FCC Record, Volume 27, No. 11, Pages 8850 to 9847, July 30 - August 17, 2012 Page: 8,853
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(h) "Covered Employees" means all employees and agents of Chamberlain who perform,
or supervise, oversee, or manage the performance of, duties that relate to
Chamberlain's responsibilities under the Equipment Marketing Rules.
(i) "CWP" means Chamberlain Wireless Products Group, Inc., formerly a wholly-owned
subsidiary of Chamberlain.
(j) "Effective Date" means the date on which the Bureau releases the Adopting Order.
(k) "Equipment Marketing Rules" means Section 302(b) of the Act and Sections 2.803,
2.902, 2.1043, and 15.249 of the Rules and other Commission requirements
governing the marketing of radio frequency devices within the United States and its
(1) "Investigation" means the investigation commenced by the Bureau's November 9,
2009 letter of inquiry to Chamberlain regarding possible violations of the Equipment
(m) "Operating Procedures" means the standard, internal operating procedures and
compliance policies established by Chamberlain to implement the Compliance Plan.
(n) "Parties" mean Chamberlain and the Bureau, each of which is a "Party."
(o) "Rules" means the Commission's regulations found in Title 47 of the Code of
2. Pursuant to Section 302(b) of the Act4 and Sections 2.803, 2.902, and 2.1043 of the
Rules,5 radio frequency devices may not be marketed in the United States unless such devices comply
with the applicable technical standards and administrative requirements relating to equipment labeling
and consumer disclosure. Pursuant to Section 15.249 of the Rules,6 unlicensed devices operating in the
902 to 928 MHz band are required to comply with specified limits on output power. The radio frequency
devices marketed by CWP operated within the 902 to 928 MHz band and included wireless portable
intercoms, wireless indoor/outdoor intercoms, a wireless front doorbell with intercom, and a wireless
driveway alert (the CWP 900 MHz Product Line).7
3. On March 31, 2008, Chamberlain voluntarily disclosed to the Commission that it had
discovered potential violations of the Equipment Marketing Rules with respect to certain of the CWP 900
3See Letter from Kathryn S. Berthot, Chief, Spectrum Enforcement Division, FCC Enforcement Bureau, to Robert
Keller, Director, Design Engineering, The Chamberlain Group, Inc. (Nov. 9, 2009) (on file in EB-09-SE-220).
447 U.S.C. 302a(b).
5 47 C.F.R. 2.803, 2.902, 2.1043.
7 See Letter from Kevin F. Reed, Counsel for Chamberlain, to Karen Onyeije, Associate Chief, Enforcement Bureau,
Federal Communications Commission (Oct. 26, 2011) (October 26, 2011 Letter) (on file in EB-09-SE-220).
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United States. Federal Communications Commission. FCC Record, Volume 27, No. 11, Pages 8850 to 9847, July 30 - August 17, 2012, book, August 2012; Washington D.C.. (digital.library.unt.edu/ark:/67531/metadc133015/m1/20/: accessed May 26, 2017), University of North Texas Libraries, Digital Library, digital.library.unt.edu; crediting UNT Libraries Government Documents Department.