On-Going Activities in the CEPT (European Spectrum Regulation) on Broadband Direct-Air-to-Ground...

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On-Going Activities in the CEPT (European Spectrum Regulation) on Broadband Direct-Air-to-Ground Communications Systems International Conference „IFE & Connectivity“, Hamburg, 24 – 26 March 2015 Thomas Weber, ECO, Spectrum Management

Transcript of On-Going Activities in the CEPT (European Spectrum Regulation) on Broadband Direct-Air-to-Ground...

Page 1: On-Going Activities in the CEPT (European Spectrum Regulation) on Broadband Direct-Air-to-Ground Communications Systems International Conference „IFE &

On-Going Activities in the CEPT (European Spectrum Regulation) on Broadband Direct-Air-to-Ground Communications Systems

International Conference „IFE & Connectivity“, Hamburg, 24 – 26 March 2015

Thomas Weber, ECO, Spectrum Management

Page 2: On-Going Activities in the CEPT (European Spectrum Regulation) on Broadband Direct-Air-to-Ground Communications Systems International Conference „IFE &

Content

• CEPT Organisation (48 European Frequency Regulators)

• BDA2GC in 1900-1920 MHz and 5855-5875 MHz• Aero CGC in 1980-2010/2170-2200 MHz

• Existing Work in CEPT

• Draft Regulatory Framework (Frequency Management)

• Mandates from the European Commission to CEPT

• Current situation in frequency bands, roll-out considerations, standardisation activities

• Options

• Outlook & Challenges

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Where does the action take place?

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Activities in CEPT - Trigger • Trigger: 3 ETSI System Reference Documents:

- ETSI TR 103 054 V1.1.1 (2010-07) [11], System Reference Document on Broadband Direct-Air-to-Ground Communications operating in part of the frequency range from 790 MHz to 5150 MHz;

- ETSI TR 101 599 V1.1.3 (2012-09) [12], System Reference Document on Broadband Direct-Air-to-Ground Communications System employing beamforming antennas, operating in the 2.4 GHz and 5.8 GHz bands;

- ETSI TR 103 108 V1.1.1 (2013-07) [13], System Reference Document on Broadband Direct-Air-to-CEPT Ground Communications System operating in the 5.855 GHz to 5.875 GHz band using 3G technology.

- SRDocs also describe the addressable market ‘over Europe’

- SE40 studies on Aero CGC (triggered by INMARSAT and supporting CEPT admins)

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Activities in CEPT – Important conditions

• Various frequency bands below 6 GHz were identified which could be suitable for fulfilling the spectrum requirements for the BDA2GC systems when the activities within CEPT started.

• Some frequency bands were selected for detailed investigations and for conducting compatibility and sharing studies. Some bands were considered less suitable after initial studies or considerations.

• A short term solution for BDA2GC (by end of 2017) could not be realised in a frequency band above 6 GHz.

• However, higher frequency bands could be considered in the future for next generation BDA2GC systems.

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Published ECC Reports

• ECC Report 209: Studies related to BDA2GC in the bands 1900-1920 MHz / 2010-2025 MHz and in the adjacent bands;

• ECC Report 210: Studies related to BDA2GC in the bands 5855-5875 MHz, 2400-2483.5 MHz and 3400-3600 MHz;

• ECC Report 214: Broadband Direct-Air-to-Ground Communications (DA2GC) – Frequency regulatory concept;

• ECC Report 220: Compatibility/sharing studies related to PMSE (programme making and special events, e.g. video links, cordless cameras in this context), DECT and SRD (Short Range Devices) with DA2GC in the 2 GHz unpaired bands and MFCN in the adjacent 2 GHz paired band.

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New ECC Decisions

• The draft new ECC Decision for broadband Direct Air to Ground Communications in the frequency band 1900-1920 MHz

• The draft new ECC Decision for broadband Direct Air to Ground Communications in the frequency band 5855-5875 MHz

TDD (Time Division Duplex) harmonised use free circulation common framework for authorising on a non-exclusive basis application of the technical and operational requirement co-existence between DA2GC Ground Stations and other fixed terrestrial

stations and FSS earth stations (only 5.8 GHz) DA2GC Ground stations individually licensed exempt from individual licensing and free circulation and use of DA2GC Aircraft

stations under the control of a network

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1900-1920 MHz (new usage)

• Only 1 DA2GC in the band (TDD)• There are practically 3 options in discussions, all using the same technical framework• SRDs are indoor limited• Existing license situation (34 countries have licenses for UMTS/IMT in all or parts of the

band) needs to get resolved

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5855-5875 MHz

• Only 1 DA2GC in the band (TDD)

• There are practically 2 options in discussions. Technical framework slightly different depending on usage of fixed antennas or beamforming antennas.

• Non-exclusive usage – existing applications: Fixed Satellite Uplink, Intelligent Transportation Systems, Fixed Wireless Access, in future also Wi-Fi

• Positive results in compatibility studies

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Approaches

• Some of the current BDA2GC TDD proponents are flexible with regard to these two frequency options

• A typical DA2GC ground station uses multiple sector antennas with fixed azimuth and elevation patterns. A fixed elevation up-tilt to maximise reception at normal cruising altitudes. The aircraft station antenna is based on an existing commercial aircraft antenna, enhanced to support operation in the allocated frequency band, and so facilitates retrofit while not creating any additional drag for the aircraft.

