FCC Web Documents citing 15.521
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- existing products. We see no benefits in requiring halting the operation of GPRs and wall imaging systems that already are in the hands of the public and may have been used for several years without causing harmful interference. Accordingly, we are providing a blanket waiver of the Part 15 regulations, with the exception of 47 C.F.R. §§ 15.5(a)-(c), 15.11, 15.29, 15.521(a) and 15.525, for existing GPRs and wall imaging systems. This waiver applies only to those entities that are eligible to operate GPRs and wall imaging systems, as described later in this order under the discussion on ``Operating Restrictions,'' and that have registered their equipment with us, following the procedures shown below. To be included under this blanket waiver, the eligible
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- Ruling was filed on behalf of twenty-three companies and associations (the ``requesting parties''). The requesting parties ask the Commission to issue a declaratory ruling that all emissions associated with digital circuitry used to generate ultra-wideband (UWB) emissions are required to meet the radiated emission limits provided in Subpart F of Part 15 of the Commission's rules for UWB transmitters. Section 15.521(c) of the Commission's rules states that emissions from digital circuitry contained within a UWB transmitter are subject to the limits specified in Section 15.209 if those emissions are not intended to be radiated from the transmitter's antenna. The requesting parties assert that the language in Section 15.521(c) is ambiguous because the regulation identifies any emission that is not intended to
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- \qc \li0\ri0\sl227\slmult0\nowidctlpar\tx-720\hyphpar0\faauto\rin0\lin0\itap 0 {\b\fs24\insrsid5994681 REQUEST FOR A WAIVER OF PART 15 FOR AN ULTRA-WIDEBAND SYSTEM TO BE A "PERMIT-BUT-DISCLOSE" PROCEEDING}{\b\fs24\insrsid5246250 }{ \b\fs24\insrsid5994681 FOR }{\b\i\fs24\insrsid5994681 EX PARTE}{\b\fs24\insrsid5994681 PURPOSES \par }\pard \qj \li0\ri0\sl227\slmult0\nowidctlpar\tx-720\hyphpar0\faauto\rin0\lin0\itap 0 {\fs24\expnd0\expndtw-3\insrsid5994681 \par \tab On }{\fs24\expnd0\expndtw-3\insrsid5246250 July 18}{\fs24\expnd0\expndtw-3\insrsid5994681 , }{\fs24\expnd0\expndtw-3\insrsid5246250 2003}{\fs24\expnd0\expndtw-3\insrsid5994681 , }{\fs24\expnd0\expndtw-3\insrsid5246250 Vista Controls, a Curtiss-Wright Company, filed a request for waiver of }{\fs24\expnd0\expndtw-3\insrsid2950185 Sections 15.209, 15.511 and 15.521 of the Commission\rquote s }{\fs24\expnd0\expndtw-3\insrsid5994681 rules in order to permit the authorization, importation and operation of }{\fs24\expnd0\expndtw-3\insrsid5246250 its}{\fs24\expnd0\expndtw-3\insrsid5994681 ultra-wideband }{\fs24\expnd0\expndtw-3\insrsid5246250 (\'93UWB\'94) surveillance }{ \fs24\expnd0\expndtw-3\insrsid5994681 system}{\fs24\expnd0\expndtw-3\insrsid15600796 known as QUPID}{\fs24\expnd0\expndtw-3\insrsid5994681 . \par \par \tab The}{\fs24\expnd0\expndtw-3\insrsid15600796 QUPID}{\fs24\expnd0\expndtw-3\insrsid5994681 }{\fs24\expnd0\expndtw-3\insrsid5246250 surveillance}{\fs24\expnd0\expndtw-3\insrsid5994681 systems }{\fs24\expnd0\expndtw-3\insrsid5246250 currently are employed by the U.S. A}{\fs24\expnd0\expndtw-3\insrsid15600796 ir Force and by the Air National Guard to provide an advance warning of a
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- 20554 In the Matter of Request for Waiver of Part 15 from Vista Controls for Its Cupid UWB Surveillance System ) ) ) ) Adopted: September 25, 2003 Released: September 26, 2003 By the Chief, Office of Engineering and Technology: 1. On July 18, 2003, Vista Controls, a Curtiss-Wright Company, filed a request for waiver of Sections 15.209, 15.511 and 15.521 of the Comission's rules to permit it to obtain authorization for, and to market, its ultra-wideband (``UWB'') surveillance system know as QUPID. This petition was placed on notice for public comment on August 11, 2003, DA 03-2631. Comments were due by September 10, 2003, and replies were due by September 25, 2003. 2. On September 24, 2003, Fish and Richardson,
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- frequency hopping systems must be performed with the hopping stopped. MBOA-SIG argues that their modulation technique is not frequency hopping and that the Commission's reasons for requiring measurements to be performed with the hopping stopped was to determine that the system met the minimum bandwidth requirement for consideration as a UWB device. MBOA-SIG also argues that the requirement in Section 15.521(d) of the rules to disable output gating was not intended to apply to MB-OFDM systems and that MB-OFDM systems pose no greater threat of harmful interference than pulsed UWB devices. The FCC's Office of Engineering and Technology (OET) is reviewing the waiver request. OET has concluded that in order to develop a complete record on the complex issues presented by
