I thought there was wording in CFR title 47 Part 15B that stated or implied that the FCC's jurisdiction over unintentional radiators was limited to those used in buildings, fixed installations etc. For example, the FCC doesn't (as far as I know) have jurisdiction over RF emissions from engines in gas-operated lawn mowers or from electric-winches on sailboats etc.
I looked around Part 15B and couldn't find this, even though I'm fairly sure I did find it years ago. Does anybody know if there is such a scope limitation, or if there used to be and it got deleted? If it does exist, where is it? Thanks in advance for your help, Jim Eichner, P.Eng. Compliance Engineering Manager Xantrex Technology Inc. e-mail: [email protected] web: www.xantrex.com Any opinions expressed are those of my invisible friend. Confidentiality Notice: This email message, including any attachments, is for the sole use of the intended recipient(s) and may contain confidential and privileged information. Any unauthorized review, use, disclosure or distribution is prohibited. If you are not the intended recipient, please contact the sender by reply e-mail and destroy all copies of the original message. This message is from the IEEE Product Safety Engineering Society emc-pstc discussion list. Website: http://www.ieee-pses.org/ To post a message to the list, send your e-mail to [email protected] Instructions: http://listserv.ieee.org/listserv/request/user-guide.html List rules: http://www.ieee-pses.org/listrules.html For help, send mail to the list administrators: Scott Douglas [email protected] Mike Cantwell [email protected] For policy questions, send mail to: Richard Nute: [email protected] Jim Bacher: [email protected] All emc-pstc postings are archived and searchable on the web at: http://www.ieeecommunities.org/emc-pstc

