Thursday, February 7, 2013
Tiny Japanese satellite beams Morse code from space
An ultra-small Japanese satellite is being spotted from the ground, thanks to a set of lights that flash brightly in Morse code.
The novel cubesat, known as FITSAT-1, has been orbiting Earth since early October of last year. Though it tips the scales at less than 3 pounds, FITSAT-1's powerful light-emitting diodes (LEDs) make it a compelling target for skywatchers.
"As long as the LEDs are active, then you will be able to see it using binoculars," veteran Canadian satellite watcher Kevin Fetter told SPACE.com
An artificial star
FITSAT-1 was built at Japan’s Fukuoka Institute of Technology. The tiny spacecraft is also called Niwaka, after "Hakata Niwaka," an improvised performance of traditional Japanese comedies with masks.
The spacecraft was carried up to the International Space Station on Japan's unmanned H-2 Transfer Vehicle-3 in July 2012, then deployed from the orbiting lab in October by Japanese astronaut Aki Hoshide. [Photos: Tiny Satellites Launch from Space Station]
To cast FITSAT-1 and two other cubesats off into space, Hoshide used the Small Satellite Orbital Deployer that was attached to the Japanese Kibo module’s robotic arm.
FITSAT-1’s orbit is taking it between 51.6 degrees south latitude and 51.6 degrees north latitude. The cubesat contains a neodymium magnet that forces it to point always to magnetic north, like a compass.
Working well
A successful test of FITSAT-1's LED optical beacon took place over Japan on December 11.
"All functions of FITSAT-1 are sound and work very well," said Takushi Tanaka, leader of the project at the Fukuoka Institute of Technology.
Images of the blinking FITSAT-1 have been taken in Japan, Germany and the United States, Tanaka told SPACE.com. The tiny spacecraft has succeeded in its primary goal of investigating optical communication techniques for satellites, he said.
For Niwaka to be visible, the night sky must be dark enough that a ground observer can see the Milky Way, Tanaka has said. Also, many people are unaware that they have succeeded in photographing the fleeting, flashing light until they've magnified and closely inspected their images.
The FITSAT-1 team attempts to accommodate skywatchers who want to catch a glimpse of the little satellite.
"As observing the light is not so easy, we will flash the light on requests. If you have a plan for observing the light, please advise me [of] the time and date with your latitude and longitude," Tanaka wrote on the FITSAT-1 website. "Now we have a plan for flashing at 09:25:00 on 9th Feb. for the west coast of USA."
Amateurs of space
Tanaka is no aerospace specialist. He's a professor of computer science and engineering, with research interests that specialize in artificial intelligence, language processing, logic programming and robot soccer, in addition to cubesats.
The backgrounds of Tanaka and his team make Niwaka pretty special, the researcher said
"Most cubesats are developed by some kind of space department of a university, while FITSAT-1 is developed by amateurs of space." Tanaka said.
"Though I do not have much knowledge about space," he added, "I am a ham radio [devotee] since the age of the vacuum tube."
Tuesday, February 5, 2013
New HAM's
As most know, we held testing at the picnic and had 3 folks become new Tech's. This past Saturday, the 2nd of Febuary we also had a session. That gave us 3 new Techs as well.
All are listed below.
KK4OFX Rubin Sepulueda
KK4OFY Phillip Maffett
KK4OFZ Neftali Marrero
KK4OAM Bill Carson
KK4OAN Thomas Morrison
KK4OAO Bill Johnson
Make sure to say hello if you hear them.
All are listed below.
KK4OFX Rubin Sepulueda
KK4OFY Phillip Maffett
KK4OFZ Neftali Marrero
KK4OAM Bill Carson
KK4OAN Thomas Morrison
KK4OAO Bill Johnson
Make sure to say hello if you hear them.
Thursday, January 31, 2013
ARRL Upcoming Radiosport Events
This Week in Radiosport
- February 1 -- NCCC Sprint Ladder
- February 2 -- Minnesota QSO Party; AGCW Straight Key Party
- February 2-3 -- Vermont QSO Party; Mexico RTTY International Contest; 10-10 International Winter Contest (SSB); Black Sea Cup International; EPC WW DX Contest
- February 2-4 -- Delaware QSO Party
- February 3 -- North American Sprint (CW)
- February 8 -- NCCC Sprint Ladder
- February 8-10 -- YLRL YL-OM Contest
- February 9 -- Asia-Pacific Spring Sprint (CW); FISTS Winter Sprint
- February 9-10 -- New Hampshire QSO Party; Louisiana QSO Party; CQ WW RTTY WPX Contest; YL-ISSB QSO Party (CW); KCJ Topband Contest; Dutch PACC Contest; OMISS QSO Party; RSGB First 1.8 MHz Contest; AWA Amplitude Modulation QSO Party
- February 10-11 -- Classic Exchange (Phone)
- February 11-15 -- ARRL School Club Roundup
- February 13 -- NAQCC Straight Key/Bug Sprint
- February 13-14 - CWops Mini-CWT Test
From The ARRL Letter for January 31, 2013
Monday, January 28, 2013
Picking a Band
160 and 80 Meters
Eighty meters, and its phone neighbor, 75 meters, are favorites for ragchewing. I frequently check out the upper frequencies of the CW subband. There I find both newcomers as well as old-timers trying to work the rust out of their fists. Around 3570 kHz you'll find the digital modes, including RTTY, PSK31 and packet. The QRP frequency is 3560 kHz. If you hear a weak signal calling CQ near 3560, crank down your power and give a call. Another favorite frequency is 3579.5 kHz. If you live in the eastern half of North America, listen for W1AW on 3581.5 (CW), 3597.5 (digital) or 3990 kHz (SSB). W1AW runs 1000 W to a modest antenna — an inverted V at 60 feet. If you can copy W1AW, you can probably work the East Coast, even with low power. AM operation is generally found between 3870 and 3890 kHz.
