To all,
In part 15.103 there is a statement that exempts a digital device
utilized exclusively in any transportation vehicle including motor vehicles and
aircraft.
Does this mean FCC part 15 conducted and radiated emissions testing
requirements are removed from this product. ?
What is the logic behind this exemption?
Is the FCC saying that the vehicle and aircraft are moving therefore
permanent external interference is unlikely. I also suspect the term
"utilized exclusively" should be adhered to very closely.
For internal interference SAE requirements for vehicles and DO160D
requirements for aircraft would supply requirements to insure internal
compatibility.
Any thoughts on this matter would be appreciated.
Sandy Mazzola
Symbol Technologies Inc
1 Symbol Plaza
Holtsville, N.Y. 11742-1300
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