RFI-EMI-GUY
Member
- Joined
- Dec 22, 2013
- Messages
- 7,378
I am inviting discussion on interest in petitioning the FCC to permit cross certification of certain Part 90 radios for use in Part 95, provided they are factory or field programmed by a Certified (GROL etc) Technician to meet the restrictions of Part 95 operation.
My reasons are:
1) There is a dearth of new commercial and public safety grade radios for GMRS. Most are bubble pack consumer grade radios.
2) Most of the consumer grade radios being offered lack repeater offset capabilities and other features required for repeater operations.
3) None of the current consumer radios offered provide full channel deviation and receiver bandwidth permitted by GMRS rules. The radios do not provide 16K0F3E emission (+/- 5.0 KHz deviation) nor do the receiver specifications reflect 25 KHz wideband operation. This technical deficiency reduces the effective range and voice quality of GMRS operations. (1)
4) There are no repeaters being manufactured that are Part 95 certified. (Bridgecom claims to be but this author has been unable to independently verify this using FCC OET search)
5) There is a need for users of Part 90 radios to access GMRS channels. (Search and Rescue, CERT, etc)
6) There are Part 90 radios in service in GMRS and as many are in aged condition, operators are faced with buying equipment that is substandard in order to be compliant with FCC rules.
There is a surplus of Part 90 radios that are perfectly acceptable for use in GMRS Part 95 but no longer suitable for Part 90 under the narrowbanding mandate. Having access to these radios would improve the quality and utility of GMRS.
To be frank, I see many Part 90 radios being used in GMRS so there is that.
(1) LEIKHIM AND ASSOCIATES LLC - VHF-UHF Narrowbanding
My reasons are:
1) There is a dearth of new commercial and public safety grade radios for GMRS. Most are bubble pack consumer grade radios.
2) Most of the consumer grade radios being offered lack repeater offset capabilities and other features required for repeater operations.
3) None of the current consumer radios offered provide full channel deviation and receiver bandwidth permitted by GMRS rules. The radios do not provide 16K0F3E emission (+/- 5.0 KHz deviation) nor do the receiver specifications reflect 25 KHz wideband operation. This technical deficiency reduces the effective range and voice quality of GMRS operations. (1)
4) There are no repeaters being manufactured that are Part 95 certified. (Bridgecom claims to be but this author has been unable to independently verify this using FCC OET search)
5) There is a need for users of Part 90 radios to access GMRS channels. (Search and Rescue, CERT, etc)
6) There are Part 90 radios in service in GMRS and as many are in aged condition, operators are faced with buying equipment that is substandard in order to be compliant with FCC rules.
There is a surplus of Part 90 radios that are perfectly acceptable for use in GMRS Part 95 but no longer suitable for Part 90 under the narrowbanding mandate. Having access to these radios would improve the quality and utility of GMRS.
To be frank, I see many Part 90 radios being used in GMRS so there is that.
(1) LEIKHIM AND ASSOCIATES LLC - VHF-UHF Narrowbanding
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