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NXR-700/800

Kenwood is pleased to introduce NEXEDGE™ conventional and trunking technology featuring 6.25 kHz digital narrowband operation. NEXEDGE™ was designed to provide advanced communication solutions that meet the needs of private enterprise and public sectors today and in the future. NEXEDGE™ includes features such as FM Analog @ 25 and 12.5 kHz channels, NXDN™ digital @ 12.5 and 6.25 kHz channels, compliance with current frequency assignments, and NEXEDGE™ will easily convert to very narrow bandwidths in the future.

General Features
• 145-174, 136-154 MHz
• 450-480, 480-512 MHz
• 400-430 MHz – avlb. mid/late 2008
• 5 W Exciter Output
• 40 / 110 / 250 W VHF Systems
• 40 / 100 / 250 W UHF Systems
• Full Duplex Repeater
• Duplex/Simplex Base Operation
• 30 CH Scanning Base (Conventional)
• Two-Digit LED Display
• 6 Programmable Function Keys
• 3 W Front Panel Speaker
• Microphone Jack
• DTMF Front Panel PF Key Control
• DTMF AUX Output Control
• DTMF AUX Input Monitoring
• FM Conventional Included
• NXDN Conventional Included
• NXDN Trunked – Option-Available
• Multi-site network is available in mid/late 2008
Note*: Some features/options are available in future releases

FCC Clarifies What Constitutes an Amateur Radio Repeater

In December 2007, Gary Mitchell, WB6YRU, President of the Northern California Packet Association (NCPA), filed a Petition with the FCC, asking for the Commission to clarify the definition of a repeater. According to Part 97, Section 3(a)(39), A repeater in the amateur service is “[a]n amateur station that simultaneously retransmits the transmission of another amateur station on a different channel or channels.” Read more »

California County Taking Actions To Silence ALL Ham Activity

California County Taking Actions To Silence ALL Ham Activityhttp://www.radiobanter.com/

From

San Luis Obispo county supervisors took drastic and unprecedented action
yesterday by passing an ordinance that would prohibit amateur radio
operators, known as “hams”, from operating their transmitting stations. The
measure was put in place to eliminate what officials said were health risks
associated with transmitters located close to children. A legal struggle is
expected.
Read more »

FCC RULES THAT DIGITAL VOICE REPEATERS ARE REPEATERS

FCC RULES THAT DIGITAL VOICE REPEATERS ARE REPEATERS

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FCC RULES THAT DIGITAL VOICE REPEATERS ARE REPEATERS

The fcc has ruled that the claim by some owners of digital repeaters and some frequency coordinators that digital voice repeaters are not actually repeaters due to the time delay inherent in digital to analog and analog to digital conversions is erroneous.

In response to a request for a Declaratory Ruling on this issue from the Northern California Packet Association the FCC says that when a receiver and transmitter are tied together as a repeater it is a repeater. The full text of the FCC response to Gary R. Mitchell, President of the Northern California Packet Association is reprinted below.

ARNewsline will have more on this issue in our next newscast to be released on Friday, March 27th.

ARNewsline

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Text of FCC Digital Voice Repeater Decision

Mr. Gary R. Mitchell
President, Northern California Packet Association
P.O. Box K
Sunnyvale, CA 94087

Re: Petition for Declaratory Ruling filed December 5, 2007

Dear Mr. Mitchell:

This is in response to the petition for declaratory ruling that you filed on December 5, 2007, requesting that the Commission clarify the definition of a repeater in the amateur service rules. A repeater in the amateur service is defined as “[a]n amateur station that simultaneously retransmits the transmission of another amateur station on a different channel or channels.” You seek clarification of whether the word “simultaneously” in the definition refers to the signal information being retransmitted, or to the fact that the receiver and transmitter must both be active at the same time while acting on the same signal information.

Section 97.205(b) of the Commission’s Rules specifies the bands on which amateur repeater stations may operate. You state that some amateur radio operators are operating on bands other than those set forth in Section 97.205(b) with systems that are essentially voice repeater stations, but that digitize and retransmit the user’s voice, on the theory that because there is a small delay in retransmitting the signal of another amateur station, the signal is not “simultaneously” retransmitted and, therefore, the system is not a repeater.

Prior to 1994, a repeater was defined as “[a]n amateur station that automatically retransmits the signals of other stations.” The Commission revised the definition in order to clarify that certain accommodations for message forwarding systems do not apply to other operating activities such as repeaters and auxiliary stations. The Commission proposed to define a repeater as “[a]n amateur station that instantaneously retransmits the transmission of another amateur station on a different channel or channels,” but ultimately replaced “instantaneously” with “simultaneously” because commenters noted that there is always a small propagation delay through a repeater. As one commenter explained, “The word ‘simultaneously’ in this case means that the repeater is receiving and transmitting concurrently, whereas each signal might be slightly displaced in time between receive and transmit.”

To be able to repeat another station’s transmission, a repeater must be able to receive a transmission from another station and retransmit it. Because the word “simultaneously” in the definition is used to modify “retransmit,” we believe it refers to a repeater station’s transmitter being active when retransmitting the signal received by the repeater station’s receiver from another amateur station. We conclude, therefore, that “simultaneously” as used in the definition of a repeater refers to the receiver and transmitter both being active at the same time.

Accordingly, IT IS ORDERED that, pursuant to Section 4(i) of the Communications Act of 1934, as amended, 47 U.S.C. § 154(i), and Section 1.2 of the Commission’s Rules, 47 C.F.R. § 1.2, the Petition for Declaratory Ruling filed on December 5, 2007 by Gary R. Mitchell IS GRANTED to the extent indicated above.

This action is taken under delegated authority pursuant to Sections 0.131 and 0.331 of the Commission’s Rules, 47 C.F.R. §§ 0.131 and 0.331.

FEDERAL COMMUNICATIONS COMMISSION

Scot Stone
Deputy Chief, Mobility Division
Wireless Telecommunications Bureau

NC HAMS WIN EXCLUSUION FROM MOBILE CELLPHONE BAN

BREAKING NEWS:  NC HAMS WIN EXCLUSUION FROM MOBILE CELLPHONE BAN

North Carolina lawmakers are again considering a ban on cell phone use
while driving, but Amateur Radio operators in the state would be
specifically exempted, thanks to an amendment requested by Bob Conder
K4RLC, the ARRL State Government Liaison officer. Read more »