Andres Teeäär
Saatja: Andres Teeäär
Saatmisaeg: reede, 18. november 2022 13:26
Adressaat: 'Najmeh Nejati'
Koopia: 'Carlos Barreto'
Teema: RE: Request for Information regarding Aeronautical mobile-satellite service (AMSS)
in Estonia
Dear Ms. Nejati,
Thank you for your enquiry!
Information about WiFi equipment (in Estonian) can be found in regulation Conditions for using radio frequencies
and technical requirements for radio equipment exempt from a frequency authorisation annex 3 Satellite
communication table 3.8. for AES terminals.
Summary of the table:
It is allowed to use
10,7–11,7 GHz and 12,5–12,75 GHz (space to Earth)
14–14,5 GHz (Earth to space)
E.I.R.P. up to 50 dBW
One should follow ITU-R recommendation M.1643 for preventing radio interference.
AES terminals shall be authorised in accordance with the procedure established in the country of registration of the
aircraft.
Equipment used for communication should follow these documents:
ECC/DEC/(05)11
EN 301 489-1
EN 302 186
EN 50385
EN 62368-1
Note:
Functions via a geostationary communication satellite.
Terminals corresponding to above rules are exempted from frequency authorisation.
If you have more questions please do not hesitate to contact.
With Best Regards,
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Andres Teeäär
Chief Specialist of the Frequency Management Division
+ 372 667 2094 |
[email protected] | https://www.ttja.ee
Consumer Protection and Technical Regulatory Authority
Endla 10A, 10122 Tallinn, Estonia
From: Najmeh Nejati <
[email protected]>
Sent: Friday, November 18, 2022 12:14 AM
To: TTJA <
[email protected]>
Cc: Carlos Barreto <
[email protected]>
Subject: Request for Information regarding Aeronautical mobile-satellite service (AMSS) in Estonia
Dear Technical Regulatory Authority team,
I am contacting you on behalf of ANUVU in order to obtain information regarding the
licensing requirements for Aeronautical Mobile Satellite Service (AMSS) in the airspace and
on the ground within Estonia.
Anuvu has been a leading provider In Flight Connectivity (IFC) services to multiple airlines
worldwide for nearly two decades.
Anuvu’s airline customers that operate service from/to various airports in Estonia have
requested to offer the connectivity and entertainment services to their passengers.
In order to provide the IFC service requested by the airlines we would like to understand
your current regulation and procedures to secure the authorization/license while the aircraft
is in the air or on the ground (Gate 2 Gate service) within the borders of Estonia. If an
authorization is indeed required, may I have some guidance to process it?
The satellite connectivity service offered by Anuvu is already registered with CEPT/ECC
and it complies with the ECC decision ECC/DEC/(05)11 and
ETSI EN 302-186.
I would very much appreciate all information that you can provide regarding this topic and if
needed to forward this message to the appropriate person within your organization.
Thanking you in advance for your response.
Respectfully,
Najmeh Nejati (She/Her)
Sr. Satellite Capacity and Regulatory Engineer
California, UNITED STATES
M: +1 (415) 936 6927
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