Tag: Ligado Order

  • Vast coalition seeks reversal of Ligado Order

    Vast coalition seeks reversal of Ligado Order

    Credit: YinYang/E+/Getty Images
    Credit: YinYang/E+/Getty Images

    The same 91 signers also sent an identical letter to President Biden.

     April 24, 2023 

    Dear Senators and Members of Congress:

    Last year, many of the undersigned wrote in reflection of the unprecedented opposition to the Federal Communications Commission’s (FCC’s) Ligado Order (1) across the vast federal and commercial user base of Global Positioning System (GPS), satellite communications and weather forecasting services. Three years after adoption of the Order, as eight petitions for reconsideration remain pending, (2) we again urge you to work together with the FCC to stay and ultimately set aside the Order. (3) Critically, this is now necessitated by the crucial, previously unavailable information that was produced at the direction of Congress: the independent technical review undertaken by the National Academies of Sciences, Engineering, and Medicine (NAS) (4) analyzing the potential interference issues related to the Ligado Order.

    We greatly appreciate your administration’s opposition to the Ligado Order and commitment that the National Telecommunications and Information Administration (NTIA), on behalf of the executive branch, will continue to actively pursue its petition for reconsideration of the Order. (5) As you know, the pending petitions for reconsideration convincingly demonstrate that the Ligado Order is legally and factually deficient. In the pending petitions, parties showed that the Ligado Order is fundamentally flawed, incompatible with the FCC’s rules and inadequate in protecting incumbent services from the harmful interference from Ligado’s proposed operations. This substantial documentation, among many other concerns from federal and commercial users, resulted in Congress enacting bipartisan legislation in consecutive years after the FCC’s adoption of the Ligado Order, mandating NAS’s independent technical review and requiring the Department of Defense (DoD) to brief federal representatives across the government “at the highest level of classification” on the potential for widespread harm from Ligado’s proposed terrestrial operations. (6) On this basis alone, the FCC should stay the Order in an acknowledgement that it clearly did not account for the full, real-world risk of harm associated with a nationwide terrestrial deployment in the L-band.

    While the pending petitions have a strong likelihood of success on their own merits, the FCC’s rules and the public interest now require the FCC to reconsider the Order in response to the extensive analysis in the NAS Report. (7) This new, previously unavailable information presented in the Congressionally-mandated independent technical review confirms that Ligado’s proposed terrestrial operations would cause harmful interference (8) at significant ranges to incumbent L-band services across a broad range of deployment scenarios. This is consistent with the well-supported and robustly documented analyses and determinations of the federal government, (9) including fourteen federal agencies and departments, (10) and commercial parties (11) alike. Importantly, as concisely stated by DoD and detailed in the NAS Report, “[t]he terrestrial network authorized by [the Ligado Order] will create unacceptable harmful interference for DoD missions. The mitigation techniques and other regulatory provision [sic] in [the Ligado Order] are insufficient to protect national security missions.”(12)

    The unequivocal conclusions of the NAS Report constitute the exact type of previously unavailable information that the FCC’s rules (13) dictate must be addressed on reconsideration. Indeed, NTIA stated on behalf of the executive branch that the NAS Report “offers the [FCC] an important opportunity to reconsider Ligado’s Authorization.”(14) We therefore urge you to work with the FCC to address the harm from Ligado’s proposed terrestrial network to critical GPS, satellite communications, and weather forecasting services by staying the Order, addressing the previously unavailable information contained in the NAS Report, and resolving the pending petitions for reconsideration.

    Sincerely,

    AccuWeather, Inc.

    Aerospace Industries Association

    Agricultural Retailers Association

    Airborne Public Safety Association

    Aircraft Electronics Association

    Aircraft Owners and Pilots Association

    Airlines for America

    Alabama Agricultural Aviation Association

    ALERT Users Group

    Allied Pilots Association

    Air Line Pilots Association, International

    American Geophysical Union

    American Meteorological Society

    American Rental Association

    American Road & Transportation Builders Association

    American Weather and Climate Industry Association

    Arizona Agricultural Aviation Association

    Arkansas Agricultural Aviation Association

    Associated Equipment Distributors

    Association for Uncrewed Vehicle Systems International

    Association of Aerial Applicators Washington

    Association of Equipment Manufacturers

    Association of Marina Industries

    Association of Montana Aerial Applicators

    Aviation Spectrum Resources, Inc.

