HomeMy WebLinkAbout24-04 Comments (2)Federal Av_ .:ion Administration
Eastern Regional Office
1 Aviation Plaza -AEA -520
Jamaica, NY 11434
Issued Date: 10/7/2004
ALAN R PRUSKA
SHENANDOAH MOBILE COMPANY
124 SOUTH MAIN STREET
EDINGBURG, VA 22842
Aeronautical Study No.
2004 -AEA -2518 -OE
Prior Study No.
2003 -AEA -1098 -OE
** DETERMINATION OF NO HAZARD TO AIR NAVIGAT2
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s
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K COUNT
PLA N�Da &fOQ VF_tOP E�1ir
ON **
The Federal Aviation Administration has completed an aeronautical study under the
provisions of 49 U.S.C., Section 44718 and, if applicable, Title 14 of the Code
of Federal Regulations, part 77, concerning:
Structure Type: Antenna Tower
Location: WINCHESTER, VA
Latitude: 39-15-59.93 NAD 83
Longitude: 78-18-4.53
Heights: 199 feet above ground level (AGL)
1097 feet above mean sea level (AMSL)
This aeronautical study revealed that the structure does not exceed obstruction
standards and would not be a hazard to air navigation provided the following
condition(s), if any, is(are) met:
Based on this evaluation, marking and lighting are not necessary for aviation
safety. However, if marking and/or lighting are accomplished on a voluntary
basis, we recommend it be installed and maintained in accordance with FAA
Advisory Circular 70/7460-1 K Change 1.
While the structure does not constitute a hazard to air navigation, it would be
located within or near a military training area and/or route.
This determination is based, in part, on the foregoing description which includes
specific coordinates, heights, frequency(ies) and power. Any changes in
coordinates, heights, and frequencies or use of greater power will void this
determination. Any future construction or alteration, including increase to
heights, power, or the addition of other transmitters, requires separate notice
to the FAA.
This determination does include temporary construction equipment such as cranes,
derricks, etc., which may be used during actual construction of the structure.
However, this equipment shall not exceed the overall heights as indicated above.
Equipment which has a height greater than the studied structure requires separate
notice to the FAA.
This determination concerns the effect of this structure on the safe and
efficient use of navigable airspace by aircraft and does not relieve the sponsor
of compliance responsibilities relating to any law, ordinance, or regulation of
any Federal, State, or local government body.
A copy of this determination will be forwarded to the Federal Communications
Commission if the structure is subject to their licensing authority.
Page 1
If we can be of furtht assistance, please contact ou_ ffice at (718)553-2560.
On any future correspondence concerning this matter, please refer to Aeronautical
Study Number 2004 -AEA -2518 -OE.
':Signature Control No: 395107-315749!
William E Merritt
Specialist
Attachment(s)
Frequency Data
Page 2
(DNE)
I _quency Data for ASN 2004 -AEA 8 -OE
LOW HIGH FREQUENCY ERP
FREQUENCY FREQUENCY UNIT ERP UNIT
1930
1945
MHz
1640 w
1850
1865
MHz
1640 W
835
890
MHz
500 w
880
894
MHz
500 w
825
835
MHz
500 w
870
880
MHz
500 W
824
825
MHz
500 w
845
846.5
MHz
500 w
869
870
MHz
500 w
890
891.5
MHz
500 w
Page 3
ficinJ ular
WIRELESS NOV
FREDERICK COUNTY
PLANNING & DEVELOPMENT
September 26, 2004
Brandi Sheetz
Shenandoah Mobile Company
212 Piccadilly Street
Edinburg, VA 22824
Re: Proposed telecommunication tower located on 226 Stony Hill Road,
Gore, VA 22637. Bowling Green Ridge #84
Dear Ms. Sheetz;
Shenandoah Mobile Company has advised Southwestern Bell Mobile Systems LLC
d/b/a Cingular Wireless that it has filed applications to build a 195 foot monopole next to
the existing monopole located at 226 Stony Hill Road, Gore, Virginia. Shenandoah
Mobile has asked Cingular to provide a letter indicating Cingular's willingness to
collocate on the tower if and when Cingular's systems development requirements
indicate a need for additional coverage or capacity in the area.
Cingular is interested in improving the cellular telephone coverage in this area in the
foreseeable future (within the next five years) and has indicated to Shenandoah Mobile
in a separate communication the terms upon which it would be interested in collocating
at the facility. Cingular authorizes Shenandoah to use this letter in the course of its
permitting activities to indicate Cingular's position, subject to the understanding that
Cingular's actual collocation shall be determined based upon its need for the facility, the
available of adequate funding to support the construction of its facility and the fact that
the terms expressed in the collateral writing shall govern.
Sincerely,
Gerri Nelson
Wireless Facilities, Inc.
For Cingular
1840 Michael Faraday Drive
Suite 200
Reston, VA 20190
828 552-1207 - Mobile
703 563-7193 -Direct
Cingular Wireless 7150 Standard Drive, Hanover, MD 21076