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JUP-5935524-B1GNSS RX with Bluetooth and Spread Spectrum Radio

Trimble, Inc.
GNSS RX with Bluetooth and Spread Spectrum Radio - FCC ID JUP-5935524-B1 - Trimble, Inc.
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Application Details

Equipment Class
DSS - Part 15 Spread Spectrum Transmitter
Date of Grant
Oct 23, 2007
Application Purpose
Original Equipment
Date of Application
Oct 22, 2007
Equipment Note
GNSS RX with Bluetooth and Spread Spectrum Radio
Frequency Range
2401.68960000 - 2469.88800000
Company
Trimble, Inc.
Country
United States

Documents & Files

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Users Manual

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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

Trimble ® SPSx80 and SPSx81 Smart GPS Antennas USER GUIDE Version 3.30 Revision B July 2007 F USER GUIDE Trimble ® SPSx80 and SPSx81 Smart GPS Antennas Corporate Office Trimbl e Nav i gation Limit ed 935 Stewart Drive Sunnyvale, CA 94085 USA www.trimble.com Construction Business Area Trimbl e Nav i gation Limit ed Construction Business Area 5475 Kellenburger Road Dayton, Ohio 45424-1099 USA 800-538-7800 (toll free in USA) +1-937-245-5600 Phone +1-937-233-9004 Fax www.trimble.com E-mail: [email protected] Legal Notices Copyright and Trademarks © 2006–2007, Trimble Navigation Limited. All rights reserved. Trimble and the Globe & Triangle logo are trademarks of Trimble Navigation Limited, registered in the United States Patent and Trademark Office and in other countries. AutoBase, CMR, CMR+, HydroPro, Maxwell, SiteNet, TRIMMARK, TRIMTALK, Trimble Geomatics Office, Trimble Total Control, TSC2, TSCe, VRS, Zephyr, and Zephyr Geodetic are trademarks of Trimble Navigation Limited. The Bluetooth word mark and logos are owned by the Bluetooth SIG, Inc. and any use of such marks by Trimble Navigation Limited is under license. Microsoft, Windows, and Windows NT, are either registered trademarks or trademarks of Microsoft Corporation in the United States and/or other countries. All other trademarks are the property of their respective owners. Release Notice This is the July 2007 release (Revision B) of the SPSx80 and SPSx81 Smart GPS Antennas User Guide. It applies to version 3.30 of the SPSx80 and SPSx81 Smart GPS antennas. Product Limited Warranty Information For applicable product Limited Warranty information, please refer to the Limited Warranty Card included with this Trimble product, or consult your local Trimble authorized dealer. Notices Class B Statement – Notice to Users. This equipment has been tested and found to comply with the limits for a Class B digital device, pursuant to Part 15 of the FCC rules. These limits are designed to provide reasonable protection against harmful interference in a residential installation. This equipment generates, uses, and can radiate radio frequency energy and, if not installed and used in accordance with the instructions, may cause harmful interference to radio communication. However, there is no guarantee that interference will not occur in a particular installation. If this equipment does cause harmful interference to radio or television reception, which can be determined by turning the equipment off and on, the user is encouraged to try to correct the interference by one or more of the following measures: – Reorient or relocate the receiving antenna. – Increase the separation between the equipment and the receiver. – Connect the equipment into an outlet on a circuit different from that to which the receiver is connected. – Consult the dealer or an experienced radio/TV technician for help. Changes and modifications not expressly approved by the manufacturer or registrant of this equipment can void your authority to operate this equipment under Federal Communications Commission rules. Canada This digital apparatus does not exceed the Class B limits for radio noise emissions from digital apparatus as set out in the radio interference regulations of the Canadian Department of Communications. Le présent appareil numérique n’émet pas de bruits radioélectriques dépassant les limites applicables aux appareils numériques de Classe B prescrites dans le règlement sur le brouillage radioélectrique édicté par le Ministère des Communications du Canada. Europe This product has been tested and found to comply with the requirements for a Class B device pursuant to European Council Directive 89/336/EEC on EMC, thereby satisfying the requirements for CE Marking and sale within the European Economic Area (EEA). Contains Infineon radio module ROK 104001. These requirements are designed to provide reasonable protection against harmful interference when the equipment is operated in a residential or commercial environment. Australia and New Zealand This product conforms with the regulatory requirements of the Australian Communications Authority (ACA) EMC framework, thus satisfying the requirements for C-Tick Marking and sale within Australia and New Zealand. Taiwan – Battery Recycling Requirements The product contains a removable Lithium-ion battery. Taiwanese regulations require that waste batteries are recycled. 廢電池請回收 Notice to Our European Union Customers Restriction of Use of Certain Hazardous Substances in Electrical and Electronic Equipment (RoHS) This Trimble product complies in all material respects with DIRECTIVE 2002/95/EC OF THE EUROPEAN PARLIAMENT AND OF THE COUNCIL of 27 January 2003 on the restriction of the use of certain hazardous substances in electrical and electronic equipment (RoHS Directive) and Amendment 2005/618/EC filed under C(2005) 3143, with exemptions for lead in solder pursuant to Paragraph 7 of the Annex to the RoHS Directive applied. Waste Electrical and Electronic Equipment (WEEE) For product recycling instructions and more information, please go to www.trimble.com/ev.shtml. Recycling in Europe: To recycle Trimble WEEE (Waste Electrical and Electronic Equipment, products that run on electrical power.), Call +31 497 53 24 30, and ask for the "WEEE Associate". Or, mail a request for recycling instructions to: Tr i mb l e Eu ro p e BV c/o Menlo Worldwide Logistics Meerheide 45 5521 DZ Eersel, NL SPSx80 and SPSx81 Smart GPS Antennas User Guide 3 Safety Information Before you use your Trimble ® SPS GPS receiver, make sure that you have read and understood all safety requirements. Regulations and safety The receivers contain an internal radio-modem and can send signals through Bluetooth ® wireless technology or through an external data communications radio. Regulations regarding the use of the 450 MHz radio-modems vary greatly from country to country. In some countries, the unit can be used without obtaining an end-user license. Other coun…

