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As stated above, all electronic equipment that can emit electromagnetic radiation into the surrounding space is controlled under the FCC umbrella The FCC breaks all such radiators down into three logical segments: intentional radiators, unintentional radiators, and incidental radiators Intentional radiators comprise all RF wireless transmitters within the field of communications Unintentional radiators in RF communications would comprise receivers, which create high levels of radiation internally for frequency conversions, but do not purposely propagate this energy beyond their own cabinet Both intentional and unintentional radiators must typically obtain FCC authorization to be marketed within the United States The third category, incidental radiators, is not of interest to the average wireless designer, and comprise electronic devices that do not need nor desire to generate RF either internally or externally, but may do so anyway (such as light dimmers, neon signs, electric motors, and so on) While no FCC authorization is needed for this category, any such device must not produce electromagnetic radiation above similar devices on the market
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Both the intentional and unintentional radiators must have one of three FCC authorizations, depending on the product and its specific use: Verification, Declaration of Conformity (DoC), and Certification
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FCC technical issues, such as Fletcher, Heald & Hildreth of Arlington, Virginia, before marketing a wireless device in volume, or if a device employs a novel modulation or technology However, the following is a basic, general guide for the class of equipment and the type of authorization that normally must be obtained for most wireless communication s devices Fixed microwave point-to-point and licensed broadcast transmitters (intentional radiators), as well as television and FM stereo and mono receivers (unintentional radiators), will usually obtain a Verification Authorization This type of authorization simply requires the manufacturer of the device to test for FCC technical compliance A Verification Authorization is by far the least complicated to acquire, as your company need not even file FCC compliance documents and, as soon as the device successfully passes, sales can actively begin All test and design paperwork should be preserved over the manufacturing life of the product, plus 2 years All that is demanded is that certain devices must be labeled as directed by the FCC rules Virtually all other consumer unintentional radiators are commonly authorized under the Declaration of Conformity (DoC) The DoC also allows your company to obtain its own equipment authorization and, as with the Verification Authorizations, the FCC is not even notified of the product s existence However, the DoC is far more expensive and complex to obtain than the simple Verification Authorization; since all RF equipment tests must be performed by an accredited test facility If passed, the equipment must be sold with the FCC logo attached as well as with copies of paperwork called the Compliance Information Statement (which contains information on the product and its manufacturer) If the manufacturer so desires, he may also opt to obtain a Certification Mobile radios, licensed or unlicensed, as well as virtually all high-volume unlicensed transmitters of any kind, must obtain an FCC Certification This covers the lion s share of wireless devices, such as cordless and cellular phones, WLANs, 80211 devices, handi-talkies, citizen band radios, and so on Certification is quite demanding and expensive, and involves complex conducted and radiated RF testing, substantial paperwork, and a large filing fee Even then, the device cannot be sold until the FCC or a Telecommunications Certification Body (TCB) approves the application The TCBs are third-party private certification (but not test) facilities that have been permitted by the FCC to quickly grant Certifications and to issue FCC ID codes and within a much shorter time period than the FCC Whether a product has been authorized by Verification, DoC, or Certification, any future engineering changes to its circuits that may alter its RF compliance, such as a change in power, frequency, shielding, isolation, and so on, will demand a retest be conducted to confirm that these modifications have not dropped the device from the FCC compliance standards If the compliance test on this modified device now fails the unit, then all sales must be halted and any problems fixed However, if the engineering changes have either not affected the device, or have actually improved its compliance, then nothing need be done in the Verification or DoC cases (except continuing to maintain all new test and design paperwork) In the case of Certification it becomes a
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