Trinity Broadcasting Network LPN Spectrum LLC 2442 Michelle Drive 6200 Stoneridge Mall Rd, Suite 300 Tustin, CA 92780 Pleasanton, CA 94588
Trinity Broadcasting Network LPN Spectrum LLC 2442 Michelle Drive 6200 Stoneridge Mall Rd, Suite 300 Tustin, CA 92780 Pleasanton, CA 94588 May 16, 2019 VIA ELECTRONIC FILING Ms. Marlene H. Dortch Secretary Federal Communications Commission 445 Twelfth Street, SW Washington, D.C. 20554 Re: Notice of Ex Parte Communication, Expanding Flexible Use of the 3.7 GHz to 4.2 GHz Band, GN Docket No. 18-122 Dear Ms. Dortch: Trinity Broadcasting Network (“TBN”) and LPN Spectrum LLC (“LPN”) jointly file these ex parte comments in the above-captioned proceeding in support of the Commission’s efforts to repurpose part of the C-band for 5G terrestrial use. The next generation of wireless technology promises to be a significant driver of economic growth and opportunity in a variety of industrial sectors and will change nearly every aspect of our daily lives. Repurposing part of the C-band for wireless broadband services while balancing the need to support incumbent operations is key to capturing the enormous value that 5G will bring to American businesses and consumers alike. This proceeding will help position the United States as the global leader in the race to 5G. With initial aspirations to “serve[] the interests of all stakeholders” in the C-band, Intel and Intelsat began this proceeding on the right track.1 That initial momentum has been slowed by disagreements among stakeholders, causing the proceeding to effectively stall. This is due to a basic failure of the C-Band Alliance (“CBA”) to recognize that other stakeholders have legitimate interests in what is really a “shared use” band and that any viable solution for repurposing part of the C-band must facilitate significant spectrum clearance.
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