Administrative Council for Terminal Attachments (“ACTA”).doc

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1、 Administrative Council for Terminal Attachments (“ACTA”) Guidelines and (2) establish and maintain database(s) of equipment approved as compliant with the technical criteria. The ACTA makes no substantive decisions regarding the content of such technical criteria. 2.2 Scope of the Submission Guidel

2、ines This document outlines the guidelines and procedures relevant to maintaining a database(s) of terminal equipment approved as compliant to FCC Part 68 and ACTA- adopted technical criteria. These guidelines and procedures apply to information submitted by both Telecommunications Certification Bod

3、ies (“TCB”) and suppliers utilizing a Suppliers Declaration of Conformity (“SDoC”). Pursuant to 68.610(b), Responsible Parties, whether they obtain their approval from a Telecommunications Certification Body or utilized the Suppliers Declaration of Conformity process, shall submit to the ACTA Secret

4、ariat all information required by the Administrative Council for Terminal Attachments. 2.3 Notice of FCC Part 68 Compliance Requirement for Terminal Equipment Compliance with Part 68 and ACTA Adopted Technical Criteria is mandatory for terminal equipment (TE) connected to the Public Switched Telepho

5、ne Network (PSTN) or wireline facilities owned by wireline telecommunications providers and used to provide wireline subscriber services. Penalties for failure to comply with the requirement fall under US federal jurisdiction. Penalties can be found in 47 U.S.C. Section 503. Questions about the comp

6、liance requirements for a particular device should be addressed to a TCB with Scope C certification (or other CAB). More information on finding Scope C certified testing bodies can be found on the ACTA and FCC websites. Questions about a specific technical requirement should be addressed to the stan

7、dards development organization from which the technical requirement was submitted to the ACTA. 2.4 Description of Terminal Equipment Subject to Submission to the ACTA Database This is an informative description of terminal equipment subject to submission to the ACTA Database provided to inform the p

8、ublic of the scope of devices subject to the ACTAs adopted technical criteria and database and is not in any way intended to serve as a qualitative analysis of any device. The controlling document for determining the Guidelines 2. Modems (any device that is or contains an analog, digital or Ethernet

9、 modem used as an interface to the network); 3. Facsimile Machines; 4. xDSL Modems (ex. ADSL, HDSL, VDSL 5. DSL Splitters 6. Voltage Transient Protective devices; 7. Electronically Controlled Line Switches, Indicators and Devices; 8. Private Branch Exchanges (PBXs); 9. Key Telephone System (KTS) equ

10、ipment; 10. Local Area Network (LAN) Gateways to the PSTN; 11. Caller Identification (CID) devices; 12. Music on hold devices; 13. Interactive Voice System (ACD or IVR); 14. CSUs; 15. Answering Machines; and 16. Any remote control or Utility Metering or Alarm System device that connects to the PSTN.

11、 The following items do not require formal approval or listing in the ACTA Part 68 Database and no provision has been made for listing such items in the ACTA Part 68 Database: 1. Electronically transparent adapters and extension cords; 2. Cross connect panels; 3. Manually operated line switches; and

12、 4. Professionally used diagnostic instrumentation that is disconnected from the network when unattended. Guidelines the ACTA Secretariat will issue a RPC via E-mail to the Authorized Submitter and/or Responsible Party typically within 7-10 days. Contact the ACTA Secretariat if an E-mail is not rece

13、ived. An alternative method (e.g., regular mail) is available on request. Guidelines regardless if the product is still being produced or not. Should the new Responsible Party inform the ACTA that a copy of the SDoC is not available to the general public and accessible to the disabled community on a

14、 functional and reliable website that it maintains, and needs the ACTA to maintain a copy of the original or revised/updated SDoC on the ACTA website, the new RP will be charged an additional posting fee per SDoC, pursuant to the ACTA Guidelines. Parties unfamiliar with RPC transfers should contact

15、the ACTA Secretariat before filing a RPC transfer request. 3.4 Responsible Party Code (RPC) Data Validation An important responsibility of the ACTA is to maintain an accurate and up to date database of all Part 68 Telephone Terminal Equipment (TTE). The information associated with a Responsible Part

16、y Code (RPC) is used by the FCC, U.S. Customs and consumers and therefore must be accurate. The RPC is critical in establishing the connection between the responsible party and the telephone equipment stored in the database. The Responsible Party or its Authorized Submitter (e.g., a TCB or independe