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- pulse position modulation. DISCUSSION It is a well established principle that the Commission will waive its rules if it determines, after careful consideration, that such a grant would serve the public interest without undermining the policy which the rule in question is intended to serve. We find that a waiver of the emission limits in 47 C.F.R. §§ 15.511 and 15.521(g) is consistent with that principle. The CWCEC QUPID UWB surveillance system will enhance the protection of installations that are vital to the public well-being, facilitating homeland security efforts. In view of these benefits, we find that the ability to use this equipment is in the public interest. We concur with CWCEC that its QUPID UWB surveillance system provides unique intrusion
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- FOR A WAIVER OF PART 15 ULTRA-WIDEBAND RULES FOR A STEPPED-FREQUENCY GROUND PENETRATING RADAR SYSTEM TO BE A ``PERMIT-BUT-DISCLOSE'' PROCEEDING FOR EX PARTE PURPOSES AND REQUESTS COMMENTS ET Docket No. 10-167 Comment Date: September 20, 2010 Reply Comment Date: October 4, 2010 On June 10, 2010, Curtiss-Wright Controls, Inc. (``CWCI'') filed a request for a waiver of Sections 15.503(d) and 15.521(d) of the Commission's rules to permit the marketing and operation of its stepped frequency ground penetrating radar (``GPR'') system known as 3d-Radar. CWCI states that its 3d-Radar GPR system operates between 100 MHz and 3 GHz using stepped frequency modulation to achieve superior performance characteristics of deep signal penetration, high resolution imaging and fast survey speeds. Section 15.503(d) of the
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- of Part 15 of the Commission's Rules Applicable to Ultra- Wideband Devices ) ) ) ) ) ) ) ) ) ET Docket No. 10-167 ORDER Adopted: January 11, 2012 Released: January 11, 2012 By the Chief, Office of Engineering and Technology: INTRODUCTION By this Order, we grant a request by Curtiss-Wright Controls Inc. (``CWCI''), to waive Sections 15.503(d) and 15.521(d) of our ultra-wideband (``UWB'') rules for its ground penetrating radar (``GPR'') system, known as 3d-Radar. GPR devices are field disturbance sensors that detect buried objects, changes in material, and cracks in ground or in other subsurface structures and are typically used in the maintenance of highways and bridge infrastructures in the United States. GPR devices achieve these objectives by utilizing
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- frequency hopping systems must be performed with the hopping stopped. MBOA-SIG argues that their modulation technique is not frequency hopping and that the Commission's reasons for requiring measurements to be performed with the hopping stopped was to determine that the system met the minimum bandwidth requirement for consideration as a UWB device. MBOA-SIG also argues that the requirement in Section 15.521(d) of the rules to disable output gating was not intended to apply to MB-OFDM systems and that MB-OFDM systems pose no greater threat of harmful interference than pulsed UWB devices. The FCC's Office of Engineering and Technology (OET) is reviewing the waiver request. OET has concluded that in order to develop a complete record on the complex issues presented by
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- -75.3 -75.3 (f) There is a limit on the peak level of the emissions contained within a 50 MHz bandwidth centered on the frequency at which the highest radiated emission occurs, fM. That limit is 0 dBm EIRP. It is acceptable to employ a different resolution bandwidth, and a correspondingly different peak emission limit, following the procedures described in Section 15.521 of this chapter. (g) Imaging systems operating under the provisions of this section shall bear the following or similar statement, as adjusted for the specific provisions in paragraph (b) of this section, in a conspicuous location on the device: Operation of this device is restricted to law enforcement, fire and rescue officials, scientific research institutes, commercial mining companies, and construction
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- relevant FCC rules for UWB equipment. Although some narrow band emissions were detected in the 960-3100 MHz band, these emissions are attributable to the associated digital circuitry contained within the UWB device, are not radiated by the UWB antenna, and are compliant with the Part 15 general emission limits in 47 C.F.R. § 15.209, as stipulated under 47 C.F.R. § 15.521(c). Our investigation identified the narrowband emissions in the 960 to 3100 MHz band as harmonics of the 19.2 MHz oscillator contained in the digital module portion of Time Domain's UWB device. To confirm that the emissions in the 960 to 3100 MHz band are not intended to be radiated by the device's antenna, the emissions levels were measured with the