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Cover Letter(s)

American TCB August 23, 2007 RE: Trimble Navigation. FCC ID: JUP-5935524-B1 Attention: Timothy R. Johnson Please find our responses to your comments on this application below: 1. Frequency Range for the WIT TX on 731 cites 2401.945 – 2469.8138, while the block diagram shows 2401.6896 – 2469.888. What is correct? Please confirm nominal frequency range. The correct frequency range is 2401-6896 – 2469.888. A revised Form 731 has been uploaded. 2. Operational description for the WIT TX shows an operational range of 2401 – 2495 MHz. Please explain. We received a new operational description from Cirronet, the vendor for this radio and it has been uploaded. FYI: The documents originally submitted in this application are the same as those submitted for the modular approval for Cirronet. 3. Due to various concerns recently seen about proper authority being given to others for FCC and/or IC matters, the agency letter should be signed by someone traceable to have the proper authority. For instance, the FCC site shows Patrick Deane as the correct contact of authority for FCC matters. Therefore the agency letters should be signed by this contact or alternatively a letter showing who he has “deputized” to sign on his behalf may be provided as well (i.e. Roy Urbach). Please correct. Understood, a letter has been uploaded to clarify authority. 4. The label is required to be on a permanent part of the devices housing. Currently the label appears to be on an access door of some types. From 2.925 - As used here, permanently affixed means that the required nameplate data is etched, engraved, stamped, indelibly printed, or otherwise permanently marked on a permanently attached part of the equipment enclosure. Note that the access door appears to use typical Phillips head screws and is reasonable for the user to access or open. Trimble responds: “The cover is part of the radio. A person would have to disassemble the radio, remove the door, figure out how to reassemble the radio without the door as a mounting platform, try to reassemble the radio (with the antenna connector dangling), try to manually line up and insert the radio data connector, mount an antenna and prevent if from ripping the connector off the radio, then hope the radio still works, won't get damaged, and won't fall out while moving around doing a survey. The idea is absurd. This product costs several tens-of-thousands of dollars. Our customers are not so stupid as to ruin their investment in order to get unbelievable inconvenience and degraded performance. This is not some simple consumer product, but a very sophisticated and expensive engineering tool.” 5. Page 4 of the users manual cites 8 dBi, but then the next pages cites not to use greater than 5 dBi. Note that it appears that the 2.4 GHz radio modem was tested with 8 dBi. The user’s manual has been corrected and uploaded. 6. Currently internal photographs only appear to show detail of 2 TX boards. The internal photographs should include sufficient views of the overall internal construction, top and bottom views of all boards, and any additional views necessary to define the component placement of the RF devices within the chassis (reference 2.1033 (b)(3)). Please update. An additional photograph of the unit showing the location of the bluetooth module and the other side of the bluetooth module has been uploaded. 7. Internal photographs show the Bluetooth area, but also need to show the Bluetooth circuitry. Please adjust. It does not appear that you were provided with an internal photo showing how the bluetooth module is located in the EUT. See answer to item 6 above. The internal photos you did receive showed one side of the circuitry of the bluetooth module. 8. It is uncertain where the Bluetooth antenna is located. Kindly provide information or photographs to show this information. The antenna is the component designated E1 on the photo of the bluetooth module that was originally provided. 9. The original module appears to show copper tape around one side of the shields – however when installed within this device, this modification cannot be confirmed. Please explain. An additional photo showing the side of the 2.4GHz radio mounted to the cover has been uploaded showing the tin plated copper tape on the module. 10. Page 78 of the manual does not appear to list the radio being certified. Please explain. The user’s manual has been revised and uploaded. 11. It appears that the manual may not adequately address the 2.4 GHz Data Modem TX. It is recommended that the manual is carefully reviewed. The user’s manual has been revised and uploaded. 12. Elliott Report – Emissions appear to be tested to only 7 GHz, while 15.33 requires testing of the TX to the 10 th Harmonic. Please explain. The Elliott report only covers the receiver requirements of RSS-GEN for receivers and the conducted emissions requirements for intentional radiators found in FCC 15.207 thus measurements were only made to the third harmonic of the 2.4 GHz receiver. 13. Many different test reports have been provided. Please explain the basis of compliance with the variety of test reports. Please note that this approval is for the device as a whole, and not a module. Therefore radiated spurious testing applies only to the whole device and not stand alone as a module. It does not appear that spurious emissions have therefore been completed as a whole. Note that the Elliott report does mention that the TX was on by mistake for radiated tests, but did not measure the harmonics. Additionally, it is uncertain if one or both TX were even active in this configuration. Assuming the modular reports have been provided to show compliance in part (i.e. RF conducted measurements) – it still appears that radiated spurious TX and bandedge testing has not been performed for this device. Additionally, there needs to be an explanation to confirm that the other reports are even applicable and/or the TX portion is identical. Depending on the manufa…

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Cover Letter(s)

