Regardless of one's personal definition of "campus" or "institution," probably in most/many cases anyone wanting to comply with FCC §15.221 (b) for campus broadcasting using an intentionally radiated signal in the AM broadcast band would be better off to operate under §15.219. Here's why.
[Reference] FCC §15.221 (b) (2): At the perimeter of the campus, the field strength of any emissions, including those within the frequency band 525–1705 kHz, shall not exceed the general radiated emission in §15.209.
§15.209 permits a maximum field strength of 45.3 µV/m at the perimeter of the campus, best case (530 kHz).
So if, for example, a campus is comprised of a 5-acre plot with sides of equal length (~ 467 feet), and the radiating antenna is located at that center of that acreage, then the distance from the antenna to the closest perimeter boundary is ~ 233 feet.
The field strength of ~45 µV/m at that 233-ft distance per FCC §15.221 (b) (2), and all of the other fields within this 5-acre plot are much less than a fully compliant setup operating under §15.219 may produce. The same will hold true for considerably larger acreages.
A further consideration for campus operators is given in FCC §15.221 (c): A grant of equipment authorization is not required for intentional radiators operated under the provisions of this section. In lieu thereof, the intentional radiator shall be verified for compliance with the regulations in accordance with subpart J of part 2 of this chapter. This data shall be kept on file at the location of the studio, office or control room associated with the transmitting equipment. In some cases, this may correspond to the location of the transmitting equipment.
Verifying a transmitter for compliance under FCC Part 2, subpart J is a difficult and expensive process.
[Reference] FCC §15.221 (b) (2): At the perimeter of the campus, the field strength of any emissions, including those within the frequency band 525–1705 kHz, shall not exceed the general radiated emission in §15.209.
§15.209 permits a maximum field strength of 45.3 µV/m at the perimeter of the campus, best case (530 kHz).
So if, for example, a campus is comprised of a 5-acre plot with sides of equal length (~ 467 feet), and the radiating antenna is located at that center of that acreage, then the distance from the antenna to the closest perimeter boundary is ~ 233 feet.
The field strength of ~45 µV/m at that 233-ft distance per FCC §15.221 (b) (2), and all of the other fields within this 5-acre plot are much less than a fully compliant setup operating under §15.219 may produce. The same will hold true for considerably larger acreages.
A further consideration for campus operators is given in FCC §15.221 (c): A grant of equipment authorization is not required for intentional radiators operated under the provisions of this section. In lieu thereof, the intentional radiator shall be verified for compliance with the regulations in accordance with subpart J of part 2 of this chapter. This data shall be kept on file at the location of the studio, office or control room associated with the transmitting equipment. In some cases, this may correspond to the location of the transmitting equipment.
Verifying a transmitter for compliance under FCC Part 2, subpart J is a difficult and expensive process.