Filed by General Motors Corporation
                                    Subject Company - General Motors Corporation
                                              and Hughes Electronics Corporation
                           Pursuant to Rule 425 under the Securities Act of 1933
                                        and Deemed Filed Pursuant to Rule 14a-12
                                       under the Securities Exchange Act of 1934
                                                  Commission File No.: 001-00143


                                                  EXPEDITED PROCESSING REQUESTED

                                   BEFORE THE
                        FEDERAL COMMUNICATIONS COMMISSION
                             WASHINGTON, D.C. 20554


In the Matter of                            )
                                            )
EchoStar Satellite Corporation              )
and Hughes Electronics Corporation          )           File No. ___________
                                            )
                                            )
for Authority to Launch and Operate         )
NEW ECHOSTAR 1 (USABBS-16)                  )


                       APPLICATION FOR AUTHORITY TO LAUNCH
                     AND OPERATE NEW ECHOSTAR 1 (USABBS-16)


         EchoStar Satellite Corporation ("EchoStar") and Hughes Electronics
Corporation ("Hughes," and together with EchoStar, the "Applicants") hereby
apply for authority to launch and operate a new state-of-the-art, spot-beam
direct broadcast satellite, NEW ECHOSTAR 1, at the 110 Degrees W.L. orbital
location. NEW ECHOSTAR 1 is a temporary name for what will become the fifth
spot-beam satellite and the sixteenth overall satellite in the merged company's
fleet.

         Together with the other satellites operated or proposed by the
Applicants, NEW ECHOSTAR 1 will help usher in one of the most dramatic of many
public interest benefits that will flow directly from the merger of EchoStar's
parent corporation, EchoStar Communications Corporation ("ECC"), and Hughes(1)
The companies' two services, DISH Network and DIRECTV(R), today each transmit a
total of more than 500 identical channels.


----------
(1)      By a separate application, ECC and Hughes have proposed to transfer
         their authorizations to Hughes, which will have a new ownership
         structure and will be renamed EchoStar Communications Corporation ("New
         EchoStar"). See Consolidated Application of EchoStar Communications
         Corporation, General Motors Corporation, Hughes Electronics Corporation
         for Authority to Transfer Control, CS Docket No. 01-348 (filed Dec. 3,
         2001) ("New EchoStar Transfer Application").



                                                  EXPEDITED PROCESSING REQUESTED


Consumers will benefit from the massive increase in Direct Broadcast Satellite
("DBS") capacity that will result from the elimination of this duplicative
programming. Indeed, as a direct result of the completion of this merger,
consumers across the United States will have access to local broadcast channels
with digital-quality television pictures and CD-quality sound in every one of
the 210 Designated Market Areas ("DMAs") covering the country.

         Subsequent to the announcement of the merger agreement on October 28,
2001, as part of the pre-merger transition process, meetings between EchoStar
and DIRECTV personnel have been held to analyze the technical and economic
feasibility of a "Local Channels, All Americans" plan by which the merged
company could offer every U.S. consumer access to satellite-delivered local
television signals. After an exhaustive examination of each company's spectrum
and satellite assets, as well as questions of commercial feasibility, the
companies determined that this plan could become a reality.

         By this Application, New EchoStar presents a technically and
commercially feasible plan to build, launch and operate a spot-beam spacecraft,
NEW ECHOSTAR 1, that, when combined and integrated with the other satellite and
spectrum assets of the merged company at all three DBS CONUS orbital locations,
will serve all 210 DMAs in the United States, including Alaska and Hawaii, and
including full compliance with must carry requirements. The DIRECTV and DISH
Network engineers have designed a system that enables the receipt of local
channels, other entertainment services and high-speed Internet access using one
consumer friendly mini-dish. That 18 x 22-inch satellite dish will enable the
receipt of signals from the merged company's multiple orbital locations. New
EchoStar will deploy new set-top boxes and satellite dishes free of charge to
all existing DIRECTV and DISH Network subscribers who may need them in order to
receive their local channels. Consumers across the country will pay the same
price for this


                                       2

                                                  EXPEDITED PROCESSING REQUESTED


DBS service, i.e., one nation, one rate card, regardless of a subscriber's
location. Implementation of the plan will begin immediately upon regulatory
approval of the merger, and approval of this Application, and the rollout out
can be completed as soon as 24 months thereafter.

         Only New EchoStar will be able to undertake this "Local Channels, All
Americans" service plan because only the merger will:

         o        end inefficient use of the DBS spectrum by eliminating the
                  need for each of DIRECTV and EchoStar to transmit more than
                  500 channels of duplicative programming;

         o        combine and rationalize each company's spectrum and advanced
                  satellite assets in a way that makes the plan technically
                  feasible; and

         o        combine the companies' subscriber bases to make it
                  commercially feasible to serve smaller markets and to
                  construct and launch the additional satellite capacity that is
                  necessary to implement the plan.

The addition of NEW ECHOSTAR 1 to New EchoStar's existing and planned
constellation of DBS satellites will provide the necessary additional satellite
capacity to implement the "Local Channels, All Americans" plan in a technically
feasible and commercially viable manner, rather than the technically infeasible
and commercially unrealistic approaches proposed by some opponents of the
merger(2) NEW ECHOSTAR 1 will use a combination of the DBS


----------
(2)      Certain petitioners have speculated that each company alone might be
         able to replicate the benefits of the merger by building
         "super-satellites" of the petitioners' own design. See, e.g., Petition
         to Deny of the National Rural Telecommunications Cooperative, CS Docket
         No. 01-348 (Feb. 4, 2002), Exhibit O (Declaration of Walter L. Morgan);
         Petition to Deny of Pegasus Communications Corporation, CS Docket No.
         01-348 (Feb. 4, 2002), Attachment B (Affidavit and Report of Roger J.
         Rusch). To the extent not mooted by the "Local Channels, All Americans"
         plan that will be facilitated by the successful launch and positioning
         of New EchoStar 1 at 110 Degrees W.L., such proposals are both
         technically flawed and disregard entirely the issue of commercial
         feasibility. See Hughes and EchoStar, Opposition to Petitions to Deny
         (Feb. 25, 2002), at Attachment B (Declaration of Dr. Richard J.
         Barnett), at Paragraphs 45-72; Id., Attachment A (Declaration of Dr.
         Robert D. Willig), at Paragraphs 9-17. Only the merger will rationalize
         the available DBS spectrum and provide the capacity, scale and
         subscriber base necessary to achieve full local channel service
         coverage of every DMA in the United States.