• Alternatively, a beamforming system can be implemented, advanced phased array and signal processing technology on the aircraft and at the ground station, to produce shaped and steerable beams. This enables dynamic beam pointing at both ends of the link such that the ground station and the aircraft mutually track each other. The use of beamforming helps to reduce co-channel interference and improves both the DA2GC link performance and its frequency sharing capabilities.

• Power control is used in both directions, to maintain the required receive power level at the GS and AS receivers.

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European Commission Mandates to CEPT

o To undertake studies on the harmonised technical conditions for the 1900-1920 MHz and 2010-2025 MHz frequency bands (“Unpaired terrestrial 2 GHz bands”) in the EU; -> Proposal to use 1900-1920 MHz for BDA2GC -> CEPT Report 52 published

o - To study and identify harmonised compatibility and sharing conditions for Wireless Access Systems including Radio Local Area Networks in the bands 5350-5470 MHz and 5725-5925 MHz ('Wireless Access Systems/RLAN extension bands')

o Mandate not on BDA2GC but BDA2GC is compatible with existing radio services and WAS/RLAN – long timetable of the mandate

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Aeronautical CGC (Complementary Ground Component)

1 980 – 2 010 MHz and 2 170–2 200 MHz used by the MSS and with Aero-CGC

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Aero CGC Work Item

• Draft ECC Report 233 in public consultation

• Preliminary results show that Aero CGC does not create harmful interference to other terrestrial radio systems

• Airborne terminals to implement a ‘mask’ to protect other terrestrial systems

2 MSS licences awarded: INMARSAT and Solaris (each 2x15 MHz duplex)

COCOM: no final decision

ECC Decision (06)09 and 2009/449/EC in place

Aero CGC authorisation: national decisions

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Standardisation activities

• Relevant standardisation activities for the creation of harmonised European standards for all BDA2GC options are already on its way in 3GPP and ETSI (Technical Committee BRAN). This is for new Harmonised European Standards for BDA2GC in 1900-1920 MHz and 5855-5875 MHz.

• At the 3GPP TSG-RAN WG4 Meeting #72bis in Singapore, 6 – 10 Oct, 2014, a contribution was made; currently in 3GPP/RAN4 there is a study item to have a new band considering B1 (2.1 GHz cellular band) + MSS band. The MSS band for Complementary Ground Components (CGCs) deployment in Region 1 was studied in 3GPP TR 37.846. A new WID was started in RAN #65 for MSS + B1 with 2 x 90 MHz introduction in Europe. The input at the 3GPP TSG-RAN WG4 Meeting #72bis raised a question on the MSS complementary ground component usage, the 2 x 90 MHz MSS + B1 seems not to follow current regulations, i.e. MSS band operation independent of satellite operation.

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Technical Options

• 1900-1920 MHz: 3 Options, all TDD based, with/without beamforming, higher emission values possible when introducing a ‘guard band’ to public mobile above 1920 MHz

• 5855-5875 MHz: 2 options, both TDD based, with/without beamforming, technical requirements slightly deviate depending on the option because of spectrum compatibility reasons

• 1 980 – 2 010 MHz and 2 170–2 200 MHz Aero CGC: 2 potential operators could use (INMARSAT, Solaris)

• From the feedback received from market participants such as Austrian/Lufthansa/Swiss, Air France KLM, Air Berlin and British Airways during the course of the work in CEPT in recent years, it may be reasonable to expect one or two options to materialise in the future (current assumption!)

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Outlook

• Based on the situation described before, it is believed that CEPT administrations may further consider the selection and authorisation process for a DA2GC provider in 1900-1920 MHz and also for the 5855-5875 MHz range. This action may be supported by the EC. For each single frequency band, stakeholder need to clearly come forward requesting an European harmonised solution, otherwise, it may be difficult to get final EU implementation acts in place for BDA2GC.

• An EU led selection process seems to have very limited support among EU member states.

• Higher frequencies & outside of Europe: FCC considers regulation in 14-14.5 GHz for the future – if interest stated from stakeholders, this may be considered in CEPT in the future (not for implementation by end of 2017). APT (Asia/Pacific) also investigates the situation. China does field trials and has implemented a first DA2GC one domestic flight route.

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- Existing licenses in relevant frequency bands(is the band used? Compatible with exist. Use?)

- Technology and service neutrality (common technical framework)- Efficient use of the relevant spectrum throughout Europe (non-exclusive/sharing)- Value of the relevant spectrum- Competition aspects- Confidence in the market to single out (a) viable BDA2GC operator(s) and technical

solution- Roaming possibilities if BDA2GC is provided by different operators in different countries- Bringing into use and coverage conditions (roll-out)- Sanctions for not bringing BDA2GC into use according to a stipulated schedule or

conditions- Possibility to review and withdraw harmonisation measures (with or without a selection

process)- Alternative uses in countries where BDA2GC is not implemented or partial implemented

Identified Challenges identified in CEPT/ECC

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Thank you for you attention

[email protected]

www.cept.org/eco

www.cept.org/ecc

www.efis.dk

Questions??

See also whitepaper