s rules.5

II. GRANT OF THIS APPLICATION WOULD SERVE THE PUBLIC INTEREST

Worldwide demand for broadband services and Internet connectivity continues to evolve,

with ever-escalating requirements for speed, capacity, and reliability. The volume of traffic

flowing over the world’s networks continues to grow, with one report estimating annual global

Internet protocol (“IP”) traffic surpassed the zettabyte threshold in 2016 – meaning over 1,000

billion gigabytes of data exchanged worldwide.6 By 2020, that figure is projected to more than

double (reaching a level nearly 100 times greater than the global IP traffic in 2005), global fixed

broadband speeds will nearly double, and the number of devices connected to IP networks will

be three times the global population.7

To meet this booming, rapidly evolving broadband demand, diverse technology platforms

5
See 47 C.F.R. §§ 25.115, 25.130.

6
See Cisco Visual Networking Index: Forecast and Methodology, 2015-2020, at 1 (June 6, 2016), available at
http://www.cisco.com/c/en/us/solutions/collateral/service-provider/visual-networking-index-vni/complete-
white-paper-c11-481360.pdf.
7
Id. at 1-2.

10
will be required, from terrestrial fiber and cable systems to mobile broadband networks and space-

based systems, along with innovative new alternatives currently under development. Customers

in urban areas of the developed world enjoy many options for connectivity, which has become a

basic part of everyday life. In these areas, broadband providers face the challenge of devising

strategies to keep up with growing demand that threatens to overwhelm their systems.

Yet the Commission’s data analysis concludes that advanced telecommunications

capability is not being deployed to all Americans in a reasonable and timely fashion.

Despite the increase in the number of Americans that are able to obtain advanced
telecommunications capability, these advances are not occurring broadly enough or
quickly enough to achieve our statutory objective. Nationwide, one in ten
Americans lacks access to 25 Mbps/3 Mbps broadband. As importantly, there
continues to be a significant disparity of access to advanced telecommunications
capability across America with more than 39 percent of Americans living in rural
areas lacking access to advanced telecommunications capability, as compared to 4
percent of Americans living in urban areas, and approximately 41 percent of
Americans living on Tribal lands lacking access to advanced telecommunications
capability. We note that small businesses tend to subscribe to mass market
broadband service. Thus, the rural-urban disparity in deployment of these
broadband services also disproportionately impacts the ability of small businesses
operating in rural areas to successfully compete in the 21st century economy.8

Internationally, the disparities between broadband access and absence are even greater. As the

U.N. Broadband Commission for Sustainable Development recently noted:

Today, 4.2 billion people (or 57% of the world’s population) are offline for a wide
range of reasons, but often also because the necessary connectivity is not present or
not affordable. Information and Communication Technologies (ICTs) are vital
enablers of the three pillars of sustainable development – economic development,
social development and environmental protection. . . . In developing countries,
broadband can help meet the basic needs of food, water and energy, as well as
access to health services and education.9
8
See Inquiry Concerning the Deployment of Advanced Telecommunications Capability to All Americans in a
Reasonable and Timely Fashion, and Possible Steps to Accelerate Such Deployment Pursuant to Section 706 of
the Telecommunications Act of 1996, as Amended by the Broadband Data Improvement Act, 31 FCC Rcd. 699, ¶
4 (2016).

9
Broadband Commission for Sustainable Development, “Open Statement from the Broadband Commission for
Sustainable Development to the UN High-Level Political Forum (HLPF)” (July 11, 2016), available at
http://broadbandcommission.org/Documents/publications/HLPF-July2016.pdf.

11
The resulting digital divide has very real economic consequences. As reported by the

Congressional Research Service,

disparities in broadband access across American society could have adverse


consequences on those left behind, and . . . advanced telecommunications
applications critical for businesses and consumers to engage in e-commerce are
increasingly dependent on high-speed broadband connections to the Internet. Thus,
some say, communities and individuals without access to broadband could be at
risk to the extent that connectivity becomes a critical factor in determining future
economic development and prosperity.10

Satellite technology has long helped to alleviate the inequities in availability of communications

services, in part due to its geographic reach. Historically, satellites first revolutionized the

availability of international telephony, then pioneered global distribution of video content. More

recently, satellite systems have introduced broadband connectivity for mobile platforms, such as

aircraft and ships.

The combined SpaceX System will address both the need to bring new broadband

capability to the U.S. and international markets and the need to accommodate growing demands

in more developed areas. The LEO Constellation, operating at relatively higher altitudes, will be

able to achieve greater coverage with fewer satellites, initiating widespread commercial service

after launch of 800 satellites, and extending high-speed broadband coverage to additional

underserved areas as the rest of the constellation is deployed. The VLEO Constellation, operating

at lower altitudes that enable even smaller spot beams and greater satellite diversity, will be able

10
Congressional Research Service, “Broadband Internet Access and the Digital Divide: Federal Assistance
Programs,” at 8 (Dec. 28, 2016), available at
https://www.everycrsreport.com/files/20161228 RL30719 a6c4d95cdf832cb7a13f8b75140dccb7bb38d8b4.pdf.
See also Broadband Commission for Sustainable Development, “The State of Broadband 2015,” at 8 (Sep. 2015),
available at http://www.broadbandcommission.org/Documents/reports/bb-annualreport2015.pdf (“A large body
of evidence has now been amassed that affordable and effective broadband connectivity is a vital enabler of
economic growth, social inclusion and environmental protection.” (footnotes omitted)).

12
to achieve a higher degree of frequency reuse and thereby significantly enhance the capacity that

can be made available in areas of high demand around the world.

