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2BF8K1129HerdDogg Welfare Tag with BLE

HerdDogg Inc.
HerdDogg Welfare Tag with BLE - FCC ID 2BF8K1129 - HerdDogg Inc.
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Application Details

Equipment Class
DTS - Digital Transmission System
Date of Grant
Feb 12, 2026
Application Purpose
Original Equipment
Equipment Note
HerdDogg Welfare Tag with BLE
Frequency Range
2402.00000000 - 2480.00000000
Company
HerdDogg Inc.
Country
United States

Documents & Files

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Users Manual

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Attestation Statements

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Cover Letter(s)

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External Photos

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ID Label/Location Info

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Internal Photos

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RF Exposure Info

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Test Report

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Test Setup Photos

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Document Text

Text extracted from the exhibit documents filed with the FCC. Open a document above to read the original.

Users Manual

Before unpacking your HerdDogg devices, please complete the following: HerdDogg Account setup: ●Scan this QR code to download the HerdDogg App ●Open the HerdDogg App and tap the “Sign UpËź button ●Enter your account information ●Tap “Sign UpËź to finish creating your account ●Review the Terms and Conditions and tap “Accept Ëź Welcome Screen: ●Have your Premise details ready ●From the dropdown menu, select your Premise Type ●From the next dropdown menu, select your Producer Type ●Tap “Create Your PremiseËź Creating your Premise: ●On the Premise Screen, assign a name and address to your Premise ●Upload your Premise logo (optional) ●Tap “Next Ëź Claim your packages: ●Unpack your product and locate the QR codes on the device packages ●From AppÊŒs Dashboard, tap  Menu  Hardware  Quick Start ●Scan the QR code affixed to each bag to assign the HerdDogg devices to your Premise Recommended Tagger: Y Tex© Ultra Compact (The tag backs provided in the kit are designed to work exclusively with Y-Tex© taggers.) This equipment has been tested and found to comply with the limits for a Class A digital device, pursuant to part 15 of the FCC Rules. These limits are designed to provide reasonable protection against harmful interference when the equipment is operated in a commercial environment. This equipment generates, uses, and can radiate radio frequency energy and, if not installed and used in accordance with the instruction manual, may cause harmful interference to radio communications. Operation of this equipment in a residential area is likely to cause harmful interference in which case the user will be required to correct the interference at his own expense. This device complies with part 15 of the FCC Rules. Operation is subject to the following two conditions: (1) This device may not cause harmful interference, and (2) this device must accept any interference received, including interference that may cause undesired operation. Changes or modifications not expressly approved by the party responsible for compliance could void the user’s authority to operate the equipment. To comply with FCC and ISED RF Exposure requirements, this device must be installed and operated with a minimum separation distance of 20 cm (8 inches) between the device and any person at all times during normal operation. Failure to maintain this distance may result in non-compliance with RF exposure guidelines. This device contains license-exempt transmitter(s)/receiver(s) that comply with Innovation, Science and Economic Development Canada’s license-exempt RSS(s). Operation is subject to the following two conditions: 1. This device may not cause interference. 2. This device must accept any interference, including interference that may cause undesired operation of the device. Pour se conformer aux exigences d’exposition RF de la FCC et d’ISED, cet appareil doit ĂȘtre installĂ© et utilisĂ© avec une distance de sĂ©paration minimale de 20 cm (8 pouces) entre l’appareil et toute personne Ă  tout moment pendant son fonctionnement normal. Le non-respect de cette distance peut entraĂźner une non-conformitĂ© aux directives d’exposition RF. L’émetteur/rĂ©cepteur exempt de licence contenu dans le prĂ©sent appareil est conforme aux CNR d’Innovation, Sciences et DĂ©veloppement Ă©conomique Canada applicables aux appareils radio exempts de licence. L’exploitation est autorisĂ©e aux deux conditions suivantes: 1. L’appareil ne doit pas produire de brouillage; 2. L’appareil doit accepter tout brouillage radioĂ©lectrique subi, mĂȘme si le brouillage est susceptible d’en compromettre le fonctionnement. HerdDogg, Inc Welfare Tag Model: 9000-1030 v1 FCC: 2BF8K1129 IC: 33208-1129