Even if you can't chase DX, you will find plenty to do on either band. Ionospheric absorption is greatest during the day, thus local contacts are common. At night, contacts over 200 miles away are more frequent, even with a poor antenna. Summer lightning storms make for noisy conditions in the summer, while winter is much quieter. You may also be troubled by electrical noise here. A horizontally polarized antenna, especially one as far from buildings as possible, will pick up less electrical noise.
Topband, as 160 meters is often called, is similar to 80 meters. QS0s here tend to be a bit more relaxed with less QRM. DX is frequent at the bottom of the band. Don't let the length of a half-wave dipole for 160 keep you off the band; a 25- or 50-foot "long wire" can give you surprisingly good results if a good ground system is available. One favorite trick is to connect together the center conductor and shield of the coax feed line of a 40- or 80-meter dipole and load the resulting antenna as a "T," working it against the station ground.
60 Meters
Unlike other HF amateur bands, 60 meters is channelized. This means that you have to operate on specific frequencies. Amateurs have secondary access to this band. They cannot cause interference to and must ac cept interference from the Primary Government users. Amateurs can transmit CW and PSK31 on the following channel-center frequencies: 5332.0, 5348.0, 5358.5, 5373.0 and 5405.0 kHz. Amateurs can also transmit upper sideband (USB) voice and PACTOR III on the following suppressed carrier frequencies (the frequencies typically shown on transceiver displays): 5330.5, 5346.5, 5357.0, 5371.5 and 5403.5 kHz.
Amateurs may transmit with an effective radiated power (ERP) of 100 W or less, relative to a half-wave dipole. If you're using a commercial directional antenna, FCC Rules require you to keep a copy of the manufacturer's gain specifications in your station records. If you built the directional antenna yourself, you must calculate the gain and keep the results in your station records.
When using a directional antenna, you must take your antenna gain into account when setting your RF output power. For example, if your antenna offers 3 dB gain, your maximum legal output power on 60 meters should be no more than 50 W (50 W plus 3 dB gain equals 100 W ERP). Despite the limitations, it has intriguing potential. The propagation on 60 meters combines the best of 80 and 40 meters.
40 and 30 Meters
I must confess to being biased in favor of these bands, especially 40 meters. If I could have a receiver that covered only one band, it would be 40. Running 10 W from my East Coast apartment (indoor antenna) I can work European hams, ragchew up and down the coast, check into Saturday morning QRP nets, and listen to foreign broadcast stations besides. Yes, 40 is a little crowded. Look at the bright side: You won't be lonely. I think it's possible to work someone on 40 any time of the day or night.
In the US, Advanced and Extra licensees have voice privileges starting at 7125 kHz and the General band starts at 7175 kHz. Most other countries have SSB privileges down to 7050 kHz so don't be surprised if you hear voice stations below the US phone band. At night you may hear foreign broadcast stations above 7200 kHz. During the day, they won't bother you much. Forty is a good band for day time mobile SSB operation, too. You'll find plenty of activity, and propagation conditions tend to be stable enough to allow you to ragchew as you roll along.
CW QRPers hang around and above 7030 kHz. Digital operators work around 7080 to 7125 kHz. Hams operating AM are typically around 7290 kHz.
The 30 meter band has propagation similar to 40 me ters. Skip distances tend to be a little longer on 30 meters, and it's not so crowded. At present, stations in the US are limited to 200 W output on this band. DX stations seem to like the low end of the band, from 10100 to 10115 kHz. Ragchewers often congregate above 10115. We share 30 meters with other services, so be sure you don't interfere with them. SSB isn't allowed on 30, but you can use CW and the digital modes.
20 Meters
As much as I like 40 and 30 meters, I have many fond memories of 20 meters as well. When I upgraded my license to General in 1963, I made a beeline to 20 meters. To this day, I can't stay away for long. A 20 meter dipole is only 33 feet long, and that doesn't have to be in a straight line. Many US hams have worked their first European or Australian contacts with a dipole and 100 W.
Many hams consider 20 meters the workhorse DX band. At the bottom of a solar cycle, 20 meters may be usable in a particular direction for only a few hours a day. Even then, 20 is usually open to somewhere in the world throughout the day and night. For example, from New England, 20 is open to some part of South America for 24 hours a day, whatever the level of sunspots might be. On the other hand, 20 meters can be open to the Far East for as much as 13 hours of the day (with very weak signals) when sunspot activity is low, while it can be open all day during periods of high solar activity.
There's plenty of room on the band. CW ragchewers hang out from 14025 to 14070 kHz, where you start hearing digital stations. The international QRP frequency is 14060 kHz. The sideband part of the band is sometimes pretty busy and then it may be difficult to make a contact with low power or a modest antenna. Look above 14250 for ragchewers. Impromptu discussion groups that sometimes spring up on you. If you like photographs, look around 14230 kHz for slow-scan TV. You'll need some extra equipment (as discussed in the Image Communications chapter of this book) to see the pictures.
17, 15 and 12 Meters
Except during years of high solar activity, you'll do most of your operating during daylight hours. Propagation is usually better during the winter months. Seventeen and 12 meters aren't as crowded as 15 meters. Fifteen, though, is not nearly as crowded as 20. On 15, the QRP calling frequency is 21060 kHz. Don't forget that CW can be found all the way up to 21200 kHz. No special frequencies are used for QRP operation on 17 and 12. SSB operation is much easier on 17 and 12 because of lower activity. Low activity doesn't mean no activity — when those bands are open, you'll find plenty of stations to work. You only need one at a time, after all. Digital operation is found from 21070 to 21110 kHz, and around 18100 and 24920 kHz.
Practical indoor, outdoor, mobile or portable antennas for these bands are simple to build and install. It's even possible to make indoor beam antennas for the range of 18 to 25 MHz.
10 Meters
The 10 meter band stretches from 28000 to 29700 Hz. During years of high solar activity, 10 to 25 W trans ceivers will fetch plenty of contacts. When the sun is quiet there are still occasional openings of thousands of miles. Ten meters also benefits from sporadic-E propagation. You'll find most sporadic-E openings in the summer, but they can happen anytime. Sporadic-E openings happen suddenly and end just as quickly. You may not be able to ragchew very long, but you'll be amazed at how many stations you can work.
