
Text extracted from the exhibit documents filed with the FCC. Open a document above to read the original.
Applicant: Motorola, Inc. FCC ID: AZ489FT7008 Exhibit 8 Exhibit VIII User Information and User Manual 1) User Card/Booklet - 3 pages, contains important information for safe usage and RF energy awareness and control. 2) User Manual Enhanced PowerPad Portable Data Terminal - 36 PDF pages total, 25 numbered pages. Please find the information required by Part 15.19, 15.21 & 15.105 on page iv of the Owners Manual or page 6 of this PDF file. Note: Items 1 & 2 above follow this cover page Please retain for future use 6802970C29-O July, 2003 @6802970C29@ Commercial, Government and Industrial Solutions Sector 1301 E. Algonquin Road, Schaumburg, IL 60196Copyright © 2003 Motorola All Rights Reserved. Safety and General Information RF Operational Characteristics Your data terminal contains a radio frequency transmitter to convey the information you wish to send as well as occasional automatic signals used to sustain connection to the wireless network, and a receiver which enables you to receive communication and connection information from the network.For data radio terminals that have been approved as intrinsically safe, read the in-structions and information on intrinsic safety in this booklet.PORTABLE RADIO PRODUCT OPERATION AND EME EXPOSUREYour Motorola radio product is designed to comply with the following national and international standards and guidelines regarding exposure of human beings to radio frequency electromagnetic energy (EME): ï United States Federal Communications Commission, Code of Federal Regula- tions; 47CFR part 2 sub-part J ï American National Standards Institute (ANSI) / Institute of Electrical and Elec- tronic Engineers (IEEE) C95. 1-1992 ï Institute of Electrical and Electronic Engineers (IEEE) C95.1-1999 Editionï International Commission on Non-Ionizing Radiation Protection (ICNIRP) 1998 ï Ministry of Health (Canada) Safety Code 6. Limits of Human Exposure to Radio frequency Electromagnetic Fields in the Frequency Range from 3 kHz to 300 GHz, 1999 ï Australian Communications Authority Radio communications (Electromagnetic Radiation - Human Exposure) Standard 2003. ï ANATEL, Brasil Regulatory Authority, Resolution 256 (April 11, 2001) "addi- tional requirements for SMR, cellular and PCS product certification." To assure optimal radio product performance and make sure human exposure to radio frequency electromagnetic energy is within the guidelines set forth in the above standards, always adhere to the following procedures: Body-worn operationTo maintain compliance with FCC RF exposure guidelines, if you wear a radio prod-uct on your body when transmitting, always place the radio product in a Motorola approved holster or carry case for this product . Use of non-Motorola-approved accessories may exceed FCC RF exposure guidelines. For additional information on RF exposure awareness information, visit the following Motorola website: www.mot.com/rfhealth. Electro Magnetic Interference/Compatibility NOTE: Nearly every electronic device is susceptible to electromag- netic interference (EMI) if inadequately shielded, designed or otherwise configured for electromagnetic compatibility. FacilitiesTo avoid electromagnetic interference and/or compatibility conflicts, turn off your ra-dio data terminal in any facility where posted notices instruct you to do so. Hospitals or health care facilities may be using equipment that is sensitive to external RF en-ergy.AircraftWhen instructed to do so, turn off your radio data terminal when on board an aircraft. Any use of a radio data terminal must be in accordance with applicable regulations per airline crew instructions. IMPORTANT INFORMATION ON SAFE AND EFFICIENT OPERATION.READ THIS INFORMATION BEFORE USING YOUR HANDHELD DATA TERMINAL. HANDHELD DATA TERMINALS HDT-700 E & Enhanced PowerPad ab Medical DevicesPacemakersThe Advanced Medical Technology Association (AdvaMed) recommends that a minimum separation of 6 inches (15 centimeters) be maintained between a hand-held wireless radio data terminal and a pacemaker. These recommendations are consistent with those of the U.S. Food and Drug Administration.Persons with pacemakers should: ï ALWAYS keep the radio data terminal more than 6 inches (15 centimeters) from their pacemaker when the radio data terminal is turned ON. ï Do not carry the radio data terminal in the breast pocket.