American TCB September 24, 2007 RE: Trimble Navigation. FCC ID: JUP-5935524-B1 Attention: Timothy R. Johnson Please find our responses to your comments on this application below: 1. FYI....We understand your response regarding labeling. However due to increased FCC concern over inappropriate labeling and TCB’s being too lenient on these issues, we have submitted the labeling issue directly to the FCC to obtain final approval for this case. We will let you know if there is any concern from the FCC. Regarding the labeling, the client submits the following to address your concerns. “ATCB refers to our installed radio door module as an Access Door, where it fact it is not a door to be accessed but a part of the equipment that we build in our factory at Trimble Dayton. ATCB asked the FCC about our labeling method. The response from FCC to ATCB on September 19 was that the label must be placed on a permanent part of the device. Trimbles takes no issue with that; our position is that the label location on the radio door meets the requirement of being placed on a permanent part of the device because the radio door module is a permanently attached part of the equipment as shipped from our factory. Let me explain. We designed our GPS receiver with a location for a radio door module to be installed. Our contract manufacturers (Solectron primarily) build GPS receivers and radio door modules separately and ship them to Trimble. Trimble offers a number of different radios door modules that we install in this location at our factory. When we receive a customer order, our fulfillment center (Trimble in Dayton, OH), pulls the appropriate radio door module from stock, pulls the appropriate GPS receiver from stock, completes construction of the unit using Philips screws, labels the final unit, and configures the firmware. The user does not swap out the radio door modules. These radio modules are installed at the factory. Trimble does not sell radio door modules to users. Now, this equipment also has a battery door cover, which is intended to be removed by the customer. Clearly we would not want to attach our label to this surface, since it is customer removable. But there is not an FCC requirement that the customer be unable to dismantle the equipment. If there were, there are hundreds of Bluetooth and Wi-Fi products with only plastic snap-on enclosures out there, which are easier to dismantle than to remove all screws from our radio door module.” Thus, the label on the radio door module does fulfill the requirement of permanently attached to the equipment and complies with the guidelines at http://www.fcc.gov/oet/ea/Labelling_Guidelines_Parts_15_and_18.pdf. 2. This device has been requested to be Certified as a whole unit, not a module. Therefore complete internal photographs showing the top/bottom of all boards must be provided (see previous comments 6 & 7). It still appears that we are missing many photographs. This should also include a photograph of the Bluetooth with shield removed. Please provide. Trimble has provided additional photographs of the unit that should help you understand the structure of the unit and the various parts therein. Note, the bluetooth module does not have a shield. These photographs have been uploaded. Item #3 of your comments will be addressed separately. Regards, David W. Bare CTO

Cover Letter(s)

American Telecommunications Certification Body Inc. 6731 Whittier Ave, McLean, VA 22101 August 25, 2007 RE: Trimble Navigation Limited FCC ID: JUP-5935524-B1 After a review of the submitted information, I have a few comments on the above referenced Application. Depending on your responses, kindly understand there may be additional comments. 1) FYI....We understand your response regarding labeling. However due to increased FCC concern over inappropriate labeling and TCB’s being too lenient on these issues, we have submitted the labeling issue directly to the FCC to obtain final approval for this case. We will let you know if there is any concern from the FCC. 2) This device has been requested to be Certified as a whole unit, not a module. Therefore complete internal photographs showing the top/bottom of all boards must be provided (see previous comments 6 & 7). It still appears that we are missing many photographs. This should also include a photograph of the Bluetooth with shield removed. Please provide. 3) There seems to be some level of misunderstanding regarding the applicability of modular data to other submissions. The submission is being done for the entire device, not just a module. Therefore spurious emissions must be supplied as applicable to the entire device. From lab experience I have seen where placing a previously approved module into another device can affect spurious emissions either beneficially or negatively. Use of the modular approval would require appropriate labeling of the device as required by the modular approval requirements. However approval of this device as a whole device would allow use of only the antenna conducted tests. Radiated tests would need to be performed for the entire device since this is what is being approved. Since this is my understanding I have further discussed this with Rich Fabina and Dennis Ward. Both also agree that for purposes of this application that the antenna conducted tests may be used, but that new spurious emissions data should be provided. This means that previously comment 12 & 13 do not appear to be adequately addressed. Please note that while the FCC does not require simultaneous TX to be submitted, but the applicant/lab is still responsible for ensure the device is compliant under simultaneous TX. For purposes of spurious emissions here – each TX activated independently is sufficient. If the manufacturer only wishes to address RF exposure, then possibly doing Change of ID’s to the previously approved modules (to place into Trimbles Name) and then a PC to add co-located RF exposure is the route to pursue. This will give 2 FCC ID’s that may be treated as modular approvals. However to re-approve under a single FCC ID requires appropriate radiated data. Timothy R. Johnson Examining Engineer mailto: [email protected] The items indicated above must be submitted before processing can continue on the above referenced application. Failure to provide the requested information may result in application termination. Correspondence should be considered part of the permanent submission and may be viewed from the Internet after a Grant of Equipment Authorization is issued. z Page 2 September 6, 2007 Please do not respond to this correspondence using the email reply button. In order for your response to be processed expeditiously, you must submit your documents through the AmericanTCB.com website. Also, please note that partial responses increase processing time and should not be submitted. Any questions about the content of this correspondence should be directed to the sender.

