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1   Link   2012-10-05 FNPRM Comments FIled
Engineers for the Integrity of Broadcast Auxiliary Services Spectrum (EIBASS) hereby
respectfully submits its comments in the above-captioned Second Further Notice of Proposed Rulemaking and Second Notice of Inquiry (Second FNPRM/NOI) relating to Flexibility for Part 74 TV Broadcast Auxiliary Services (BAS) stations, and other issues.
2   Link   2012-02-15 EIBASS Response to WSI ExParte Comments
Engineers for the Integrity of Broadcast Auxiliary Services Spectrum (EIBASS)responds to the January 31, 2012, ex parte filing of Wireless Strategies Incorporated (WSI).
3   Link   2011-11-22 Response to WSI ExParte Comments
Engineers for the Integrity of Broadcast Auxiliary Services Spectrum (EIBASS) hereby
respectfully submits its response to the November 4, 2011, ex parte filing of Global Spectrum
Advisors (GSO) and the November 9, 2011, ex parte filing of Wireless Strategies Incorporated
(WSI).
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4   Link   2011-10-25_ReplyComments-FNPRM
The comments to the Further Notice of Proposed Rulemaking (FNPRM) by Wireless
Strategies Incorporated (WSI) indicate that it supports allowing smaller microwave antennas for fixed point-to-point links, but the real issue here is not the microwave antenna size but rather the microwave antenna electrical performance.
5   Link   2011-09-27-Comments and Partial Re-Consideration
Engineers for the Integrity of Broadcast Auxiliary Services Spectrum (EIBASS) hereby
respectfully submits its comments and petition for Partial Reconsideration of the August 9, 2011, Report and Order, Further Notice of Proposed Rulemaking, and memorandum Opinion and Order (in combination, “Order”) relating to flexibility for Part 74 Broadcast Auxiliary Services (BAS) stations, and other issues.
6   Link   2011-09-09 EIBASS Comments on FNPM and Petition for Partial Recon
Engineers for the Integrity of Broadcast Auxiliary Services Spectrum (EIBASS) hereby
respectfully submits its comments and Petition for Partial Reconsideration of the August 9,
2011, Report and Order, Further Notice of Proposed Rulemaking, and Memorandum Opinion
and Order (in combination, “Order”) relating to flexibility for Part 74 Broadcast Auxiliary
Services (BAS) stations, and other issues. The Order has not yet been published in the Federal Register, so the thirty-day time period for a Petition for Reconsideration (or partial reconsideration, in this case) has not yet started to run, and the filing deadline for the NPRM portion is not until October 4, 2011. Nevertheless, EIBASS is intentionally filing its Petition for
Partial Reconsideration and comments to the FNPRM early.
7   Link   WT 10-153 Reply Comments Filed 11/22/2010
Engineers for the Integrity of Broadcast Auxiliary Services Spectrum (EIBASS) hereby
respectfully submits its reply comments in the above-captioned Notice of Proposed Rulemaking
(NPRM) and Notice of Inquiry (NOI) relating to flexibility for Part 74 Broadcast Auxiliary
Services (BAS) stations, and other issues.
8   Link   WT Docket 10-153 (BAS Flexibility)
Engineers for the Integrity of Broadcast Auxiliary Services Spectrum (EIBASS) hereby
respectfully submits its comments in the above-captioned Notice of Proposed Rulemaking
(NPRM) and Notice of Inquiry (NOI) relating to flexibility for Part 74 Broadcast Auxiliary
Services (BAS) stations, and other issues.
9   Link   2011-06-27 FNOI BAS Flexibility
Engineers for the Integrity of Broadcast Auxiliary Services Spectrum (EIBASS) hereby
respectfully submits its comments in the above-captioned Further Notice of Inquiry (FNOI)
relating to flexibility for Part 74 TV Broadcast Auxiliary Services (BAS) stations, and other
issues.
10   Link   EIBASS Letter in Support of Comsearch ExParte Filing
EIBASS agrees with all of the rebuttal points so well raised by the April 29
Comsearch ex parte filing. We urge that the Commission reject the
unwarranted and unsupported claims made by WSI when it issues the WT
Docket 10-153 Report and Order.