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LMDS: A WASHINGTON PERSPECTIVE

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Title: LMDS: A WASHINGTON PERSPECTIVE


1
Spectrum Management 2006 Industry Association
Roundtable Paul J. Sinderbrand Wilkinson Barker
Knauer, LLP 202.783.4141 psinderbrand_at_wbklaw.com

2
Wireless Communications Association
  • Represents Wireless Broadband Service Providers
    and Manufacturers
  • Primary Current Focus
  • 700 MHz
  • WCS
  • BRS/EBS
  • 24 GHz, LMDS and 39 GHz
  • Above 70 GHz

3
2004 2.5 GHz Restructuring
FORMER PLAN
4
2.5 GHz Benefits of Rebanding
  • Accommodate demand for high-power video and data
    transmissions in MBS
  • De-interleaved Lower Band Segment (LBS) and Upper
    band Segment (UBS) provide large, contiguous
    blocks of spectrum with good upstream/downstream
    separation and natural pairings
  • Separate video from cellularized data to protect
    both against interference
  • Flexible use technical rules allow FDD and TDD to
    coexist but require innovative approaches to
    avoidance of interference

5
Flexibility/Protection
  • Adjacent Channel Interference
  • Standard 43 10 log (P) spectral mask not
    sufficiently protective when non-synchronized
    technologies involved
  • WCA proposed dual mask
  • 43 10 log (P) certification mask
  • 67 10 log (P) dB operational mask measured 3
    MHz and beyond, but only upon request of other
    licensee in market, who must also meet tighter
    mask
  • FCC adopted dual mask, but 4/27/06
    Reconsideration Order confirms protection only
    upon showing of documented interference and
    after day 60 period
  • And, FCC limited complaints to first adjacent
    channel licensee despite acknowledging that
    threat can come from beyond first adjacent channel

6
Flexibility/Protection
  • Cochannel Interference
  • Limiting signal strength at boundary to 47 dBµV/m
    does not protect base station from interference
    by non-synchronized cochannel base station
  • Height benchmarking provides additional
    protection against base-to-base interference
  • If height of antenna above average terrain along
    the radial between stations exceeds D²/17,
    station is outside of height benchmark
  • Base station exceeding benchmark must restrict
    received signal level to -107 dBm or less at base
    station that is within benchmark
  • 4/27/06 Reconsideration Order fails to address
    debate over process for relief how long must
    interference be suffered?

7
2.1 GHz BRS Relocation
  • Relocation of BRS 1 and 2 4/21/06 Ninth Report
    and Order in ET Docket No. 00-258
  • FCC limits relocation obligation to cochannel AWS
  • Adjacent channel interference must be cured by
    AWS, but only after the fact jeopardizing
    existing operations!
  • Comparable facilities need not be wireless
  • Rules do not sunset for 15 years, but
  • BRS is not compensated for increase in throughput
    during interim
  • Nor can BRS self-relocate and then increase
    throughput
  • Responsibilities governing involuntary relocation
    are not clearly spelled out

8
3650-3700 MHz
  • 3/16/05 RO in ET Docket No. 04-151
  • Innovative licensing system
  • Unlimited number of nationwide licenses for
    entire 50 MHz
  • Equipment must employ some contention based
    protocol
  • Each higher power fixed and base station must be
    registered with FCC prior to use
  • Unregistered low power mobile and portable
    stations permitted but must be authorized by a
    registered base station

9
3.6 GHz Interference Rules
  • Govt radiolocation 80 km coordination zones
  • FSS 150 km circular protection zones
  • Intra-service protection
  • Each terrestrial licensee must consult database
    prior to registration and make every effort to
    ensure that contemplated location and
    parameters will minimize the potential to cause
    and receive interference
  • Yet, no terrestrial licensee is entitled to
    interference protection from another
  • And, each terrestrial licensee must cooperate to
    avoid interference to others, even those that
    come later in time

10
3.6 GHz The Problems
  • FSS protection too conservative
  • Contention based protocol requirement doesnt
    avoid interference
  • Interference rules deter investment
  • every effort vs. no protection
  • Obligation of first in to resolve interference to
    newcomers

11
  • THANK YOU!
  • Paul J. Sinderbrand
  • Wilkinson Barker Knauer, LLP
  • 202.783.4141
  • psinderbrand_at_wbklaw.com
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