Attestation Statements

______________________________________________________________________ Federal Communications Commission Authorization and Evaluation Division 7435 Oakland Mills Road Columbia, MD 21046 USA Date: January 8, 2026 Ref: Attestation Statements Part 2.911(d)(5)(i) Filing FCC ID: 2BF8K1129 HerdDogg, Inc (“the applicant”) certifies that the equipment for which authorization is sought is not “covered” equipment prohibited from receiving an equipment authorization pursuant to section 2.903 of the FCC rules. Sincerely, Scott Shambo, COO The Animal Traceability Platform herddogg.com | [email protected] | 833-437-3364 612 Seward Street, Seward, NE 68434

Attestation Statements

______________________________________________________________________ Federal Communications Commission Authorization and Evaluation Division 7435 Oakland Mills Road Columbia, MD 21046 USA Date: January 8, 2026 Ref: Attestation Statements Part 2.911(d)(5)(ii) Filing FCC ID: 2BF8K1129 Scott Shambo (“the applicant”) certifies that, as of the date of the filing of the application, the applicant is not identified on the Covered List (as a specifically named entity or any of its subsidiaries or affiliates) as an entity producing “covered” equipment. Sincerely, Scott Shambo, COO The Animal Traceability Platform herddogg.com | [email protected] | 833-437-3364 612 Seward Street, Seward, NE 68434

Attestation Statements

______________________________________________________________________ Federal Communications Commission Authorization and Evaluation Division 7435 Oakland Mills Road Columbia, MD 21046 USA Date: November 24, 2025 Ref: Attestation Statements Part 2.911(d)(7) Filing FCC ID: 2BF8K1129 HerdDogg, Inc certifies that, as of the date of the filing of the application, Scott Shambo is our designated U.S. agent for service of process for the above referenced FCC ID. HerdDogg, Inc, accepts to maintain an agent for no less than one year after the grantee has terminated all marketing and importation or the conclusion of any Commission-related proceeding involving the equipment. Scott Shambo accepts, as of the date of the filing of the application, the obligation of the designated U.S. agent for service of process for the above referenced FCC ID. Designated U.S. Agent Information: Name: HerdDogg, Inc. FRN: 0035369867 Address: 612 Seward Street, Seward, NE 68434 Contact Person: Scott Shambo Tel.: 303-332-1732 Email: [email protected] ___________________________ US Agent Signature The Animal Traceability Platform herddogg.com | [email protected] | 833-437-3364 612 Seward Street, Seward, NE 68434

Cover Letter(s)

612SewardStreet Seward,NE68434 833-HERDDOGG(833-437-3364) 11/12/2024 FederalCommunicationsCommission 7435OaklandMillsRoad Columbia,MD21046 Subject:PermanentConfidentialityRequestfor: FCCID:2BF8K1129 ICID:33208-1129 Towhomitmayconcern: Inaccordancewith47CFRSection0.457andSection0.459,andICRSP-100,Section12.4 pertainingtoconfidentialmaterial,weherebyrequesttoholdpermanentlyconfidentialall informationcontainedwithinthebelowidentifiedexhibits/documentcategoriessubmitted pursuanttoradioequipmentcertificationrequirementsfor: FCCID:2BF8K1129 ICID:33208-1129 1.BlockDiagram 2.OperationalDescription 3.Schematics 4.PartsList Theabovematerialcontainstradesecretsandproprietaryinformationasspecifiedby 47CFR0.457(d)andICRSP-100,Section12.4andtechnicaldata,whichwouldcustomarilybe guardedfromcompetitors.Thepublicdisclosureofthisinformationmightbeharmfultoour companyandprovideunjustifiedbenefitstoourcompetitors. Sincerely, ThomasPickard VicePresident,Engineering