Both constellations apply cutting-edge technologies designed to maximize spectrum

efficiency and broadband capacity, while leveraging lower orbits for lower latencies and safe

space operations. The combination of multiple frequencies in the LEO Constellation (Ku, Ka,

and V bands) and multiple satellites in view from a given point on the ground will give the SpaceX

System great flexibility in delivering robust service despite a crowded spectrum environment.

The SpaceX System was designed to ensure protection of existing satellite and terrestrial

systems from harmful interference while maximizing its efficient use of spectrum. As

demonstrated in the Technical Attachment, Waiver Requests, and Schedule S accompanying this

application, the system will not create harmful interference to other satellite and terrestrial

systems. The system will comply with all international downlink power limitations applicable to

the bands in which it will operate, which were designed to safeguard terrestrial operations.

Analyses confirm that the SpaceX NGSO system will have a de minimis effect on terrestrial fixed

and mobile networks in these bands. In frequency bands where the Commission has not yet

adopted service rules or licensed other operators, SpaceX is confident that the variety of its

system’s attributes that facilitate spectrum sharing, including narrow, steerable spot beams,

operations at high elevation angles, and the ability to provide service from multiple satellites with

overlapping coverage contours, can be used individually or in combination as necessary to address

any coordination issues that may arise.

The ability to share available spectrum in an efficient manner among NGSO systems will

be a prerequisite to optimizing broadband speeds and increasing broadband availability for

customers in the U.S. and around the world. SpaceX will seek in every case to reach coordination

13
agreements that optimize spectrum efficiency and allow for the greatest operational flexibility

possible among the systems. In this regard, the ability to choose among both Ku-band and V-

band frequencies for communications with user terminals will enhance the SpaceX System’s

ability to accommodate other systems as necessary while still providing a high level of service to

its own customers.

In addition, although the VLEO Constellation adds more spacecraft to those previously

proposed, it also enjoys built-in advantages with respect to stewardship of space. While SpaceX

has designed its system so that normal operations should not generate any debris, to the extent

any related to the VLEO Component arises, atmospheric drag will ensure that such debris will

quickly disintegrate in the atmosphere and pose no further danger to space operations. Thus,

these additional spacecraft will contribute a great deal of capacity to the SpaceX System without

imposing undue risk to safety in space.

A. Eligibility and Operational Requirements

To the extent necessary, SpaceX confirms that (1) it has no right that would run afoul of

the prohibition in Section 25.142(d) of the Commission’s rules as applied to its system,11 nor will

it acquire any such right in the future; (2) it will post a surety bond as required under Section

25.165 of the Commission’s rules;12 (3) it will comply with the Commission’s milestone

11
See 47 C.F.R. § 25.142(d) (“No license shall be granted to any applicant for a non-voice, non-geostationary
mobile-satellite service system if that applicant, or any companies controlling or controlled by the applicant, shall
acquire or enjoy any right, for purposes of handling traffic to or from the United States, its territories or possession,
to construct or operate space segment or earth stations in the non-voice, non-geosynchronous mobile-satellite
service, or to interchange traffic, which is denied to any other United States company by reason of any concession,
contract, understanding, or working arrangement to which the licensee or any persons or companies controlling
or controlled by the licensee are parties.”). This provision is made applicable to this application by virtue of the
default service rules in Section 25.217(b)(1).
12
See id. § 25.165(a)(1).

14
requirements, subject to its request for a limited waiver;13 and (4) it does not have any other

application for an NGSO-like satellite system license on file with the Commission, or any licensed-

but-unbuilt NGSO-like system, in any frequency band involved in this application.14

III. ITU COST RECOVERY

SpaceX is aware that, as a result of the actions taken at the 1998 Plenipotentiary

Conference, as modified by the ITU Council in 2005, the ITU now charges processing fees for

satellite network filings. As a consequence, Commission applicants are responsible for any and

all fees charged by the ITU. SpaceX confirms that it is aware of this requirement and accepts

responsibility to pay any ITU cost recovery fees associated with this application. Invoices for such

fees may be sent to the contact representative listed in the accompanying FCC Form 312.

13
See id. § 25.164(b). In its Waiver Request, SpaceX seeks relief from the implementation milestone in recognition
of the practical challenge of launching and beginning operations of thousands of satellites within six years of
licensing and the operational capability to initiate commercial broadband service provision upon the launch of an
initial 800 satellites.
14
See id. § 25.159(b).

15
IV. CONCLUSION

For the foregoing reasons, and for the reasons set forth in the accompanying materials,

SpaceX requests that the Commission find that granting approval for orbital deployment and a

station license (i.e., operating authority) for the V-band components of the SpaceX System would

serve the public interest, and issue such grant expeditiously.

Respectfully submitted,

SPACE EXPLORATION HOLDINGS, LLC

William M. Wiltshire By: _/s/ Tim Hughes________


Paul Caritj Tim Hughes
HARRIS, WILTSHIRE & GRANNIS LLP Senior Vice President
1919 M Street, N.W. Patricia Cooper
Suite 800 Vice President of Satellite
Washington, DC 20036 Government Affairs
202-730-1300 tel
202-730-1301 fax SPACE EXPLORATION TECHNOLOGIES CORP.
1030 15th Street, NW
Counsel to SpaceX Suite 220E
Washington, DC 20005
202-649-2700 tel
202-649-2701 fax

March 1, 2017

16

You might also like

pFad - Phonifier reborn

Pfad - The Proxy pFad of © 2024 Garber Painting. All rights reserved.

Note: This service is not intended for secure transactions such as banking, social media, email, or purchasing. Use at your own risk. We assume no liability whatsoever for broken pages.


Alternative Proxies:

Alternative Proxy

pFad Proxy

pFad v3 Proxy

pFad v4 Proxy