Yes, so if your product doesn't do that, Part 18 doesn't apply. It's a pity
that CISPR 11 puts intentional emitters and non-intentional emitters in one
standard. When I am Emperor of the Universe, CISPR 11 will be divided into
Part 1 for intentional emitters and Part 2 for non-intentional emitters. I
think that will be less confusing that Groups 1 and 2.

With best wishes DESIGN IT IN! OOO - Own Opinions Only
www.jmwa.demon.co.uk J M Woodgate and Associates Rayleigh England
We live in exiting times


-----Original Message-----
From: Brian O'Connell [mailto:[email protected]] 
Sent: Friday, June 24, 2016 10:59 PM
To: [email protected]
Subject: Re: [PSES] FCC Part 15 vs 18

Use of part 18 depends on whether the RF being emitted is being used to 'do
work'.

Brian

-----Original Message-----
From: John Woodgate [mailto:[email protected]]
Sent: Friday, June 24, 2016 2:39 PM
To: [email protected]
Subject: Re: [PSES] FCC Part 15 vs 18

How different are the requirements? Can you economically comply with both,
so you can stop worrying?

With best wishes DESIGN IT IN! OOO - Own Opinions Only www.jmwa.demon.co.uk
J M Woodgate and Associates Rayleigh England We live in exiting times


-----Original Message-----
From: Kunde, Brian [mailto:[email protected]]
Sent: Friday, June 24, 2016 10:15 PM
To: [email protected]
Subject: [PSES] FCC Part 15 vs 18

This has always confused me. My company makes Laboratory Equipment
(Analytical Test Equipment) which we have always categorized as ISM
Equipment (Industrial, Scientific, Medical).  But both FCC Part 15 and 18
references ISM equipment.

By nature of what our products are or the category of product they are,
would it be correct to say they fall under FCC Part 18??

Or, to fall under FCC Part 18, does our products have to intentionally
generate and use RF directly in its function (such as CISPR11 Group 2)? Do
you have to use the ISM frequencies to be part 18?


Now, CISPR11 is for ISM products, but Group 2 is used only on products where
RF is used as part of its function to test a sample. But Group 1 products
are still ISM products even if it does not intentionally generate RF of any
kind.

To add to my confusion, looking at other test equipment in our EMC lab, some
have FCC statements in the manual for Part 15, others for part 18. Yet I
cannot distinguish a clear reason for one or the other.

So for the FCC, how do you draw the line between Part 15 and Part 18 for ISM
Equipment?

Thanks to all.

The Other Brian
________________________________

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