Cover Letter(s)

612 Seward Street Seward, NE 68434 833-HERDDOGG (833-437-3364) September 30, 2024 Federal Communications Commission Equip Approval Services Post Office Box 358315 Pittsburgh, Pennsylvania 15215-5315 To Whom It May Concern: Pursuant to 47 CFR 2.911, HerdDogg, Inc has authorized Fox Lane, Karthik Vepuri, and Blake Winter of the Nebraska Center for Excellence in Electronics (NCEE Labs), at 4740 Discovery Drive, Lincoln, NE 68521 to act on HerdDogg, Inc’s behalf for the sole and express purpose of processing applications to the Federal Communication Commission (FCC) for equipment FCC authorization. This authorization is limited to FCC ID: 2BF8K1129. Consistent with the foregoing, Fox Lane, Karthik Vepuri, and Blake Winter are authorized to the following: 1)Sign Form 731 2)Sign letters of application 3)Request confidentiality 4)Exchange data and information with the FCC, and authorized TCBs on behalf of HerdDogg, Inc. This authorization is not assignable to others beyond Fox Lane, Karthik Vepuri, and Blake Winter. No party to this application is subject to a denial of benefits, including FCC benefits, pursuant to Section 5301 of the Anti-Drug Abuse Act of 1988, 21 U.S.C 862. We a l s o d e c l a r e t h a t t h e i n f o r m a t i o n p r o v i d e d t o t h e F C C i s t r u e a n d c o r r e c t t o t h e b e s t o f o u r knowledge (47 CFR 2.911(d)) and we have been informed of the grantee responsibilities (47 CFR 2.909) with regard to certified equipment. This authorization expires 30 September 2026. Sincerely, Thomas Pickard Vice President, Engineering HerdDogg, Inc -----------------------------------------------------nothing follows----------------------------------------------------

