Rajneesh,

 

You are correct in your understanding.  Existing products will have to be shown 
to be compliant with EN 55032 by March of next year.  The good news is that you 
may be able to get the lab to evaluate how the testing to EN 55022 was 
performed and if it is still compliant with EN 55032 you won’t have to repeat 
the tests, only have the test report amended to show EN 55032.  Not knowing 
your products or how they were tested, I can’t say one way or the other, but 
this is a path worth investigating.

 

Ghery S. Pettit, NCE

 

 

From: Rajneesh Raveendran [mailto:000008500acb6cd4-dmarc-requ...@ieee.org] 
Sent: Tuesday, October 18, 2016 9:46 AM
To: EMC-PSTC@LISTSERV.IEEE.ORG
Subject: [PSES] Working towards compliance as per the EN 55032

 

Hi All,

 

For all our new programs, we would be testing for compliance as per the EN 
55032 standard. But i have one question about some legacy products that we 
would continue to ship to our customers post March 2017. All these products 
have been tested as per the EN 55022 and if i am not wrong, there is no 
"grandfather clause" that provides any exemption. My question relates to 
whether all those products would now need to be tested as per EN 55032?

 

Regards,

Rajneesh

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