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- While these filings are being addressed in separate actions, they demonstrate that we should clarify the regulation regarding limits on emissions produced by digital circuitry used within UWB devices. A precise description of the digital emission limits was provided in the R&O. However, the wording contained within the rules is not as clear. Accordingly, we are amending 47 C.F.R. § 15.521(c) to more closely comport with the text of the R&O. As this change to the regulations is interpretative and only clarifies a standard that already has been adopted, prior notice and public comment are unnecessary. Additional filings. Cingular filed a pleading on February 12, 2003, styled as a "Supplement to Petition for Reconsideration." This pleading raised a statutory argument regarding
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- Section 15.515 Technical requirements for vehicular radar systems. * * * * * (g) The emission levels from devices operating under the provisions of this section that employ gated transmissions may be measured with the gating active. Measurements made in this manner shall be repeated over multiple sweeps with the analyzer set for maximum hold until the amplitude stabilizes. Section 15.521 is amended by revising paragraph (d), to read as follows: Section 15.521 Technical requirements applicable to all UWB devices. * * * * * (d) Within the tables in Sections 15.509, 15.511, 15.513, 15.515, 15.517, and 15.519, the tighter emission limit applies at the band edges. Radiated emission levels at and below 960 MHz are based on measurements employing a
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- or step function active and not disabled as required in the measurement procedure established in the 1st R&O. MBOA-SIG states that it is not clear if the UWB test procedures, which it claims were designed for pulse-based systems, apply to MB-OFDM systems. Consequently, it seeks a waiver of the measurement procedures, including the pulse gating procedures in 47 C.F.R. § 15.521(d), to the extent that they apply to MB-OFDM systems. The MBOA-SIG requests that this waiver apply only to a specific MB-OFDM architecture consisting of three non-overlapping operating bands. Transmitters using this MB-OFDM format would operate under the provisions for indoor and handheld UWB devices. On August 30, 2004, the Commission released a public notice inviting comments on the MBOA-SIG petition
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- UWB systems employing multiband orthogonal frequency division multiplexing (``MB-OFDM'') modulation, which is a stepped or sequenced modulation scheme, operating in the 3.1-5.03 GHz and 5.65-10.6 GHz bands. MBOA-SIG requested a waiver of the measurement procedures for such systems, as discussed in para. 32 of the First R&O. MBOA-SIG also requested a waiver of the measurement procedure in 47 C.F.R. § 15.521(d), as adopted in the First R&O, for pulse gated systems to the extent that this rule applied to MB-OFDM systems. Freescale Semiconductor, Inc. (``Freescale''), which produces a UWB device based on a direct-sequence spreading of binary-phase-shift-keyed pulses (``DS-UWB'') employing pulse gating techniques, requested that the Commission extend any waiver of the measurement rules and procedures to permit any UWB device
- http://www.fcc.gov/Daily_Releases/Daily_Digest/2012/dd120111.html
- REPORTABLE ELIGIBILITY EVENT APPLICATIONS ACCEPTED FOR FILING. PSHSB [65]DOC-311926A1.pdf [66]DOC-311926A1.txt ----------------------------------------------------------------------- --- TEXTS ----------------------------------------------------------------------- --- VIDEOCOM SATELLITE ASSOCIATES, INC. Dismissed the application as defective, without prejudice to refiling. Action by: Chief, Satellite Division, International Bureau by LETTER. (DA No. 12-36). IB [67]DA-12-36A1.doc [68]DA-12-36A1.pdf [69]DA-12-36A1.txt CURTISS-WRIGHT CONTROLS, INC. Granted a request by Curtiss Wright Controls, Inc. to waive Sections 15.503(d) and 15.521(d) of the ultra-wideband rules for its ground penetrating radar system, known as 3d-Radar. (Dkt No. 10-167 ). Action by: Chief, Office of Engineering and Technology. Adopted: 01/11/2012 by ORDER. (DA No. 12-41). OET [70]DA-12-41A1.doc [71]DA-12-41A1.pdf [72]DA-12-41A1.txt AMENDMENT OF THE AMATEUR SERVICE RULES GOVERNING VANITY AND CLUB STATION CALL SIGNS. Denied the Petition for Partial Reconsideration. (Dkt No. 09-209 ). Action