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 - 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/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: Jim Bacher: [email protected] David Heald: [email protected] All emc-pstc postings are archived and searchable on the web at: http://www.ieeecommunities.org/emc-pstc ______________________________________________________________________ This email has been scanned by the MessageLabs Email Security System. For more information please visit http://www.messagelabs.com/email ______________________________________________________________________