ï Turn the radio data terminal OFF immediately if you have any reason to sus- pect that interference is taking place. Hearing AidsSome digital wireless radio data terminals may interfere with some hearing aids. In the event of such interference, you may want to consult your hearing aid manufac-turer to discuss alternatives.Other Medical DevicesIf you use any other personal medical device, consult the manufacturer of your de-vice to determine if it is adequately shielded from RF energy. Your physician may be able to assist you in obtaining this information. Operational WarningsFor Vehicles With an Air BagDo not place a portable radio product in the area over the air bag or in the air bag deployment area. Air bags inflate with great force. If a portable radio is placed in the air bag deployment area and the air bag inflates, the radio product may be propelled with great force and cause serious injury to occupants of the vehicle.Potentially Explosive AtmospheresTurn off your radio data terminal prior to entering any area with a potentially explosive atmosphere, unless it is a radio data terminal type especially qualified for use in such areas as "Intrinsically Safe" (for example, Factory Mutual, CSA, UL, or CENELEC). Do not remove, install, or charge batteries in such areas. Sparks in a potentially explosive atmosphere can cause an explosion or fire resulting in bodily injury or even death. NOTE: The areas with potentially explosive atmospheres referred to above include fueling areas such as below decks on boats, fuel or chemical transfer or storage facilities, areas where the air contains chemicals or particles, such as g…
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Owner’s Manual Enhanced PowerPad Handheld Data Terminal 6802970C30-B @6802970C30@ a i COMPUTER SOFTWARE COPYRIGHTS The Motorola products described in this instruction manual may include copyrighted Motor- ola computer programs stored in semiconductor memories or other media. Laws in the United States and other countries preserve for Motorola certain exclusive rights for copy- righted computer programs, including the exclusive right to copy or reproduce in any form the copyrighted computer program. Accordingly, any copyrighted Motorola computer pro- grams contained In the Motorola products described in this instruction manual may not be copied or reproduced in any manner without the express written permission of Motorola. Furthermore, the purchase of Motorola products shall not be deemed to grant either directly or by implication, estoppel. or otherwise. any license under the copyrights, patents or patent applications of Motorola, except for the normal non-exclusive, royalty free license to use that arises by operation of law in the sale of a product. EPS – 34440- B This warranty applies within the fifty (50) United States, the District of Columbia and Can- ada. Document Copyrights No duplication or distribution of this document or any portion thereof shall take place with- out the express written permission of Motorola. No part of this manual may be reproduced, distributed, or transmitted in any form or by any means, electronic or mechanical, for any purpose without the express written permission of Motorola. Disclaimer The information in this document is carefully examined, and is believed to be entirely reli- able. However, no responsibility is assumed for inaccuracies. Furthermore, Motorola reserves the right to make changes to any products herein to improve readability, function, or design. Motorola does not assume any liability arising out of the applications or use of any product or circuit described herein; nor does it cover any license under its patent rights nor the rights of others. ii Commercial Warranty Limited Warranty MOTOROLA COMMUNICATION PRODUCTS I. What This Warranty Covers And For How Long MOTOROLA INC. (“MOTOROLA”) warrants the MOTOROLA manufactured Communication Products listed below (“Product”) against defects in material and workmanship under normal use and service for a period of time from the date of purchase as scheduled below: Motorola, at its option, will at no charge either repair the Product (with new or reconditioned parts), replace it (with a new or reconditioned Product), or refund the purchase price of the Product during the warranty period provided it is returned in accordance with the terms of this warranty. Replaced