                                       3


                                                  EXPEDITED PROCESSING REQUESTED


frequencies(3) at 110 Degrees W.L. that are currently licensed to EchoStar and
DIRECTV Enterprises, Inc. ("DIRECTV"), a wholly owned subsidiary of Hughes, and
will work as an integrated system with the current and planned spot-beam
satellite assets of EchoStar and DIRECTV at all three DBS CONUS orbital
locations to provide the capacity and coverage necessary to provide the "Local
Channels, All Americans" service.

         The "Local Channels, All Americans" plan will allow New EchoStar to
offer, for the first time, to all consumers nationwide a complete substitute to
incumbent cable system video offerings, and thereby permit New EchoStar to
achieve a new level of vigorous competition to incumbent cable operators. In
this regard, the merger is the only way to truly implement Congress' vision
under the Satellite Home Viewer Improvement Act of 1999(4) The merger will allow
New EchoStar to implement Congress' goal of true, nationwide competition to
cable television by allowing satellite carriage of local television signals.
Thus, the Applicants submit that grant of this Application is manifestly in the
public interest.

         This Application is being filed pursuant to established precedent and
the Commission's policy permitting conditional "accommodation" applications(5)
The Applicants request this


----------
(3)      The FCC has channelized the available DBS spectrum into thirty-two
         frequency bands or RF channels. For clarity, these channelized
         frequency bands will be referred to in this Application as "DBS
         frequencies."

(4)      Satellite Home Viewer Improvement Act of 1999, Pub. L. No. 106-113, 113
         Stat. 1501, 1501A-526 to 1501A-545 (Nov. 29, 1999) ("SHVIA").

(5)      The FCC has explicitly allowed such applications in the satellite area.
         See, e.g., Applications of Hughes Communications Galaxy, Inc., 3 FCC
         Rcd 6989, Paragraph 11 (1988) (replacement satellite applications filed
         in anticipation of assignment of satellite licenses from Western Union
         to Hughes). The submission of such applications also has a long history
         in the broadcast area. See, e.g., KTB Broadcasting, Inc., 48 FCC 2d 635
         (1974); In re Bronco Broadcasting Co., 32 RR 2d 213 (1974). In fact, in
         the broadcast area, this concept has actually been codified in a rule
         that allows a proposed assignee to file the application directly. See
         47 C.F.R. Sec. 73.3517(a).



                                       4




                                                  EXPEDITED PROCESSING REQUESTED

authority subject to, and contingent upon, the grant of the New EchoStar
Transfer Application. The Applicants request that the authority applied for
herein be held by EchoStar Satellite Corporation, which, upon consummation of
the ECC-Hughes merger will be a wholly-owned subsidiary of New EchoStar.

I.       BACKGROUND

         NEW ECHOSTAR 1 will be collocated with the other existing and planned
New EchoStar-controlled spacecraft at the 110 Degrees W.L. orbital location, and
will be integrated into the overall New EchoStar DBS constellation. As set forth
in the New EchoStar Transfer Application, the New EchoStar DBS constellation
will result from the proposed combination of the existing DBS systems operated
by EchoStar and by DIRECTV.(6)

         EchoStar and other EchoStar subsidiaries own and operate six
operational DBS satellites located at the 61.5 Degrees W.L., 110 Degrees W.L.,
119 Degrees W.L., and 148 Degrees W.L. orbital positions. EchoStar's seventh DBS
satellite, EchoStar 7, which is equipped with state-of-the-art spot-beam
technology, was launched four days ago on February 21, 2002. EchoStar also plans
to launch an additional spot-beam satellite, EchoStar 8, in 2002. Through its
DISH Network brand, EchoStar is now a provider of DBS service to more than 6
million U.S. subscribers.

         DIRECTV Enterprises, Inc.(7) currently is the licensee for a DBS system
consisting of six high-power DBS satellites, which are located at the
101 Degrees W.L., 110 Degrees W.L. and 119 Degrees W.L. orbital


----------

(6)      See generally New EchoStar Transfer Application.

(7)      USSB II, Inc., a wholly owned subsidiary of DIRECTV, is the licensee of
         five of the thirty-two frequencies at the 101 Degrees W.L. orbital
         location and three of the thirty-two frequencies at the 110 Degrees
         W.L. orbital location. See United States Satellite Broadcasting Co.,
         Inc. Transferor and DIRECTV Enterprises, Inc. Transferee; For Consent
         to Transfer of Control of the USSB II, Inc. Authorization to Operate a
         Direct Broadcast Satellite System Using Five Channels at the 101
         Degrees W.L. Orbital Location; Authorization to Construct, Launch, and
         Operate a Direct Broadcast Satellite System Using Three Channels at the
         110 Degrees W.L. Orbital Location; and the Related Earth Registration
         (Call Sign E930437); United States Satellite Broadcasting Co. Inc.
         Application for Additional Time to Construct and Launch a Direct
         Broadcast Satellite at the 110 Degrees W.L. Orbital Location, Order and
         Authorization, 14 FCC Rcd 4585 (1999).


                                       5

                                                  EXPEDITED PROCESSING REQUESTED


positions.(8) This constellation includes DIRECTV's newest satellite, a
spot-beam satellite known as DIRECTV 4S, which is located at 101 Degrees W.L. In
addition, DIRECTV has contracted with Space Systems/Loral to construct another
high-power spot-beam satellite, DIRECTV 7S. DIRECTV uses its satellites to
provide DBS service to more than 10.7 million U.S. customers.(9)

II.      NEW ECHOSTAR LOCAL BROADCAST CHANNEL CAPABILITY

         EchoStar currently provides satellite-delivered local broadcast
channels in 36 DMAs using full-CONUS(10) satellite beams, as well as satellites
at the 61.5 Degrees W.L. and 148 Degrees W.L. orbital locations. With EchoStar 7
and 8, EchoStar expects to be able to provide local broadcast channels in
approximately 50 DMAs from satellites located at CONUS orbital locations. With
all of these satellite assets in place, EchoStar would be capable of utilizing
ten of its fifty licensed CONUS DBS frequencies - or 20% of its licensed CONUS
spectrum - to deliver local broadcast channels to approximately 50 DMAs.