Cover Letter(s)

                          ! ! "    ! # ! $ #! Ag e n t Au t h o r i z a t io n American TCB 6731 Whittier Ave Suite C110 McLean, Va. 22101 July 24, 2007 Gentlemen: This is your letter of authorization to accept our appointment of Elliott Laboratories, Inc. as Agent for Trimble Navigation Ltd. at the address above, to sign applications before the Commission and to make representations to you on our behalf. Elliott Laboratories is to receive and exchange data between our company and the Commission. This authorization is made pursuant to Section 2.911(c) of the FCC Rules and expires on October 31, 2007. I hereby certify on behalf of Trimble Navigation Ltd. at the address above ("Applicant") that neither Applicant nor any party to the application (officers, directors, and 5% shareholders) is subject to a denial of Federal benefits that includes FCC benefits pursuant to section 5301 of the Anti-Drug Abuse Act of 1988. 21 U.S.C. 853a. Sincerely, Roy Urbach Compliance Engineer

Cover Letter(s)

                          ! ! "    ! # ! $ #! Co n f i d e n t i al i ty Re q u e s t American TCB 6731 Whittier Ave Suite C110 McLean, Va. 22101 July 24, 2007 Dear Examiner: I am writing to avoid the possibility of an inadvertent disclosure of proprietary information. The accompanying Form 731 is being filed with the commission on our behalf by Elliott Laboratories, Inc., a consulting and testing laboratory. Included as exhibits with the enclosed application are block diagrams, schematics, and a detailed description of the theory of operation of the device. It is our intention to provide the commission with a full disclosure of our product so that its merits can be evaluated. Indeed, we are pleased to provide any further information that the commission might wish to see. It is not our intention, however, to make our proprietary process a matter of public record. The block diagrams, schematics, and associated theory of operation in our application disclose the mechanism of our process, and contain details of the proprietary operation of our product. These details are not readily discernible - even to technically sophisticated individuals - from our hardware, and constitute trade secrets. We request, as provided under FCC section 0.459, that these block diagrams, schematics, and theory of operation be segregated from the body of our evaluation report and withheld from public inspection. Thank you for your attention. Please let the undersigned know if the Commission disagrees with our position or requires further justification. Sincerely, Roy Urbach Compliance Engineer

ID Label/Location Info

SPS881 with 2.4GHz Radio Door Label

Internal Photos

PHOTOS OF THE TESTED EUT The following photos are attached: Photo 1. Top of EUT, Cover On, Case Taped Photo 2. Bottom of EUT, Cover On, Case soldered and Taped Photo 1. Top of EUT, Cover On, Case Taped Photo 2. Bottom of EUT, Cover On, Case Soldered and Taped PHOTOS OF THE TESTED EUT The following photos are attached: Photo 3. Top of EUT, Cover Off Photo 4. Bottom of EUT, Cover Off Photo 3. Top of EUT, Cover Off Photo 4. Bottom of EUT, Cover Off

Internal Photos

Richard Wallace IFND COM PS CSE AE UniStone October 2006 Page 1 UnistoneDesign Inside Unistone