ID Label/Location Info

This equipment has been tested and found to comply with the limits for a Class A digital device, pursuant to part 15 of the FCC Rules. These limits are designed to provide reasonable protection against harmful interference when the equipment is operated in a commercial environment. This equipment generates, uses, and can radiate radio frequency energy and, if not installed and used in accordance with the instruction manual, may cause harmful interference to radio communications. Operation of this equipment in a residential area is likely to cause harmful interference in which case the user will be required to correct the interference at his own expense. This device complies with part 15 of the FCC Rules. Operation is subject to the following two conditions: (1) This device may not cause harmful interference, and (2) this device must accept any interference received, including interference that may cause undesired operation. Changes or modifications not expressly approved by the party responsible for compliance could void the user’s authority to operate the equipment. To comply with FCC and ISED RF Exposure requirements, this device must be installed and operated with a minimum separation distance of 20 cm (8 inches) between the device and any person at all times during normal operation. Failure to maintain this distance may result in non-compliance with RF exposure guidelines. This device contains license-exempt transmitter(s)/receiver(s) that comply with Innovation, Science and Economic Development Canada’s license-exempt RSS(s). Operation is subject to the following two conditions: 1. This device may not cause interference. 2. This device must accept any interference, including interference that may cause undesired operation of the device. Pour se conformer aux exigences d’exposition RF de la FCC et d’ISED, cet appareil doit ĂȘtre installĂ© et utilisĂ© avec une distance de sĂ©paration minimale de 20 cm (8 pouces) entre l’appareil et toute personne Ă  tout moment pendant son fonctionnement normal. Le non-respect de cette distance peut entraĂźner une non- conformitĂ© aux directives d’exposition RF. L’émetteur/rĂ©cepteur exempt de licence contenu dans le prĂ©sent appareil est conforme aux CNR d’Innovation, Sciences et DĂ©veloppement Ă©conomique Canada applicables aux appareils radio exempts de licence. L’exploitation est autorisĂ©e aux deux conditions suivantes: 1. L’appareil ne doit pas produire de brouillage; 2. L’appareil doit accepter tout brouillage radioĂ©lectrique subi, mĂȘme si le brouillage est susceptible d’en compromettre le fonctionnement. HerdDogg, Inc. Welfare Tag Model: 9000-1030 v1 FCC: 2BF8K1129 IC: 33208-1129 This equipment has been tested and found to comply with the limits for a Class A digital device, pursuant to part 15 of the FCC Rules. These limits are designed to provide reasonable protection against harmful interference when the equipment is operated in a commercial environment. This equipment generates, uses, and can radiate radio frequency energy and, if not installed and used in accordance with the instruction manual, may cause harmful interference to radio communications. Operation of this equipment in a residential area is likely to cause harmful interference in which case the user will be required to correct the interference at his own expense. This device complies with part 15 of the FCC Rules. Operation is subject to the following two conditions: (1) This device may not cause harmful interference, and (2) this device must accept any interference received, including interference that may cause undesired operation. Changes or modifications not expressly approved by the party responsible for compliance could void the user’s authority to operate the equipment. To comply with FCC and ISED RF Exposure requirements, this device must be installed and operated with a minimum separation distance of 20 cm (8 inches) between the device and any person at all times during normal operation. Failure to maintain this distance may result in non-compliance with RF exposure guidelines. This device contains license-exempt transmitter(s)/receiver(s) that comply with Innovation, Science and Economic Development Canada’s license-exempt RSS(s). Operation is subject to the following two conditions: 1. This device may not cause interference. 2. This device must accept any interference, including interference that may cause undesired operation of the device. Pour se conformer aux exigences d’exposition RF de la FCC et d’ISED, cet appareil doit ĂȘtre installĂ© et utilisĂ© avec une distance de sĂ©paration minimale de 20 cm (8 pouces) entre l’appareil et toute personne Ă  tout moment pendant son fonctionnement normal. Le non-respect de cette distance peut entraĂźner une non- conformitĂ© aux directives d’exposition RF. L’émetteur/rĂ©cepteur exempt de licence contenu dans le prĂ©sent appareil est conforme aux CNR d’Innovation, Sciences et DĂ©veloppement Ă©conomique Canada applicables aux appareils radio exempts de licence. L’exploitation est autorisĂ©e aux deux conditions suivantes: 1. L’appareil ne doit pas produire de brouillage; 2. L’appareil doit accepter tout brouillage radioĂ©lectrique subi, mĂȘme si le brouillage est susceptible d’en compromettre le fonctionnement. HerdDogg, Inc. Welfare Tag Model: 9000-1030 v1 FCC: 2BF8K1129 IC: 33208-1129 This equipment has been tested and found to comply with the limits for a Class A digital device, pursuant to part 15 of the FCC Rules. These limits are designed to provide reasonable protection against harmful interference when the equipment is operated in a commercial environment. This equipment generates, uses, and can radiate radio frequency energy and, if not installed and used in accordance with the instruction manual, may cause harmful interference to radio communications. Operation of this equipment in a residential area is likely to cause harmful interference in which case the user will be required to correct the interference at his own expense. This device compli