         DIRECTV currently provides satellite-delivered local broadcast channels
in 41 DMAs by utilizing the spot-beam capability on DIRECTV 4S and six of the
thirty-two DBS frequencies at


----------

(8)      DIRECTV has been granted authority to launch and operate its seventh
         high-power DBS satellite, DIRECTV 5 (formerly Tempo 1), at the 119
         Degrees W.L. orbital location. DIRECTV Enterprises, Inc. (For Authority
         to Launch and Operate a Direct Broadcast Satellite Service Space
         Station), Order and Authorization, 15 FCC Rcd 23630 (2000).

(9)      This figure includes approximately 1.9 million customers served by
         NRTC, its members and affiliates.

(10)     The Applicants have designed their respective satellite constellations
         to provide national coverage, i.e., coverage of the contiguous United
         States, Alaska and Hawaii. However, for ease of reference, the
         Applicants will use the term "CONUS" beams herein.


                                       6

                                                  EXPEDITED PROCESSING REQUESTED



the 101 Degrees W.L. orbital location.(11) In addition, DIRECTV plans to launch
DIRECTV 7S, a state-of-the-art spot-beam satellite, into the 119 Degrees W.L.
orbital location in 2003.(12) DIRECTV 7S is capable of utilizing four of the
thirty-two DBS frequencies at the 119 Degrees W.L. orbital location. DIRECTV
plans to use DIRECTV 7S to provide local broadcast channels to approximately 29
additional DMAs. With all of these satellite assets in place, DIRECTV would be
capable of utilizing ten of its forty-six licensed DBS frequencies - or more
than 22% of its licensed spectrum - to deliver local broadcast channels to
approximately 70 DMAs.

         The ECC-Hughes merger will dramatically increase the spectrum resources
available to New EchoStar by eliminating the current duplication of more than
500 channels of programming


----------

(11)     DIRECTV uses a small amount of CONUS capacity in conjunction with this
         spot-beam capacity to deliver local broadcast channels to these 41
         DMAs.

(12)     Pending the launch of DIRECTV 7S, DIRECTV has announced plans to add
         local stations in 10 additional DMAs in 2002 through the interim use of
         CONUS beam capability on several of the DBS frequencies at the 119
         Degrees W.L. orbital location.


                                       7


                                                  EXPEDITED PROCESSING REQUESTED


and will provide the combined firm with the necessary capacity to provide local
broadcast channel service to all 210 DMAs and 107 million television households,
as shown below:


   [Map of the United States with the phrase "107 Million Households" written
                                  across it.]

         New EchoStar's plan will involve five spot-beam satellites, capable of
utilizing 28 DBS frequencies for spot beams. New EchoStar will use that
constellation to provide local broadcast channel service to all 210 DMAs, along
with necessary back-up and service expansion capabilities. The key to the "Local
Channels, All Americans" plan is the combination of the DIRECTV and EchoStar
spectrum at 110 Degrees W.L. and the elimination of duplicative programming
currently provided to customers from the 110 Degrees W.L. orbital location and
the other DBS orbital locations. This more efficient frequency use will allow
New EchoStar to utilize eight of the thirty-two available DBS downlink
frequencies at 110 Degrees W.L. - five DBS frequencies that currently are
licensed to EchoStar and three DBS frequencies that currently are licensed to
DIRECTV - for spot-beam delivery of local broadcast channels without displacing
capacity for national programming that is necessary to meet consumer demand and
compete with incumbent cable operators.


                                       8


                                                  EXPEDITED PROCESSING REQUESTED


         In addition, the ability of New EchoStar to consolidate and utilize all
thirty-two DBS frequencies at 110 Degrees W.L. will further facilitate the
provision of local broadcast channels to all 210 DMAs by vastly simplifyinG and
streamlining the facilities needed to uplink the local broadcast channel
programming from these disparate DMAs. The Applicants expect that the NEW
ECHOSTAR 1 satellite will require two distinct uplink facilities, including
existing DIRECTV and EchoStar facilities located in Los Angeles, CA and
Cheyenne, WY, respectively, and that the overall plan will require a minimum of
four uplink facilities. Only New EchoStar will realistically be able to
accumulate the uplink facilities necessary to implement the "Local Channels, All
Americans" plan.

         Under the new plan, New EchoStar will still be able to devote a
significantly greater number of DBS frequencies to national programming than
each company does today. The frequencies allocated for local broadcast channel
service will represent a commercially and technically reasonable balance between
local broadcast channel programming and the national programming that DBS
providers must continue to develop and expand to provide true competition to the
services offered by incumbent cable operators.

         In stark contrast, if either EchoStar or DIRECTV were to attempt to
offer a "Local Channels, All Americans" plan without the merger, the DBS
frequencies necessary to provide local broadcast channels to 210 DMAs would
require EchoStar or DIRECTV to drop a significant number of national channels
(or the advanced services that could be carried in lieu of these national
channels) from its programming line-up. For example, for each additional
frequency needed to provide local broadcast service, the DBS firms would be
unable to carry


                                       9

                                                  EXPEDITED PROCESSING REQUESTED


roughly ten channels of national programming or to expand advanced services by
an equivalent amount. The cost of dropping so many national channels (or
advanced services) would be devastating to their respective businesses. Simply
put, neither EchoStar nor DIRECTV could allocate such an imbalanced amount of
their scarce licensed CONUS spectrum to providing local broadcast channels
without destroying the financial viability of their respective DBS businesses by
sacrificing spectrum needed for new and additional national programming
necessary to compete with cable, including expansion capacity for HDTV,
pay-per-view, video-on-demand, and interactive and foreign language
channels.(13) Thus, it is only the ECC-Hughes merger that will free up the
spectrum that is needed to implement a "Local Channels, All Americans" plan.

