FCC Equipment Certification / Verification / Declaration of Conformity: What They Are & What Needs...

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Transcript of FCC Equipment Certification / Verification / Declaration of Conformity: What They Are & What Needs...

FCC Equipment Certification / Verification /Declaration of Conformity:

What They Are & What Needs Work

National Spectrum Management Association

Mitchell Lazarus703-812-0440 | lazarus@fhhlaw.com

May 15, 2012

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Overview

Equipment authorization: background Types of equipment authorization Procedural details Recent improvements What needs work

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Equipment Authorization Defined

Procedures to ensure certain radio-frequency devices marketed in the U.S. comply with FCC technical rules cover both intentional radiators (transmitters) and unintentional

radiators (e.g., digital devices, receivers) Compliance required before devices are:

sold or leased offered for sale or lease imported, shipped, or distributed for the purpose of selling or

leasing or offering for sale or lease Exceptions that allow advertising, contracts, trade shows,

demos, customer testing, etc. before authorization.

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Relation to Spectrum Management

Spectrum management allocations & rules; interference protection criteria 

technical rules (and standards called out in rules)

equipment & licenses Equipment authorization “closes the loop”

ensures that hardware complies with FCC rules, and hence with spectrum management goals.

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A Brief History

Before 1970, licensees were solely responsible for technical compliance of equipment FCC published lists of approved transmitters licensees could also use others, if they confirmed compliance

During 1960s, spread of transistor-based two-way radios made this scheme unworkable

1968: Congress authorized the FCC to regulate marketing of RF devices

1970: FCC adopted equipment authorization procedures to control marketing

1979: FCC added digital device rules 1998-2000: FCC simplified procedures, outsourced approvals.

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Types of Equipment Authorization

ProcedureCompliance

BurdenTypical Applications

Verification Very light

Most broadcast xmittersFixed microwave xmittersNon-consumer digitalNon-consumer ISMFM & TV broadcast rec’vrs

Declaration of Conformity

LightConsumer digitalConsumer ISM

Certification Substantial

Cellular, PCSPrivate Land MobileOther portable & mobileUnlicensed

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Verification – Procedures

1. Test device for compliance (at any lab)

2. Retain test data (and design info)

3. Label product to associate with retained file.

No submission or approval required.

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Declaration of Conformity – Procedures

1. Test device for compliance at accredited lab

2. Retain test data (and design info)

3. Label product to associate with retained file

4. If digital device, label product with FCC logo

5. Include required statement with product

No submission or approval required.

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Certification – Procedures

Test device for compliance (at any lab) Assemble application (usually test lab does this):

form 731 compliance test report user instructions circuit description, block diagram, schematic (for transmitter) interior & exterior photographs (showing FCC ID label) more (varies with type of device)

Submit application to Telecommunications Certification Body (TCB) or (rarely) to FCC

Label product with FCC ID number Await TCB or FCC approval before marketing.

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Changes to Authorized Devices

Retest for compliance if a change plausibly affects emissions reported to the FCC whether to retest is usually a judgment call cumulative minor changes may add up to a need for retest

Verified device: retest; retain new test data Declaration of Conformity device: retest; retain new test data Certified device: some changes require new certification; otherwise–

if reported emissions do not go up, “Class I” change; no approval needed

if reported emissions do go up, “Class II” change TCB or FCC approval needed prior to marketing new version.

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Improvements over the Years

Procedures eliminated: notification (merged into verification) type acceptance (merged into certification) type approval (abolished)

Digital devices changed from certification to DoC Establishment of Knowledge Database (KDB)

https://apps.fcc.gov/oetcf/kdb/index.cfm full-text searchable; can search on type of device

TCBs authorized to issue certifications faster than FCC “exclusion list”: FCC must certify “permit but ask”: TCB may certify in consultation with FCC.

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Certification Trends (1999-2011)

Graphic Courtesy ofRashmi Doshi, FCC

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Test Procedures

Barest outlines in rules some rules cross-reference third-party standards, e.g., CISPR

More detail in Knowledge Database question whether contents of KDB are binding on the public

Vastly more detail in shared experience among test labs, TCBs, FCC lab staff.

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What Needs Work

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New Technologies

New RF technologies typically approved through rulemaking or waiver

FCC lab often tests new devices before turning over to TCBs Testing issues often addressed only after rulemaking or waiver

proceeding is complete can add 3-6 months or more to approval

FCC has sometimes addressed testing issues in parallel with late stages of rulemaking or waiver

Parallel consideration should become the norm FCC should routinely begin testing products under rulemaking or

waiver as soon as technical rules take shape.

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Enforcement Issues

Enforcement of equipment violations is highly uneven: Rocky Mountain Radar marketed police speed radar jammer

FCC and U.S. Court of Appeal previously ruled device illegal repeatedly caused actual interference to licensed service forfeiture: $25,000

San Jose Navigation marketed device to retransmit GPS signals within a building useful device; innocent error; no reports of actual interference forfeiture: $75,000

Many obvious violations go unenforced Some companies deliberately ignore FCC requirements

may compute downside risk to be cheaper than compliance.

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Challenges to Authorizations

The FCC can withdraw a certification within 30 days Later, the FCC can revoke a certification after a hearing for:

1. false statements in application

2. product does not conform to application

3. unauthorized changes to product

4. information warranting refusal of original application But the FCC has considered late challenge to a certification on

other grounds without a hearing creates intolerable uncertainty for certification grantee

FCC should either: automatically dismiss challenges after 30 days, or establish clear and swift procedures for challenges.

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Receiver Issues

FCC does not regulate receiver selectivity (exception: frequency-hopping receivers under § 15.247) proceeding on receiver standards dropped in 2007

Issue lately gained prominence in LightSquared proceeding LS sought to provide broadband near GPS frequencies some GPS receivers having poor selectivity were vulnerable to

interference question arose: whose problem is this?

Selective receivers promote spectrum efficiency in some services, market forces may suffice should the FCC adopt receiver standards?

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Conclusion

The FCC has shown excellent progress over 40 years in making equipment authorization more efficient

Some work remains to be done.

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Thank you!

Mitchell Lazarus

703-812-0440 | lazarus@fhhlaw.com