SSB activity is heaviest in the Novice/Technician sub-band from 28300 to 28500 kHz. The lower end of the band (tune up from the bottom edge) is a good place to look for CW activity, as is the QRP calling frequency at 28060 kHz. You can operate 1200 baud packet radio on 10 meters, whereas we're limited to 300 baud on the lower bands. Digital operation takes place from 28070 to 28120 kHz.
Higher in the band, above 29000 kHz, you'll find amateur FM stations and repeaters, and the amateur satellite subband. AM operation is also popular between 29000 and 29200 kHz.
Operating on 50 MHz and Above
The VHF/UHF/microwave bands offer advantages to the low-power operator. The biggest plus is the relatively smaller antennas used. A good-sized 2 meter beam will easily fit in a closet when not in use. Portable and mobile operation on these bands is also easy and fun.
6 Meters
Six meters is perhaps the most interesting amateur Fband.When solar activity is high, worldwide QSOs are common. When solar activity is low, however, opportunities for long-distance communication decrease. Sporadic-E propagation, which I mentioned earlier, is the most reliable DX mode during periods of low solar activity.
With small antennas, like three-element beams, it's possible to work 1000 miles on sporadic E. Three-element 6 meter beams don't fit well inside houses or apartments, but you might be able to put one in an attic or crawl space. Even if you can only use a dipole, you'll be able to work locals, and snag some more distant stations when the band opens.
Just about any mode found on the HF bands is used on 6 meters. CW and SSB operation take place on the lower part of the band. Higher up you'll find FM simplex and repeater stations. Another mode you'll sometimes find on 6 meters is radio control (RC) of model planes, boats and cars.
2 Meters
Simply stated, 2 meters is the most popular ham band in North America. From just about any point in the US, you can probably work someone on 2 meters, 24 hours a day. Most hams know about 2 meter FM, APRS and packet radio operation, but CW and SSB are used here too. There's even an amateur satellite sub band on 2 meters.
CW and SSB operation is done mostly with horizontally polarized antennas. FM and packet operators use vertical polarization, while satellites can be worked with either. A popular 2 meter antenna called a halo is perfect for indoor or mobile use on CW or SSB. The omni-direc tional halo has no gain, but you'll be able to work locals, and up to 100 miles during band openings.
FM and packet usually require only a simple vertical antenna. The ARRL Repeater Directory will tell you what repeaters are available in your area. This book lists repeaters in the bands from 29 MHz to 1.2 GHz and above.
The 222 and 430 MHz Bands
Every mode used on 2 meters is found on 222 except satellite communication. The 430 MHz or 70 cm band is second only to 2 meters in VHF/UHF activity. Multiband hand-held and mobile FM transceivers are available at prices only slightly higher than single-band rigs. If you think you'd like to try these bands in addition to 2 meters, look into a multiband rig.
One mode you'll find on 70 cm that isn't allowed on the lower frequencies is fast scan amateur television (ATV). Assuming you already have a broadcast TV set, all you need is a receive converter, transmitter, antenna and camera. Inexpensive cameras designed for home video use are fine for ATV. ATV repeaters may be found in larger metropolitan areas. They're listed in the ARRL Repeater Directory.
33 cm (902 MHz) and Up
As you go higher in frequency, the size of antennas gets smaller. This fact allows you to use very high-gain antennas that aren't very big. Commercial equipment is available for the bands through 10 GHz. You'll also find kits (the tuned circuits are etched onto the circuit boards).
Because antennas are so small, it's possible to have 20 to 30 dB gain antennas that fit in your car's trunk. In comparison, a big 20 meter beam might offer only 10 dB of gain. Operating from the field with battery-powered equipment is very popular, especially during VHF/UHF/ microwave contests. Thanks to high-gain antennas, contacts over several hundred miles are possible with equipment running 1 or 2 W.
By Jim Kearman, KR1S
Orginally in the ARRL Operating Manual 10 Addition
Tuesday, January 22, 2013
BSA to Offer Amateur Radio Operator Rating Strip
BSA to Offer Amateur Radio Operator Rating Strip
01/18/2013
The
Boy Scouts of America (BSA) has approved
an Amateur Radio Operator rating strip for Scouts and Scouters to wear on their
uniforms. According to BSA Communication Services Director Jim Wilson, K5ND,
the strip recognizes the Scout or Scouter’s availability as an Amateur Radio
operator for communication services for events and activities, as well as
emergencies. All registered youth members and adult leaders who also hold a
valid FCC-issued Amateur Radio license of any class are eligible to wear the
rating strip.“Last year, the BSA Awards and Insignia Committee introduced the Morse Code Interpreter Strip upon the recommendation of the BSA’s National Radio Scouting Committee,” Wilson told the ARRL. “We are always looking for ways to promote Amateur Radio, both within Scouting and to the world. The National Radio Scouting Committee thought this new Amateur Radio rating strip was a wonderful way to do exactly that, as it readily identifies to everyone that the wearer is a licensed radio amateur, prepared to be useful and to help others.”
Wilson, who heads up the National Radio Scouting Committee, said that the Amateur Radio Operator rating strip is similar to the Amateur Radio Operator badge offered as a proficiency badge by Scouts Australia, as well as the badge recently introduced by Scouting Netherlands. It follows in the footsteps of the Scout Radioman personal interest badge for Senior Scouts and Explorer Scouts that was offered by the Boy Scouts of America in the 1940s. The strip is worn on the right sleeve (see illustration below).
Wednesday, January 16, 2013
LWRA Field Day/Pic-Nic
LWRA Field Day/Pic-Nic
Welcome one and all to our next Event
The 2013 LWRA Winter Field Day and Pic-Nic will be held on Saturday, January 26th at Kiwanis Park in beautiful Lake Wales. Kiwanis Park is located on Lakeshore Blvd. on the North West corner across from Big Lake Wales Lake. Come out and join us for some good eats and lots of good visiting with all the LWRA members and playing Radio with us. We well be setting up around 10:30-11 am and we will be there all afternoon.
