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In fact the contribulion from the proposed Verizon faciliry is predicted to be less <br />than 0.0758% of the Public MPE limit. Therefore, pursuant to §1.1310(b)(3) of <br />the Commission's rules no further calculations measurements or other RF <br />studies are required, and the proposed Verizon facility is presumed to be in <br />compliance with the FCC's RF exposure rules. <br />According to OET Builetin 65 <br />"...the rules adopted by the FCC specify that, in general, at mult�ple transmitter <br />sites actions necessary to bring the area into compliance with the guideline� <br />are ihe shared rasponsibility of all licensees whose trar,smitters produce field <br />strengths or power density levels at the area in question in excess of 5% of the <br />exposure limif (in terms of power density or the square of the electric or <br />magnetic field strength) appliaable to their parlicular transmitter." (See §1.1306, <br />Actions which are categorically -��ccluded from environmental processing AND <br />§1.7307, Actions that may have a significant environmental effect for which <br />Environmental Assessments (E:as) must be prepared.) <br />Thus Verizon will not be responsible for any future compliance problems at the <br />SEAQ-GARFILED site as long as the contribution form the Verizon Wireless <br />facility to the RF exposure environment remains below 5% <br />COMPLIANCE WITH LOCbL REGULATIONS <br />Because the proposed Verizor. Wireless facility is in cornpliance with federal <br />rules, it is also in compliance with local regulations concerning RF exposure. <br />The following is the complete tExt,of 47 U.S.C. § 332(c)(7)!B)(iv): <br />"No State or local govemment or instrumentality thereof may regulate <br />the Ftacement, construction, or modification of the personal wireless service <br />facilities on the basis of lhe environmental effects of radio frequency emissions <br />o the extent that such facilities comply with tlie Commission's regulations <br />concerning such emissions." <br />