FCC Begins Proceeding To Spur Mobile Broadband Investment
in MSS Bands
15 July 2010
The Federal Communications Commission today took steps to
make additional spectrum available for new investment in mobile broadband
networks by promoting flexible use and removing barriers, while ensuring robust
mobile satellite service capabilities.
Mobile broadband is emerging as one of America’s most
dynamic, innovative and economically viable communications platforms. The
National Broadband Plan calls for an additional 500 MHz of spectrum for
broadband services. This proceeding will help make 90 megahertz of prime
spectrum available for mobile broadband deployment and unleash private sector
investment and innovation – opening the door to new mobile networks, devices and
technologies. Specifically, the Commission explores spectrum allocated to
the Mobile Satellite Service (MSS) in three bands -- the 2 GHz band, Big LEO
band, and L-band.
The Notice of Proposed Rulemaking (NPRM) that the
Commission adopted today outlines two proposals that would remove regulatory
barriers to terrestrial (i.e. land-based) use and promote additional investments
in the MSS bands, while retaining sufficient market-wide MSS capability. First,
it proposes to add co-primary fixed and mobile allocations to the 2 GHz band.
This allocation modification sets the stage for more flexible uses of the band
by terrestrial services. Second, it proposes to expand existing secondary
market policies and rules to address transactions involving the use of MSS bands
for terrestrial services. This would create greater predictability in bands
licensed for terrestrial mobile broadband service.
Today’s Notice of Inquiry (NOI) requests comment on
further steps the Commission can take to increase the value, utilization,
innovation, and investment in MSS spectrum. It builds upon the proposals
in the NPRM and addresses, in part, the recommendations of the National
Broadband Plan for increasing terrestrial deployment in the MSS bands. The
NOI inquires about ways to create opportunities for more expansive and efficient
use of the 2 GHz band for stand-alone terrestrial uses. It also asks, if
the value of the spectrum increases, what actions the Commission should take to
further the overall public interest. The NOI further requests comment on
other ways to promote innovation and investment throughout all three of the MSS
bands while also ensuring market-wide mobile satellite capability to serve
important needs like disaster response and recovery efforts, rural access for
consumers and businesses across America, and various government uses.
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