A customer wants an FCC 'ID' mark on a linear wall wart that is intended
to recharge a power tool. As the unintentional radiator (Pt 15, subpt B,
sec 15.101) indicates that "All other devices" require a mfr's
'Verification', the FCC ID requirement would not apply. Also as the
exempted devices in sec 15.103 only apply to a digital device, I cannot
use the appliance exemption.

Other than the emissions limits, is anyone aware of special FCC marking
requirements for import into the U.S. of wall-wart power supplies that
will not connect to an IT or ISM device ?

If the customer always correct, am I always wrong ?

thanks and luck,
Brian

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