17、nt lab) must annually validate the RPC contact information including but not limited to RPCs point(s) of contact, address(es), phone number(s), email address(es) and website URL. Requests for an RPC Data Validation can be submitted electronically through AOF, or by submission to the ACTA Secretariat

18、 using the Data Validation Submission Form. The Guidelines and (b) the product; including the model number of the product. 2) Statements are required to include a statement that terminal equipment conforms to (1) each specific ACTA-adopted technical criteria document, including addendums, that has r

19、eached its mandatory compliance date at the time of the approval of the TTE, and (2) the requirements found in FCC 47 C.F.R. Part 68. Technical criteria which have been adopted by the ACTA and have reached their effective date may be included on the SDoC at the discretion of the Supplier as they are

20、 able to certify compliance to those technical criteria. 3) Date and place of issue of the declaration. 4) Signature, name and function of person making declaration. 5) A statement that the product, if it incorporates a handset, does or does not comply with 68.316 of the FCC Rules defining Hearing-A

21、id Compatible (“HAC”) terminal equipment. 6) For a telephone that is not HAC, as defined in 68.316, the responsible party shall provide the following in the SDoC: (a) notice that FCC rules prohibit the use of that handset in certain locations; and (b) a list of such locations (see 68.112). Note that

22、 for equipment designed to operate in conjunction with other equipment, the characteristics of which can affect compliance of such device with Part 68, and/or ACTA-adopted technical criteria, then the Model Number(s) of such equipment shall be supplied, and such other equipment must also include an

23、SDoC or TCB grant of certification. 5.3 Filing Utilizing SDoCs Responsible Parties utilizing an SDoC must provide the following information for all filings to the ACTA: 1) Fee: Refer to “General Filing Guidelines” and “SDoC Posting on the ACTA Website.” 2) Copy of SDoC: An SDoC must contain the stat

24、ements and information as specified in 68.324; including an explicit reference to the ACTA-adopted Guidelines for SDoC Filings. 2) Copy of the TCB Certificate of Approval; for TCB Filings. 3) The identity of the testing facility, including the name, address, phone number and other contact informatio

25、n. 4) A detailed explanation of the testing procedure utilized to determine whether terminal equipment conforms to the appropriate technical criteria. 5) A copy of the test results for terminal equipment compliance with the appropriate technical criteria. Responsible parties utilizing SDoCs shall ma

26、intain all records required under 68.326(a) for at least ten years after the manufacture of the equipment on file has been permanently discontinued. TCBs shall adhere to the guidelines specified in the National Institute of Standards and Technology (“NIST”) accreditation program under the applicable

27、 MRAs. 6.1 Indemnification and Liability Statements Parties submitting information for inclusion in the Part 68 database of approved terminal equipment are required to provide the appropriate Indemnification and Liability Statement to the ACTA Secretariat. With the introduction of the ACTA Online Fi

28、ling (“AOF”) system, however, two versions of the Indemnification and Liability Statement have been established. The traditional statement specified in Appendix B is required to be submitted for each filing made directly to the ACTA Secretariat. The additional, and most recent, statement in Appendix

29、 C is required to be submitted to the ACTA Secretariat by parties that have filed with the ACTA Secretariat in the past and wish to use AOF. This statement, entitled “AOF Indemnification and Liability Statement,” is submitted only once for all AOF transactions. Parties filing an AOF statement are st

30、ill required to provide the traditional statement when submitting information directly to the ACTA Secretariat. New parties registering on-line for a “Filer Account” will be required to agree to the statement before setting up their account. In all cases, the Responsible Party shall indemnify and ho

31、ld harmless the Administrative Council for Terminal Attachment (“ACTA”), its members, affiliates, Secretariat, and Sponsors, and each of their officers, directors, employees, participants, agents and representatives (the “ACTA Parties”), of and from any and all liabilities, losses, costs, damages, c

32、laims, suits or expenses (including reasonable attorneys fees and costs) of any kind whatsoever, arising from or relating to the Terminal Equipment (“TE”) or the Responsible Partys Suppliers Declaration of Conformity (“SDoC”) or Telecommunications Certification Body Grant of Certification submitted

33、to the ACTA in connection therewith. Guidelines (2) ANSI for procedural issues; or (3) the FCC directly for a de novo review pursuant to 68.614. Refer to the latest version of the ACTA Operating Principles and Procedures (“OP including new i.e., E-mail and phone number) attesting to the terminal equ

34、ipments conformity to Part 68 rules and ACTA-adopted technical criteria, or the name of the organization applying for an RPC. Authorized Submitters (e.g., Agents) forwarding information to the ACTA on behalf of a Responsible Party utilizing the SDoC method should use the table entitled “Submitters I

