- Uppgifter
- Kategori: Bulletiner från ARRL
- ARRL By
- Träffar: 275
ARLB017 ARRL Files Comments Against "Seriously Flawed" HF Rules Petition
SB QST @ ARL $ARLB017 ARLB017 ARRL Files Comments Against "Seriously Flawed" HF Rules Petition ZCZC AG17 QST de W1AW ARRL Bulletin 17 ARLB017 From ARRL Headquarters Newington CT August 3, 2023 To all radio amateurs SB QST ARL ARLB017 ARLB017 ARRL Files Comments Against "Seriously Flawed" HF Rules Petition ARRL, as part of its mission to protect Amateur Radio, has filed comments against a proposal that would introduce high-power digital communications to the shortwave spectrum that in many instances is immediately adjacent to the Amateur HF bands. The "Shortwave Modernization Coalition" (SMC), which represents certain high-frequency stock trading interests, filed the petition with the Federal Communications Commission (FCC). ARRL responded on behalf of its members and the 760,000 licensees of the Amateur Radio Service in the US. The petition can be found online at, https://www.fcc.gov/ecfs/document/1042840187330/1 . The ARRL Laboratory performed a detailed technical analysis over several months to determine if the proposed rules would affect operations on the bands allocated to Radio Amateurs that are inter-mixed with the Part 90 bands in the spectrum in question. ARRL's analysis determined that, if the proposed rules are adopted, the new operations inevitably will cause significant harmful interference to many users of adjacent and nearby spectrum, including Amateur Radio licensees. Ed Hare, W1RFI, a 37-year veteran of the ARRL Lab and internationally recognized expert on radio frequency interference, was the principal investigator on the study. Hare concluded the petition should not be granted. "This petition seeks to put 50 kHz wide, 20,000-watt signals immediately next to seven different amateur bands with weaker protections against interference than required in other services," said Hare. In its formal opposition, ARRL stated, "That destructive interference would result if operations commenced using anything close to the proposed maximum levels." ARRL's filed comments highlight flawed analysis and incomplete data submitted by the petitioners. It noted the petitioners "...significantly understate the harmful interference that is not just likely, but certain, if the rules proposed by SMC are adopted as proposed. It is noteworthy that SMC's proposed rules would provide less protection than the much-lower power amateur radio transmitters are required to provide Part 90 receivers." ARRL's opposition also noted that there was no reported tests conducted with Amateur or other affected stations, but referenced a spectrum capture in the Comments filed with the Dayton Group that showed actual interference into the Amateur 20-meter band from one of the High Frequency Trading experimental stations. Part 90 HF rules currently authorize a maximum signal bandwidth equal to a voice communications channel, at up to 1000 W peak envelope power (PEP). The petition seeks multiplication of signal width, greater transmitted power, and weaker rules that protect users of adjacent spectrum. ARRL's comments expose the likely fallout: "Incredibly, notwithstanding the significant increase in potential interference that would result from using digital schemes with 50 kHz bandwidths and 20,000 watts of power, SMC also proposes to substantially lessen the protections required to protect adjacent and neighboring licensees. SMC proposes [out-of-band emissions] limits that offer less protection than the existing Part 90 limits and would actually permit no attenuation (0 dB) at the edge of adjacent allocations, many of which are bands allocated to and heavily used in the Amateur Radio Service. Consistent with lessening protections while increasing the potential for harmful interference, SMC also proposes a lower limit for spurious emissions. SMC would reduce the existing protection of -73 dB for the applicable 1000-watt power limit to just -50 dB protection for their proposed 20,000-watt limit. Due to the much wider 50 kHz proposed bandwidth, the resulting interference would penetrate deep into the adjacent Amateur bands." The proposal has been assigned FCC Docket No. RM-11953. While the period for commenting on the petition has now closed, replies to comments in the record may now be submitted. Hundreds of licensed Radio Amateurs filed comments in the Docket, expressing overwhelming opposition to the proposal. Those interested may read ARRL's full comments and the results of the technical analysis, which are included in the filing. "If granted as written, this would be devastating to Amateur operation for many tens of kHz into our bands," said Hare. ARRL will continue to advocate for its members and the Amateur Radio Service in this proceeding. NNNN /EX
E-post: Den här e-postadressen är skyddad från spamrobotar. Du måste tillåta Javascript för att visa e-postadressen
Vägbeskrivning - klicka här
Klubbfrekv: 145,425 MHz, på HF: 3633 kHz - QO-ringen sönd kl 10 SNT
FM Repeater: R3x (145,6875 MHz)/RU6 (434,750 MHz) 77Hz
Digital Repeater: DMR: 434,5625 MHz (-2 MHz)
Ansvarig utgivare: Stefan Fägerhall
Copyright: Södertörns Radioamatörer 2006 - 2024