Thank you, Erica, and good afternoon, everyone. I am pleased to have you join us for our first quarter call. On today's call, I would like to run through some of the recent strategic updates on the business and will then turn things over to Chris for a review of our financials. While this is only my second earnings call as NextNav's CEO, I am particularly excited to be speaking with you today given the activity over the last few weeks. As I noted on our last call, I have been working closely with the team since I arrived to develop my strategic vision for the future of NextNav. Today, I am thrilled to be able to share in greater detail what we have been working on and our strategy for moving forward. To get right to the point, the team and I are focused on preventing a new vision for complement and back up to GPS with additional spectrum for broadband services. The country's principal PNT system, GPS, is foundational to National Security, the U.S. economy and powering critical infrastructure, but has coverage limitations indoors and an urban canyon and is vulnerable to jamming and spoofing. We see our vision as an innovative solution that enables next-gen terrestrial PNT by leveraging 5G broadband. Our goal is single-digit accuracy everywhere, creating a terrestrial PNT solution that provides 3D location and timing that is highly accurate, is available indoors as long as outboard and in Urban Canyon. On April 16, many of you knows that we filed with deficient for role making asking the FCC to enable this innovative spectrum solution in the lower 900 megahertz spend. This was a significant milestone for the business and a big step forward in advancing our strategic vision. This action follows the March 28 court approval for our previously announced agreement to acquire spectrum licenses covering an additional 4 megahertz in the lower 900 megahertz band. In receiving court approval, we then have the green light to move forward with obtaining SEC approval in mid-April. In terms of our petition at a high level, we are asking the FCC to reconfigure the bill plan and update the rules to: one, enable a high-quality terrestrial PNT complement and back up the GPS on which the nation realized for essential PNT services; and two, provide 15 megahertz of low-band spectrum reduced by 5G broadband networks. We believe this new vision for the lower 900 megahertz band will unleash spectrum for essential PNT solutions as well as 5G broadband while ensuring incumbent operations are appropriately protected. More importantly, our proposal does not require taxpayer money or legislation. I will offer more on that in a moment. As many of you know, NextNav already the main geographic licensee in the door 900-megahertz band. Our existing licenses are being used to develop industry-leading PNC expertise and products. However, the lower 900 megahertz band is underutilized, primarily due to band fragmentation and legacy technical and service rules that limit use of the band. As part of our proposal, NextNav would commit to enabling a terrestrial 3D PNT service as a necessary backup and complement to GPS. Today, GPS plays a pivotal role in U.S. PNC in our culture. GPS is an incredible technology that powers much of our nation's critical infrastructure, including electricity, telecommunications, public safety and banking. But it is vulnerable to jamming and spoofing, look no further than issues happening internationally. Satellite-based systems like GPS, hop coverage limitations in boring an urban Canyon. Current GPS technology can be helpful for emergency services as accurate your location can be the difference between life and death. However, without GPS, essential functions would be significantly impaired or inoperable. More importantly, spectrum is also a finite resource, and we will need more Spectrum to power all the wireless services that fuels the economy. As a result, both public and private sector experts have determined that the U.S. urgent removal terrestrial PNT solutions complement and backup GPS. Additionally, there is broad consensus that making additional spectrum available for wireless networks would be advantaged to the U.S. economy and overall global competitiveness. We believe a terrestrial 3D PNC backup and complement to GPS will mitigate the risk to the country unleash commercial opportunities and help public safety by providing location information and situational awareness indoors and in multistory buildings. However, it has historically not been economically feasible to deploy a stand-alone wide-scale terrestrial 3D PNT network. The reason for this are twofold: one, GPS is free, limiting potential revenue for other PNT offerings. And two, it is difficult to drive adoption of PNT specific protocols into consumer devices thus limiting subscribers. By reconfiguring the band, we see a direct path to a wide-scale terrestrial 3D PNT network, leveraging the lower 900-megahertz band in terrestrial 5G that was created unique economically viable opportunity to help address the urgent neutral widespread complementary and backup PNT services. The proposed rebranding and related road modification with established 15 megahertz of low-band spectrum to support terrestrial 3G PNT and 5G broadband. This would include the 8-megawatt of Spectrum NextNav already owned. The additional 4 micro vessels seeking to acquire pending FCC approval and 3 megahertz of largely solid spectrum, much of which is in FCC inventory. NextNav's NextGen technology will be a 5G-based solution. So, it is more easily integrated into the existing ecosystem for both deployment and adoption. The revised rule would enable NextNav terrestrial 3D PNT network to use 5G technology to extend PT recent areas where GPS Olympic and supplement the country's 5G broadband capacity. To advance this, NextNav expects to partner with network operators or other interest in commercial deployment in the band for 5G, leveraging a 10 megahertz downlink spectrum block in 5 megahertz uplink. NextNav can reliably supply integrated, highly accurate and consistent 3D positioning in dorms and outdoors along with precision timing. More importantly, our next-gen PNT solution will only use a small portion of the capacity, allowing the network providers to use the vast majority for broadband. We are already in active discussions with various potential partners and are also focused on ensuring that incumbent operations are appropriately protected. Overall, we believe this unique path forward addresses the coverage, cost and user device issues that have previously prevented broad terrestrial 3D PNT adoption. This is a full commercial solution with no need for government funding real life situation an attractive proposition. With PNC resiliency already receiving broad bipartisan support, we anticipate continued support from both sides of the aisle as we move forward. In terms of next steps, on April 24, the Federal Communications Commission, included in its weekly public notice of agency actions on wireless license transactions, the application to assign the ABO licenses that NextNav agreed to acquire from TelePoiNT. This is specific to the transaction we announced on March 11, 2024. Approval of the license application is also contingent on FCC grant of a waiver request, and that request has not yet been placed on public notice. The April 24 public notice is a routine FCC action that does not indicate how the commission will act. Instead, it initiated the 4 period during which parties may file petitions on the assignment applications. The commission then has 7 additional days in which it must either grant final or defer action on the application. Ultimately, the exact timing of NextNav's are in the hands of the FCC. However, we believe we have presented a petition that explains the urgency to the FCC and provides an economically viable solution to an issue of great importance. As we move forward, we will continue taking this process one step at a time. We believe this is a unique vision that will provide an innovative spectrum solution in the lower 900 megahertz plan. We look forward to continuing to provide an update on our progress as we move forward with the FCC and beyond. Finally, before I turn things over to Chris, I want to highlight a new addition to the NextNav's team. Yesterday, we announced that Dr. Sano Gita Shamsundar, is joining NextNav as Chief Operating Officer, effective May 9. Sano Gita was recently the Head of Edge Network Infrastructure at Google and prior to that, some several years at Verizon in various roles, including serving as the VP of Product Strategy and Operations, where she led early 5G network technology development and trials. We are thrilled to have someone of standing Gilas Caliber joining the team, and I look forward to her contributions as we continue to advance our strategic vision. With that, I will turn things over to Chris for a review of our financials. Chris?