Information from a health and safety course that I recently attended - there
are numerous cases where people have done really silly things and had
accidents.  The employer has been found liable for creating circumstances
where people can do silly things and hurt themselves.  I don't know if there
is this reads across directly to compliance, but I think it probably does.

Luke Turnbull

>>> "Chris Maxwell" <chris.maxw...@nettest.com> 06/24/03 04:15pm >>>

Mike,

I'm still not sold.

I understand the specific exemptions for circuit cards, battery compartments
and the like; but I can't follow the reasoning for exempting the outside of
the product.

How are you defining "not accessible"?  It sounds as though you are gauging
access by the need to touch a surface; not the ability/opportunity to touch a
surface.

For instance, I have two speakers attached to my PC.  One of them is a
"slave".  It doesn't have any volume controls on it.  I never have to touch it
once it is installed.  Isn't it still "accessible" even though I don't have to
touch it?   

If I were to mount this speaker up on a wall; it does reduce the probability
that it will be touched while it's operating; but it doesn't eliminate it. 
So, I still consider it "accessible".

I understand that height is involved in the original question (device is
installed higher than 2.5m from the floor).  The problem here is: the product
still can be touched; and I see no specific guidelines in any standard that
says "a product higher than "x" meters off of the floor is "not accessible".

To me, there are too many gray areas in this argument.  My compliance head
says that the outside surfaces that can be touched should be tested.  AND I'M
USUALLY ONE OF THE COWBOYS, LOOKING FOR EVERY LOOPHOLE I CAN FIND :-)

I do agree with you on one point.  If I were to exempt this product from ESD
testing; I would cover my butt and label it as ESD sensitive. 

I think we both agree, from a quality standpoint, that ESD testing would be a
good thing to do.

One point that I'm sure of agreement/disagreement is indirect ESD testing.   I
think that, regardless of how you treat the surfaces; this product still needs
indirect ESD testing.  Do you agree with this?


Best regards,

Chris Maxwell | Design Engineer - Optical Division
email chris.maxw...@nettest.com | dir +1 315 266 5128 | fax +1 315 797 8024

NetTest | 6 Rhoads Drive, Utica, NY 13502 | USA
web www.nettest.com | tel +1 315 797 4449 | 




> -----Original Message-----
> From: Mike  Hopkins [SMTP:michael.hopk...@thermo.com] 
> Sent: Tuesday, June 24, 2003 9:38 AM
> To:   'don_borow...@selinc.com'; emc-p...@majordomo.ieee.org 
> Subject:      RE: ESD - not applicable ?
> 
> 
> You always need to apply two heads --- the engineering head says,"Good
> engineering practice says you should test for ESD", but the compliance head
> only needs to meet the requirement of the standard, which clearly exempts
> points and ports NOT accessible by an OPERATOR.
> 
> Points and ports accessible for maintenace, installation and service need
> not be tested (compliance head). Points/ports that ARE accessible by the
> operator can be exempted by labeling -- i.e., ESD sensitive ports such as
> scope vertical amp inputs, RF antenna inputs, etc... Also specifically
> exempted from compliance to 61000-4-2 are inside battery compartments, which
> although accessed by the operator, are rarely accessed and when they do get
> into the battery compartment, the unit is inoperative....
> 
> 
> 
> 
> 
> Best Regards,
> 
> Michael Hopkins
> Manager, EMC Technologies
> Thermo Electron
> Control Technology Division
> EMC & ESD Simulation Solutions
> One Lowell Research Center
> Lowell, MA 01852
> Tel: +1 978 275 0800 ext. 334
> Fax: +1 978 275 0850
> michael.hopk...@thermo.com 
> 
> One Thermo, committed to integrity, intensity, innovation & involvement
> 
> 
> 



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