----- Original Message ----- 
From: Webmaster
To: Webmaster
Sent: Wednesday, February 13, 2013 3:34 PM
Subject: Extremely Important Action Opportunity - Deadline March 6, 2013


Please Distribute Widely!

Are you concerned about radiofrequency (microwave) radiation emissions from 
smart meters, 
cellphones, WiFi, cellphone antennas, baby monitors etc or you are having 
health problems as 
a result of the FCC's outdated physics-based radiofrequency radiation limits ?  
This is your 
chance to make your voice heard!

Support biologically-based radiofrequency radiation safety limits or the FCC 
could elect to 
raise its existing outdated physics-based safety limits.  Please submit a reply 
in the reply 
round at the FCC by March 6, 2013.

Even if you commented during the comment period, please read on.  If there are 
points that 
you wish you had included, you can file a reply as well.

For the first time since the passage of the 1996 Telecom Act, the FCC is 
specifically 
requesting/allowing comment on its radiofrequency radiation limits.

This is a second opportunity for your voice to be heard on the question of the 
inadequacy of 
the outdated thermally-based FCC radiofrequency radiation exposure limits.  
Submitting your 
document in an official FCC proceeding is the only way to get information to 
the FCC that it 
is legally required to consider.

See 
http://stopsmartmeters.org/2012/03/09/a-primer-on-the-fcc-guidelines-for-the-smart-meter-age/
 
for background information on the FCC radiofrequency radiation limits.

We need to bowl them over with the numbers of replies in support of lowering 
the 
radiofrequency radiation limits so as to make them true safety limits - based 
on biology, as 
all true safety limits are.

Why do I keep saying reply?  There is a comment period, which has passed.  
Following that 
there is a reply period.  The only real difference is that you need to make a 
different 
selection upon filing and slightly different wording on the cover page of the 
submission. 
Both are reflected in the directions, below.

Background:
The FCC does not have the expertise to set safety limits so they have to adopt 
them from 
somewhere.  Thus far, they have felt that they have only two options - the IEEE 
and the 
ICNIRP .  At the EPA's urging, they chose the more lower ones and adopted the 
IEEE exposure 
guidelines which are outdated and inadequate.

The Industry would like them to re-consider and adopt the more lenient ICNIRP 
guidelines.

In other words, the radiofrequency radiation limits could be RAISED if the FCC 
does not 
receive enough compelling comments asking that they be lowered.

The opportunity to comment on the FCC radiofrequency radiation limits was 
provided in 
footnote 95 (see http://www.emrpolicy.org/news/action/fcc_12_152_pp1_2_19.pdf 
to read text), 
buried in a docket on spectrum allocation, probably in the hope that there 
would be a 
minimal response, which would allow the FCC to ignore the issue for many more 
years.

Important Points:
Below are some points that you might want to include in your reply comment, 
then 
personalize/support them with a brief account of your own experience and your 
favorite 
references (which you can also upload for the FCC to read).
  a.. IARC of the World Health Organization classified radiofrequency radiation 
as a class 
2B possible carcinogen in May 2011.
  a.. 2012 BioInitiative Report classifies radiofrequency radiation as a 
carcinogen.  (Here 
is a sample wording to use to include 2012 BioInitiative Report in your comment 
without 
uploading the whole thing:  The 2012 BioInitiative Report is incorporated by 
reference 
herein in its entirety (http://www.bioinitiative.org /))
  a.. “Public safety standards are 1,000 – 10,000 or more times higher than 
levels now 
commonly reported in mobile phone base station studies to cause 
bioeffects.”(http://www.bioinitiative.org/conclusions/) 
 - You can find other great quotes relevant to your situation to include by 
visiting their 
conclusions section.
  a.. The Fenton Reaction, which is partially responsible for the carcinogenic 
nature of 
exposure to low levels of ionizing radiation, also occurs with exposure to 
radiofrequency 
radiation.  See 2012 BioInitiative Report.
  a.. The FCC has a duty to the public to protect the public health and safety 
from harm 
from radiofrequency radiation.
  a.. US citizens and tax payers deserve radiofrequency radiation safety limits 
based on 
biology, not physics. In order for the FCC to fulfill its Congressional mandate 
to protect 
the public health and safety from harm from radiofrequency radiation it must 
update its RF 
safety regulations.
    "In the Telecom Act of 1996 Congress directed the FCC to set its own RF 
safety 
regulations for emissions from Personal Wireless Services Facilities (PWSF).  
The House 
Committee on Commerce said it was the Commission's responsibility to adopt 
uniform RF 
regulations "with adequate safeguards of the public health and safety."  (H.R. 
Report No. 
104-204, p. 94)