Rich (KJ4INW)
Amateur Radio "Technician Class" License Course and the General Class license upgrade course
Hillsborough County ARES/RACES is proud to sponsor 2 amateur radio courses: the introductory Amateur Radio "Technician Class" License Course and the General Class license upgrade course, all in a traditional classroom setting. Please invite your friends to come join the almost 400 people who have taken these courses and earned or upgraded an Amateur Radio license during the last few years. This course will be held on two Saturdays - the 19th and 26th of January, 2013.
Both classes will meet at the James A. Haley Veterans' Hospital, located at 13000 Bruce B. Downs Blvd., Tampa 33612. Class will start on both days at 9AM and continue until 5PM. On the 25th of January, 2013, testing will begin at 4:00PM.
There are no training fees for this class. However, there is a fee of $14 for taking the test, and the books are $19.95 and $29.95, depending upon which class you are taking. You will pay for the test and the book on the first day of class. Please bring a government-issued picture ID card with you, as well.
The class size is limited – and you can sign up online! In order to properly prepare materials and gauge class sizes, please send an email to training@hcaresraces.org to reserve your seat. If you are unable to attend both sessions of your course, please let us know about that as well - there is some scheduling flexibility for these classes.
Please check www.hcaresraces.org for information related to these classes, as well as other information related to emergency communications in our area. We look forward to seeing you and your friends and family there!
Keating
kc4hsi@gmail.com
Both classes will meet at the James A. Haley Veterans' Hospital, located at 13000 Bruce B. Downs Blvd., Tampa 33612. Class will start on both days at 9AM and continue until 5PM. On the 25th of January, 2013, testing will begin at 4:00PM.
There are no training fees for this class. However, there is a fee of $14 for taking the test, and the books are $19.95 and $29.95, depending upon which class you are taking. You will pay for the test and the book on the first day of class. Please bring a government-issued picture ID card with you, as well.
The class size is limited – and you can sign up online! In order to properly prepare materials and gauge class sizes, please send an email to training@hcaresraces.org to reserve your seat. If you are unable to attend both sessions of your course, please let us know about that as well - there is some scheduling flexibility for these classes.
Please check www.hcaresraces.org for information related to these classes, as well as other information related to emergency communications in our area. We look forward to seeing you and your friends and family there!
Keating
kc4hsi@gmail.com
Friday, January 11, 2013
A Big Sunspot Turns Toward Earth
This just in from Lee WIcal, KH6BZF
Subj: A Big Sunspot Turns Toward Earth
Space Weather News for Jan. 11, 2013
http://spaceweather.com
ACTIVE SUNSPOT: One of the biggest sunspots of the current solar cycle is now turning toward Earth. Named AR1654, the active region is crackling with medium-sized (M-class) flares and could be poised to break the recent spell of calm space weather around our planet. Check http://spaceweather.com for images and updates.
SOLAR FLARE ALERTS: Would you like a call when solar flares are underway? X-flare alerts are available from http://spaceweathertext.com (text) and http://spaceweatherphone.com (voice).
Keep listening.....
73,
Carl, N4AA
Subj: A Big Sunspot Turns Toward Earth
Space Weather News for Jan. 11, 2013
http://spaceweather.com
ACTIVE SUNSPOT: One of the biggest sunspots of the current solar cycle is now turning toward Earth. Named AR1654, the active region is crackling with medium-sized (M-class) flares and could be poised to break the recent spell of calm space weather around our planet. Check http://spaceweather.com for images and updates.
SOLAR FLARE ALERTS: Would you like a call when solar flares are underway? X-flare alerts are available from http://spaceweathertext.com (text) and http://spaceweatherphone.com (voice).
Keep listening.....
73,
Carl, N4AA
Tuesday, January 8, 2013
New Argonaut VI QRP from Ten Tec
Argonaut VI QRP 1-10 Watt Transceiver
Price:
$995.00
SKU:
539
Weight:
11.00 LBS
Rating:
Shipping:
Calculated at checkout
| 1ST PRODUCTION SOLD OUT-- AVAILABLE MID JANUARY |
Product Description
Ten-Tec has created another legend within the new 539 Argonaut VI. This "NEW" QRP transceiver incorporates the use of Ten-Tec's ASR design philosophy. This same low noise receiver design blended with advanced software control has been used with the 599 Eagle and RX-366 receiver giving you outstanding dynamic range and crystal clear audio.Tired of extended long menu driven transceivers. Experience the simple, fun, and ease of use the Ten-Tec Argonaut VI offers. Designed right here in the USA, you will never find a more enjoyable QRP experience in such a small package with such outstanding receiver performance. The 539 will operate with any of the currently available, optional, 8 pin microphones. The legend lives on.
- New Speed Sensitive VFO tuning rate
- New 9.5-14 VDC power requirements
- Dynamic Range of 91dB @ 2 kHz
- 1-10 Watt adjustable power output
- Built in Curtis Mode A or B keying
- Keying output for 100 Watt Solid State Linear amplifier Model 418
- Operate digital modes with full rated output
- Legendary Ten-Tec quality QSK CW keying
- Standard 2.9 kHz Roofing Filter Included (2.5kHz effective through DSP)
Model 539 Quick Start Guide Download
Model 539 Manual Download
Thursday, December 13, 2012
OUCH!!! FCC Finds New Jersey Ham Violated Communication Act
After unsuccessfully appealing to the FCC to cancel his $20,000 forfeiture, Joaquim Barbosa, N2KBJ, of Elizabeth, New Jersey was issued a Forfeiture Order stating that he must pay $16,000 for “willfully and repeatedly violating Section 301 of the Communications Act of 1934, as amended by operating a radio transmitting equipment on the frequency 296.550 MHz without Commission authorization.”
