{"id":175189,"date":"2017-02-05T05:44:26","date_gmt":"2017-02-05T10:44:26","guid":{"rendered":"http:\/\/www.euvolution.com\/prometheism-transhumanism-posthumanism\/permitted-space-station-list-fcc-gov\/"},"modified":"2017-02-05T05:44:26","modified_gmt":"2017-02-05T10:44:26","slug":"permitted-space-station-list-fcc-gov","status":"publish","type":"post","link":"https:\/\/www.euvolution.com\/prometheism-transhumanism-posthumanism\/transhuman-news-blog\/space-station\/permitted-space-station-list-fcc-gov\/","title":{"rendered":"Permitted Space Station List &#8211; fcc.gov"},"content":{"rendered":"<p><p>          Conditions:        <\/p>\n<\/p>\n<p>          1.          NSS-703 is not authorized to provide any Direct-to-Home          (DTH) service, Direct Broadcast Satellite (DBS) service,          or Digital Audio Radio Service (DARS) to, from, or within          the United States.        <\/p>\n<p>          2.          Communications between ALSAT-designated earth stations          and the NSS-703 space station shall be in compliance with          all existing and future space station coordination          agreements reached between Gibraltar and other          Administrations.        <\/p>\n<p>          3. SES          Gibraltars request for a waiver of 47 C.F.R  25.202(g)          is GRANTED, as conditioned. Section 25.202(g)          requires that telemetry, tracking, and telecommand          functions for U.S. domestic satellites shall be conducted          at either or both edges of the allocated bands.          Frequencies, polarization, and coding shall be selected          to minimize interference into other satellite networks          and within their own satellite system. SES          Gibraltar proposes to place its telemetry, tracking, and          telecommand (TT&C) functions near the center of the          conventional C-band at the 47.05 W.L. orbital location,          which is within the orbital arc that provides coverage to          the United States. The NSS-703 space station was          placed into operation in 1994 in order to provide service          outside of the U.S., and the TT&C frequencies upon          which it relies cannot be altered. We grant a          limited waiver of Section 25.202(g) subject to the          following conditions:        <\/p>\n<\/p>\n<p>          4. SES          Gibraltars request for a waiver of Section 25.210(a)(1)          of the Commissions rules, 47 C.F.R.  25.210(a)(1) is          GRANTED, as conditioned. Section 25.210(a)(1)          requires that C-band operations use orthogonal linear          polarization. The NSS-703 satellite uses circular          polarization. This waiver is based upon the          findings that: 1) the space station is in-orbit and the          polarization cannot be changed; and 2) there is a minimal          potential for harmful interference from operations at          this location with circular polarization. As a          condition of this waiver, SES Gibraltar must accommodate          future space station networks that are compliant with          Section 25.210(a)(1). Further, SES Gibraltar must          operate NSS-703 pursuant to any coordination agreements          for this location.        <\/p>\n<p>          5. SES          Gibraltars request for a waiver of Section 25.210(a)(3)          of the Commissions rules, 47 C.F.R.  25.210(a)(3) is          GRANTED, as conditioned. Section 25.210(a)(3)          requires FSS space stations to be capable of switching          polarization sense on ground command. The          Commission requires polarity switching capability for two          reasons: 1) to provide U.S. licensed space stations with          the flexibility to operate at different orbital          locations; and 2) to mitigate potential interference          between adjacent fixed space station systems transmitting          analog television signals. See Telesat          Canada, Petition for Declaratory Ruling for Inclusion of          ANIK F3 on the Permitted Space Station List,          Order, 22 FCC Rcd 588 (Int Bur., Sat. Div.          2007). This waiver is based upon a finding that the          ability to switch polarization is not currently necessary          to protect other space stations at adjacent orbital          locations from harmful interference. As a condition          of this waiver, NSS-703s operations must accommodate          future space station networks that are compliant with          Section 25.210(a)(3). Further, SES Gibraltar must          operate NSS-703 pursuant to any coordination agreements          for this location.        <\/p>\n<p>          6. SES          Gibraltars request for a waiver of Section 25.210(i) of          the Commissions rules, 47 C.F.R.  25.210(i) is GRANTED,          as conditioned. Section 25.210(i) requires FSS          space station antennas to provide cross-polarization          isolation such that the ratio of the on-axis co-polar          gain to the crosspolar gain of the antenna in the          assigned frequency band is at least 30 dB within its          primary coverage area. The performance of the          NSS-703 space station is 35 dB for the C-band global beam          and 27 dB for all other C-band beams. For its          Ku-band spot beams, the worst-case cross polarization          isolation is in the 17-20 dB range. We agree that a          waiver will not produce a significant increase in          interference, except to SES Gibraltar itself. As a          condition of this waiver, we will not permit SES          Gibraltar to transmit analog video signals in the C-band          frequencies into the United States unless it has          coordinated such operations with adjacent          satellites. Further, SES Gibraltar shall not claim          more protection from interference from other licensed          radiocommunication systems operating in accordance with          Section 25.210(i) of the Commissions rules than it could          claim if it met the cross-polarization requirements set          forth in the rule.        <\/p>\n<p>          7. SES          Gibraltars request for a waiver of 25.210(j) of the          Commissions rules, 47 C.F.R.  25.210(j) is GRANTED, as          conditioned. Section 25.210(j) requires          geostationary space stations to be maintained within          0.05 of their assigned orbital locations in the          East\/West direction unless specifically authorized by the          Commission to operate with a different longitudinal          tolerance. SES Gibraltar requests a waiver to          permit NSS-703 to operate with an East\/West          station-keeping volume of 0.10 as specified in a letter          to the Commission from the Radiocommunications Agency          Netherlands. SES Gibraltar states that this          extended station-keeping volume does not overlap with the          station keeping volume of any known operational          satellites, nor is SES Gibraltar aware of any proposed          satellite to be launched or placed into orbit at the          nominal 47 W.L. orbital location in the near term.          We grant SES Gibraltars request to operate NSS-703 with          0.10 East\/West longitudinal tolerance, as long as no          other space station is located within the station-keeping          volume of NSS-703. Should such a spacecraft be          launched or relocated into the station-keeping volume of          NSS-703, but would not overlap a 0.05 East\/West station          keeping volume, SES Gibraltar will be required to          maintain 0.05 East\/West station-keeping, or coordinate          its operations with that of the other space station.        <\/p>\n<p>          8. SES          Gibraltars request for a waiver of Section 25.211(a) of          the Commissions rules, 47 C.F.R.  25.211(a) is GRANTED,          as conditioned. Section 25.211(a) provides that          downlink analog video transmissions in the C-band shall          be transmitted only on a center frequency of 3700+20N          MHz, where N=1 to 24, with corresponding uplink          frequencies 2225 MHz higher. This waiver grant is          based upon SES Gibraltars statement that it does not          intend to transmit analog video signals in the C-band          frequencies, unless such operations are coordinated with          adjacent satellites. Further, as a condition of          this waiver, SES Gibraltar must accommodate future space          station networks serving the United States that are          compliant with Section 25.211(a). In addition, SES          Gibraltar must operate NSS-703 pursuant to any          coordination agreements for this location.        <\/p>\n<p>          9. SES          Gibraltars request for a waiver of Section          25.114(c)(4)(iii) of the Commission's rules, 47 C.F.R.           25.114(c)(4)(iii), is GRANTED. Section          25.114(c)(4)(iii) requires applicants to identify which          antenna beams are connected or switchable to each          transponder and tracking, telemetry, and control          (TT&C) function. SES Gibraltar has submitted the          combined receiver and transmitter filter response          characteristics (Section 5.5 and Exhibit D in the          Technical Appendix). It also states that the          disaggregated filter response characteristics are not          available and maintains that the aggregate          characteristics it submitted provide sufficient          information for an assessment of the interference          potential of the satellite. We find that          information provided in Section 5.5 and Exhibit D of the          Technical Appendix fulfills the requirements of Section          25.114(c)(4)(iii).        <\/p>\n<p>          10. SES Gibraltars          request for a waiver of Section 25.114(c)(10) of the          Commissions rules, 47 C.F.R.  25.114(c)(10) is GRANTED,          as conditioned. Section 25.114(c)(10) requires          applicants to submit information regarding the physical          characteristics of the space station, including estimated          operational lifetime and reliability of the space          station. SES Gibraltar states that it does not have          the original reliability estimates because the satellite          was transferred to New Skies prior to Intelsats          privatization in 2000. We grant the waiver based on          SES Gibraltars statements that the NSS-703 space          station, launched in 1994, has exceeded all reliability          projections as it has survived past its design          end-of-life. SES Gibraltar further states that the          satellite is in good working condition and expected to          survive until its estimated end of life in August 2014.        <\/p>\n<p>          11. This grant of          market access is based on SES Gibraltars representation          that it will dispose of the NSS-703 spacecraft at end of          life to a minimum altitude of 150 kilometers (perigee)          above the geostationary arc, that it has reserved 19.3          kilograms of fuel for this purpose, and that fuel gauging          uncertainty has been and will be taken into account in          these calculations, using the methods set forth in SES          Gibraltars application.        <\/p>\n<p>          12. This grant of          market access is limited to SES Gibraltars use of the          NSS-703 space station (Call Sign 2818) at the 47.05 W.L.          orbital location and does not convey to SES Gibraltar          first-in-line status under the Commissions first-come,          first-served processing framework. If SES Gibraltar          seeks to operate another space station at this location          using the frequencies authorized in this grant, such an          application, together with any applications filed by          other companies seeking similar authority, would be          subject to the first-come, first-served processing          framework for geostationary-satellite orbit space          stations.        <\/p>\n<p>          13. This grant of          market access will terminate in the event that the          NSS-703 space station is relocated from the 47.05 W.L.          orbital location or ceases to operate. In either          case, NSS-703 will be removed from the Permitted          List. If SES Gibraltar wishes to provide service to          the U.S. using another space station, it must file a new          application to have that space station placed on the          Permitted List.        <\/p>\n<p>          14. SES Gibraltar is          afforded 30 days from the date of release of this action          to decline the authorization as conditioned.          Failure to respond within this period will constitute          formal acceptance of the authorization as conditioned.        <\/p>\n<p><!-- Auto Generated --><\/p>\n<p>Go here to see the original:<br \/>\n<a target=\"_blank\" href=\"https:\/\/www.fcc.gov\/permitted-space-station-list\" title=\"Permitted Space Station List - fcc.gov\">Permitted Space Station List - fcc.gov<\/a><\/p>\n","protected":false},"excerpt":{"rendered":"<p> Conditions: 1. NSS-703 is not authorized to provide any Direct-to-Home (DTH) service, Direct Broadcast Satellite (DBS) service, or Digital Audio Radio Service (DARS) to, from, or within the United States. 2.  <a href=\"https:\/\/www.euvolution.com\/prometheism-transhumanism-posthumanism\/transhuman-news-blog\/space-station\/permitted-space-station-list-fcc-gov\/\">Continue reading <span class=\"meta-nav\">&rarr;<\/span><\/a><\/p>\n","protected":false},"author":6,"featured_media":0,"comment_status":"closed","ping_status":"closed","sticky":false,"template":"","format":"standard","meta":{"footnotes":""},"categories":[31],"tags":[],"class_list":["post-175189","post","type-post","status-publish","format-standard","hentry","category-space-station"],"_links":{"self":[{"href":"https:\/\/www.euvolution.com\/prometheism-transhumanism-posthumanism\/wp-json\/wp\/v2\/posts\/175189"}],"collection":[{"href":"https:\/\/www.euvolution.com\/prometheism-transhumanism-posthumanism\/wp-json\/wp\/v2\/posts"}],"about":[{"href":"https:\/\/www.euvolution.com\/prometheism-transhumanism-posthumanism\/wp-json\/wp\/v2\/types\/post"}],"author":[{"embeddable":true,"href":"https:\/\/www.euvolution.com\/prometheism-transhumanism-posthumanism\/wp-json\/wp\/v2\/users\/6"}],"replies":[{"embeddable":true,"href":"https:\/\/www.euvolution.com\/prometheism-transhumanism-posthumanism\/wp-json\/wp\/v2\/comments?post=175189"}],"version-history":[{"count":0,"href":"https:\/\/www.euvolution.com\/prometheism-transhumanism-posthumanism\/wp-json\/wp\/v2\/posts\/175189\/revisions"}],"wp:attachment":[{"href":"https:\/\/www.euvolution.com\/prometheism-transhumanism-posthumanism\/wp-json\/wp\/v2\/media?parent=175189"}],"wp:term":[{"taxonomy":"category","embeddable":true,"href":"https:\/\/www.euvolution.com\/prometheism-transhumanism-posthumanism\/wp-json\/wp\/v2\/categories?post=175189"},{"taxonomy":"post_tag","embeddable":true,"href":"https:\/\/www.euvolution.com\/prometheism-transhumanism-posthumanism\/wp-json\/wp\/v2\/tags?post=175189"}],"curies":[{"name":"wp","href":"https:\/\/api.w.org\/{rel}","templated":true}]}}