RF Exposure Info

Formula is: 1 408 5.7 Peak Average dBm W W dBm 2402 - 2480 - 0.87 - 0.0 0.87 0.0012 79 1 0.0012 0.87 2401.89-2469.68 - 18.09 - 8.0 26.09 0.4064 75 1 0.4064 26.09 2 0.4077 26.10 2401.89 - 2480 0.08 EIRP Channels Available MPE Calculations (Mobile) Pd = Pt / (4*pi*d 2 ) MPE Limit (mW/cm 2 ) The device is not a portable device (i.e. intended to be worn on the body or be hand-held), so it is classified as being either a mobile device or a fixed mounted device. The user’s manual specifies a minimum separation distance of at least 20cm, consistent with this classificatio n. FCC part 1.1310, Table 1 limits the power density for uncontrolled exposure. The power density, Pd (mW/cm2 ) calculated from t he maximum EIRP, Pt (mW) and the distance, d (m), between the transmitting antenna and the closest person, can be calculated using: Eirp (mW) Pd at 20cm (mW/cm 2 ) Distance where Pd = Limit (cm) The total value from both the BT and Frequency Hopping modules was used to determine co-location compliance to the worst case M PE limit which is 1 mW/cm^2. Total EIRP Totals: Frequency (MHz) MPE exposure is based on two 2.4GHz pre-approved modules. Device can be programmed so that both radios transmit simultaneously . Channels Used Band Mode Output Power (dBm) Antenna gain (Max)