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ID Label/Location Info

Outlook Fw: Response to Inquiry to FCC (Tracking Number 923087) FromPaul Hoffmeyer <[email protected]> DateFri 10/3/2025 5:59 PM ToFox Lane <[email protected]> Fox, Email thread with FCC. From: [email protected] <[email protected]> Sent: Wednesday, October 1, 2025 8:36 AM To: Paul Hoffmeyer <[email protected]> Subject: Response to Inquiry to FCC (Tracking Number 923087) Inquiry on 09/18/2025 : Inquiry: Hi, We are looking to understand who we can talk to, to request an exemption for placing the label on our small product. Welfare Tag Model 8000-1129 FCC ID: 2BF8K1129 HVIN: RC-28 This product is installed into an animal's ear and is exposed to extremely harsh conditions. The product quickly becomes covered with mud and manure in the feedlot environment which covers the label and degrades any indelible ink. Install a label on the exterior, one that is indelible, is very expensive and places an unnecessary cost burden on the product. If this is not the correct contact please forward to the appropriate department/section. Thanks, Paul Hoffmeyer 402-499-9924 FCC response on 09/21/2025 Please provide what specific label retirement you are taking about and provide details about the the device. Do you know what rule parts it will be authorized under. ---Reply from Customer on 09/22/2025--- Hi, Label requirement Title 47 Part15: Section 15.19(a)(5). Part 15 unlicensed transmitter. This product is installed into an animal's ear and is exposed to extremely harsh conditions. The product quickly becomes covered with mud and manure in the feedlot environment which covers the label and degrades any indelible ink. Install a label on the exterior, one that is indelible, is very expensive and places an unnecessary cost burden on the product. 10/6/25, 4:34 PMMail - Fox Lane - Outlook https://outlook.office.com/mail/inbox/id/AAkALgAAAAAAHYQDEapmEc2byACqAC%2FEWg0AcW8xOGhL%2F0GnyD106q2W1gADV%2F7qzAAA?na...1/2 Thanks, Paul Hoffmeyer 402-499-9924 FCC response on 10/01/2025 Based on tour description and your judgment and you interpret 7 CFR 2.925(f) that if a device is so small that it is impractical to label it with the FCC Identifier in a font that is four-point or larger, and the device does not have a display that can show electronic labeling, then the FCC Identifier shall be placed in the user manual and must also either be placed on the device packaging or on a removable label attached to the device. The fact that it becomes dirty in use is not enough. People can clean it. Just make sure that at time of sale, in user manual and at time of importation if applicable FCC Identifier shall be placed in the user manual and must also either be placed on the device packaging or on a removable label attached to the device. Attachment Details: Do not reply to this message. Please select the Reply to an Inquiry Response link from the OET Inquiry System to add any additional information pertaining to this inquiry. 10/6/25, 4:34 PMMail - Fox Lane - Outlook https://outlook.office.com/mail/inbox/id/AAkALgAAAAAAHYQDEapmEc2byACqAC%2FEWg0AcW8xOGhL%2F0GnyD106q2W1gADV%2F7qzAAA?na...2/2