parts or boards are warranted for the balance of the original applicable warranty period. All replaced parts of Product shall become the property of MOTOROLA. This express limited warranty is extended by MOTOROLA to the original end user purchaser only and is not assignable or transferable to any other party. This is the complete warranty for the Product manufactured by MOTOROLA. MOTOROLA assumes no obligations or liability for additions or modifications to this warranty unless made in writing and signed by an officer of MOTOROLA. Unless made in a separate agreement between MOTOROLA and the original end user purchaser, MOTOROLA does not warrant the installation, maintenance or service of the Product. MOTOROLA cannot be responsible in any way for any ancillary equipment not furnished by MOTOROLA which is attached to or used in connection with the Product, or for operation of the Product with any ancillary equip- ment, and all such equipment is expressly excluded from this warranty. Because each system which may use the Product is unique, MOTOROLA disclaims liability for range, coverage, or operation of the system as a whole under this warranty. II. General Provisions This warranty sets forth the full extent of MOTOROLA’s responsibilities regarding the Product. Repair, replace- ment or refund of the purchase price, at MOTOROLA’s option, is the exclusive remedy. THIS WARRANTY IS GIVEN IN LIEU OF ALL OTHER EXPRESS WARRANTIES. IMPLIED WARRANTIES, INCLUDING WITHOUT LIMITATION, IMPLIED WARRANTIES OF MERCHANTABILITY AND FITNESS FOR A PARTICULAR PUR- POSE, ARE LIMITED TO THE DURATION OF THIS LIMITED WARRANTY. IN NO EVENT SHALL MOTOR- OLA BE LIABLE FOR DAMAGES IN EXCESS OF THE PURCHASE PRICE OF THE PRODUCT, FOR ANY LOSS OF USE, LOSS OF TIME, INCONVENIENCE, COMMERCIAL LOSS, LOST PROFITS OR SAVINGS OR OTHER INCIDENTAL, SPECIAL OR CONSEQUENTIAL DAMAGES ARISING OUT OF THE USE OR INABIL- ITY TO USE SUCH PRODUCT, TO THE FULL EXTENT SUCH MAY BE DISCLAIMED BY LAW. III. State Law Rights SOME STATES DO NOT ALLOW THE EXCLUSION OR LIMITATION OF INCIDENTAL OR CONSEQUENTIAL DAMAGES OR LIMITATION ON HOW LONG AN IMPLIED WARRANTY LASTS, SO THE ABOVE LIMITATION OR EXCLUSIONS MAY NOT APPLY. This warranty gives specific legal rights, and there may be other rights which may vary from state to state. IV. How To Get Warranty Service You must provide proof of purchase (bearing the date of purchase and Product item serial number) in order to receive warranty service and, also, deliver or send the Product item, transportation and insurance prepaid, to an authorized warranty service location. Warranty service will be provided by Motorola through one of its authorized PowerPad unitsOne (1) Year Product AccessoriesOne (1) Year iii warranty service locations. If you first contact the company which sold you the Product, it can facilitate your obtaining warranty service. You can also call Motorola at 1-888-567-7347 US/Canada. V. What This Warranty Does Not Cover A. Defects or damage resulting from use of the Product in other than its normal and customary manner. B. Defects or damage from misuse, accident, water, or neglect. C. Defects or damage from improper testing, operation, maintenance, installation, alteration, mod- ification, or adjustment. D. Breakage or damage to antennas …
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FCC ID: AZ489FT7008 5 th February 2004 Mr. Dean Ghizzone NWT EMC TCB Review: FCC ID: AZ489FT7008. Dear Mr. Ghizzone; Motorola Inc., 8000 West Sunrise Boulevard, Fort Lauderdale, Florida 33322, herein submits its response to Question 3 in the 20 h January 2004 request for additional information. Q3) SAR report used 12.5% scaling factor or 1:8 which is typical for GSM. Please confirm 1:8 data only mode rather than the more typical 2:8 or 3:8 for GPRS is accurately representative for this product. R3) The maximum transmit duty cycle is 12.5% using TDMA 1:8 (577 micro seconds out of 4.165 milliseconds). The GSM/GPRS modem is used for packet switching data applications. The TDMA protocol is used by enabling the radio modem to transmit its’ data information only in the allocated slot 1 out of 8. This information was provided in section 3.0 of the S.A.R. report. Contact me at (954) 723-5793 if you require any additional information. Sincerely, /s/ Mike Ramnath (signed) Manager, Regulatory Compliance Email: [email protected]
