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Monday, August 12, 2024

Request to reconfigure the 902-928 MHz band

August 6, 2024 -  FCC releases public notice related to a petition for rule making from NextNav to reconfigure the 902-928 MHz band allocations.

The public notice is an invitation for comment on NextNav’s petition for changes to spectrum allocation within the LMS bands (Location and Monitoring Service). The LMS bands exist between 902 to 928 MHz. For more specific details see §90.353

The 902 to 928 MHz band is relatively crowded, used by Government Radio location, fixed and mobile radio-location, LMS, Amateur radio 33-cm and a significant number of unlicensed Part 15 devices.



 Being that Part 15 devices are unlicensed, they don’t generally receive interference protection from incumbents, and must operate without interference to incumbents of the spectrum (i.e. licensed spectrum holders). However, under §90.353(d) an LMS license will be conditioned upon the licensee’s ability to demonstrate their systems do not cause unacceptable levels of interference to Part 15 devices, and properly certified unlicensed devices are insulated from claims of interference to M-LMS systems.

Band plan: a) current, b) current showing NextNav holdings (NN) and c) proposed.


Current state:

“Amateur radio operations are allocated on a secondary basis to LMS. Part 15 unlicensed devices also operate in the band, are not typically afforded interference protection, and may not cause harmful interference to LMS licensees, amateur operations, or other licensed systems. However, Commission rules intended to ensure coexistence between services require M-LMS licensees to demonstrate through field tests that their systems do not cause unacceptable levels of interference to part 15 devices.”

“Also, users of part 15 devices conforming to specified technical conditions under a safe harbor rule are insulated from claims in the band that they cause harmful interference to M-LMS systems.”

 

Proposed changes:

“NextNav indicates that it will work with all the incumbents in the band, including federal (radio-location, fixed, and mobile), ISM, non-M-LMS, amateur, and unlicensed part 15 device users, and suggests that the Commission could place conditions on a newly issued NextNav license to ensure protection” (proposes a rule generally requiring interference protection to primary incumbents) (i.e. not part 15 devices)

“The Petition recognizes that there currently are unlicensed part 15 devices operating in the Lower 900 MHz Band, but it is unclear regarding the extent to which the proposed reconfiguration would impact potentially millions of such devices. With respect to part 15 devices, NextNav states that it is completing technical analyses and “will work with unlicensed users to understand their spectrum requirements.” NextNav does, however, seek the removal of the current requirement that it not cause unacceptable levels of interference to part 15 devices

 

Questions in the public notice:

“What services are being provided by part 15 devices and amateur operations in this band? Can they be accommodated in other spectrum bands? What are the costs for relocation and how long would it take? We also seek comment on the status of any outreach with part 15 device users and amateur licensees.”

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Ref:

Petition for Rule Making

https://nextnav.com/wp-content/uploads/2024/04/Petition-for-Rulemaking-of-NextNav-Inc.pdf

FCC Public Notice – comments due Sept. 5, 2024

https://docs.fcc.gov/public/attachments/DA-24-776A1.pdf

Historical

WT Docket No.06-49; FCC 14-79

FCC Decides Not to Adopt New Rules Affecting 902-928 MHz Band 


Additional information on 902-928 MHz;

Why Unlicensed Spectrum Dominates the Smart Grid

Public Safety Related Spectrum Issues in the 902-928 MHz Band

Location Service Deployment May Constrain 902-928 MHz Amateur Use


 

 

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