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/

-

This message is from the IEEE Product Safety Engineering Society emc-pstc
discussion list. To post a message to the list, send your e-mail to
<[email protected]>

All emc-pstc postings are archived and searchable on the web at:
http://www.ieeecommunities.org/emc-pstc
Graphics (in well-used formats), large files, etc. can be posted to that URL.

Website:  http://www.ieee-pses.org/
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]>

Reply via email to