Dear Experts,

I am doing a deep dive into ISM equipment requirements for the first time. I 
*think* I see a difference in interpretation of ISM equipment between the US 
and EU regulations.

US (FCC Part 18) seems to limit the ISM concept to equipment that essentially 
uses radio frequency to do something to a target object or work piece. This 
would exclude, for example, radio frequency energy generated by a 
microprocessor clock circuit in an industrial machine's controller (which 
instead are considered unintentional radiators within scope of FCC Part 15)

EU (e.g., EN 55011) by creating the concept of Group1 and Group2 appears to 
also cover (in Group 1) *any* generated radio frequency energy that is used by 
the equipment. This would include, for example, radio frequency energy 
generated by a microprocessor clock circuit in an industrial machine's 
controller.

Have I got this right?

Regards,
Lauren Crane
KLA-Tencor


-
----------------------------------------------------------------
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.ieee-pses.org/emc-pstc.html

Attachments are not permitted but the IEEE PSES Online Communities site at 
http://product-compliance.oc.ieee.org/ can be used for graphics (in well-used 
formats), large files, etc.

Website:  http://www.ieee-pses.org/
Instructions:  http://www.ieee-pses.org/list.html (including how to unsubscribe)
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