Ted

47CFR2 doesn't appear to be clear on this, but
http://www.fcc.gov/oet/ea/procedures.html includes Verification as a method
of Authorization.

Given that a licensed devices/services are protected and unlicensed/verified
devices are not (hence the warning statements) I'd be inclined to keep all
records that demonstrate compliance of anything that wasn't Certified for
longer than the minimum times specified.

Regards
Charlie 


From: Ted Eckert [mailto:[email protected]] 
Sent: 16 June 2010 12:11
To: [email protected]
Subject: Re: [PSES] Test report retention times

Thank you Tom for the clarification.

I chose my words carefully.  As I said, I wasn't aware of requirements from
the FCC.  I didn't say such requirements didn't exist.  Now I aware of those
requirements.  Sections 2.938, 2.955 and 2.1075 cover equipment subject to
authorization or a DoC.  Correct me if I am wrong, but don't see a
requirement for record retention for equipment subject to verification.

Regards,
Ted Eckert
Compliance Engineer
Microsoft Corporation
[email protected]

The opinions expressed are my own and do not necessarily reflect those of my
employer.




From: T.Sato [mailto:[email protected]] 
Sent: Wednesday, June 16, 2010 3:30 AM
To: Ted Eckert
Cc: [email protected]; [email protected]
Subject: RE: Test report retention times

On Wed, 16 Jun 2010 00:27:44 +0000,
  Ted Eckert <[email protected]> wrote:

> I am unaware of any FCC requirement to retain documentation for radiated
emissions.
47 CFR 2.938, 2.955 and 2.1075?

Regards,
Tom

-- 
Tomonori Sato  <[email protected]>
URL: http://homepage3.nifty.com/tsato/

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