    BoatU.S.

    California Agricultural Aircraft Association

    Cargo Airline Association

    CNH Industrial

    Coalition of Airline Pilots Associations

    CoBank

    Colorado Agricultural Aviation Association

    EarthScope Consortium

    Florida Agricultural Aviation Association

    General Aviation Manufacturers Association

    GeoOptics, Inc.

    George Washington University

    Georgia Agricultural Aviation Association

    Helicopter Association International

    Idaho Agricultural Aviation Association

    Illinois Agricultural Aviation Association

    Indiana Agricultural Aviation Association

    International Air Transport Association

    Iowa Agricultural Aviation Association

    Iridium Communications Inc.

    Kansas Agricultural Aviation Association

    Land Improvement Contractors of America

    Lockheed Martin Corporation

    Louisiana Agricultural Aviation Association

    Marine Retailers Association of the Americas

    Michigan Agricultural Aviation Association

    Microcom Environmental

    Minnesota Agricultural Aircraft Association

    Mississippi Agricultural Aviation Association

    Missouri Agricultural Aviation Association

    Narayan Strategy

    National Agricultural Aviation Association

    National Air Carrier Association

    National Business Aviation Association

    National Cotton Council

    National Society of Professional Surveyors

    National Weather Association

    Nebraska Aviation Trades Association

    NetJets Association of Shared Aircraft Pilots

    New Mexico Agricultural Aviation Association

    North Carolina Agricultural Aviation Association

    North Dakota Agricultural Aviation Association

    Northeast Agricultural Aviation Association

    Ohio Agricultural Aviation Association

    Oklahoma Agricultural Aviation Association

    Oregon Agricultural Aviation Association

    Pacific Northwest Aerial Applicators Alliance

    PlanetiQ

    Recreational Boaters of California

    Resilient Navigation and Timing Foundation

    Seafarers International Union

    South Dakota Aviation Association

    Southeast Aero Cultural Fair

    Space Science and Engineering Center at the University of Wisconsin-Madison

    Subsurface Utility Engineering Association

    Tennessee Aerial Applicators Association

    Texas Agricultural Aviation Association

    The Airo Group, Inc.

    The Semaphore Group

    Trimble Inc.

    U.S. Geospatial Executives Organization

    University Corporation for Atmospheric Research

    USA Rice

    Vertical Flight Society

    Westwind Helicopters

    Wisconsin Agricultural Aviation Association


    (1) Ligado Amendment to License Modification Applications, IBFS File Nos. SES-MOD-20151231-00981, SAT-MOD-20151231-00090, and SAT-MOD-20151231-00091, Order and Authorization, 35 FCC Rcd 3772 (2020) (“Ligado Order” or “Order”).

    (2) More than twenty parties in total signed petitions for reconsideration of the Ligado Order and all of these petitions remain pending before the FCC. See Petitions for Reconsideration of the National Telecommunications and Information Administration; the Air Line Pilots Association, International; the American Road & Transportation Builders Association, the American Farm Bureau Federation, and the Association of Equipment Manufacturers; the Joint Aviation Petitioners; Iridium Communications Inc., Flyht Aerospace Solutions Ltd., Aireon LLC, and Skytrac Systems Ltd.; Lockheed Martin Corporation; Trimble Inc.; and the Resilient Navigation and Timing Foundation, IB Docket Nos. 11-109 & 12-340 (all filed on or about May 22, 2020). The ten “Joint Aviation Petitioners” consist of the Aerospace Industries Association, the Aircraft Owners and Pilots Association, Airlines for America, Aviation Spectrum Resources, Inc., the Cargo Airline Association, the General Aviation Manufacturers Association, the Helicopter Association International, the International Air Transport Association, the National Air Transportation Association and the National Business Aviation Association.