RF Exposure Info

XtremeWave™ MFB Series XtremeWave™ Models 25007 MMDS, MFB19008A PCS, MFB24006 and MFB24008 2.4 GHz ISM Antennas XtremeWave™ MFB24012 MFB24010 and MFB24012 255 PCTEL Antenna Products Group, Inc. ORDER (800) 323-9122 http://www.maxrad.com General Specifications: Radome Material: UV resistant pultruded fiberglass Polarization: Vertical Lightning Protection: Not standard, but all models can be ordered with DC grounding. Add a “DC” suffix to the part number to choose the DC grounded version of the antenna. Nominal Impedance: 50 Ohms Mounting Base Diameter: 1.25 inches (all models except MFB24012) 1.5 inches (model MFB24012) Mounting Method (sold separately): MMK1924 – L bracket mount for wall or pipe mount (all models, except MFB24010 and MFB24012) MMK8A - Aluminum extruded bracket for mast mounting (all models, except model MFB24012) MMK11 - Ceiling mount bracket (for MFB24004, MFB24006 and MFB24008 only) MMK12 - Heavy duty bracket for mast mounting the MFB24012 MMK14 - Light duty mounting clamp for MFB24012 Termination: N female standard with all models, except MFB24012 N female, reverse polarity and reverse threaded connectors optional 16” RG-213 pigtail with N female connector for model MFB24012 only N male connector option available with models MFB24010, MFB24008, MFB24006 and MFB19008. To order, add “NM” to part number. Features and Benefits: •UV stable, pultruded fiberglass radome. Allows outdoor installation even in harsh climates. •Vented system design (all models except MFB24012). Provides reliable performance by protecting the electrical design against extreme moisture and/or temperatures. •Thread relief on connector (all models, except MFB24012 which has a pigtail). Improved accessibility for taping reduces installation time and improves overall effectiveness. •Internal o-ring seal in the base of the antenna with integrated connector at the base. Assures a watertight seal to prevent water from migrating into the antenna connector (all models, except MFB24012 which has a pigtail.) •Electrical downtilt options on select models. Provide system planners flexibility in challenging operating environments. The XtremeWave™ wireless broadband omnidirectional antennas are designed to provide maximum performance and reliability under the toughest weather conditions. These antennas feature a UV stable, vented radome that provides ultimate protection against weather elements. They can be mast, wall or ceiling mounted. PCS, 2.4 GHz ISM and MMDS Omnidirectional Base Station Antenna Series Model # Wind Survival Equivalent Flat Plate Area Lateral Thrust @ Rated Wind Bending Moment @ Rated Wind HeightWeight MFB19008A125 mph .07 ft 2 5.9 lbs5.7 ft-lbs24.0” (609.6 mm)0.70 lbs (0.318 kg) MFB24004125 mph .02 ft 2 2.1 lbs0.7 ft-lbs8.1” (205.7 mm)0.34 lbs (0.154 kg) MFB24006125 mph .04 ft 2 3.0 lbs1.4 ft-lbs11.6” (294.6 mm)0.38 lbs (0.172 kg) MFB24008125 mph .06 ft 2 5.2 lbs4.4 ft-lbs20.2” (513.1 mm)0.50 lbs (0.226 kg) MFB24008DT3125 mph .06 ft 2 5.2 lbs4.4 