ID Label/Location Info

Outlook Re: ATCB032425, FCC ID: 2BF8K1129, ISED ID: 33208 - 1129, Ref: MTO: 20240524-00 FromFox Lane <[email protected]> DateWed 12/10/2025 3:23 PM ToGregory Czumak <[email protected]>; Karthik Vepuri <[email protected]> Ccprojects <[email protected]>; Timothy Johnson <[email protected]> 1 attachment (73 KB) Avery 60504, FCC Label, HerdDogg Welfare Tag.pdf; Thank you for the response. Client has elected to place the attached label on the box itself containing the EUTs. See attached 4x4 label document (also uploaded to ACB portal) (only 1 of the 4 labels goes on each box) Please let me know if this resolves the remaining action item and if you have any further comments or questions. Fox Lane NCEE – EMC Test Engineer 402-323-6233 (office) From: Gregory Czumak <[email protected]> Sent: Monday, December 8, 2025 10:00 AM To: Fox Lane <[email protected]>; Karthik Vepuri <[email protected]> Cc: projects <[email protected]>; Timothy Johnson <[email protected]> Subject: Re: ATCB032425, FCC ID: 2BF8K1129, ISED ID: 33208 - 1129, Ref: MTO: 20240524-00 Dear Fox, In their response to the applicant's Inquiry, the FCC stated, "the FCC Identifier shall be placed in the user manual and must also either be placed on the device packaging or on a removable label attached to the device." If the device is too small for the removable label, then, per the FCC's instructions, the label information is to be placed on the device packaging. If the applicant wants to do something different than what the FCC has told them to do, i.e., place the label information inside of the package ("kit") rather than on the exterior of the packaging, then they must submit an Inquiry to the FCC directly with their request. A TCB does not have the authority to interpret the FCC's Rules and policies, so we are not allowed to accept the applicant's proposal without the FCC's express permission. If the EUT is shipped in batches of 50 devices per kit, then the FCC may accept placing the label information on the outside of the kit - I would recommend that the applicant approach the FCC with this request, or something else that would meet the intent of the requirement and is acceptable to both the FCC and the applicant. Thanks. 12/23/25, 11:53 AMRe: ATCB032425, FCC ID: 2BF8K1129, ISED ID: 33208 - 1129, Ref: MTO: 20240524-00 - Gregory Czumak - Outlook about:blank?windowId=SecondaryReadingPane131/3 Gregory From: Fox Lane <[email protected]> Sent: Monday, December 8, 2025 10:16 AM To: Gregory Czumak <[email protected]>; Karthik Vepuri <[email protected]> Cc: projects <[email protected]> Subject: Re: ATCB032425, FCC ID: 2BF8K1129, ISED ID: 33208 - 1129, Ref: MTO: 20240524-00 Gregory, Apologies for double email, but I just got a bit more information: The devices are tiny and are placed onto farm animals, any label placed on these tags would be; one, way too small of font to fulfill FCC's requirements. And two would quickly be mired or destroyed by the elements or by wear of animals. The customer has access to the documentation/certification info when they buy the pack of equipment. Is the requirement that all devices need to be sold separately? Each device must be individually wrapped? +FCC response on 10/01/2025 (per clients conversation with FCC) Based on tour description and your judgment and you interpret 7 CFR 2.925(f) that if a device is so small that it is impractical to label it with the FCC Identifier in a font that is four-point or larger, and the device does not have a display that can show electronic labeling, then the FCC Identifier shall be placed in the user manual and must also either be placed on the device packaging or on a removable label attached to the device. The fact that it becomes dirty in use is not enough. People can clean it. Just make sure that at time of sale, in user manual and at time of importation if applicable FCC Identifier shall be placed in the user manual and must also either be placed on the device packaging or on a removable label attached to the device. We ask that you accept as is. Or please give us some ways forward. I am asking the customer how they would like to move forward but if you have any insight, please let me know. Fox Lane NCEE – EMC Test Engineer 402-323-6233 (office) From: Fox Lane <[email protected]> Sent: Monday, December 8, 2025 8:48 AM To: Gregory Czumak <[email protected]>; Karthik Vepuri <[email protected]> Cc: [email protected] <[email protected]> Subject: Re: ATCB032425, FCC ID: 2BF8K1129, ISED ID: 33208 - 1129, Ref: MTO: 20240524-00 Gregory, The devices are tiny and are placed onto farm animals, any label placed on these tags would be; 12/23/25, 11:53 AMRe: ATCB032425, FCC ID: 2BF8K1129, ISED ID: 33208 - 1129, Ref: MTO: 20240524-00 - Gregory Czumak - Outlook about:blank?windowId=SecondaryReadingPane132/3 one, way too small of font to fulfill FCC's requirements. And two would quickly be mired or destroyed by the elements or by wear of animals. The customer has access to the documentation/certification info when they buy the pack of equipment. Is the requirement that all devices need to be sold separately? Each device must be individually wrapped? We ask that you accept as is. Or please give us some ways forward. I am asking the customer how they would like to move forward but if you have any insight, please let me know. Fox Lane NCEE – EMC Test Engineer 402-323-6233 (office) From: Gregory Czumak <[email protected]> Sent: Monday, December 1, 2025 4:34 PM To: Karthik Vepuri <[email protected]>; Fox Lane <[email protected]> Cc: [email protected] <[email protected]>; [email protected] <[email protected]> Subject: ATCB032425, FCC ID: 2BF8K1129, ISED ID: 33208 - 1129, Ref: MTO: 20240524-00 Regarding acbcert.com application: ATCB ID: ATCB032425 FCC ID: 2BF8K1129 ISED ID: 33208 - 1129 Device Name: HerdDogg Welfare Tag Account name: ncee Customer Reference: MTO: 20240524-00 Thank you for choosing ACB for your Certification App


