http://fjallfoss.fcc.gov/oetcf/kdb/form
/FTSSearchResultPage.cfm?id=27907&switch=P


Check this one out. It refers to ANSI C63.19 

Best Regards
Lothar Schmidt
Director Regulatory & Antenna Services

CETECOM Inc. 
411 Dixon Landing Road
Milpitas, CA 95035
Phone +1 (408) 586 6214
Fax       +1 (408) 586 6299
email    [email protected]

CETECOM Inc., Milpitas (US) now offers Radio Conformance Pretesting for Mobile
WiMAX (IEEE 802.16e) and Fixed WiMAX (IEEE 802.16d).  CETECOM is your
worldwide partner in mobile and wireless communications.
 
This e-mail may contain proprietary, privileged and confidential information
for the sole use of the named intended recipient.  Any review or distribution
of this e-mail by any party other than the intended recipient or that person's
agent is strictly prohibited. If you are not the intended recipient, please
delete all copies and immediately contact the sender. You must not, directly
or indirectly, use, disclose, distribute, print, or copy any part of this
message if you are not the intended recipient.
 


From: [email protected] [mailto:[email protected]] On Behalf Of Heald
David-JGTF76
Sent: Friday, April 11, 2008 6:36 PM
To: McDougal, Bret (SHC US); [email protected]
Subject: RE: VOIP Phones and HAC

Bret,
  It's actually in:
 
47 CFR Part 6--access to telecommunications service, telecommunications
equipment and customer premises equipment by persons with disabilities

Excerpt:
§ 6.1   Applicability.
The rules in this part apply to:
(a) Any provider of telecommunications service;
(b) Any manufacturer of telecommunications equipment or customer premises
equipment;
(c) Any telecommunications carrier;
(d) Any provider of interconnected Voice over Internet Protocol (VoIP)
service, as that term is defined in §9.3 of this chapter; and
(e) Any manufacturer of equipment or customer premises equipment that is
specially designed to provide interconnected VoIP service and that is needed
for the effective use of an interconnected VoIP service.
§ 6.5   General obligations.
(a) Obligation of Manufacturers. (1) A manufacturer of telecommunications
equipment or customer premises equipment shall ensure that the equipment is
designed, developed and fabricated so that the telecommunications functions of
the equipment are accessible to and usable by individuals with disabilities,
if readily achievable.

There's also some more in Part 64.

The underlying principles are the same but the FCC has taken action since VoIP
is commonly marketed as a replacement for standard analog service.

If you're interested Report & Order from 15 June 2007 (Docket 07-110) has a
good discussion of the issues.


Now to the topic of testing for HAC compliance on VoIP phones...  I know that
the FCC has ruled that HAC is required, but I also know that there is some
issue with determining the actual test methods to demonstrate compliance that
is pushing enforcement out closer to 2009 (maybe just for wireless devices
though?).  Unfortunately, I don't know the exact status of this - if anyone
cares to pitch in some more info it would be quite welcome and could be of
interest to the group.  

Best Regards,
-Dave 



David Heald
EMC Engineer | Worldwide Regulatory Compliance
Motorola Networks & Enterprise, Enterprise Mobility Business
tel: +1.631.738.5373
fax: +1.631.738.5520

________________________________

From: [email protected] [mailto:[email protected]] On Behalf Of McDougal, Bret
(SHC US)
Sent: Thursday, April 10, 2008 5:46 PM
To: [email protected]
Subject: VOIP Phones and HAC


List Members, 
 
It appears that FCC Part 68 calls for all phones to be Hearing Aid Compatible
(HAC): 

        Excerpt from FCC Part 68:
        § 68.4 Hearing aid-compatible telephones.
        (a)(1) Except for telephones used with public mobile services, 
telephones
used with private radio services, and cordless and secure telephones, every
telephone manufactured in the United States (other than for export) or
imported for use in the United States after August 16, 1989, must be hearing
aid compatible, as defined in § 68.316. Every cordless telephone manufactured
in the United States (other than for export) or imported into the United
States after August 16, 1991, must be hearing aid compatible, as defined in §
68.316.
        (2) Unless otherwise stated and except for telephones used with public 
mobile
services, telephones used with private radio services and secure telephones,
every telephone listed in § 68.112 must be hearing aid compatible, as defined
in § 68.316. 
        (3) A telephone is hearing aid-compatible if it provides internal means 
for
effective use with hearing aids that are designed to be compatible with
telephones which meet established technical standards for hearing aid
compatibility.

 
However I am less clear about VOIP phones, as I do not believe they are
registered with ACTA.  Does Part 68 apply, or is there some other requirement
for VOIP phones to be HAC?
 
Best Regards,
 
Bret McDougal
PQA & ES                                 

This message and any attachments are solely for the use of intended
recipients. They may contain privileged and/or confidential information,
attorney work product or other information protected from disclosure. If you
are not an intended recipient, you are hereby notified that you received this
email in error, and that any review, dissemination, distribution or copying of
this email and any attachment is strictly prohibited. If you have received
this email in error, please contact the sender and delete the message and any
attachment from your system. Thank you for your cooperation.

 
- ---------------------------------------------------------------- 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 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 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

Reply via email to