         New EchoStar will implement the satellite constellation for the "Local
Channels, All Americans" plan by using a flexible combination of capacity from
NEW ECHOSTAR 1 (at 110 Degrees W.L.) and the four current and planned EchoStar
and DIRECTV spot-beam satellites, Echostar 8 (at 110 Degrees W.L.), DIRECTV 4S
(at 101 Degrees W.L.), Echostar 7 (at 119 Degrees W.L.) and DIRECTV 7S (at 119
Degrees W.L.). When fully implemented, the combination of these assets will
provide sufficient spot-beam capacity to cover all 210 DMAs, allow for
significant spot-beam capacity at each of the three DBS CONUS orbital locations,
and supply mutual, in-orbit back-up of spot-beam capability and allow for the
development and expansion of new services.

         Freeing up spectrum will, of course, require a transition process. The
EchoStar and DIRECTV spot-beam satellites will continue to serve their
respective customer bases until the transition period is complete, at which time
the newly freed up spot-beam capacity can be used to expand the number of DMAs
provided with local broadcast channel service.


----------
(13)     As set forth in the ECC-Hughes Opposition it is not technically or
         economically feasible for either EchoStar or DIRECTV alone to provide
         local broadcast channels to all 210 DMAs. See Opposition at Attachment
         B (Declaration of Dr. Richard J. Barnett), at Paragraphs 3-7, 13-15;
         Id., Attachment A (Declaration of Dr. Robert D. Willig), at Paragraphs
         9-15.


                                       10


                                                  EXPEDITED PROCESSING REQUESTED


         However, even after the transition to a common platform, the four
existing and planned spot-beam satellites will not be sufficient to provide
local broadcast channels in all 210 DMAs. NEW ECHOSTAR 1 fills that void. NEW
ECHOSTAR 1 will provide the capacity necessary to serve the remaining DMAs. NEW
ECHOSTAR 1 will be an all spot-beam satellite using eight DBS frequencies at 110
Degrees W.L. that are now split between the two companies - five DBS frequencies
that currently are licensed to EchoStar and three DBS frequencies that currently
are licensed to DIRECTV.

         Finally, each of the four current and planned spot-beam satellites has
the flexibility to provide CONUS capacity in addition to the available spot-beam
capacity. Once NEW ECHOSTAR 1 is launched and in service, some or all of these
four satellites will be able to provide New EchoStar in-orbit capacity to launch
new and additional national programming.

III.     AUTHORITY REQUESTED

         NEW ECHOSTAR 1 will be a 3-axis stabilized 10 kW class spacecraft
designed to provide U.S. domestic broadcast satellite service. NEW ECHOSTAR 1
will be a spot-beam satellite specifically intended to provide additional local
broadcast channel programming capacity for New EchoStar's DBS system. The
satellite is described in detail in the Technical Annex attached hereto.

         At the time of the launch of NEW ECHOSTAR 1, the New EchoStar
constellation of satellites at 110 Degrees W.L. is expected to include the
DIRECTV 1 satellite and the EchoStar 5 and 8 satellites. New EchoStar will
control the licenses for all thirty-two frequencies at the 110 Degrees W.L.
orbital location. By this Application, New EchoStar requests authorization to
launch and operate


                                       11

                                                  EXPEDITED PROCESSING REQUESTED


NEW ECHOSTAR 1 at the 110 Degrees W.L. orbital location, collocated with the
other New EchoStar satellite assets listed above.

IV.      GENERAL TECHNICAL INFORMATION AND INTERFERENCE ANALYSES

         The Technical Annex contains a technical description of the NEW
ECHOSTAR 1 satellite. Interference analyses performed in accordance with ITU
Radio Regulations Appendices S30 and S30A will be submitted shortly. Although
the complex analysis of Section 2 of Annex 1 of Appendix S30 (MSPACE) will be
performed in the near future for NEW ECHOSTAR 1 to determine if coordination
with other administrations is required, NEW ECHOSTAR 1 expects to be in full
compliance with all other applicable international interference criteria and
limitations of Appendices S30 and S30A.

V.       APPLICANT QUALIFICATIONS

         DIRECTV and EchoStar each are DBS licensees whose legal qualifications
are a matter of public record. New EchoStar is likewise fully qualified to
control DBS licenses, and the Commission will have so found upon the grant of
the New EchoStar Transfer Application. For DBS systems, the Commission has not
required a prior demonstration of financial qualifications, but instead has
relied on the applicant meeting due diligence milestones once a system is
authorized.(14) DIRECTV and EchoStar have fully met the due diligence milestones
for their respective DBS systems, and upon consummation of the ECC-Hughes
merger, New EchoStar will have sufficient financial resources available to cover
the costs of launching and operating the NEW ECHOSTAR 1 satellite.


----------
(14)     See 47 C.F.R. Section 100.19.


                                       12


                                                  EXPEDITED PROCESSING REQUESTED


VI.      TYPE OF OPERATIONS

         New EchoStar intends to operate NEW ECHOSTAR 1 on a non-broadcast,
non-common carrier basis. New EchoStar may sell and/or lease a portion of its
capacity on a non-common carrier basis for complementary business purposes.

VII.     SCHEDULE

         The expected launch date of NEW ECHOSTAR 1 is twenty-four months after
the grant of this Application and the New EchoStar Transfer Application.

VIII.    PUBLIC INTEREST CONSIDERATIONS

         As described more fully in the Applicants' pleadings filed in
connection with the New EchoStar Transfer Application, the merger of Hughes and
ECC will provide New EchoStar access to a tremendous amount of DBS capacity
freed up by the elimination of more than 500 identical channels of duplicative
programming content. When combined with the spectrum and other efficiencies that
can result only from the merger, the integration of the existing and planned
satellite assets of EchoStar and DIRECTV, and the successful launch and
positioning of NEW ECHOSTAR 1 at the 110 Degrees W.L. orbital position will
allow New EchoStar to achieve its "Local Channels, All Americans" service
vision, and in the process, will have a number of specific and important public
interest benefits. These include:

            o LOCAL CHANNEL SERVICE IN EVERY DMA, INCLUDING RURAL AREAS

         Neither EchoStar nor DIRECTV as a standalone DBS provider has the
necessary spectrum and subscriber base to warrant serving more than 50-70 DMAs
with current or planned DBS satellites.(15) The creation of New EchoStar
radically changes that equation, and the corresponding launch of NEW ECHOSTAR 1
will make possible a service vision that will bring local broadcast channel
service with digital-quality pictures and CD-quality sound to all Americans.


