SpaceX's 2 GHz Denial Shouldn't Repeat With Us, Sateliot Says
Pointing to the FCC denying SpaceX permission for direct-to-device operations in the 2 GHz band (see 2403270002), Sateliot in a Space Bureau filing posted Thursday argued that its pending petition for U.S. market access shouldn't be subject to similar dismissal.…
Sign up for a free preview to unlock the rest of this article
Export Compliance Daily combines U.S. export control news, foreign border import regulation and policy developments into a single daily information service that reliably informs its trade professional readers about important current issues affecting their operations.
Sateliot has requested FCC OK for its proposed narrowband constellation of 10 small satellites operating in the 2 GHz band that would provide IoT applications on a wholesale basis in areas where partner mobile network operators lack terrestrial coverage. In an amendment to its pending petition, Sateliot said the FCC's 2010 decision to restrict additional mobile satellite service (MSS) access to the 2 GHz band was reasonable then but didn't foresee adoption of the agency's smallsat rules, which are based on compatibility with existing and future operations. It said the agency also didn't foresee standards-based, multiband IoT equipment compatible with terrestrial operations. Given those changed circumstances, the FCC should consider a waiver on the outdated restriction of additional MSS operations in the 2 GHz band, Sateliot said. Commission rules require that smallsat systems are compatible with existing operations and not constrain additional access to the spectrum, it said. Sateliot said it complies with those requirements due to its limited constellation size, its provision of connectivity only in the absence of MNO terrestrial coverage, and its use of standards-based IoT terminals compatible with terrestrial operations.