    (3) The Commission should also not proceed with any companion rulemakings causing harmful interference to weather forecasting and hydrology services that could result in Ligado deployments, particularly in light of the analysis and recommendations presented in the “Spectrum Pipeline Reallocation 1675–1680 MHz Engineering Study (SPRES) Program Report. See Allocation and Service Rules for the 1675-1680 MHz Band, Notice of Proposed Rulemaking, 34 FCC Rcd 3352 (2019); U.S. Department of Commerce. National Oceanic and Atmospheric Administration. National Environmental Satellite Data Information Service. Spectrum Pipeline Reallocation 1675–1680 MHz Engineering Study (SPRES) Program Report. Silver Spring, MD: NESDIS, October 2020 (public release August 2022).

    (4) National Academies of Sciences, Engineering, and Medicine, Analysis of Potential Interference Issues Related to FCC Order 20-48 (2022), https://doi.org/10.17226/26611 (“NAS Report”).

    (5) Letter from Gina Raimondo, Secretary of Commerce, U.S. Dept. of Commerce, to The Honorable James M. Inhofe, ranking member, U.S. Senate Committee on Armed Services (June 22, 2021) (reiterating the NTIA’s position opposing the Ligado Order).

    (6) William M. (Mac) Thornberry National Defense Authorization Act (“NDAA”) for Fiscal Year 2021, Pub. L. 116-283, 134 Stat. 4074 § 1663; NDAA for Fiscal Year 2022, Pub. L. 117-81, 135 Stat. 1541 § 1613.

    (7) These statements are based on the publicly available portions of the NAS committee’s work. In addition, NAS prepared a classified annex, which further details the risks of Ligado’s proposed terrestrial network and additionally warrants FCC action.

    (8) The term “harmful interference” is herein used to describe the results of the NAS Report. In turn, the undersigned believe the results of the NAS Report dictate that the FCC must reach the legal conclusion that Ligado’s operations would cause harmful interference under the FCC’s rules.

    (9) See, e.g., National Telecommunications and Information Administration Reply to Ligado Networks LLC’s Opposition to Petitions for Reconsideration or Clarification, IB Docket Nos. 11-109 & 12-340, at 10 n.26 (filed June 8, 2020); U.S. Department of Transportation, Global Positioning System (GPS) Adjacent Band Compatibility Assessment, Final Report (Apr. 2018) (“DOT ABC Report”),

    (10) See Memorandum from Thu Luu, Executive Agent for GPS, Department of the Air Force, to IRAC Chairman (Feb. 14, 2020).

    (11) See, e.g., Letter from J. David Grossman, Executive Director, GPSIA, to Marlene H. Dortch, Secretary, FCC, IB Docket Nos. 11-109 et al., at 6 (Sept. 17, 2020); Letter from Bryan N. Tramont, Counsel to Iridium Communications Inc., to Marlene H. Dortch, Secretary, Federal Communications Commission, IB Docket Nos. 11-109 et al. (Jan. 19, 2022); Update to 2016 Technical Assessment of Ligado User Terminal Interference to Iridium attached to Iridium Communications Inc. et al., Petition for Reconsideration, IB Docket Nos. 11-109 et al. ( May 22, 2020).

    (12) NAS Report at 6, 73.

    (13) 47 C.F.R. § 1.106(c)(2).

    (14) Press Release, NTIA, NTIA Statement on National Academies of Sciences Report (Sept. 9, 2022).

  • Inhofe, Reed urge FCC to stay and reconsider Ligado order

    Inhofe, Reed urge FCC to stay and reconsider Ligado order

    A bipartisan group of eight U.S. senators has sent a letter to the Federal Communications Commission (FCC), urging the agency to stay and reconsider the Ligado Networks order.

    U.S. Senators Jim Inhofe (R-Okla.) and Jack Reed (D-R.I.), ranking member and chairman of the Senate Armed Services Committee, led the group in sending the letter to FCC Chairwoman Jessica Rosenworcel, urging her to reconsider granting Ligado’s license modification request.

    Ligado wants to use a part of the communications spectrum in a way that risks interference with GPS reception, a move that has been decried by many industry insiders as well as other government agencies, including the departments of Defense and Transportation.

    The timing of the letter is critical, as Ligado has announced its intention to deploy a terrestrial network as soon as Sept. 30. The National Academy of Sciences plans to release a report on the FCC’s order at a public online briefing at 11 a.m. ET Sept. 9. The report will be available at National Academies Press at that same time.