----------
(15)     See Opposition at Attachment A (Declaration of Dr. Robert D. Willig)
         at Paragraphs 9-15.


                                       13


                                                  EXPEDITED PROCESSING REQUESTED


         Today, only 65 million television households - i.e., those viewers
residing within the 42 DMAs presently served by EchoStar and DIRECTV - can
receive local channel service via satellite. That leaves some 42 million
television households that are not served with satellite-delivered local
channels - consumers who are therefore forced either to pay additional fees to
subscribe to basic cable service in order to receive local channels, or to
install an off-air rooftop antenna - and hope for good reception.

         By supplementing the current and planned satellite configuration of
EchoStar and DIRECTV with NEW ECHOSTAR 1, New EchoStar will address this
fundamental service discrepancy in less densely populated markets. New EchoStar
will offer local channel service in every one of the 210 DMAs covering the
entire United States, including Alaska and Hawaii. Thus, the launch of NEW
ECHOSTAR 1, in conjunction with the Applicants' other satellites, helps achieve
one of the most fundamental public interest objectives of the Communications
Act, namely, "mak[ing] available, so far as possible, to all the people of the
United States" the benefits of local broadcast television.(16)

           o BENEFITS TO LOCAL BROADCASTERS

         As discussed, the "Local Channels, All Americans" plan will be a
tremendous benefit to television viewers outside of the top 50-70 DMAs because,
without the merger, they would otherwise likely never have access to
satellite-delivered local broadcast channels. Correspondingly, television
broadcasters in these areas will have their signals delivered into many
additional households with digital-quality television pictures and CD-quality
sound. In


----------
(16)     47 U.S.C. Section 151.


                                       14

                                                  EXPEDITED PROCESSING REQUESTED


fact, in many of these areas, which may be distant from a television transmitter
site, television viewers cannot obtain an over-the-air signal that provides a
clear picture without ghosting or "snow." And some of these areas may not have
access to over-the-air broadcast television signals at all, meaning that NEW
ECHOSTAR 1 will directly facilitate the receipt of local broadcast stations by
new viewers. Finally, in offering local broadcast channel service on a
nationwide basis, New EchoStar will comply fully with must carry obligations.

         In opposing the creation of New EchoStar, the National Association of
Broadcasters ("NAB") expressed its members' strong desire to see the satellite
carriage of local television stations in all of the nation's 210 DMAs. The NAB
expressed the fear that the merger of ECC and Hughes would end "a DBS rivalry
that has led to carriage of local broadcast stations in many markets on one or
both DBS systems."(17) The NAB has also testified as to the "enormous economic
and technical hurdles" involved in attempting to bring local channel service to
"markets 101 through 210."(18)

         New EchoStar's "Local Channels, All Americans" plan answers these
complaints dispositively. Television broadcast station owners should now welcome
the merger as it is the only way their desire for DBS carriage in all 210 DMAs
will be satisfied.

           o ENHANCED DBS COMPETITION TO INCUMBENT CABLE TELEVISION OPERATORS

         The "Local Channels, All Americans" service vision that will be
achieved by the merger of ECC and Hughes and the concomitant launch of NEW
ECHOSTAR 1 will finally allow DBS service to be the complete substitute to
traditional cable television offerings envisioned by


----------
(17)     National Association of Broadcasters, Petition to Deny, CS Docket No.
         01-348 (Feb. 4, 2002) ("NAB Petition"), at 3.

(18)     Written Testimony of Michael J. Fiorile, Dispatch Broadcast Group &
         National Association of Broadcasters, Before the House Subcommittee on
         Telecommunications and the Internet (Dec. 4, 2001), at 25.


                                       15


                                                  EXPEDITED PROCESSING REQUESTED


Congress when it enacted the Satellite Home Viewer Improvement Act of 1999.(19)
Due to a federal statute that prevented DBS providers from retransmitting local
broadcast channels to subscribers located in the markets of those stations, DBS
providers historically had operated at a significant competitive disadvantage
vis-a-vis cable operators in the multichannel video programming distributor
("MVPD") market. Consumers in the past reported that their inability to receive
local broadcast signals from DBS operators negatively affected their decision to
subscribe to DBS. In enacting the SHVIA in 1999, Congress granted satellite
carriers a permanent compulsory copyright license to retransmit local broadcast
television programming, thereby removing one of the most significant barriers to
DBS operators fully competing in the MVPD market. Congress acknowledged that
without the legal authority to distribute local broadcast signals, satellite
television simply would not be a complete substitute for the MVPD services
offered by market dominant incumbent cable television operators.(20)


----------
(19)     See, supra, note 4.

(20)     H.R. REP. NO. 106-79, pt. 1, at 11-15 (1999).


                                       16

                                                  EXPEDITED PROCESSING REQUESTED


         As shown on the map below, currently 104 million of the 107 million
television households reside in a cable franchise area.


   [Map of the United States with the phrase "104 Million Households" written
                                  across it.]










                                       17


                                                  EXPEDITED PROCESSING REQUESTED


Today, as shown below, only 65 million of the 107 million television households,
those within the 42 DMAs served with local channels by DIRECTV and DISH Network,
have a fully competitive alternative to cable.


   [Map of the United States with the phrase "65 Million Households" written
                                  across it.]







                                       18


                                                  EXPEDITED PROCESSING REQUESTED


That leaves 42 million television households without a true competitive
alternative to cable because residents in those markets do not have access to a
DBS offering that includes satellite-delivered local broadcast channels, as
shown on the map below.


 [Map of the United States with the phrase "42 Million TV Households Unserved"
                              written across it.]

         As mentioned above, customers who live in markets in which neither
EchoStar nor DIRECTV provide local channels are forced either to pay additional
subscription fees for a basic cable service, or install an off-air roof-top
antenna. The merger of ECC and Hughes, and the subsequent implementation of the
"Local Channels, All Americans" plan, will allow all 107 million television
households in the United States to have a fully competitive cable alternative.