35、nformation.” Item 1b: Telecommunications Certification Body Identification Number List the TCB identifier for terminal equipment information submitted by a registered TCB. Item 1c: Suppliers Declaration of Conformity Provide a copy of the SDoC for terminal equipment submitted under an SDoC. Item 2:

36、Terminal Equipment Approval Date Provide the date the terminal equipment was approved (date of TCB Certificate or SDoC Statement). Item 3: Product Identifier Provide the responsible partys unique terminal identifier. Refer to TIA Standard TIA- 168-B, Telecommunications Telephone Terminal Equipment L

37、abeling Requirements. Example: US: AAAEQ#TXXX, where xxx is the product identifier. The Responsible Party shall define this identifier. Note; the FCC historically assigned a 5-digit product identifier number. Example: AAABBB-NNNNN-XX-Y, where NNNNN is the assigned number. Parties submitting data for

38、 products that will retain its existing FCC Registration number (Modification, or Notice of Change) should enter the FCC-assigned 5 digit number. Item 4: Responsible Party List the complete name and address of the responsible party; including the contact information of the submitter; i.e., E-mail an

39、d phone number. The Responsible Party is the individual or company that accepts responsibility for the product and its compliance to Part 68 rules and ACTA-adopted technical criteria. Pursuant to the “Order on Reconsideration in CC Docket No. 99-216 and Order Terminating Proceeding in CC Docket No.

40、98-163,” FCC 02-103, Released April 10, 2002, the Responsible Party is not required to be located in the United States but, must designate an agent for service of process that is physically located in the United States. See 47 C.F.R. 68.418(b). For parties utilizing the SDoC method, this may be the

41、same information contained in Item 1a. Guidelines otherwise leave blank. Item 9: Current ACTA or FCC Product Label Number Provide current product label number. This could be the ACTA “US” Number or FCC certification or registration number(s). This is required for Modification, Notice of Change, and

42、Re-certification Filings. Item 10: Equipment Code Refer to TIA Standard TIA-168-B, Telecommunications Telephone Terminal Equipment Labeling Requirements for a complete list of codes. Only one code may be specified. Select the code that best matches your product. If your equipment is currently approv

43、ed, include the equipment code already assigned to your equipment. Item 11a: List of Brand or Trade Names including new R If the device performs rotary (pulse) signaling; E If the device performs either DTMF or pulse signaling (selectable); N If the device does no signaling. Item 13a: AC Ringer Equi

44、valence Number (“REN”) The format used to enter the AC REN is, #T. The “#“ symbols represents the REN. The “T“ represents the ringer type associated with the REN. Note: the code for approved equipment without a network interface and equipment not connecting to circuits with analog ringing supplied,

45、is “NAN.” Examples of a valid REN format are: “10A,“ “01B,“ and “NAN.“ Refer to TIA Standard TIA-168-B, Telecommunications Telephone Terminal Equipment Labeling Requirements. Item 13b: Hearing Aid Compatible (“HAC”) Telephones (corded and cordless) imported into (or manufactured in) the U.S., unless

46、 otherwise exempt, must be HAC (magnetic flux strength, 68.316). Marking of devices with the letters HAC prominently displayed is required for all HAC telephones manufactured or imported after April 1997. Enter Yes, No, or Not Applicable (N/A). Item 13c: Universal Service Order Codes (“USOC”) Jacks

47、List type(s) of jack(s) required at the network interface. Use N/A for adjuncts that do not make direct connection to the network. Use “hardwired“ for meter readers and alarm dialers, if applicable (some alarm dialers preferentially use the type RJ31X jack because of its call preemption feature). Re

48、fer to ATIS Technical Report No. 5. Item 13d: Repetitive Dialing to a Single Number Many telephones, dialers, and alarm systems have the capability of repeat dialing to a single number. Indicate if the device or system has this feature. In CC Docket No. 81- 216, Fourth Notice of Proposed Rulemaking,

49、 FCC 86-352, the Commission permitted computer-controlled automatic redialing but reserved the right to revisit this decision to ensure network protection, if necessary. Enter Yes or No. Item 14: Filing Status Describe the primary reason for the Filing. Each Filing must demonstrate that the covered equipment will not harm the network. Original Filing Guidelines (b) Establishing a new classification for equipment (e.g., a change to a MF classification based on a previously approved KF system); (c) Adding a new manufacturer; when manufacturing

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