FEDERAL COMMUNICATIONS COMMISSION Washington DC 20554 October 23, 2015 VIA E-MAIL Jonathan D. Foxman Broadpoint License Co., LLC 170 S. Warner Road, Suite 104 Wayne, PA 19087 [jdfoxman@chinookwireless.com] Re: Applications of AT&T Mobility Spectrum LLC, Tampnet Inc., Tampnet Licensee LLC, Broadpoint License Co., LLC, and Broadpoint Wireless License Co., LLC for Consent To Assign Licenses and Approval of Long-Term De Facto Transfer Spectrum Leasing Arrangements (WT Docket No. 15-255) Dear Mr. Foxman: AT&T Mobility Spectrum LLC, Tampnet Inc., Tampnet Licensee LLC, Broadpoint License Co., LLC, and Broadpoint Wireless License Co., LLC have filed applications pursuant to section 310(d) of the Communications Act of 1934, as amended (the “Act”),1 seeking, among other things, Commission approval of a number of license assignments and long-term de facto transfer spectrum leases.2 For the Commission to complete its review of the application and make the necessary public interest findings under section 310(d) of the Act,3 we require additional information, documents, and clarification of certain matters discussed in the application and other information provided to the Commission. If necessary, we will follow up with additional requests for information. Accordingly, pursuant to section 308(b) of the Act,4 we request that you provide written responses and supporting documentation for each request set forth in the attached General Information Request and, where appropriate, amend the application to reflect such responses. Each response or document should clearly indicate the specific question or request to which it responds, and each page should be marked with a corporate identification and consecutive document control numbers as specified in the attached instructions. We would appreciate receiving your response to each inquiry no later than November 6, 2015. 1 47 U.S.C. § 310(d). 2 AT&T Mobility Spectrum LLC, Tampnet Inc., Tampnet Licensee LLC, Broadpoint License Co., LLC, and Broadpoint Wireless License Co., LLC Seek FCC Grant of Assignment and Long-Term De Facto Transfer Spectrum Leasing Applications Involving Four Cellular, Two Advanced Wireless Services, and Satellite Earth Station Licenses, an International Section 214 Authorization, and a Foreign Ownership Declaratory Ruling, WT Docket No. 15-255, Public Notice¸ DA 15-1211 (WTB rel. Oct. 23, 2015) (“Comment Public Notice”). 3 47 U.S.C. § 310(d). 4 47 U.S.C. § 308(b). 2 Your responses should be filed with Marlene H. Dortch, Secretary, Federal Communications Commission, in WT Docket No. 15-255. In addition, the Comment Public Notice and the Protective Order5 require the submission of multiple copies of all ex parte and other filings submitted in this proceeding. The Wireless Telecommunications Bureau also should receive, at a minimum, two copies of all paper filings. If you submit information pursuant to the Protective Order issued in this case, please call Scott Patrick of the Wireless Telecommunications Bureau at (202) 418-2853 to schedule receipt of the hand delivery of the unredacted documents, as well as follow other instructions set forth in the Protective Order. For any electronic filings made using the Commission’s Electronic Comment Filing System (“ECFS”), parties also should serve the documents via e-mail to Scott Patrick, scott.patrick@fcc.gov; Kate Matraves, catherine.matraves@fcc.gov; and Jim Bird, TransactionTeam@fcc.gov. For any documents and data you submit, please coordinate with Commission staff to discuss an acceptable format for their submission, as indicated in the Instructions attached to the General Information Response. If you have any questions regarding this matter, please contact Kathy Harris, Mobility Division, Wireless Telecommunications Bureau, at (202) 418-0609, or Kate Matraves, Competition and Infrastructure Policy Division, Wireless Telecommunication Bureau, at (202) 391-6272. Sincerely, Roger C. Sherman Chief, Wireless Telecommunications Bureau Attachment cc: Todd Slamowitz [tslamowitz@fcclaw.com] 5 See Applications of AT&T Mobility Spectrum LLC, Tampnet Inc., Tampnet Licensee LLC, Broadpoint License Co., LLC, and Broadpoint Wireless License Co., LLC for Consent To Assign Licenses and Approval of Long-Term De Facto Transfer Spectrum Leasing Arrangements, WT Docket No. 15-255, Protective Order, DA 15-1212 (WTB rel. Oct. 23, 2015) (“Protective Order”).