         As Congress and the Commission both have recognized, the continued
success of DBS is integral to the establishment of a more competitive market for
the delivery of MVPD services. In the Commission's most recent report on the
status of competition in the MVPD market, the


                                       19

                                                  EXPEDITED PROCESSING REQUESTED


Commission reiterated that "DBS is the largest competitor to cable in the MVPD
market."(21) Nevertheless, as of June 2001, approximately 80% of all MVPD
subscribers still receive their video programming from a franchised cable
operator.(22) As the Commission has found, DBS's MVPD market share has grown.
Indeed, the Commission stated that the increase in DBS's share of MVPD
households to more than 18% nationally(23) has been attributed, in part, to the
authority granted by SHVIA to DBS providers to distribute local broadcast
television stations in their local markets.(24)

         By offering attractive programming packages that include local
broadcast offerings to all consumers at competitive prices set on a uniform
nationwide basis, New EchoStar will continue to drive the evolution of DBS as
the most formidable competitor to incumbent cable operators. As cable systems
continue to "go digital" to compete with the product features that DBS operators
have already brought to the MVPD marketplace, New EchoStar will continue to
compete aggressively with the cable incumbents and drive them to improve their
own products, pricing, and service quality. The launch and operation of NEW
ECHOSTAR 1 is necessary to achieve this goal.

           o CONTINUATION OF SATELLITE INNOVATION AND SPECTRUM EFFICIENCY

         The new state-of-the-art NEW ECHOSTAR 1 satellite, which employs
spot-beam technology to provide service while limiting interference, is designed
to provide expanded capacity for New EchoStar's DBS system on a spectrally
efficient basis. Moreover, new


----------

(21)     Annual Assessment of the Status of Competition in the Market for the
         Delivery of Video Programming, Eighth Annual Report, CS Docket No.
         01-129 (rel. Jan. 14, 2002) ("Eighth Report") at Paragraph 56.

(22)     Id. at Paragraph 5.

(23)     Id. at Paragraph 8.

(24)     Id.


                                       20

                                                  EXPEDITED PROCESSING REQUESTED


consumer receiving equipment will be deployed that will allow consumers to
receive satellite signals from multiple orbital positions with a single 18 x
22-inch mini-dish.

         As described in the Technical Annex, the NEW ECHOSTAR 1 satellite will
provide up to 54 RF transponders to selected geographic regions. The 54
transponders will reuse eight of the defined 32 frequencies in the BSS Region 2
plan. The 54 transponders will form thirty-eight distinct spot beams to provide
service to the U.S. DMAs not previously served by New EchoStar's other spot-beam
satellites, EchoStar 7 and 8, and DIRECTV 4S and 7S, while limiting interference
into adjoining spot beams and maximizing the frequency reuse.

         New EchoStar also will reuse frequency on the uplink. Programming
material to feed the spot beams will be transmitted on up to 32 BSS feeder link
frequencies. Programming for the NEW ECHOSTAR 1 satellite will be transmitted
simultaneously from two distinct feeder link sites: existing DIRECTV and
EchoStar facilities in Los Angeles, CA, and Cheyenne, WY, respectively. The
overall constellation will require at least four distinct feeder link sites,
including these two facilities.

         Thus, the deployment of NEW ECHOSTAR 1 will allow for the continued
maximization of frequency reuse, an important Commission policy goal. Because
DBS ultimately is a spectrum-constrained service, the Commission should provide
DBS operators with every opportunity to increase system capacity by utilizing
the spectrum more efficiently. Authorization and deployment of NEW ECHOSTAR 1
advances this goal.

IX.      THE NEED FOR EXPEDITED PROCESSING

         In order for New EchoStar to commence construction of NEW ECHOSTAR 1
promptly after the consummation of the ECC-Hughes merger, the Applicants request
that this Application be processed on an expedited basis, and that it be granted
simultaneously with the New EchoStar


                                       21

                                                  EXPEDITED PROCESSING REQUESTED


Transfer Application or as soon as possible thereafter. Accordingly, expedited
processing of this Application is requested.

X.       SECTION 304 WAIVER

         In accordance with Section 304 of the Communications Act,(25) the
parties to this Application hereby waive any claim to the use of any particular
frequency or of the electro-magnetic spectrum as against the regulatory power of
the United States because of the previous use of the same, whether by license or
otherwise.

XI.      CONCLUSION

         As the Applicants have described in their pleadings in the proceeding
on the New EchoStar Transfer Application, the ECC-Hughes merger will eliminate
the duplication of spectrum use, rationalize the use of satellites at the 101
Degrees W.L., 110 Degrees W.L. and 119 Degrees W.L. orbital locations, and
aggregate the subscriber bases oF the two firms. Together, these merger-specific
effects all combine to allow New EchoStar to achieve what neither company could
standing alone: satellite delivery of local broadcast channel service in every
DMA in the United States, including smaller markets, rural and underserved
areas, and Alaska and Hawaii, all areas that would not receive this service
absent a merger.

         This Application to launch and operate the NEW ECHOSTAR 1 satellite
complies with all relevant Commission rules, and is the linchpin for New
EchoStar's "Local Channels, All Americans" plan. Therefore, this Application is
manifestly in the public interest, and Hughes Electronics Corporation and
EchoStar Satellite Corporation respectfully request that the Commission process
this Application in an expedited fashion and grant this Application promptly.


----------
(25)     47 U.S.C. Section 304.



                                       22

                                                  EXPEDITED PROCESSING REQUESTED


                                      Respectfully submitted,

                                      ECHOSTAR SATELLITE
                                      CORPORATION


                                      By:
                                         -----------------------------








                                       23

                                                  EXPEDITED PROCESSING REQUESTED


                                      Respectfully submitted,

                                      HUGHES ELECTRONICS CORPORATION


                                      By:
                                         -----------------------------





                                       24

                                                  EXPEDITED PROCESSING REQUESTED



                        ANTI-DRUG ABUSE ACT CERTIFICATION

         Pursuant to Section 1.2002 of the Commission's rules, 47 C.F.R. Section
1.2002, EchoStar Satellite CorporatioN certifies that neither it, nor any of its
shareholders, nor any of its officers or directors, are subject to a denial of
Federal benefits pursuant to authority granted in Section 5301 of the Anti-Drug
Abuse Act of 1988.