ft-lbs20.2” (513.1 mm)0.50 lbs (0.226 kg) MFB24008DT5125 mph .06 ft 2 5.2 lbs4.4 ft-lbs20.2” (513.1 mm)0.50 lbs (0.226 kg) MFB24008DT7125 mph .06 ft 2 5.2 lbs4.4 ft-lbs20.2” (513.1 mm)0.50 lbs (0.226 kg) MFB24008DT12125 mph .06 ft 2 5.2 lbs4.4 ft-lbs20.2” (513.1 mm)0.50 lbs (0.226 kg) MFB24010125 mph .11 ft 2 10.1 lbs14.7 ft-lbs36.0” (914.4 mm)0.65 lbs (0.295 kg) MFB24012125 mph .25 ft 2 22.4 lbs41 ft-lbs44.0” (1,118 mm)3.00 lbs (1.400 kg) MFB25007125 mph .06 ft 2 5.2 lbs4.4 ft-lbs20.2” (513.1 mm)0.50 lbs (0.226 kg) MFB25007DT3125 mph .06 ft 2 5.2 lbs4.4 ft-lbs20.2” (513.1 mm)0.50 lbs (0.226 kg) Model #Frequency RangeGain Bandwidth @ 1.5:1 VSWR Vertical Beamwidth @ 1/2 Power VSWR Maximum Power Downtilt MFB19008A1850-1990 MHz8 dBi140 MHz12°< 1.5:125 WattsN/A MFB240042400-2483.5 MHz4 dBi100 MHz30°< 1.5:125 WattsN/A MFB240062400-2483.5 MHz6 dBi100 MHz20°< 1.5:125 WattsN/A MFB240082400-2483.5 MHz8 dBi100 MHz13°< 1.5:125 WattsN/A MFB24008DT32400-2483.5 MHz8 dBi100 MHz13°< 1.5:125 Watts3° MFB24008DT52400-2483.5 MHz8 dBi100 MHz13°< 1.5:125 Watts5° MFB24008DT72400-2483.5 MHz8 dBi100 MHz13°< 1.5:125 Watts7° MFB24008DT122400-2483.5 MHz8 dBi100 MHz13°< 1.5:125 Watts12° MFB240102400-2483.5 MHz10 dBi100 MHz9°< 1.5:125 WattsN/A MFB240122400-2500 MHz12 dBi100 MHz7°< 1.5:125 WattsN/A MFB250072500-2700 MHz7 dBi200 MHz13°< 1.5:125 WattsN/A MFB25007DT32500-2700 MHz7 dBi200 MHz13°< 1.5:125 Watts3° Electrical Specifications 256 PCTEL Antenna Products Group, Inc. ORDER (800) 323-9122 http://www.maxrad.com Specifications MMK1924 MFB24004 with MMK11 MMK8A Vented System MMK12 Mechanical Specifications 257 PCTEL Antenna Products Group, Inc. ORDER (800) 323-9122 http://www.maxrad.com Patterns 10 190 20 200 30 210 40 220 50 230 60 240 70 250 80 260 90 270 100 280 110 290 120 300 130 310 140 320 150 330 160 340 170 350 1800 2525202015151010550055 10 190 20 200 30 210 40 220 50 230 60 240 70 250 80 260 90 270 100 280 110 290 120 300 130 310 140 320 150 330 160 340 170 350 1800 303025252020151510105500 MFB19008A Elevation Cut MFB24004 Elevation Cut 258 PCTEL Antenna Products Group, Inc. ORDER (800) 323-9122 http://www.maxrad.com Patterns MFB24006 Elevation Cut MFB24008 Elevation Cut 10 190 20 200 30 210 40 220 50 230 60 240 70 250 80 260 90 270 100 280 110 290 120 300 130 310 140 320 150 330 160 340 170 350 1800 2525202015151010550055 10 190 20 200 30 210 40 220 50 230 60 240 70 250 80 260 90 270 100 280 110 290 120 300 130 310 140 320 150 330 160 340 170 350 1800 2525202015151010550055 259 PCTEL Antenna Products Group, Inc. ORDER (800) 323-9122 http://www.maxrad.com MFB24008DT5 Elevation Cut Patterns 10 190 20 200 30 210 40 220 50 230 60 240 70 250 80 260 90 270 100 280 110 290 120 300 130 310 140 320 150 330 160 340 170 350 1800 2525202015151010550055 MFB24008DT3 Elevation Cut 10 190 20 200 30 210 40 220 50 230 60 240 70 250 80 260 90 270 100 280 110 290 120 300 130 310 140 320 150 330 160 340 170 350 1800 2525202015151010550055 Patterns 260 PCTEL Antenna Products Group, Inc. ORD…

