How about further simplification by referring to 89/336/EEC, Article 10.2 in
the "Application of Council Directives" section.  It is not required to
refer to a Competent Body but you still have to list all relevant "Standards
to which conformity is declared" for Safety and Telecom, if applicable.  It
is appropriate to refer to the TCF Number and date under EMC in this
Section.

Best Regards,
Vitaly Gorodetsky 

> -----Original Message-----
> From: Jim Hulbert [SMTP:[email protected]]
> Sent: Monday, December 20, 1999 7:22 AM
> To:   [email protected]
> Subject:      Re: TCF & DOC
> 
> 
> 
> 
> The DOC should include "reference to the standards" used to determine
> compliance.   However, a TCF by definition means you are not declaring
> compliance via the standards route.  Rather,  compliance is declared after
> assembling a technical construction file and having it assessed by a
> competent
> body.   What we do in that case on the DOC is reference the TCF title and
> number
> along with the name and address of the competent body that assessed the
> TCF.
> 
> Jim Hulbert
> Senior Engineer - EMC
> Pitney Bowes
> 
> 
> 
> 
> 
> [email protected] on 12/20/99 08:21:33 AM
> 
> Please respond to [email protected]
> 
> To:   [email protected]
> cc:    (bcc: Jim Hulbert/MSD/US/PBI)
> 
> Subject:  TCF & DOC
> 
> 
> 
> 
> 
> On all of our previous DoCs, we have declared compliance using harmonized
> standards. However, we now have a set of products where some harmonized
> standards exist and some do not. Therefore, we will use a Technical
> Construction File is used to support compliance with the particular
> essential requirements not covered by harmonized standards. What
> additional
> statements and information should appear on the DoC to support compliance
> by
> the TCF route for only some of the essential requirements?
> 
> Richard Woods
> 
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