                                      Very truly yours,




                                      By:
                                         ------------------------------
                                         [name]
                                         [title]
                                         EchoStar Satellite Corporation


February 25, 2002





                                       25


                                                  EXPEDITED PROCESSING REQUESTED


                        ANTI-DRUG ABUSE ACT CERTIFICATION

         Pursuant to Section 1.2002 of the Commission's rules, 47 C.F.R.
Section 1.2002, Hughes Electronics Corporation certifies that neither it, nor
any of its shareholders, nor any of its officers or directors, are subject to a
denial of Federal benefits pursuant to authority granted in Section 5301 of the
Anti-Drug Abuse Act of 1988.




                                    Very truly yours,



                                    By:
                                       -----------------------------------------
                                       Eddy W. Hartenstein
                                       Corporate Senior Executive Vice President
                                       Hughes Electronics Corporation


February 25, 2002






                                       26


                                                  EXPEDITED PROCESSING REQUESTED


                       CERTIFICATION OF PERSON RESPONSIBLE
                      FOR PREPARING ENGINEERING INFORMATION
                          SUBMITTED IN THIS APPLICATION


         I hereby certify that I am the technically qualified person responsible
for preparation of the engineering information contained in this Application,
that I am familiar with Parts 25 and 100 of the Commission's Rules, that I have
either prepared or reviewed the engineering information submitted in this
Application, and that it is complete and accurate to the best of my knowledge.




                                       By:
                                          --------------------------------------
                                          James R. Butterworth
                                          Vice President, Communications Systems
                                          DIRECTV, Inc.



February 25, 2002





                                       27


                                                  EXPEDITED PROCESSING REQUESTED


                       CERTIFICATION OF PERSON RESPONSIBLE
                      FOR PREPARING ENGINEERING INFORMATION
                          SUBMITTED IN THIS APPLICATION


         I hereby certify that I am the technically qualified person responsible
for preparation of the engineering information contained in this Application,
that I am familiar with Parts 25 and 100 of the Commission's Rules, that I have
either prepared or reviewed the engineering information submitted in this
Application, and that it is complete and accurate to the best of my knowledge.




                                        By:
                                           -------------------------------------
                                           [Name]
                                           [Title]
                                           EchoStar Satellite Corporation



February 25, 2002







                                       28






                                 TECHNICAL ANNEX





                           NEW ECHOSTAR 1 (USABSS-16)



                  SYSTEM DESCRIPTION AND INTERFERENCE ANALYSES




                                  FEBRUARY 2002





                                TABLE OF CONTENTS




                                                                        
OVERVIEW......................................................................1

COMMUNICATIONS PAYLOAD........................................................1

ITU RADIO REGULATIONS ANNEXES.................................................3






                                        i




                        NEW ECHOSTAR 1 SYSTEM DESCRIPTION




OVERVIEW
This section provides a brief technical description of the NEW ECHOSTAR 1
satellite for the 110 Degrees W.L. orbital position. NEW ECHOSTAR 1 (USABSS-16)
is a 3-axis stabilized 10 kW class spacecraft available from Boeing, Lockheed or
Loral designed to provide U.S. domestic broadcast satellite service. NEW
ECHOSTAR 1 contains an active attitude and position control subsystem, a
telemetry, command and ranging subsystem, a thermal control subsystem, and an
electrical power subsystem.

The repeater consists of 54 spot-beam transponders, each with 24 MHz of usable
bandwidth. Uplink frequencies will be in the 17.3-17.8 GHz band, and downlink
frequencies in the 12.2-12.7 GHz band. When paired with existing and planned
satellites, Echostar 7 and Echostar 8, DIRECTV 4S and DIRECTV 7S, NEW ECHOSTAR 1
will enable New Echostar to make the most efficient use of its existing capacity
in order to deliver local broadcast channels to all DMAs in the United States.
During the time period between the approval of the merger and the transition to
one service platform, the satellites will continue to serve the currently
existing and planned markets. After the service rationalization and before the
launch of NEW ECHOSTAR 1, additional markets can begin to be rolled out taking
best advantage of the redundant coverage of the existing satellites.

The NEW ECHOSTAR 1 satellite will use QPSK modulation in either the DIRECTV or
DVB format (see Rec. ITU-R B.O.1294 System A or System B). Receivers will use 45
cm antennas or 45 x 56 cm antennas, except as noted. Transmissions will consist
of multiplexed video, audio, and data services in each transponder. All
transponders will have a 24 MHz bandwidth.

NEW ECHOSTAR 1 will be placed in the 110 Degrees W.L. orbital position
collocated with other existing satellite assets of New EchoStar. The satellite
design will meet its performance requirements for an operational lifetime of
more than 15 years including 100% eclipse operation. The satellite will comply
with all international laws and regulations pertaining to the operation of such
a space system.



COMMUNICATIONS PAYLOAD
The NEW ECHOSTAR 1 payload uses 38 separate spot beams on eight frequencies
(channels) to provide up to 54 RF transponders to selected geographic regions.
Depending on the particular characteristics of the region, the power in the
spot-beam transponders varies from approximately 46 watts to 65 watts. The 54
transponders reuse eight of the defined 32 channels in the BSS Region 2 Plan.
The average reuse of frequencies is approximately seven.

Frequency reuse is also employed on the feeder link. Programming material to
feed the spot beams is transmitted on up to 32 BSS feeder link channels.
Programming is transmitted simultaneously from two distinct feeder link sites
located in Los Angeles, CA and Cheyenne, WY.


                                       1



Thirty-eight distinct spot beams provide service to the US DMAs not previously
covered by New EchoStar's other spot-beam satellites, Echostar 7 and Echostar 8,
and DIRECTV 4S and DIRECTV 7S, while limiting interference into adjoining spot
beams and maximizing the frequency reuse. Once all the New Echostar satellite
assets are in place, there will exist some in-orbit capability to backup
failures of the operational satellites.

The NEW ECHOSTAR 1 satellite will use the BSS Region 2 frequency plan. Tables 1
and 2 show the spot beam frequency reuse plan for the downlink and feeder link.
Telemetry and command frequencies are provided in Table 3.


