Scott

Sound and Broadcast receivers fall under the scope of the RED (it was one of 
the changes from the R&TTE Directive), as such:

  *   They don’t fall under the EMC Directive
  *   There are no longer HS for them under the EMC Directive
  *   There is now a HS for them under the RED

Whilst you aren’t required to apply a Harmonised Standard, please note the 
requirement of Article 34 which applies if you are using a NB:

Where a notified body finds that the essential requirements set out in Article 
3 or corresponding harmonised standards or other technical specifications have 
not been met by a manufacturer, it shall require that manufacturer to take 
appropriate corrective measures and shall not issue an EU-type examination 
certificate or a quality system approval

So if you haven’t applied a listed Harmonised Standard and are requesting a 
Type Examination Certificate that covers article 3.1(b), then you need to show 
that the product has a level of EMC performance equivalent to the technical 
levels shown in the HS

Regards
Charlie


Charlie Blackham
Sulis Consultants Ltd
Tel: +44 (0)7946 624317
Web: 
www.sulisconsultants.com<https://outlook.hslive.net/owa/redir.aspx?C=02be3bf3e3a544d1bdf7b6c99fbd12f5&URL=http%3a%2f%2fwww.sulisconsultants.com%2f>
Registered in England and Wales, number 05466247

From: Scott Xe <[email protected]>
Sent: 21 June 2018 16:58
To: [email protected]
Subject: Re: [PSES] RED products in EMC compliance part

Pete,

Both you and Charlie share the esteemed and fair opinions that using other than 
harmonised standards is not a wise decision although it is allowed by the 
directive.  I have the same perception since we have no control in this route 
due to limited knowledge.  Will see how to stick to harmonised standards.

The test lab insisted on that EN 55020 is till valid in demonstrating EMC 
compliance although RED already has a new harmonised standard and it disappears 
in EMC list.  So far both the test lab and we cannot find any support to this 
claim.

Regards,

Scott


On 21 June 2018 at 23:18, Pete Perkins 
<[email protected]<mailto:[email protected]>> wrote:
Scott et al,

               Charlie is right; no matter what promise you get from your 3rd 
party NB they are not in ultimate control.  You, as manufacturer, are at the 
mercy of the regulators.  It is important for you & your company to keep the 
heat on so that there is a reasonable expectation that the work that has been 
done will be acceptable moving ahead.

:>)     br,      Pete

Peter E Perkins, PE
Principal Product Safety & Regulatory Affairs Consultant
PO Box 23427
Tigard, ORe  97281-3427

503/452-1201

IEEE Life Fellow
[email protected]<mailto:[email protected]>

From: Scott Xe <[email protected]<mailto:[email protected]>>
Sent: Thursday, June 21, 2018 7:25 AM
To: [email protected]<mailto:[email protected]>

Subject: Re: [PSES] RED products in EMC compliance part

Hi Charlie,

Many thanks for your kind advice!!

As the conformity review of this product is required by a NB, it is quite 
difficult to challenge their result due to their status but we can require them 
to issue a confirmation of continual compliance with the latest essential 
requirements of RED on the repeat orders.

Regards,

Scott

On 21 June 2018 at 02:46, Charlie Blackham 
<[email protected]<mailto:[email protected]>> wrote:
Scott

I understand the issue you describe, however it should be remembered that:

  *   The manufacturer is always responsible , whoever advises them. If they 
are going to ask a 3rd party (lab or consultant) then they should satisfy 
themselves that the advice is correct, perhaps by asking what the 
recommendation is based on.
  *   A test lab cannot issue a “Declaration of Conformity” only a manufacturer 
(or suitably contracted representative) can do that – test labs should (only) 
issue “Certificates of Conformity” as a summary of test results, which are not 
the same thing
  *   Copying someone else who got it wrong isn’t much of a defence

In my experience, you should be prepared for challenges from market 
surveillance if you don’t apply Harmonised Standards (but whether you actually 
get challenged may be down to luck and whether your product type has been 
selected for market surveillance activity)

Regards
Charlie

Charlie Blackham
Sulis Consultants Ltd
Tel: +44 (0)7946 624317
Web: 
www.sulisconsultants.com<https://outlook.hslive.net/owa/redir.aspx?C=02be3bf3e3a544d1bdf7b6c99fbd12f5&URL=http%3a%2f%2fwww.sulisconsultants.com%2f>
Registered in England and Wales, number 05466247

From: Scott Xe <[email protected]<mailto:[email protected]>>
Sent: 20 June 2018 17:31
To: Charlie Blackham 
<[email protected]<mailto:[email protected]>>
Cc: [email protected]<mailto:[email protected]>
Subject: Re: [PSES] RED products in EMC compliance part

Hi Charlie,

Understand that the manufacturer is free to choose any conformity assessment to 
meet the essential requirements for EMC without using a Notified Body.  However 
the manufacturer must have expert in this area to provide the appropriate 
advice.  Most of oem manufacturers lack of such luxury resource and reply on 
renowned test houses to do it for them.  Can we use the declaration of 
conformity from the test lab for selecting the right test standards for EMC 
part even those standards are not in RED and EMC harmonized lists.  Would we 
receive extra challenges from the market surveillances due to the fact that we 
use non harmonized standards.

Thanks and regards,

Scott

On 21 June 2018 at 00:12, Charlie Blackham 
<[email protected]<mailto:[email protected]>> wrote:
Scott

EN 55035 is the (only) article 3.1(b) EMC standard that is Harmonised for 
broadcast receivers under the RED.

As per RED article 17, the manufacturer is free to choose any conformity 
assessment to meet the essential requirements for EMC without using a Notified 
Body, but:

  *   Your approach to EMC needs to be considered in your Risk Assessment 
(whether or not a Harmonised Standard is applied)
  *   Market enforcement and customs would “expect” to see Harmonised Standards 
such as EN 55035:2017 listed on the DoC

If the DAB radio contains Bluetooth then EN 301 489-1 and -17 would also apply, 
though these won’t be in the OJ until Q4 2017 or Q1 2018

Regards
Charlie

Charlie Blackham
Sulis Consultants Ltd
Tel: +44 (0)7946 624317
Web: 
www.sulisconsultants.com<https://outlook.hslive.net/owa/redir.aspx?C=02be3bf3e3a544d1bdf7b6c99fbd12f5&URL=http%3a%2f%2fwww.sulisconsultants.com%2f>
Registered in England and Wales, number 05466247

From: Scott Xe <[email protected]<mailto:[email protected]>>
Sent: 20 June 2018 16:05
To: [email protected]<mailto:[email protected]>
Subject: [PSES] RED products in EMC compliance part

Dear All,

We have a DAB radio with BT speaker.  It held NB a cert using EN 55032 : 2015,  
EN 55020 : 2007 + A12 : 2016, ….  for EMC part compliance last year.  Currently 
we are reviewing the continual compliance.  It is discovered that both EN 55032 
and EN 55020 disappears in the latest list of EMC harmonized standard list.  In 
RED harmonized standard list, there is a new harmonized standard EN 55035.  Is 
it in need of meeting EN 55035 : 2017 instead of EN 55020 : 2007 to maintain 
the continual compliance of RED?

Thanks and regards,

Scott
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Attachments are not permitted but the IEEE PSES Online Communities site at 
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