The FCC noted in the Forfeiture Order that based on the examination process involved in pursuing an amateur license, “amateur licensees are expected to have an understanding of radio operations and pertinent FCC regulations, including Part 97 of the FCC’s rules governing the Amateur Radio Service. Licensed amateur operators know that they are authorized to operate only on the frequencies listed in Section 97.301 of the rules, as designated by their operator class and license. Pursuant to the Table of Allocations, the 267-322 MHz band -- the band that Barbosa was operating in -- is allocated solely for federal government use, which we continue to believe Barbosa knew (or should have known) was not authorized for non-government use.”
Barbosa’s Amateur Radio license expired August 31, 2008, but his timely filed renewal application was listed as “Offlined for Enforcement Bureau Action” in the ULS. As such, Barbosa was legally allowed to operate while his case was undergoing the enforcement proceedings.
Background
In February 2008, the FCC, after receiving complaints from an authorized US government user regarding “harmful radio interference from an unauthorized station operating on the frequency 296.550 MHz -- a frequency limited to US military operations -- in the Elizabeth, New Jersey area.” Agents from the FCC’s New York Field Office responded to the complaint and used mobile direction finding techniques on February 6, 7, and 11 of that year. They determined that the source of the transmissions was coming from a residential home owned by Barbosa. On February 11, the agents conducted an inspection of the home and “directly observed a transceiver whose display showed that it was set to transmit frequency on 296.550 MHz. The agents also observed that the transmitter was connected to an antenna mounted on the back of the house.”
When the agents interviewed Barbosa, he admitted to operating the station and the transmitting equipment for at least four months, and confirmed that he owned the equipment. “Barbosa, who is licensed by the FCC as an Amateur Extra Class licensee (the highest level class), acknowledged knowing that the frequency 296.550 MHz was not a US frequency authorized for use by amateur licensees and confirmed that he did not have a license to operate on the frequency, the Forfeiture Order stated. “The agents advised Barbosa of the violation and issued him a Notice of Unlicensed Operation (NOUO).”
Following the inspection, on February 26, 2008, the Bureau issued a Notice of Apparent Liability (NAL), which found Barbosa in violation of Section 301 of the Act for “willfully and repeatedly operating a radio transmission apparatus on the frequency 296.550 MHz without Commission authorization.” In the NAL, the FCC proposed a $20,000 monetary forfeiture for the violation, “which included a $10,000 upward adjustment mainly because of the egregiousness of the violation.” On March 25, 2008, Barbosa filed a response to the NAL, requesting cancellation or a reduction of the forfeiture, and acknowledged that he did, in fact, operate a radio transceiver on the frequency 296.550 MHz without a license.
According to the Forfeiture Order, Barbosa contended, however, that cancellation or a substantial reduction of the proposed $20,000 forfeiture was warranted for several reasons: “(1) He reasonably believed that he had authority to operate on the frequency 296.550 MHz; (2) his constitutional rights were violated; (3) the unlicensed operation did not cause harm or interference; (4) the forfeiture amount is not supported by case precedent, and (5) that there are other factors -- such as his cooperation with the investigation, inability to pay and prior history of overall compliance with the rules -- that, when considered, justify cancellation or a reduction of the forfeiture.”
In examining Barbosa’s response, Section 503(b)(2)(E) of the Communications Act requires that the FCC take into account “the nature, circumstances, extent and gravity of the violation and, with respect to the violator, the degree of culpability, any history of prior offenses, ability to pay and other such matters as justice may require.” The FCC noted that it had “fully considered Barbosa’s response to the NAL in light of these statutory factors and find that cancellation of the forfeiture is not warranted; however, we find that some reduction of the forfeiture is justified based on his overall history of compliance with the rules prior to the investigation.”
Unlicensed Operation
Barbosa told the FCC that he “truthfully acknowledged to the FCC agent who conducted the enforcement visit on February 11, 2008 that he did operate a transceiver on 296.550 MHz.” Even so, he contended that cancellation or forfeiture reduction is warranted “because he reasonably believed that he otherwise had authority to operate the radio transmitting equipment using the frequency 296.550 MHz,” saying that his authority is “not based on his status as an amateur licensee (which he readily acknowledges does not authorize him to operate on the US government frequency), but based on the authority vested in him by a Brazilian man, who is authorized to operate the radio equipment using the frequency 296.550 MHz in Brazil.”
Mr. Barbosa told the FCC that “the frequency was one I knew to be an authorized Brazilian frequency for satellite communications and that I was operating on that frequency in compliance with a Brazilian permit as authorized by the Brazilian permit holder.” Barbosa also said that the Brazilian man who gave him the radio as a “gift” was a licensee under Brazilian authority, and that this individual showed him the Brazilian authorization and granted him permission to operate under his license to use the frequency. He argues that, as such, he “honestly believed” that the “master authorization” he was shown authorized him to operate the radio using the frequency at issue and, therefore, he should not be penalized for relying on that information.
“We find Barbosa’s arguments unavailing,” the FCC said. “Even assuming for the sake of argument that Barbosa is authorized to operate the radio equipment under Brazilian authority, he is not authorized to operate any such equipment in the United States without Commission authorization and, therefore, is still in violation of Section 301 of the Communications Act. We emphasize that Section 301 makes clear that operation of any radio station within the United States requires FCC authorization, which Barbosa did not have.”
The FCC also found Barbosa’s suggestion that the violation should be excused because he reasonably believed that he was authorized to operate the radio transmitter using the frequency 296.550 based on the Brazilian license held by the individual who gave him the radio “unpersuasive,” saying that “it is well established that the FCC does not consider ignorance of the law or even reliance on erroneous or misleading advice or information from third parties about licensing requirements as mitigating circumstances that can justify cancellation or reduction of a forfeiture, and we see no reason to depart from that long-established policy in this case.”
The FCC noted in the Forfeiture Order that Barbosa had not presented (including in his NAL response) any Brazilian license that specifically authorized him to operate the radio equipment on the frequency 296.550 MHz, nor a copy of the Brazilian license held by the individual who supposedly granted him permission to operate under his Brazilian license.
