Ian,

 

I'm not a lawyer, nor do I play one on TV, but in my opinion (worth exactly
what you are paying for it) these would be examples of Class A environments.
They aren't domestic environments.  Others may disagree, but that's how I
view it.

 

From: McBurney, Ian [mailto:ian.mcbur...@allen-heath.com] 
Sent: Thursday, December 10, 2015 3:39 AM
To: EMC-PSTC@LISTSERV.IEEE.ORG
Subject: Re: [PSES] EN55032 definition of residential environment

 

Dear colleagues.

 

Many thanks for your responses, they have all made interesting reading.

 

However; I am no wiser regarding whether sports stadia or theatres would be
considered Class A or Class B environments. As a manufacturer of a range of
products that can be used in bedrooms through to products that can be used
in large stadia, examples of class A and Class B would be useful. Obviously
the "bedroom" product is easy to define but the products used in large
auditoriums or stadia are more difficult to categorise. They are all powered
from the same 13A ac socket as the "bedroom" product.  The old standard we
used to apply i.e. EN 55103-1:2009 did specify the environments with some
examples so helped to define which products were Class A or Class B. It
would have been helpful if EN 55032 had a similar section.

 

Regards;

 

Ian McBurney

Design & Compliance Engineer.

 

Allen & Heath Ltd.

Kernick Industrial Estate,

Penryn, Cornwall. TR10 9LU. UK

T: 01326 372070

E: ian.mcbur...@allen-heath.com

 

 

From: Brian O'Connell [mailto:oconne...@tamuracorp.com] 
Sent: 09 December 2015 22:11
To: EMC-PSTC@LISTSERV.IEEE.ORG
Subject: Re: [PSES] EN55032 definition of residential environment

 

Thread has some good artifacts of compliance engineering philosophy. But
industry has determined some resultant intended side effects. 

 

1.       EMC standards and limits are referenced by some electrical
efficiency regulations to determine if scoped for a product.

2.       Some AHJs and governments have used the product's stated EMC limits
to scope effective building/electrical code sections.

 

To wit, have seen some equipment that where the test data indicates a margin
well below Class B limits, but the report indicates Class A compliance. So
Mr. Pettit's assertion could be supported for these particular cases.

 

Brian

 

 

From: Ghery S. Pettit [mailto:n6...@comcast.net] 
Sent: Wednesday, December 09, 2015 12:26 PM
To: EMC-PSTC@LISTSERV.IEEE.ORG
Subject: Re: [PSES] EN55032 definition of residential environment

 

Again, if you feel that the division between Class A and Class B should be
as you describe, get your national committee to push it.  Personally, my
experience does not back up your assertion that the warning statement
encourages manufacturers to go with Class A.  But, perhaps that was because
I worked (I retired from them in June) for Intel and they didn't buy into
that game.  Perhaps that was because I set the policy, or at least had a lot
of influence on it, and I didn't buy into that game.  But, the other major
manufacturers that I dealt with also didn't buy into it.  So, please back up
your assertions with data.

 

While I agree with you that a simple division between Class A and Class B
shouldn't be viewed as regulatory, others at higher pay grades have taken
exception to it.  

 

I also agree that some equipment being Class A and other equipment being
Class B creates difficulties for companies integrating the two.  This is not
a new issue, I remember this being a problem nearly 30 years ago for
products being sold into the European market.  A box which connected to the
telecom network was Class B, but anything else in the system (mainframe)
only had to meet Class A.  So, what was the environment in the machine room?
Class A, of course.  But, regulators had their requirements.  J

 

Ghery

 

From: ce-test, qualified testing bv - Gert Gremmen
[mailto:g.grem...@cetest.nl] 
Sent: Wednesday, December 09, 2015 10:50 AM
To: Ghery S. Pettit; EMC-PSTC@LISTSERV.IEEE.ORG
Subject: RE: [PSES] EN55032 definition of residential environment

 

Hi Ghery, (and all other members of this group)

 

I do not think that one needs to be member of CISPR I WG2 or WG4 in any form
to be able to discuss this topic.

Ample documentation is available within the national committees, to get a
clear image of the discussions in CISPR I

and several of my close EMC friends have been participating.

 

A simple division in Classes A and B (or Industrial versus residential or
Domestic) cannot be seen as a regulatory statement. Division in classes is a
common thing within all standards and has nothing to do with regulatory
aspects. Different  test levels are defined for  different types of
equipment taking in consideration their targeted environment (being not
industrial or residential) . 

 

The European Commission's opinion on this subject is clear. EN standards
should create a separate set of limits for 2 classes

as described. The infamous Class A statement in CISPR22 actually encourages
manufacturers to test and mark their products to industrial test levels and
market them in residential environments. That actually is a regulatory
aspect IMHO, as it overrules the requirements from the EC and the mandates
given to CENELEC in creating harmonized standards. 

 

This unlevel playing field  creates a tremendous amount of extra work for
manufacturers that integrate ITE OEM product in for example  (most)  medical
equipment, or radio equipment or laboratory equipment, that do not allow or
for any Class A emissions.

Just Integrate a touchscreen in a lab equipment and you will see what I
mean. Many industrial sectors this way pay for the profits of the
IT-industry that successfully "lobbied" their way into the IT standard. (not
that lobby is illegal of course, it's just a way of defending ones industry
sector)

 

So this is how it happens that I (it actually happened) encounter 30 inch EN
55022 Class A LCD monitor in a local university hospital surgeons room that
was intentionally shielded to allow  sensitive correlation type of  ECG
equipment to function correctly. Well , it did interfere. (I also found a
100 mW Wi-Fi transceiver on the ceiling, but the frequency of that carrier
is simply too high to interfere with the ECG stuff) . It makes very clear
how unaware even (medical electronics) professionals  are when it comes to
the risks of EMC.

