(From another board)
Poster 1:
>> While the rules may give you the ability to run up to a specific
>> amount of power, that does not imply that you can exceed the field
>> intensity limits of an intentional radiator and its ground
>> lead.
Poster 2:
>I know for a fact that the FCC will decide on Part-15 compliance
>based on Field Intensity Measurements.
- - - - - - - - - -
A few observations about all of this...
The FCC has issued Part 15 AM NOUOs based on excess field intensity AND excess radiating length of the antenna system (see the link below).
While the very low field intensities permitted under 15.209(a) in the band 490-1705 kHz cannot be measured accurately outside of a screen room, the FCC action is based on a field intensity so high that it -can- be measured accurately at an open site, and can prove that the operation does not meet 15.209(a), IF 15.209(a) applies (see text below).
Functional compliance with 15.219(b) about the total radiating length of the antenna system can be determined by physical/electrical inspection.
Here are the details from the rules:
+++
Sec. 15.209 Radiated emission limits; general requirements.
(a) EXCEPT AS PROVIDED ELSEWHERE IN THIS SUBPART, the emissions from
an intentional radiator shall not exceed the field strength levels specified
in the following table:
------------------------------------------------------------------------
Measurement
Frequency (MHz) Field strength distance
(microvolts/meter) (meters)
------------------------------------------------------------------------
0.009-0.490...................... 2400/F(kHz) 300
0.490-1.705...................... 24000/F(kHz) 30
1.705-30.0....................... 30 30
30-88............................ 100 ** 3
88-216........................... 150 ** 3
216-960.......................... 200 ** 3
Above 960........................ 500 3
/
/
/
Sec. 15.219 Operation in the band 510-1705 kHz.
(a) The total input power to the final radio frequency stage
(exclusive of filament or heater power) shall not exceed 100 milliwatts.
(b) The total length of the transmission line, antenna and ground
lead (if used) shall not exceed 3 meters.
(c) All emissions below 510 kHz or above 1705 kHz shall be
attenuated at least 20 dB below the level of the unmodulated carrier.
Determination of compliance with the 20 dB attenuation specification may
be based on measurements at the intentional radiator's antenna output
terminal unless the intentional radiator uses a permanently attached
antenna, in which case compliance shall be deomonstrated by measuring
the radiated emissions.
+++
The opening phrase in Sec. 15.209(a) above, which I emphasised, shows that Sec. 15.219 -exclusively- applies to unlicensed systems within the band 510 kHz to 1705 kHz, because Sec. 15.219 is included in the same subpart (Part 15) of 47 CFR as Sec. 15.209. Part 15.219 is the exception provided for at the beginning of 15.209(a), for unlicensed systems operating in the band 510-1705 kHz.
So a strict observance based on the English language in both 15.209 and 15.219 removes the need to meet the field intensity limit given in 15.209(a) for unlicensed systems operating in the band 510 kHz to 1705 kHz.
Really, the FCC wouldn't need to (and maybe shouldn't) refer to excess field intensity at the carrier frequency based on 15.209(a) in their actions against unlicensed systems in the 510-1705 kHz band, because 15.209(a) does not apply in that band. The rest of 15.209 does apply, however FCC actions for unlicensed AM systems in that band rarely, if ever, refer to those paragraphs.
Of course, the FCC alone determines the methods by which it interprets and enforces Part 15.
http://www.fcc.gov/eb/FieldNotices/2003/DOC-294572A1.html
RF
Poster 1:
>> While the rules may give you the ability to run up to a specific
>> amount of power, that does not imply that you can exceed the field
>> intensity limits of an intentional radiator and its ground
>> lead.
Poster 2:
>I know for a fact that the FCC will decide on Part-15 compliance
>based on Field Intensity Measurements.
- - - - - - - - - -
A few observations about all of this...
The FCC has issued Part 15 AM NOUOs based on excess field intensity AND excess radiating length of the antenna system (see the link below).
While the very low field intensities permitted under 15.209(a) in the band 490-1705 kHz cannot be measured accurately outside of a screen room, the FCC action is based on a field intensity so high that it -can- be measured accurately at an open site, and can prove that the operation does not meet 15.209(a), IF 15.209(a) applies (see text below).
Functional compliance with 15.219(b) about the total radiating length of the antenna system can be determined by physical/electrical inspection.
Here are the details from the rules:
+++
Sec. 15.209 Radiated emission limits; general requirements.
(a) EXCEPT AS PROVIDED ELSEWHERE IN THIS SUBPART, the emissions from
an intentional radiator shall not exceed the field strength levels specified
in the following table:
------------------------------------------------------------------------
Measurement
Frequency (MHz) Field strength distance
(microvolts/meter) (meters)
------------------------------------------------------------------------
0.009-0.490...................... 2400/F(kHz) 300
0.490-1.705...................... 24000/F(kHz) 30
1.705-30.0....................... 30 30
30-88............................ 100 ** 3
88-216........................... 150 ** 3
216-960.......................... 200 ** 3
Above 960........................ 500 3
/
/
/
Sec. 15.219 Operation in the band 510-1705 kHz.
(a) The total input power to the final radio frequency stage
(exclusive of filament or heater power) shall not exceed 100 milliwatts.
(b) The total length of the transmission line, antenna and ground
lead (if used) shall not exceed 3 meters.
(c) All emissions below 510 kHz or above 1705 kHz shall be
attenuated at least 20 dB below the level of the unmodulated carrier.
Determination of compliance with the 20 dB attenuation specification may
be based on measurements at the intentional radiator's antenna output
terminal unless the intentional radiator uses a permanently attached
antenna, in which case compliance shall be deomonstrated by measuring
the radiated emissions.
+++
The opening phrase in Sec. 15.209(a) above, which I emphasised, shows that Sec. 15.219 -exclusively- applies to unlicensed systems within the band 510 kHz to 1705 kHz, because Sec. 15.219 is included in the same subpart (Part 15) of 47 CFR as Sec. 15.209. Part 15.219 is the exception provided for at the beginning of 15.209(a), for unlicensed systems operating in the band 510-1705 kHz.
So a strict observance based on the English language in both 15.209 and 15.219 removes the need to meet the field intensity limit given in 15.209(a) for unlicensed systems operating in the band 510 kHz to 1705 kHz.
Really, the FCC wouldn't need to (and maybe shouldn't) refer to excess field intensity at the carrier frequency based on 15.209(a) in their actions against unlicensed systems in the 510-1705 kHz band, because 15.209(a) does not apply in that band. The rest of 15.209 does apply, however FCC actions for unlicensed AM systems in that band rarely, if ever, refer to those paragraphs.
Of course, the FCC alone determines the methods by which it interprets and enforces Part 15.
http://www.fcc.gov/eb/FieldNotices/2003/DOC-294572A1.html
RF