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Test Report

Cirronet FCC Part 15, Certification Application WIT2410T Spread Spectrum Transceiver UST Project: 07-0087 Issue Date: May 15, 2007 3505 Francis Circle Alpharetta, GA 30004 PH: 770-740-0717 Fax: 770-740-1508 www.ustech-lab.com I certify that I am authorized to sign for the manufacturer and that all of the statements in this report and in the Exhibits attached hereto are true and correct to the best of my knowledge and belief: UNITED STATES TECHNOLOGIES, INC. (AGENT RESPO…

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Contact Information

Applicant

Tony Phan(Engineering Management, GNSS Core R&D)
[email protected]4084818491Fax: 4084817866

Technical Contact

Elliott Laboratories Inc.David W Bare
[email protected]408 245 7800

684 West Maude Avenue · Sunnyvale, California · United States

Test Firm

Elliott Laboratories LLCDavid Bare
[email protected]408-245-7800Fax: 408-245-3499

Technical Specifications

#Rule PartsFrequency RangePower Output
215C2.40 GHz - 2.47 GHz64.00 mW
Confidentiality
Long Term
Grant Notes
Power Output listed is Conducted. The antenna(s) used for the transmitters must be installed to provide a separation distance of at least 20 cm from all persons and must not be co-located or operating in conjunction with any other antenna or transmitter. End-users and installers must be provided with antenna installation instructions and transmitter operating conditions for satisfying RF exposure compliance.

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Equipment Class

DXX - Part 15 Low Power Communication Device Transmitter
GNSS Receiver+900 MHz+Wi-Fi+Bluetooth - FCC ID JUP-9091191 - Trimble, Inc.
JUP-9091191

GNSS Receiver+900 MHz+Wi-Fi+Bluetooth

Jan 15, 2015

Equipment Class

DSS - Part 15 Spread Spectrum Transmitter
WLAN+ Bluetooth Combo Module - FCC ID JUP-95807WFBT - Trimble, Inc.
JUP-95807WFBT

WLAN+ Bluetooth Combo Module

Sep 14, 2014

Equipment Class

DSS - Part 15 Spread Spectrum Transmitter
GeoExplorer(R) 7 Series handheld, Geo 7X - FCC ID JUP88161 - Trimble, Inc.
JUP88161

GeoExplorer(R) 7 Series handheld, Geo 7X

Oct 20, 2013

Equipment Class

DTS - Digital Transmission System