Applicant: Motorola, Inc. FCC ID: AZ489FT7008 Exhibit 13 EXHIBIT XIII - Cover Letters New Certification Report for the FCC ID: AZ489FT7008 Enhanced PowerPad Terminal Cover Letter 1.) Certification action requested Cover Letter 2.) Request for Confidentiality under Part 0.459. Cover Letter 3.) Motorola Agent authorization letter allowing Rod Munro to sign FCC Form 731 on behalf of Motorola, Inc. Applicant: Motorola, Inc. FCC ID: AZ489FT7008 Exhibit 13 November 21, 2003 Federal Communications Commission Authorization and Evaluation Division 7435 Oakland Mills Rd. Columbia, MD 21046 Re: Action Requested FCC ID: AZ489FT7008 Grantee: Motorola, Inc. Gentlemen: On behalf of Motorola, Inc., we request Certification for the above referenced device, which contains two internally integrated co-located transmitters. The Enhanced PowerPad, Model: F4421A and Model: F4426A which are “identical” as defined by Part 2.908, with cosmetic appearance changes only, are ruggedized handheld data terminals which contain the following: 1.) A Bluetooth Intentional Radiator, manufactured by Motorola, Inc., previously Certified under part 15.247 in the Motorola PowerPad with the FCC ID: AZ489FT7005. 2.) A previously certified g20, PCS GSM transceiver module under the FCC ID: IHDT56DB1, manufactured by Motorola, Inc. For item 1 we have submitted the appropriate test data, for the six required items including exhibits for SAR, EIRP & spurious emissions. We have also referenced the twelve items which are common to all Bluetooth devices and included the list, verbatium, provided by Mr. Joe Dichoso. For item 2 we have submitted supplemental radiated spurious and harmonic emissions, and New SAR data for this co-located transmitter combination and their internally integrated antennas. We will be referring to the original Certification test data for the other original measurements where appropriate. This OEM model would be considered “identical” to the original as defined by part 2.908. Thank you for your time and consideration of this application. Please contact the undersigned for a prompt response should you require any additional information concerning this request for Certification. Sincerely, Rod Munro President Spectrum Technology, Inc. Agent on behalf of Motorola, Inc. Email: [email protected] Applicant: Motorola, Inc. FCC ID: AZ489FT7008 Exhibit 13 November 21, 2003 Federal Communications Commission Authorization and Evaluation Division 7435 Oakland Mills Rd. Columbia, MD 21046 Re: Request for Confidentiality FCC ID: AZ489FT7008 Grantee: Motorola, Inc. Gentlemen: On behalf of Motorola, Inc., 8000 West Sunrise Blvd., Ft Lauderdale, FL 33322 we request Confidentiality for the above referenced transmitter. Under the provisions of CFR 47, Part 0.459 we request the Exhibits listed below to be with held from public view. The reason for withholding the information under Part 0.457 (d) is cited as trade secrets. Motorola, Inc. considers this information propriety in nature and asks that the Exhibits be treated in a confidential manner and not made available to the general public. Release of such information could result in serious harm and the loss of company propriety information. Exhibit 4Block Diagrams Exhibit 5 Schematics Diagrams Exhibit 10 Bill of Materials Exhibit 12Operational Description If you have any questions concerning this request please contact Rod Munro at 425 771-4482 or email [email protected]. Best Regards, Rod Munro President Spectrum Technology, Inc. Agent on behalf of Motorola, Inc. Applicant: Motorola, Inc. FCC ID: AZ489FT7008 Exhibit 13 Applicant: Motorola, Inc. FCC ID: AZ489FT7008 Exhibit 13 Date: November 21, 2003 Authorization & Evaluation Division Federal Communication Commission Laboratory 7435 Oakland Mills Road Columbia, MD 21046 Gentlemen: This letter authorizes Rod Munro, President of Spectrum Technology, Inc. to act for Motorola, Inc for the purpose of signing the FCC Form 731 electronically on behalf of Motorola, Inc. solely with respect to the Enhanced Power pad Terminal, FCC ID: AZ489FT7008. Also, to check “yes” in item 15 of the said form Section 5301 (Anti-Drug Abuse) certification. The applicant, Motorola, Inc., must certify that neither the applicant nor any party to the applicant is subject to denial of Federal benefits, that includes FCC benefits, pursuant to section 5301 of the Anti-Drug Abuse act of 1988, 21 USC Subpart 862 because of a conviction for possession or distribution of a controlled substance. See 47 CFR 1.2002(b) for the definition of a “party” for these purposes. Please contact me at 954.723.5793 if you require any additional information. Sincerely, s/ Mike Ramnath FCC Liaison Email: [email protected] Motorola, Inc., 8000 W. Sunrise Blvd., Plantation, FL 33322 Page 1
