ARRL Responds to FCC’s Proposed Allocation for Medical in 70 cm Band:
Devices in ARRL General Counsel Chris Imlay, W3KD, on behalf of the ARRL, filed
comments on August 11 regarding a Notice of Proposed Rule Making (NPRM), ET
Docket 09-36, issued by the FCC in March 2009. In the NPRM, the FCC proposed to
allocate spectrum and adopt service and technical rules for the utilization of
new implanted medical devices that operate on 413-457 MHz (70 cm). According to
the Commission, these devices — called implanted neuromuscular
microstimulators — would greatly expand the use of functional electric
stimulation to restore sensation, mobility and function to those persons with
paralyzed limbs and organs; they would be implanted in a patient and function
as wireless broadband medical micro-power networks (MMNs). These devices would
be used on the 70 cm band on a secondary basis as part of the Medical Data
Radiocommunication Service in Part 95 of the FCC rules. The Amateur Radio
Service has a secondary allocation in the 70 cm band.
Researchers with the Alfred Mann Foundation — a leading medical research
organization located in Santa Clarita, California — have developed a wireless
medical micro-power network to tie together tiny devices implanted in victims
of paralysis, creating an artificial nervous system to restore sensation,
mobility, and function to paralyzed limbs and organs. “The Mann Foundation
argues that the frequency range just above 400 MHz is optimum for their
application, which requires no more than 1 mW of RF spread across about 5 MHz
of bandwidth,” ARRL Chief Executive Officer David Sumner, K1ZZ, wrote in “It
Seems to Us,” published in the June 2009 issue of QST. “However, recognizing
the presence of a variety of incumbent radio services in that range,
specifically including the amateur service, they have proposed four channels
for flexibility in avoiding localized interference. Two of the four channels
are 426-432 and 438-444 MHz; the other two are above and below the 420-450 MHz
band.”

In its comments to the FCC regarding the NPRM, the ARRL said it believes that
the choice of frequency bands for MMNs as proposed is “unfortunate and
unnecessary” and that “the WMTS [Wireless Medical Telemetry Service] offers a
far more suitable solution than does the 413-457 MHz band for MMNs.”

Sumner, in his editorial, said that the FCC’s proposed rules raise two
concerns: “First and foremost, the devices would be required to accept
interference only from stations authorized to operate on a primary basis. The
Mann Foundation has assured us that amateur stations will not cause its system
to malfunction, so we see no reason why this cannot be reflected in the rules,
even though our allocation is on a secondary basis. Second, while the Mann
Foundation researchers appear to have done their homework, others who try to
take advantage of the new rules may not be as rigorous.”

The ARRL asserts in its comments that due to redundant interference rejection
design, the devices developed by the Alfred Mann Foundation “appear to have
some reasonable prospect of avoiding the disastrous consequences of RF
interference to implanted MMNs.” The ARRL stressed, however, that the FCC
should not permit the marketing of MMNs or any similar device in the 420-450
MHz band: “(1) unless and until thorough RF interference susceptibility testing
is conducted on the AMF devices relative to high power Amateur Radio equipment;
(2) at parameters other than those inherent in the Mann system, which
incorporates notably redundant interference rejection design characteristics;
and (3) without very specific patient notifications and labeling of the
body-worn MCUs [Master Control Units] and other portable components which
provide firm assurance that the devices will not malfunction in the presence of
RF fields from authorized radio services in the same bands.”

The ARRL did acknowledge that it thought the Commission to be correct when it
stated in the NPRM that “[g]iven the low transmitter power and duty cycle
limits that would typically be used by either the implanted MMN device or the
external MCU, we expect that the risk of interference from MMNs to incumbent
operations in these frequency bands would be negligibly small.” The ARRL
pointed out, however, that no testing has been done to verify this conclusion
and “such testing should be concluded and the results analyzed before this
anticipatory conclusion can be relied upon.”

In its comments, the ARRL made note of the fact that there is Part 90 spectrum
above 450 MHz available for low-power biomedical telemetry, but “the Alfred
Mann Foundation argues that bands between 450 and 470 MHz are unsuitable due to
the fact that the band is ‘congested and populated with commercial, high-power
transmitters that could preclude reliable operation of lower-power, wireless
medical implant devices.’ This, the ARRL said, “is a very worrisome contention,
and not the argument that should be made by the proponent of a new service that
is secondary to other incumbent licensees. ARRL contends that if the 450-470
MHz band hosts services that are incompatible with reliable operation of MMNs,
then the 420-450 MHz band, and especially the segment proposed for MMNs at
438-444 MHz is equally incompatible with MMNs.”

Pointing out that Amateur Radio television transmitters and repeaters and FM
voice repeater input and outputs operate in this segment in particular, “the
potential for interference to MMNs is on the same order, or worse, than would
be the case if MMNs were to operate in the Part 90 biomedical telemetry band
between 450 and 470 MHz,” the ARRL told the FCC. “In the segment 426-432 MHz,
amateur television stations transmit on a wide bandwidth basis. Amateur Radio
stations are permitted to operate at power levels up to 1500 W PEP output, and
the RF environment at 420-450 MHz, with primary government radiolocation
facilities and highpower amateur facilities is no more conducive to reliable
MMN operation than would be the 450-470 MHz band.”

The ARRL also voiced concerns that nowhere in the NPRM does it mention what the
allocation status of MMNs would be relative to the Amateur Radio Service.
Though the Alfred Mann Foundation has proposed that MMNs would be secondary to
incumbent licensed operations in the subject bands, the Amateur Service is
presently secondary to government radiolocation in this band; this represents a
cooperative sharing arrangement that is satisfactory to both government
agencies and the Amateur Service, the League contends.

“While it is presumed that the proposal is for MMNs to be secondary to both
government radiolocation and to the Amateur Service (as opposed to Amateur
stations and MMNs being co-secondary) this is not clear from the NPRM,” the
ARRL maintained. “Because the interference susceptibility of MMN devices
generally is not known, it would be improper to create a co-secondary
allocation for MMNs anywhere in the 420-450 MHz band at this time. The Amateur
Service has a practical inability to protect patients wearing RF susceptible
MMNs from interference from ongoing amateur operations in the 420-450 MHz band,
and therefore all MMN operation is going to have to be conditioned on the
ability to withstand and operate in the presence of such high-power signals,
and thus subordinate in allocation status to the Amateur Service. Unless this
interference rejection capability is demonstrated by MMN proponents in advance,
the devices should not be allowed to operate anywhere in the 420-450 MHz band.”

Imlay and ARRL Technical Relations Manager Brennan Price, N4QX, met with the
Alfred Mann Foundation in February 2009, but Imlay said that so far, they have
not responded to the ARRL’s request to “cooperate in a firm statement that
their devices would not malfunction in the presence of nearby RF signals from
Amateur Radio stations. Failing that, these comments reflect our continuing
concern about the effect on implant patients from unpredictably close Amateur
Radio station operations. Other radio services affected, both above and below
the 430-450 MHz band, are taking similar positions.”

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