TABLE 1. NEW ECHOSTAR 1 DOWNLINK FREQUENCY PLAN



BSS DOWNLINK
   CHANNEL                   SPOT BEAM NO.
------------                 -------------
                

     18            Spots: 2, 5, 14, 16, 20, 23, 31, 33
     20            Spots: 2, 3, 21, 26, 28, 34, 36
     22            Spots: 11, 18, 21, 26, 29, 30, 38
     24            Spots: 1, 8, 17, 25, 27, 30, 37
     26            Spots: 7, 13, 15, 22, 27, 36
     28            Spots: 4, 21, 24, 26, 32, 34, 35
     30            Spots: 1, 9, 10, 22, 31, 33
     32            Spots: 6, 12, 19, 22, 28, 31, 38



TABLE 2. NEW ECHOSTAR 1 FEEDER LINK FREQUENCY PLAN

 BSS FEEDER
LINK CHANNEL          FEED
------------          ----

 1 - 31 ODD        Spot Beam
 2 - 32 EVEN       Spot Beam


                                       2




TABLE 3. NEW ECHOSTAR 1 T&C FREQUENCY AND POLARIZATION PLAN



                                Frequency, MHz        Polarization
                                --------------        ------------
                                                

Command Transfer Orbit             17300.50               RHCP
Command On-Station                 17300.50               RHCP
Command On-Station Back up         17797.50               RHCP

Telemetry 1 Transfer Orbit         12698.75               RHCP
Telemetry 1 On-Station             12698.75               LHCP
Telemetry 1 On-Station Back up     12698.75               RHCP

Telemetry 2 Transfer Orbit         12699.75               RHCP
Telemetry 2 On-Station             12699.75               RHCP
Telemetry 2 On-Station Back up     12699.75               RHCP





ITU RADIO REGULATIONS ANNEXES
Appendices to this Technical Annex will provide the necessary showings for
compliance to Radio Regulations Annex 1 of Appendices S30 and S30A. This
information will be delivered to the Commission within seven days from the date
of this filing. Due to the complexity of the NEW ECHOSTAR 1 satellite design, a
detailed MSPACE analysis (Section 2 of Annex 1 to Appendix S30 and Section 4 of
Annex 1 to Appendix S30A) will be provided at a later date.

Satellite and feeder link characteristics are provided in accordance with Annex
2 of Appendices S30 and S30A. This information will be delivered to the
Commission within seven days from the date of this filing.


                                       3



In connection with the proposed transactions, General Motors Corporation ("GM"),
Hughes Electronics Corporation ("Hughes") and EchoStar Communications
Corporation ("EchoStar") intend to file relevant materials with the Securities
and Exchange Commission, including one or more Registration Statement(s) on Form
S-4 that contain a prospectus and proxy/consent solicitation statement. Because
those documents will contain important information, holders of GM $1-2/3 and GM
Class H common stock are urged to read them, if and when they become available.
When filed with the SEC, they will be available for free at the SEC's website,
www.sec.gov, and GM stockholders will receive information at an appropriate time
on how to obtain transaction-related documents for free from General Motors.
Such documents are not currently available.

General Motors and its directors and executive officers, Hughes and certain of
its officers, and EchoStar and certain of its executive officers may be deemed
to be participants in GM's solicitation of proxies or consents from the holders
of GM $1-2/3 common stock and GM Class H common stock in connection with the
proposed transactions. Information regarding the participants and their
interests in the solicitation was filed pursuant to Rule 425 with the SEC by
EchoStar on November 1, 2001 and by each of GM and Hughes on November 16, 2001.
Investors may obtain additional information regarding the interests of the
participants by reading the prospectus and proxy/consent solicitation statement
if and when it becomes available.

This communication shall not constitute an offer to sell or the solicitation of
an offer to buy, nor shall there be any sale of securities in any jurisdiction
in which such offer, solicitation or sale would be unlawful prior to
registration or qualification under the securities laws of any such
jurisdiction. No offering of securities shall be made except by means of a
prospectus meeting the requirements of Section 10 of the Securities Act of 1933,
as amended.

Materials included in this document contain "forward-looking statements" within
the meaning of the Private Securities Litigation Reform Act of 1995. Such
forward-looking statements involve known and unknown risks, uncertainties and
other factors that could cause our actual results to be materially different
from historical results or from any future results expressed or implied by such
forward-looking statements. The factors that could cause actual results of GM,
Hughes, EchoStar, or a combined EchoStar and Hughes, to differ materially, many
of which are beyond the control of EchoStar, Hughes or GM include, but are not
limited to, the following: (1) the businesses of EchoStar and Hughes may not be
integrated successfully or such integration may be more difficult,
time-consuming or costly than expected; (2) expected benefits and synergies from
the combination may not be realized within the expected time frame or at all;
(3) revenues following the transaction may be lower than expected; (4) operating
costs, customer loss and business disruption including, without limitation,
difficulties in maintaining relationships with employees, customers, clients or
suppliers, may be greater than expected following the transaction; (5)
generating the incremental growth in the subscriber base of the combined company
may be more costly or difficult than expected; (6) the regulatory approvals
required for the transaction may not be obtained on the terms expected or on the
anticipated schedule; (7) the effects of legislative and regulatory changes; (8)
an inability to obtain certain retransmission consents; (9) an inability to
retain necessary authorizations from the FCC; (10) an increase in competition
from cable as a result of digital cable or otherwise, direct broadcast
satellite, other satellite system operators, and other providers of subscription
television services; (11) the introduction of new technologies and competitors
into the subscription television business; (12) changes in labor, programming,
equipment and capital costs; (13) future acquisitions, strategic partnership and
divestitures; (14) general business and economic conditions; and (15) other
risks described from time to time in periodic reports filed by EchoStar, Hughes
or GM with the Securities and Exchange Commission. You are urged to consider
statements that include the words "may," "will," "would," "could," "should,"
"believes," "estimates," "projects," "potential," "expects," "plans,"
"anticipates," "intends," "continues," "forecast," "designed," "goal," or the
negative of those words or other comparable words to be uncertain and
forward-looking. This cautionary statement applies to all forward-looking
statements included in this document.

                                       ###