The 'Association of Old Crows' Calls For Retest Of New
Design
The LightSquared controversy rages on... The 'Association of Old
Crows' notes that the November 2011 testing of LightSquared's
wireless broadband service proposal found no significant
interference to cellular phone text and voice capabilities but did
find significant disruption of most all general purpose approved
Global Positioning System (GPS) receivers. GPS receivers are used
throughout our National infrastructures, in aviation flight safety
systems and by private users and emergency services. The AOC is an
international Electronic Warfare/Information Operations (EW/IO)
association which promotes EMS operations and related activities
across military, civilian and commercial applications.

Interference created by LightSquared's use of EMS creates
numerous safety and continuity issues across this global user base.
The Federal Aviation Administration also confirmed interference to
safety-of-flight systems that warn pilots of approaching terrain.
GPS interference will delay first responders, increasing police,
fire and emergency services response time. Response time is
directly related to victim mortality and the extent and costs of
structural damage. In a widespread disaster such as a hurricane or
earthquake, GPS interference would hamper the response by all state
and federal agencies. Clearly, the impact to local, state and
national safety would be significant and not an acceptable
risk.
LightSquared's pursuit is proper in the purely commercial sense,
yet wholly unsupportable in the broader operational sense. This
cuts to the heart of a new and enduring issue for our Nation:
Should the apportionment and licensing of frequencies across the
increasingly co-occupied EMS be left solely to the "compliance
paradigm" mindsets of commercial interests or is it now time to
vest operationally aware stakeholders in that process, as peers?
Due to global dependence upon the GPS system, reliable access to
GPS frequencies must be protected and managed as a National
resource and no longer simply as a commercial opportunity.

To avoid striking such a broadly harmful agreement in the
future, a whole-of-government EMS Strategy must be created in a
partnership of DoD operations personnel, industry leaders and
responsible legislators. A National policy making adequate use of
counsel from operational EMS experts within the DoD will
effectively balance and inform future decisions on EMS
apportionment and licensing, greatly reducing the potential for
costly inefficiencies, litigation and associated delays. With the
current stakeholders and policies in place, similar challenges to
this National resource - the EMS - are nearly inevitable in our
future.
The Association of Old Crows recognizes the serious impact that
any source of persistent GPS interference would have on our
Nation's ability to operate its critical infrastructure (e.g.
banking, telecommunications, transportation, utilities, and
emergency services) or respond to crises or natural disasters at
all levels.
The AOC supports the test findings but recommends NTIA request
the FCC to withhold authorization of LightSquared's wireless
broadband service.
The AOC recommends that the FCC partially underwrite
LightSquared's efforts to submit for retest a new design that does
not interfere with the GPS system, since the originally licensed
frequencies were unusable.