    Imminent Risks

    Joining Inhofe and Reed were Sens. Tammy Duckworth (D-Ill.), Mazie Hirono (D-Hawaii), Mark Kelly (D-Ariz.), Mike Rounds (R-S.D.), Kyrsten Sinema (D-Ariz.) and Dan Sullivan (R-Alaska).

    The senators write: “Staying and reconsidering the Ligado Order is necessary to address the imminent risks associated with Ligado’s intention to ‘commence operations in the 1526-1536 Mhz band on or after September 30, 2022.’ We remain gravely concerned that the Ligado Order fails to adequately protect adjacent band operations — including those related to GPS and satellite communications — from harmful interference impacting countless military and commercial activities.

    “We urge you to set aside the Ligado Order and give proper consideration to the widely held concerns across the Executive Branch, within Congress, and from the private sector regarding the expected impact of the Ligado Order on national security and other systems,” the senators continued.

    A copy of the letter can be found here and below.

    Dear Chairwoman Rosenworcel:

    We write to you today to urge the Federal Communications Commission (FCC) to stay and reconsider the FCC’s order granting the applications of Ligado Networks LLC (Ligado) to deploy a terrestrial wireless network in the L-band satellite spectrum neighborhood, FCC 20-48, adopted April 19, 2020 (the Ligado Order). We remain extremely concerned that terrestrial L-band operations would cause unacceptable risk to Department of Defense (DOD), the Federal Government Global Positioning System (GPS), and Satellite Communications (SATCOM) operations.

    Prior to the issuance of the Ligado Order, fourteen federal agencies and departments expressed strong opposition to the applications sought by Ligado over concerns about potential harmful interference with GPS operations. In May 2020, shortly following the issuance of the Ligado Order, on behalf of the executive branch, the National Telecommunications and Information Administration (NTIA) petitioned the FCC to reconsider its decision. That filing requested that the FCC “rescind its approval of the mobile satellite service (MSS) license modification applications” granted to Ligado, which the NTIA asserted would “cause irreparable harms” to federal government GPS users.

    Staying and reconsidering the Ligado Order is necessary to address the imminent risks associated with Ligado’s intention to “commence operations in the 1526-1536 Mhz band on or after September 30, 2022.” We remain gravely concerned that the Ligado Order fails to adequately protect adjacent band operations—including those related to GPS and satellite communications—from harmful interference impacting countless military and commercial activities. We urge you to set aside the Ligado Order and give proper consideration to the widely held concerns across the Executive Branch, within Congress, and from the private sector regarding the expected impact of the Ligado Order on national security and other systems.

    We look forward to continuing to work with you to ensure that federal spectrum policy adequately protects the millions of military and commercial users who rely on L-band satellite services every day.

    Feature photo: Brian Kinney/Shutterstock.com

  • 90 groups mark 2-year Ligado Order anniversary with new letter

    90 groups mark 2-year Ligado Order anniversary with new letter

    A new letter has been sent to both President Biden and congressional leadership by 90 groups opposed to Ligado’s plans to launch a terrestrial network in the L-band used by GPS.

    The letter, dated April 25, marked the two-year anniversary of a controversial decision by the U.S. Federal Communications Commission (FCC) to adopt the Ligado Order.

    The 90 groups represent companies, organizations and associations united in their grave concerns over “imminent — but preventable — harm from Ligado’s proposed terrestrial network.” These groups have serious concerns about how Ligado’s plan threatens to interfere with services provided by the GNSS, aviation and real-time environmental satellite-data communities.

    Staying the order is necessitated by the clear bipartisan will of Congress. After adoption of the order in 2020, Congress mandated an independent technical review to further assess the harmful interference that would be caused by Ligado’s proposed network and required the Department of Defense to brief federal representatives across the government “at the highest level of classification” on the potential for widespread harm from Ligado’s proposed terrestrial operations.

    On this basis alone, the FCC should stay the order to adequately consider the material new information that will be uncovered as a result of these ongoing Congressionally mandated processes, according to the letter writers.

    Their concern was made even more real following the announcement by Ligado that the company intends “to commence operations in the 1526-1536 MHz band on or after Sept. 30, 2022.”

    Image: A-Digit/DigitalVision Vectors/Getty Images
    Image: A-Digit/DigitalVision Vectors/Getty Images