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RF Exposure Info

The Nebraska Center for Excellence in Electronics (NCEE) authorizes the above-named company to reproduce this report provided it is reproduced in its entirety for use by the company’s employees only. Any use that a third party makes of this report, or any reliance on or decisions made based on it, are the responsibility of such third parties. NCEE accepts no responsibility for damages, if any, suffered by any third party as a result of decisions made or actions based on this report. This report applies only to the items tested. RF Exposure Evaluation Report Client: HerdDogg, Inc. Address: 612 Seward Street, Seward, NE 68434 Model: HerdDogg Welfare Tag Test Report No.: RFE20240524-00-M1 Rev: A Approved By: __________________ Fox Lane, EMC Test Engineer Date: January 2, 2025 Total Pages: 8 NCEE Labs Report Number: RFE20240524-00-M1 Rev: A Test Report Prepared for HerdDogg, Inc. The Nebraska Center for Excellence in Electronics 4740 Discovery Drive Lincoln, NE 68521 Page 2 of 8 Revision Page Rev. No. Date Description Original 5 December 2024 Issued by FLane Prepared by FLane A 2 January 2025 Updated MPE vs SAR statements Updated ISED Exposure Eval – FL NCEE Labs Report Number: RFE20240524-00-M1 Rev: A Test Report Prepared for HerdDogg, Inc. The Nebraska Center for Excellence in Electronics 4740 Discovery Drive Lincoln, NE 68521 Page 3 of 8 1 Regulatory Requirements: FCC Part 1.1310, 2.1091, 2.1093 KDB 447498 D01 RSS-102, Issue 6 Summary: The purpose of the report is to demonstrate compliance with the FCC and ISED’s MPE limits for mobile devices. EUT: Model: HerdDogg Welfare Tag FCC ID: 2BF8K1129 IC: 33208-1129 HVIN: HerdDogg Welfare Tag MPE Lab Nebraska Center for Excellence in Electronics MPE Labs FCC Cab Designation: US1060 MPE Labs ISED Cab Designation: US0177 NCEE Labs Report Number: RFE20240524-00-M1 Rev: A Test Report Prepared for HerdDogg, Inc. The Nebraska Center for Excellence in Electronics 4740 Discovery Drive Lincoln, NE 68521 Page 4 of 8 2 FCC FCC Limits, Part 1.1310 Frequency range (MHz) Electric field strength (V/m) Magnetic field strength (A/m) Power density (mW/cm 2 ) Averaging time (minutes) (A) Limits for Occupational/Controlled Exposure 0.3-3.0 614 1.63 *100 6 3.0-30 1842/f 4.89/f *900/f 2 6 30-300 61.4 0.163 1.0 6 300-1,500 f/300 6 1,500-100,000 5 6 (B) Limits for General Population/Uncontrolled Exposure 0.3-1.34 614 1.63 *100 30 1.34-30 824/f 2.19/f *180/f 2 30 30-300 27.5 0.073 0.2 30 300-1,500 f/1500 30 1,500-100,000 1.0 30 NCEE Labs Report Number: RFE20240524-00-M1 Rev: A Test Report Prepared for HerdDogg, Inc. The Nebraska Center for Excellence in Electronics 4740 Discovery Drive Lincoln, NE 68521 Page 5 of 8 Occupational/Controlled ☐ General Population/uncontrolled ☒ FCC Power Density Calculations Freq. Conducted Power Antenna Gain Peak Power EIRP Peak Power EIRP +10% for Tolerance Power Density Limit at specified distance % of limit Result MHz mW numerical mW mW mW/cm^2 mW/cm^2 % 2402.00 5.912 1.89 11.17 12.29 0.002 1.00 0.244 PASS 2440.00 5.804 1.89 10.97 12.06 0.002 1.00 0.240 PASS 2480.00 5.749 1.89 10.86 11.95 0.002 1.00 0.238 PASS Distance (d) 20 cm S = (P x G)/(4 x π x d^2) – used to calculate exposure at "d" cm EIRP = P x G, measured as field strength d = √(S/(P x G) x 4 X π) – used to calculate minimum distance to meet limits S = power density (mW/cm^2) P = transmitter conducted power (in mW) G = antenna numeric gain (Numerical) d = distance to radiation center (cm) Results: Complies Note: The user’s manual will stipulate that a 20cm distance from the user is to be maintained. EIRP values in mW were multiplied by 1.1 to account for a 10% tolerance. NCEE Labs Report Number: RFE20240524-00-M1 Rev: A Test Report Prepared for HerdDogg, Inc. The Nebraska Center for Excellence in Electronics 4740 Discovery Drive Lincoln, NE 68521 Page 6 of 8 3 ISED RSS 102, Issue 6, Section 6.4 (for portable devices with distances less than 20cm) NCEE Labs Report Number: RFE20240524-00-M1 Rev: A Test Report Prepared for HerdDogg, Inc. The Nebraska Center for Excellence in Electronics 4740 Discovery Drive Lincoln, NE 68521 Page 7 of 8 RSS 102, Issue 6, Section 6.6 (for mobile devices with distances 20cm or greater) Occupational/Controlled ☐ General Population/uncontrolled ☒ ISED Power Density Calculations Frequency Cond. Power Antenna Gain Peak Power EIRP Peak Power EIRP +10% for Tolerance Exemption Limit % of limit Result MHz mW numerical mW mW mW % 2402.00 5.912 1.89 11.17 12.29 2676.42 0.459 PASS 2440.00 5.804 1.89 10.97 12.06 2705.29 0.446 PASS 2480.00 5.749 1.89 10.86 11.95 2735.52 0.437 PASS Distance (d) 20 cm S = (P x G)/(4 x π x d^2) – used to calculate exposure at "d" cm EIRP = P x G, measured as field strength d = √(S/(P x G) x 4 X π) – used to calculate minimum distance to meet limits S = power density (mW/cm^2) P = transmitter conducted power (in mW) G = antenna numeric gain (Numerical) d = distance to radiation center (cm) Result: The EUT was found to be COMPLIANT with FCC and ISED RF exposure requirements. NCEE Labs Report Number: RFE20240524-00-M1 Rev: A Test Report Prepared for HerdDogg, Inc. The Nebraska Center for Excellence in Electronics 4740 Discovery Drive Lincoln, NE 68521 Page 8 of 8 REPORT END