    The FCC’s failure to protect the health and safety of citizens by providing 
updated 
biologically- based RF safety limits on electromagnetic radiation exposure goes 
to the heart 
of the Chevron and Massachusetts v. EPA rulings on an agency's authority to 
disregard its 
Congressional mandate.  Such agency action and inaction are "arbitrary and 
capricious...[and] otherwise not in accordance with law."  (Massachusetts v. 
EPA, 549 U.S. 
497, 534-535 (2007))



    The statute requiring the FCC to adopt and update RF safety regulations is 
not 
ambiguous, and therefore the clear intent of Congress applies." EMR Policy 
Institute Comment 
in FCC Docket


  b.. FCC does not possess the expertise to set biologically-based 
radiofrequency radiation 
safety limits.  EPA does.  Therefore, the FCC should advocate that Congress 
direct the EPA 
to establish biologically-based radiofrequency radiation safety limits and 
provide the 
budget and resources to carry out that task.  2012 HR6358 was an excellent 
example of 
legislation to authorize the EPA to establish biologically-based radiofrequency 
radiation 
safety limits
  c.. Compliance with FCC radiofrequency radiation limits is often cited as an 
excuse to 
ignore evidence of harm by transmitting utility meters...etc and force harmful 
exposure on 
people against their will.  Be sure to support with documentation from your 
experience.
  a.. A moratorium should be placed on sales of new spectrum, transmitting 
utility meter 
installation, and installation of additional base stations for wireless service 
while 
biologically-based safety limits are being developed.

Directions:

Don't wait until the last minute or the server may be too busy to take your 
comments.

These proceedings allow the public to inform the FCC why it must update its RF 
safety 
guidelines in order to comply with its proposal “to amend its rules to ‘ensure 
that the 
public is appropriately protected from any potential adverse effects from RF 
exposure.’” For 
example, FCC’s current RF safety guidelines do not take into account published 
research on 
the bioloigcal effects brought on by the ability of RF signals to communicate 
with living 
tissue.
Write your Reply, using this template for the first page( 
http://www.emrpolicy.org/news/action/template_comment_%20fcc_12_357.doc ). - 
Change "Comment 
filed by" to "Reply filed by" if it has not already been done for you.


  Using the webpage submission form requires that you attach your Reply either 
in WORD or 
PDF. To do so, be sure you use this template for the first page of your Reply. 
PDF is the 
most secure form as no one can make changes to your Reply after you submit it.


  Submissions from individuals have the greatest impact when filed in the form 
of an 
Affidavit. Page 2 of the template gives you the format for an affidavit.


Submit your Reply in FCC Proceedings ET Docket No. 03-137 and WT Docket No. 
12-357, using 
instructions below. See explanation in this excerpt of WT Docket No. 12-357 at 
paragraph 53 
and footnote 95 on the 3rd page of this excerpt.  Complete text of FCC 12-152

Webpage (http://fjallfoss.fcc.gov/ecfs/upload/display?z=a7cs6) where you can 
submit your FCC 
Reply electronically.

Once on Webpage follow the directions below to submit your Reply:

  • First fill in the box for the Proceeding Number with 03-137. Then click on 
the link <Add 
Another Proceeding> as you also type in 12-357.


  • In the Contact Info section type in your name in the <Name of Filer> box 
and your e-mail 
address in the <Email Address> Box.


  • In the Details section ignore Exparte Presentation. For <Type of Filing> 
COMMENT will be 
showing in the box.  Change it to REPLY.  In the File Number box type – 12-152. 
Ignore the 
Report Number and Bureau ID Number boxes.


  • In the Address section you want <Address for: Filer>. Most of you will also 
want 
<Address Type: US Address>. Then type in your own address information in the 
remaining boxes 
in this section.


  • In the Document(s) section click on the Browse button and find the name of 
your document 
where you have saved it on your computer in your own Folders. Click on the name 
of your 
document. If you have addition information that you wish to submit such as some 
kind of 
Exhibit, click on the <Add Another Attachment> link and follow the same 
procedure.


  • If you have made an error, click on <Reset> at the bottom of the page to 
clear the form 
and start over.


  • Lastly click on the <Continue> button at the bottom of the page to review 
your submittal 
and to finish the process.


  • Print out the confirmation page so that you have a record of the number 
assigned to your 
submittal.


Directions were adapted from those provided by The EMR Policy Institute with 
minor changes - 
original at http://www.emrpolicy.org/news/action/index.htm

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