Applicant: Motorola, Inc. FCC ID: AZ489FT7008 Exhibit 2 FCC Certification Report for the FCC ID: AZ489FT7008 Enhanced PowerPad Terminal New Certification Exhibit 2 - Certification Data Applicant: Motorola, Inc. FCC ID: AZ489FT7008 Exhibit 2 November 21, 2003 Federal Communications Commission Authorization and Evaluation Division 7435 Oakland Mills Rd. Columbia, MD 21046 Re: FCC ID: AZ489FT7008 Applicant: Motorola, Inc. Models: F4421A Gentlemen: Spectrum Technology, Incorporated has tested the above referenced Enhanced PowerPad a hand held data terminal that contains two co-located transmitters. The measurements were made in accordance with the applicable requirements contained in the Parts 2 to determine compliance with rules Parts 15, 22 and 24 of Title 47, CFR. To the best of my knowledge, tests were performed using the criteria established in ANSI, TIA, FCC or other Industry standards. The measurement results confirm the equipment is compliant with the following two transmitters. 1.) A Bluetooth intentional radiator for which complete test data is submitted under Part 15.247 for FHSS devices. 2.) Supplemental measurements for the previously Certified g20 transmitter module, FCC ID: IHDT56DB1, confirm this transmitter continues to comply with radiated spurious emission requirements under Part 22.901(d), 850MHz (824.2 - 848.8) & Part 24E PCS1900, (850.2 - 1909.8. The original test report is uploaded and referenced as part of this application for the items which remain unchanged by the addition of a new antenna and co-location. The digital device and radio receiver emissions were measured and verified to comply with the Part 15.109, (a) limits applicable to Class B digital devices and receivers. The open area test site used for the radiated emissions measurements is located at Fluke Park II in Everett, Washington. The site information required by Part 2.98, measured in accordance with ANSI C63.4-1992, was most recently renew with the FCC and accepted by the FCC Sampling and Measurements Branch in August 2001. This site is also on file with Industry Canada for the performance of radiated emissions measurements. Test site information required by RSS-212, Issue 1 (provisional) was most recently renewed with IC in January 2002. The site file number is IC 2089. Sincerely, Rod Munro President Spectrum Technology, Inc. Email: [email protected]
Motorola, Inc., 8000 W. Sunrise Blvd., Plantation, FL 33322 Date: 19 th November 2003 Authorization & Evaluation Division Federal Communication Commission Laboratory 7435 Oakland Mills Road Columbia, MD 21046 Gentlemen: This letter authorizes Rod Munro, President of Spectrum Technology, Inc. to act for Motorola, Inc for the purpose of signing the FCC Form 731 electronically on behalf of Motorola, Inc. solely with respect to the Enhanced Powerpad Terminal with FCC ID: AZ489FT7008. Also, to check ‘yes” in item 15 of the said form Section 5301 (Anti-Drug Abuse) certification. The applicant, Motorola, Inc., must certify that neither the applicant nor any party to the applicant is subject to denial of Federal benefits, that includes FCC benefits, pursuant to section 5301 of the Anti- Drug Abuse act of 1988, 21 USC Subpart 862 because of a conviction for possession or distribution of a controlled substance. See 47 CFR 1.2002(b) for the definition of a “party” for these purposes. Please contact me at (954) 723-5793 if you require any additional information. Sincerely, /s/ Mike Ramnath (signed) Manager, Regulatory Compliance Email: [email protected]