Test Report

The Nebraska Center for Excellence in Electronics (NCEE) authorizes the above-named company to reproduce this report provided it is reproduced in its entirety for use by the company’s employees only. Any use that a third party makes of this report, or any reliance on or decisions made based on it, are the responsibility of such third parties. NCEE accepts no responsibility for damages, if any, suffered by any third party as a result of decisions made or actions based on this report. This report applies only to the items tested. AUT Report Prepared for: HerdDogg, Inc. Address: 612 Seward Street, Seward, NE 68434 Product: HerdDogg Welfare Tag Test Report No: R20240524-00-A1 Rev Number: B Approved by: __________________ Fox Lane, EMC Test Engineer DATE: April 14, 


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Contact Information

Applicant

Tom Pickard(VP, Engineering)
[email protected]Fax: 833-437-3364

Test Firm

Nebraska Center for Excellence in ElectronicsKarthik Vepuri
[email protected]Fax: 4024725881

Technical Specifications

#Rule PartsFrequency RangePower Output
115C2.40 GHz - 2.48 GHz5.90 mW
Confidentiality
Long Term
Grant Notes
Output power listed is conducted. RF exposure compliance is addressed for 1.1310 and 2.1091 MPE limits - this device complies with KDB 447498 and is approved for mobile/fixed operation. The antenna(s) used for this transmitter must not transmit simultaneously with any other co-located antenna or transmitter, except in accordance with FCC multi- transmitter product procedures. Grantee must provide installation and operating instructions for complying with FCC multi-transmitter product procedures and RF exposure requirements.