Violation of Constitutional Rights
The FCC stated that its inspection of Barbosa’s radio equipment was warranted, “given that Barbosa’s unauthorized use of the frequency 296.550 MHz was believed (and later confirmed) to be the source of harmful interference with a government communications system.” In his response to the NAL, Barbosa argued that his constitutional rights under the Fourth and Fifth Amendments were violated “because the FCC agents conducted a search of his home on February 11, 2008 without a warrant, entered his home without his consent and subjected him to an unlawful interrogation without the benefit of Miranda warnings.”
The FCC found “no merit” in Barbosa’s arguments: “First, the FCC inspection was not a criminal investigation, thereby making much of Barbosa’s constitutional claims (such as the need for Miranda warnings) inapplicable. Second, the inspection was authorized under Section 303(n) of the Communications Act, which states that the Commission has the ‘authority to inspect all radio installations associated with stations required to be licensed by any Act, or which the Commission by rule has authorized to operate without a license under section 307(e)(1).’ FCC agents are not required to obtain a warrant prior to conducting a radio station inspection. Third, as a licensed amateur radio operator for more than 13 years, Barbosa knew or should have known that any radio equipment at his station must be made available for inspection at any time when requested by the FCC, and that his cooperation and truthful responses during an inspection are expected. Finally, we find nothing in the record in this case to support Barbosa’s suggestion that the agents conducted themselves in an improper manner.”
In Barbosa’s response to the NAL, he confirmed that the FCC agents “took the following actions during the inspection (none of which we [the FCC] find inappropriate): The FCC agents knocked on the door of his home, identified themselves as federal agents, showed him government identification and handed him an FCC business card during the inspection; that he and his son led the agents inside and outside their home so that the agents could inspect the radio equipment and antenna; that the agents took photographs of the equipment and asked him questions concerning his operations; and that, at the end of the inspection, the agents handed him a Notice of Unlicensed Radio Operation that was signed by one of the agents. Based on all the foregoing, we find that the inspection conducted by the agents was lawful and appropriate, and that Barbosa’s constitutional rights were not violated.”
Harmful Interference
Barbosa also argued that the forfeiture should be reduced because there was, in his opinion, no evidence of actual interference or harm. “With respect to the record evidence,” the FCC said, “Barbosa is incorrect. The investigation in this case commenced specifically because an authorized US government user reported harmful radio interference to its communications system. It is self-evident that an unlicensed operation on unauthorized frequencies disrupts the operations of authorized licensees and often results in interference to authorized services. The fact that Barbosa’s unauthorized use of the frequency was obstructing and interfering with government communications was sufficient to characterize the interference as harmful.”
The FCC also noted that it believes that any interference to any US government user is “serious because of the potential harm to the public’s safety and security. Furthermore, even if there was no finding of interference or harm, Barbosa still would not be entitled to a forfeiture reduction. It is fairly established that the absence of interference or the showing of any harm to the public does not warrant a downward adjustment of the forfeiture.”
Case Precedent
Contrary to Barbosa’s assertion, the FCC stated that the NAL’s proposed $20,000 forfeiture amount -- which included a $10,000 upward adjustment -- is supported by case precedent: “In Raimundo P. Silva, the [FCC’s Enforcement] Bureau also issued a $20,000 forfeiture against an amateur licensee who admitted to operating radio equipment in the frequency band reserved for federal government use without a license for several months, but asserted (like Barbosa does here) that he was unaware that his unauthorized radio transmissions interfered with the federal government users’ authorized operations. The FCC found Silva’s apparent willful and repeated unlicensed and unauthorized radio operation in the restricted federal government band ‘egregious,’ justifying a significant upward adjustment in the amount of $10,000. Because the violation here is equally egregious, we find the $10,000 upward adjustment in this case to be consistent with prior cases and justified.”
Cooperation, Inability to Pay and History of Overall Compliance
Barbosa also suggested that the forfeiture amount merits some reduction because he was cooperative with the FCC agents during the inspection and because he has been truthful in his responses to the FCC. “While we appreciate Barbosa’s conduct in this investigation,” the FCC said, “Barbosa’s cooperative conduct is not a basis to justify a forfeiture reduction. The Commission expects all licensees to cooperate with its investigations and to provide truthful responses to any questions.”
Although Barbosa claims to be a “micro business owner,” he also contended that the forfeiture amount would present “a significant hardship” and, therefore, should be canceled or reduced. But he failed to provide any financial documents to support his request. With respect to a claim of financial hardship, the FCC will not consider canceling or reducing a forfeiture in response to an inability to pay claim, unless the individual or entity making the request submits either federal tax returns for the most recent three-year period, financial statements prepared according to generally accepted accounting principles or some other reliable and objective documentation that accurately reflects the individual’s or entity’s current financial status. Any claim of inability to pay must specifically identify the basis for the claim by reference to the financial documentation submitted. “Because Mr. Barbosa did not provide any financial or other documentation to support or corroborate his asserted financial status,” the FCC stated, “we have no basis by which to evaluate Barbosa’s inability to pay claim and, therefore, must deny the request.”
Barbosa also said that the proposed forfeiture amount should be reduced because of his overall history of compliance with the laws, including the FCC’s rules. “We agree that a reduction of the forfeiture amount is warranted, based on our review of the record and finding that Barbosa (prior to the investigation) has a history of overall compliance with the Commission’s rules,” the FCC said. “Accordingly, after consideration of the entire record (including Barbosa’s response to the NAL), the Forfeiture Policy Statement and the factors set forth in Section 503(b)(2)(E) of the Communications Act, we find that, although cancellation of the monetary forfeiture is not warranted, a reduction of the forfeiture amount from $20,000 to $16,000 is appropriate.”
Barbosa has until December 31, 2012 to make full payment of the $16,000 or to contact the FCC to arrange a payment plan. If the forfeiture is not paid within the period specified, the case may be referred to the US Department of Justice for enforcement of the forfeiture.