Spectrum Technology, Inc. Reply to TCB Technical Review Findings of Jan. 20, 2004 FCC ID:AZ489FT7008 Date:February 5, 2004 Our reply to your preliminary findings is noted in blue text beneath each Finding. SpecificationFinding OET 65 Supplement C EAB Part 22/24 SAR Review Reminder Sheet Q1) Please provide a discussion harmonizing the conducted powers stated in the EMC and SAR report. FCC Requirement: “Conducted power in SAR report should be greater than or equal to what’s in EMC report, but not exceeding tune-up/tolerance” The supplemental EMC Report for FCC ID: AZ489FT7008 indicates output power was provided by the Motorola SAR lab on 9/06/03 – 9/08/03 & 10/02/03. The SAR report doesn’t contain power measurements that match EMC report. The SAR report has power slump data measured with a thermocouple sensor (fine for relative measurement). The EMC report has average power readings using Gigatronics power meter and sensor (that provide more accurate measurement of modulated signals). The SAR Report should contain similar measurements. R1) Please see the revised Test Report “Exhibit 06 g20 GPRS Supplemental Test Report Rev2.doc”, attached with revised conducted power output which harmonized with the SAR report. The HP power meter used to take the power slump data measurements presented in the submitted EME report was set up to measure the applicable modulated signals. The specifications for both the HP power meter and the thermocouple sensor suggest that they both perform power measurements of modulated signals sufficiently. The S.A.R. Assessments were done using the maximum reported power output of the device. 47 CFR 22.913a 47 CFR 24.232b Q2) “Part 22/24 limits are in terms of ERP and EIRP, as measured using substitution method not calculation...Please submit (Part 22, 24 handsets) radiated power using substitution method.” No ERP of fundamental data for GSM (see 47 CFR 22.913a), no EIRP for PCS (see 24.232b). Calculations from conducted data not allowed. Must be radiated measurement using substitution method of TIA / EIA 603 2.2.12. We received a request from the FCC last August: Please see the revised test report reporting the measured ERP and EIRP in accordance with ANSI/TIA 603-B-2002. R2) Please see the revised Test Report “Exhibit 06 g20 GPRS Supplemental Test Report Rev2.doc”, attached with substitution ERP & EIRP measurements per ANSI/TIA 603-B-2002. OET 65 Supplement C EAB Part 22/24 SAR Review Reminder Sheet Q3) SAR report used 12.5% scaling factor or 1:8 which is typical for GSM. Please confirm 1:8 data only mode rather than the more typical 2:8 or 3:8 for GPRS is accurately representative for this product. R3) Please see the Motorola letter attached “FT7008 Resp to TCB .doc”, addressing this issue and confirming 1:8 data only mode. Please feel free to contact me should you require any further information. Best Regards, Rod Munro
Northwest EMC TCB Compliance Opinion Rev. 9/15/03 SPTE0008 Information about the Applicant Company Name Motorola Inc. Grantee Mike Ramnath Address 8000 West Sunrise Blvd. City, State, Zip Ft. Lauderdale, FL 33322 Job Number SPTE0008 Model F4421A & F4426A FCC ID AZ489FT7008 Agent Rod Munro Approval Type Original Equipment Class Mobile Cellular/PCS GSM Transceiver Rule Part 22H and 24E Overview Reference cover letter provided by the client. This compliance opinion covers the GSM radio and is one of two compliance opinions, one for the Bluetooth and one for the GSM. Recommendation All items have been resolved to my satisfaction; I am therefore recommending this for approval. Signature Northwest EMC TCB Compliance Opinion Rev. 9/15/03 SPTE0008 Findings Specification Finding 2.1033(b)(6) 2.1033 specifies that a report of measurements showing compliance with the pertinent FCC technical requirements. This report shall identify the test procedure used (e.g., specify the FCC test procedure, or industry test procedure that was used), the date the measurements were made, the location where the measurements were made, and the device that was tested (model and serial number, if available). The date the measurements were made, and the location where the measurements were made was not provided in the supplemental reports. 15.207 ( c ) Page 9 of the users manual indicates the EUT may be “On” while charging. Section 15.207 states Devices that include, or make provisions for, the use of battery chargers which permit operating while charging, AC adapters or battery eliminators or that connect to the AC power lines indirectly, obtaining their power through another device which is connected to the AC power lines, shall be tested to demonstrate compliance with the conducted limits. No conducted emissions data was submitted. 