[BC] Pirates...Aaarghh!
DANA PUOPOLO
dpuopolo
Wed Jul 6 11:56:42 CDT 2005
The Florida law specifically states that ANY RF emitter MUST be licensed. This
law is more draconian then even the federal (FCC) rules and laws, which ALLOW
for part 15 unlicensed operation. The Florida law contains no such exemption.
Besides, this is the first step of a VERY slippery slope! How long until
Florida themselves require a "license" (with a fee of course) for the use of a
transmitter within its borders?
-D
------ Original Message ------
Received: Wed, 06 Jul 2005 08:37:00 AM PDT
From: "Phil Alexander" <dynotherm at earthlink.net>
To: Broadcast Radio Mailing List <broadcast at radiolists.net>
Subject: Re: [BC] Pirates...Aaarghh!
On 6 Jul 2005 at 5:41, DANA PUOPOLO wrote:
> Hmmm...
>
> This law makes class D CB Radio, FRS radios, cordless telephones, wireless
> microphones and even WIFI a crime within the state of Florida! Indeed, ANY
> part 15 operation can get you charged with a felony. A local oscillator in
a
> receiver cound even get you busted, in theory.
>
> A perfect example of uninformed MORONS sticking their nose where it has no
> right to be!
Dana,
Perhaps it's not as black as you appear to imagine. Consider that Part 15
and other unlicensed services can be construed to have a blanket exemption
from licensure. Since LO's spread spectrum, WIFI and part 15 devices all
fall into this category, misguided enforcement attempts seem unlikely.
It does cast a very wide net for illegal operations such as unlicensed
CB's, and perhaps some model R/C gear where the requirement for license
is ignored more often than not.
IMHO the real mistake is throwing all violators into the same pot.
An unlicensed model R/C transmitter operated by a middle school kid
would seem a little less harmful to society than someone jamming
public safety transmission during commission of a bank robbery, or
a broadcast pirate. Looks to me like they should have differentiated
more than one class of offense under this law.
Phil Alexander, CSRE, AMD
Broadcast Engineering Services and Technology
(a Div. of Advanced Parts Corporation)
Ph. (317) 335-2065 FAX (317) 335-9037
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