The FCC noted in the Forfeiture Order that based on the examination process involved in pursuing an amateur license, “amateur licensees are expected to have an understanding of radio operations and pertinent FCC regulations, including Part 97 of the FCC’s rules governing the Amateur Radio Service. Licensed amateur operators know that they are authorized to operate only on the frequencies listed in Section 97.301 of the rules, as designated by their operator class and license. Pursuant to the Table of Allocations, the 267-322 MHz band -- the band that Barbosa was operating in -- is allocated solely for federal government use, which we continue to believe Barbosa knew (or should have known) was not authorized for non-government use.”
Barbosa’s Amateur Radio license expired August 31, 2008, but his timely filed renewal application was listed as “Offlined for Enforcement Bureau Action” in the ULS. As such, Barbosa was legally allowed to operate while his case was undergoing the enforcement proceedings.
Background
In February 2008, the FCC, after receiving complaints from an authorized US government user regarding “harmful radio interference from an unauthorized station operating on the frequency 296.550 MHz -- a frequency limited to US military operations -- in the Elizabeth, New Jersey area.” Agents from the FCC’s New York Field Office responded to the complaint and used mobile direction finding techniques on February 6, 7, and 11 of that year. They determined that the source of the transmissions was coming from a residential home owned by Barbosa. On February 11, the agents conducted an inspection of the home and “directly observed a transceiver whose display showed that it was set to transmit frequency on 296.550 MHz. The agents also observed that the transmitter was connected to an antenna mounted on the back of the house.”
When the agents interviewed Barbosa, he admitted to operating the station and the transmitting equipment for at least four months, and confirmed that he owned the equipment. “Barbosa, who is licensed by the FCC as an Amateur Extra Class licensee (the highest level class), acknowledged knowing that the frequency 296.550 MHz was not a US frequency authorized for use by amateur licensees and confirmed that he did not have a license to operate on the frequency, the Forfeiture Order stated. “The agents advised Barbosa of the violation and issued him a Notice of Unlicensed Operation (NOUO).”
Following the inspection, on February 26, 2008, the Bureau issued a Notice of Apparent Liability (NAL), which found Barbosa in violation of Section 301 of the Act for “willfully and repeatedly operating a radio transmission apparatus on the frequency 296.550 MHz without Commission authorization.” In the NAL, the FCC proposed a $20,000 monetary forfeiture for the violation, “which included a $10,000 upward adjustment mainly because of the egregiousness of the violation.” On March 25, 2008, Barbosa filed a response to the NAL, requesting cancellation or a reduction of the forfeiture, and acknowledged that he did, in fact, operate a radio transceiver on the frequency 296.550 MHz without a license.
According to the Forfeiture Order, Barbosa contended, however, that cancellation or a substantial reduction of the proposed $20,000 forfeiture was warranted for several reasons: “(1) He reasonably believed that he had authority to operate on the frequency 296.550 MHz; (2) his constitutional rights were violated; (3) the unlicensed operation did not cause harm or interference; (4) the forfeiture amount is not supported by case precedent, and (5) that there are other factors -- such as his cooperation with the investigation, inability to pay and prior history of overall compliance with the rules -- that, when considered, justify cancellation or a reduction of the forfeiture.”
In examining Barbosa’s response, Section 503(b)(2)(E) of the Communications Act requires that the FCC take into account “the nature, circumstances, extent and gravity of the violation and, with respect to the violator, the degree of culpability, any history of prior offenses, ability to pay and other such matters as justice may require.” The FCC noted that it had “fully considered Barbosa’s response to the NAL in light of these statutory factors and find that cancellation of the forfeiture is not warranted; however, we find that some reduction of the forfeiture is justified based on his overall history of compliance with the rules prior to the investigation.”
Unlicensed Operation
Barbosa told the FCC that he “truthfully acknowledged to the FCC agent who conducted the enforcement visit on February 11, 2008 that he did operate a transceiver on 296.550 MHz.” Even so, he contended that cancellation or forfeiture reduction is warranted “because he reasonably believed that he otherwise had authority to operate the radio transmitting equipment using the frequency 296.550 MHz,” saying that his authority is “not based on his status as an amateur licensee (which he readily acknowledges does not authorize him to operate on the US government frequency), but based on the authority vested in him by a Brazilian man, who is authorized to operate the radio equipment using the frequency 296.550 MHz in Brazil.”
Mr. Barbosa told the FCC that “the frequency was one I knew to be an authorized Brazilian frequency for satellite communications and that I was operating on that frequency in compliance with a Brazilian permit as authorized by the Brazilian permit holder.” Barbosa also said that the Brazilian man who gave him the radio as a “gift” was a licensee under Brazilian authority, and that this individual showed him the Brazilian authorization and granted him permission to operate under his license to use the frequency. He argues that, as such, he “honestly believed” that the “master authorization” he was shown authorized him to operate the radio using the frequency at issue and, therefore, he should not be penalized for relying on that information.
“We find Barbosa’s arguments unavailing,” the FCC said. “Even assuming for the sake of argument that Barbosa is authorized to operate the radio equipment under Brazilian authority, he is not authorized to operate any such equipment in the United States without Commission authorization and, therefore, is still in violation of Section 301 of the Communications Act. We emphasize that Section 301 makes clear that operation of any radio station within the United States requires FCC authorization, which Barbosa did not have.”
The FCC also found Barbosa’s suggestion that the violation should be excused because he reasonably believed that he was authorized to operate the radio transmitter using the frequency 296.550 based on the Brazilian license held by the individual who gave him the radio “unpersuasive,” saying that “it is well established that the FCC does not consider ignorance of the law or even reliance on erroneous or misleading advice or information from third parties about licensing requirements as mitigating circumstances that can justify cancellation or reduction of a forfeiture, and we see no reason to depart from that long-established policy in this case.”
The FCC noted in the Forfeiture Order that Barbosa had not presented (including in his NAL response) any Brazilian license that specifically authorized him to operate the radio equipment on the frequency 296.550 MHz, nor a copy of the Brazilian license held by the individual who supposedly granted him permission to operate under his Brazilian license.