15.101 As specified in 15.101, approval is required for digital devices. The Power Pad host is a digital device. Please provide information to support that compliance. Simultaneous Transmissions Co-Location The radios must be tested individually. Assuming that the radios do not share an antenna, only radiated tests for simultaneous transmission is required. If the radios share an antenna, antenna conducted measurements would also be required. Only one set of worst case simultaneous transmission data is going to be requested to be submitted at this time. The test engineer should indicate the worst case condition and provide justification as to why the worst case condition was chosen. The grantee should be reminded that even if the FCC requests one set of data, they are responsible for compliance for all modes of simultaneous transmission. No data was supplied to support the requirement. Other The Supplemental Test Report has calculated the output power incorrectly for the mid and high channels. 15.247( c ) The Supplemental Bluetooth Test Report indicates in the procedure that an HP 8562A was used for conducted spurious emissions. The measurement procedure indicates testing was done to 25 GHz. The equipment list specifies the frequency band of the equipment used is 10 kHz – 22 GHz. The equipment used is not capable of making the measurement described. 15.105 The manual on page IV incorrectly refers to “Part 90” of the FCC rules. OET 65 Supplement C EAB Part 22/24 SAR Review Reminder Sheet Please provide a discussion harmonizing the conducted powers stated in the EMC and SAR report. FCC Requirement: “Conducted power in SAR report should be greater than or equal to what’s in EMC report, but not exceeding tune-up/tolerance” The supplemental EMC Report for FCC ID: AZ489FT7008 indicates output power was provided by the Motorola SAR lab on 9/06/03 – 9/08/03 & 10/02/03. The SAR report doesn’t contain power measurements that match EMC report. The SAR report has power slump data measured with a thermocouple sensor (fine for relative measurement). The EMC report has average power readings using Gigatronics power meter and sensor (that provide more accurate measurement of modulated signals). The SAR Report should contain similar measurements. 47 CFR 22.913a 47 CFR 24.232b “Part 22/24 limits are in terms of ERP and EIRP, as measured using substitution method not calculation...Please submit (Part 22, 24 handsets) radiated power using substitution method.” No ERP of fundamental data for GSM (see 47 CFR 22.913a), no EIRP for PCS (see 24.232b). Calculations from conducted data not allowed. Must be radiated measurement using substitution method of TIA / EIA 603 2.2.12. We received a request from the FCC last August: “Part 22/24 limits are in terms of ERP and EIRP, as measured using substitution method not calculation...Please submit (Part 22, 24 handsets) radiated power using substitution method.” OET 65 Supplement C EAB Part 22/24 SAR Review Reminder Sheet SAR report used 12.5% scaling factor or 1:8 which is typical for GSM. Please confirm 1:8 data only mode rather than the more typical 2:8 or 3:8 for GPRS is accurately representative for this product. Northwest EMC TCB Compliance Opinion Rev. 9/15/03 SPTE0008 Opinions Specification Requirements Description 2.1049, 22.917, 24.238 Occupied Bandwidth Opinion: The Equipment meets the intent specified by the requirements listed above. Discussion: The Applicant has submitted test results in the form of a test report Reference: The original Test Report and grant of approval Specification Requirements Description 2.1051, 22.917, 24.238 Spurious Emissions, Antenna Conducted Opinion: The Equipment meets the intent specified by the requirements listed above. Discussion: The Applicant has submitted test results in the form of a test report Reference: The original Test Report and grant of approval S…
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209 Dayton Street · Edmonds, Washington · United States
| # | Rule Parts | Frequency Range | Power Output | Emission | Tolerance |
|---|---|---|---|---|---|
| 2 | 22H | 824.2 MHz - 848.8 MHz | 738.00 mW | 250KGXW | 0.029 ppm |

Portable two way radio
Equipment Class
TNF - Licensed Non-Broadcast Transmitter Held to FaceHandheld Portable - TANAPA BPR 45 400-470 MHZ 4W NKP
Equipment Class
TNF - Licensed Non-Broadcast Transmitter Held to Face
Portable 2-Way Radio with Bluetooth, Bluetooth LE, WIFI 2.4GHz, WIFI 5GHz, LTE
Equipment Class
DSS - Part 15 Spread Spectrum TransmitterOperation Critical Wireless Earpiece PTT
Equipment Class
DSS - Part 15 Spread Spectrum Transmitter
2-way Portable Radio with BT, BTLE, WIFI, NFC and LTE
Equipment Class
DSS - Part 15 Spread Spectrum Transmitter