This is why we have the EMCD, why we have CISPR and EMC standards, to
recognise that EMC is not like dust, one cannot see when it's dirty.

 

 

Gert Gremmen

ce-test, qualified testing bv

 

 

Van: Ghery S. Pettit [mailto:n6...@comcast.net] 
Verzonden: dinsdag 8 december 2015 20:00
Aan: EMC-PSTC@LISTSERV.IEEE.ORG
Onderwerp: Re: [PSES] EN55032 definition of residential environment

 

Disclaimer - While I am the Vice Chairman of CISPR I, the following is my
personal opinion and does not necessarily reflect the opinions of the
Chairman or other members of CISPR I, its working groups, national
committees or IEC HQ.

 

That said.

 

I don't recall seeing Gert at CISPR I meetings, nor CISPR I WG2 (emissions)
or CISPR I WG4 (immunity) meetings (he isn't a member of either WG).  If he
were present, he would know that the reason such regulatory statements are
not in CISPR standards such as CISPR 22, 24 or 32 is that CISPR standards
may not contain regulatory statements.  Defining which products must meet
Class A or Class B limits is up to regulators.  There as even been
discussion about the "legality" of the Class A warning label in CISPR 22 and
32.  CISPR 32 does have language that gives guidance to help the user of the
standard properly apply it, but a regulator is free to ignore or change this
at their discretion.  So, to say that CISPR I has been "notorious" is a bit
of a stretch, in my opinion.

 

There has been no serious work done to have two different immunity levels in
CISPR 24 or 35 as it has not been felt to be needed.  Join your national
committee (or contact it) and make a proposal if you feel that such
additional test levels would be warranted.  A persuasive argument would be
given a fair hearing.  Be aware that any new requirements will take years to
incorporate into a standard.  Remember, CISPR I has been trying to get CISPR
35 published for nearly 15 years as it is, but feel free to make a proposal
for an amendment to add different test levels for Class A products.  Just
remember, we've gotten along well with single limits in CISPR 24 since it
was originally published in 1997, so a convincing argument will be needed.

 

Ghery S. Pettit

Vice Chairman, CISPR SC I

 

From: ce-test, qualified testing bv - Gert Gremmen
[mailto:g.grem...@cetest.nl] 
Sent: Tuesday, December 08, 2015 9:55 AM
To: EMC-PSTC@LISTSERV.IEEE.ORG
Subject: Re: [PSES] EN55032 definition of residential environment

 

1.

Independent of the standards, the EMC directive requires marking on
typeplate and/or documentation if an equipment is non-residential.

 

2.

Unwilling standards committees have been "reluctant" in including  the
definitions in written in their standards. 

CISPR I has been notorious in these for years, by not even defining Class A
for immunity (CISPR 24).

There are ample standards and EC documents giving an appropriate
definitions, in general something

like:

 

If it is predominantly used for households or is connected to a
residentially used power newtwork

the equipment will be residential or often said "Class B". 

If connected to a private power network then it should be Industrial or
"Class A".

 

One standard that comes to mind that gives a good description including
examples is EN 61326-1:2013.

An EC document TC210/Sec0515/INF from 2007 addresses the topic in full and
includes the recommendation to

include a common definition in all harmonized standards.

 

Gert Gremmen

 

Van: Bill Stumpf [mailto:bstu...@dlsemc.com] 
Verzonden: dinsdag 8 december 2015 14:38
Aan: EMC-PSTC@LISTSERV.IEEE.ORG
Onderwerp: Re: [PSES] EN55032 definition of residential environment

 

Ian,

 

There is no definition of "residential" environment in the standard or the
EMC Guide.  For reference, the FCC classifies products into consumer (Class
B) and non-consumer (Class A) categories.  In Europe the manufacturer has a
similar responsibility to make a product that meets the EMC requirements
appropriate for the intended use of the product. For some products it is
more or less up to the end user to determine if a Class A or Class B
compliant product is appropriate. 

 

You will find the Class A warning statement in the EN 55032 standard, Clause
7.

 

Class A equipment shall have the following warning in the instructions for
use, to inform the

user of the risk of operating this equipment in a residential environment:

 

W arning: This equipment is compliant with Class A of CISPR 32. In a
residential

environment this equipment may cause radio interference.

 

 

Bill Stumpf - Lab / Technical Manager

D.L.S. Electronic Systems, Inc.

166 South Carter Street

Genoa City WI 53128

Ph: 262-279-0210

 

 

 

From: McBurney, Ian [mailto:ian.mcbur...@allen-heath.com] 
Sent: Tuesday, December 08, 2015 2:55 AM
To: EMC-PSTC@LISTSERV.IEEE.ORG
Subject: [PSES] EN55032 definition of residential environment

 

Dear colleagues

 

In the 2015 edition of EN 55032 an interesting statement in clause 4.
"Equipment intended primarily for use in a residential environment shall
meet the class B limits. All other equipment shall comply with the Class A
limits."
I am unable to locate a definition for residential environment in the
standard. Does anyone know of an official definition? Would sports stadia,
theatres, hospitals, commercial industrial estates located in residential
housing be included in residential environments?

If the product is Class A, is the warning notice still required? "Warning.
This is a Class A product. In a domestic environment this product may cause
radio interference in which case the user may be required to take adequate
measures." This used to be a requirement in EN 55022.

 

Many thanks in advance.

 

Ian McBurney

Design & Compliance Engineer.

 

Allen & Heath Ltd.

Kernick Industrial Estate,

Penryn, Cornwall. TR10 9LU. UK

T: 01326 372070

E: ian.mcbur...@allen-heath.com

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