Violation of Constitutional Rights
The FCC stated that its inspection of Barbosa’s radio equipment was warranted, “given that Barbosa’s unauthorized use of the frequency 296.550 MHz was believed (and later confirmed) to be the source of harmful interference with a government communications system.” In his response to the NAL, Barbosa argued that his constitutional rights under the Fourth and Fifth Amendments were violated “because the FCC agents conducted a search of his home on February 11, 2008 without a warrant, entered his home without his consent and subjected him to an unlawful interrogation without the benefit of Miranda warnings.”
The FCC found “no merit” in Barbosa’s arguments: “First, the FCC inspection was not a criminal investigation, thereby making much of Barbosa’s constitutional claims (such as the need for Miranda warnings) inapplicable. Second, the inspection was authorized under Section 303(n) of the Communications Act, which states that the Commission has the ‘authority to inspect all radio installations associated with stations required to be licensed by any Act, or which the Commission by rule has authorized to operate without a license under section 307(e)(1).’ FCC agents are not required to obtain a warrant prior to conducting a radio station inspection. Third, as a licensed amateur radio operator for more than 13 years, Barbosa knew or should have known that any radio equipment at his station must be made available for inspection at any time when requested by the FCC, and that his cooperation and truthful responses during an inspection are expected. Finally, we find nothing in the record in this case to support Barbosa’s suggestion that the agents conducted themselves in an improper manner.”
In Barbosa’s response to the NAL, he confirmed that the FCC agents “took the following actions during the inspection (none of which we [the FCC] find inappropriate): The FCC agents knocked on the door of his home, identified themselves as federal agents, showed him government identification and handed him an FCC business card during the inspection; that he and his son led the agents inside and outside their home so that the agents could inspect the radio equipment and antenna; that the agents took photographs of the equipment and asked him questions concerning his operations; and that, at the end of the inspection, the agents handed him a Notice of Unlicensed Radio Operation that was signed by one of the agents. Based on all the foregoing, we find that the inspection conducted by the agents was lawful and appropriate, and that Barbosa’s constitutional rights were not violated.”
Harmful Interference
Barbosa also argued that the forfeiture should be reduced because there was, in his opinion, no evidence of actual interference or harm. “With respect to the record evidence,” the FCC said, “Barbosa is incorrect. The investigation in this case commenced specifically because an authorized US government user reported harmful radio interference to its communications system. It is self-evident that an unlicensed operation on unauthorized frequencies disrupts the operations of authorized licensees and often results in interference to authorized services. The fact that Barbosa’s unauthorized use of the frequency was obstructing and interfering with government communications was sufficient to characterize the interference as harmful.”
The FCC also noted that it believes that any interference to any US government user is “serious because of the potential harm to the public’s safety and security. Furthermore, even if there was no finding of interference or harm, Barbosa still would not be entitled to a forfeiture reduction. It is fairly established that the absence of interference or the showing of any harm to the public does not warrant a downward adjustment of the forfeiture.”
Case Precedent
Contrary to Barbosa’s assertion, the FCC stated that the NAL’s proposed $20,000 forfeiture amount -- which included a $10,000 upward adjustment -- is supported by case precedent: “In Raimundo P. Silva, the [FCC’s Enforcement] Bureau also issued a $20,000 forfeiture against an amateur licensee who admitted to operating radio equipment in the frequency band reserved for federal government use without a license for several months, but asserted (like Barbosa does here) that he was unaware that his unauthorized radio transmissions interfered with the federal government users’ authorized operations. The FCC found Silva’s apparent willful and repeated unlicensed and unauthorized radio operation in the restricted federal government band ‘egregious,’ justifying a significant upward adjustment in the amount of $10,000. Because the violation here is equally egregious, we find the $10,000 upward adjustment in this case to be consistent with prior cases and justified.”
Cooperation, Inability to Pay and History of Overall Compliance
Barbosa also suggested that the forfeiture amount merits some reduction because he was cooperative with the FCC agents during the inspection and because he has been truthful in his responses to the FCC. “While we appreciate Barbosa’s conduct in this investigation,” the FCC said, “Barbosa’s cooperative conduct is not a basis to justify a forfeiture reduction. The Commission expects all licensees to cooperate with its investigations and to provide truthful responses to any questions.”
Although Barbosa claims to be a “micro business owner,” he also contended that the forfeiture amount would present “a significant hardship” and, therefore, should be canceled or reduced. But he failed to provide any financial documents to support his request. With respect to a claim of financial hardship, the FCC will not consider canceling or reducing a forfeiture in response to an inability to pay claim, unless the individual or entity making the request submits either federal tax returns for the most recent three-year period, financial statements prepared according to generally accepted accounting principles or some other reliable and objective documentation that accurately reflects the individual’s or entity’s current financial status. Any claim of inability to pay must specifically identify the basis for the claim by reference to the financial documentation submitted. “Because Mr. Barbosa did not provide any financial or other documentation to support or corroborate his asserted financial status,” the FCC stated, “we have no basis by which to evaluate Barbosa’s inability to pay claim and, therefore, must deny the request.”
Barbosa also said that the proposed forfeiture amount should be reduced because of his overall history of compliance with the laws, including the FCC’s rules. “We agree that a reduction of the forfeiture amount is warranted, based on our review of the record and finding that Barbosa (prior to the investigation) has a history of overall compliance with the Commission’s rules,” the FCC said. “Accordingly, after consideration of the entire record (including Barbosa’s response to the NAL), the Forfeiture Policy Statement and the factors set forth in Section 503(b)(2)(E) of the Communications Act, we find that, although cancellation of the monetary forfeiture is not warranted, a reduction of the forfeiture amount from $20,000 to $16,000 is appropriate.”
Barbosa has until December 31, 2012 to make full payment of the $16,000 or to contact the FCC to arrange a payment plan. If the forfeiture is not paid within the period specified, the case may be referred to the US Department of Justice for enforcement of the forfeiture.
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