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Commitments and Contingencies (Tables)
3 Months Ended
Mar. 31, 2022
Commitments and Contingencies  
Schedule of future maturities of long-term debt, finance lease and contractual obligations

For the Years Ending December 31,

Other Long-Term Obligations (1)

(In thousands)

2022 (remaining nine months)

$

2,498,190

2023

1,025,629

2024

1,110,322

2025

1,185,113

2026

1,179,142

Thereafter

4,846,074

Total

$

11,844,470

(1)Represents minimum contractual commitments related to communication tower obligations, certain 5G Network Deployment commitments, obligations under the NSA with AT&T, and satellite related and other obligations.
Summary of Wireless Spectrum Licenses

Carrying

Build-Out Deadlines

Expiration

Amount

Interim

Final

Date

(In thousands)

Owned:

DBS Licenses (1)

$

677,409

700 MHz Licenses

711,871

June 14, 2022 (2)

June 14, 2023 (3)

June 2023

AWS-4 Licenses

1,940,000

June 14, 2022 (2)

June 14, 2023 (3)

June 2023

H Block Licenses

1,671,506

June 14, 2022 (2)

June 14, 2023 (4)

June 2023

600 MHz Licenses

6,212,579

June 14, 2025 (5)

June 2029

MVDDS Licenses (1)

24,000

August 2024

LMDS Licenses (1)

September 2028

28 GHz Licenses

2,883

October 2, 2029 (6)

October 2029

24 GHz Licenses

11,772

December 11, 2029 (6)

December 2029

37 GHz, 39 GHz and 47 GHz Licenses

202,533

June 4, 2030 (6)

June 2030

3550-3650 MHz Licenses

912,939

March 12, 2031 (6)

March 2031

3.7-3.98 GHz Licenses

2,580

July 23, 2029 (6)

July 23, 2033 (6)

July 2036

Subtotal

12,370,072

Non-controlling Investments:

Northstar

5,618,930

October 2025 (7)

October 2025 (7)

SNR

4,271,459

October 2025 (7)

October 2025 (7)

Total AWS-3 Licenses

9,890,389

Capitalized Interest (8)

6,628,006

Total as of March 31, 2022

$

28,888,467

Licenses awarded by the FCC post March 31, 2022 (9)

3.45–3.55 GHz Licenses

7,327,989

Total

$

36,216,456

(1)The build-out deadlines for these licenses have been met.
(2)For these licenses, we must offer 5G broadband service to at least 20% of the United States population and have developed a core network by this date.
(3)For these licenses, we must offer 5G broadband service to 70% of the United States population by this date; provided, however, if by June 14, 2023, we are offering 5G broadband service with respect to these licenses to at least 50% of the population of the United States, the final deadline shall be further extended automatically to June 14, 2025, for us to construct and offer 5G broadband service to at least 70% of the population in each Economic Area (which is a service area established by the FCC) with respect to these licenses.
(4)For these licenses, we must offer 5G broadband service to at least 70% of the United States population by this date; provided, however, that if by June 14, 2023, we are offering 5G broadband service with respect to these licenses to at least 50% of the population of the United States, the final deadline shall be further extended automatically to June 14, 2025, for us to construct and offer 5G broadband service to at least 75% of the population in each Economic Area with respect to these licenses.
(5)For these licenses, we must offer 5G broadband service to at least 75% of the population in each Partial Economic Area (which are service areas established by the FCC) by this date. We have also acquired certain additional 600 MHz licenses through private transactions. These licenses are currently subject to their original FCC buildout deadlines.
(6)There are a variety of build-out options and associated build-out metrics associated with these licenses.

(7)For these licenses, Northstar Wireless and SNR Wireless must provide reliable signal coverage and offer service to at least 75% of the population of each license area by this date. The AWS-3 interim build-out requirement was not met and as a result, the AWS-3 expiration date and the AWS-3 final build-out requirement will be accelerated by two years (from October 2027 to October 2025) for each AWS-3 License area in which Northstar Wireless and SNR Wireless do not meet the requirement.
(8)See Note 2 for further information.
(9)On January 14, 2022, the FCC announced that Weminuche, a wholly-owned subsidiary of DISH Network, was the winning bidder of 1,232 Flexible-Use Service Licenses in the 3.45–3.55 GHz band, with Weminuche’s aggregate winning bids totaling approximately $7.328 billion. During the third quarter of 2021, we paid $123 million to the FCC as a deposit for Auction 110, which is included in “Other noncurrent assets, net” and “Other current assets” on our Condensed Consolidated Balance Sheets as of March 31, 2022 and December 31, 2021, respectively. In January and February 2022, we paid the remaining balance of our winning bids of approximately $7.205 billion, which is included in “Other noncurrent assets, net” on our Condensed Consolidated Balance Sheets as of March 31, 2022. On May 4, 2022, the FCC issued an order granting Weminuche’s application to acquire the 3.45–3.55 GHz licenses (the “3.45–3.55 GHz Licenses”). During the second quarter of 2022, the $7.328 billion of licenses will be reclassified from “Other noncurrent assets, net” to “FCC Authorizations” on our Condensed Consolidated Balance Sheets.