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#2
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(Richard Cranium) wrote in message . com...
(Repeaterjammers For A Keyclown-Free Newsgroup) wrote in message . com... (Richard Cranium) wrote in message . com... Sure, there may be an "intruder" or two, but it's not the major prob you guys claim it is. Who ya gona believe? The FCC or some guy named Cranus The Anus??? LOL Who ya gonna believe? The FCC or a known repeater jammer named DouGay Adair? Try reading what Riley said, or do you have the same reading comprehension problem that the non-existent Aanal Aaron had? Hmmmm; gotta wonder about that! Wonder all you want feces muncher, it still won't change you being a gay FAGGOT KEYCLOWN. |
#3
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(Repeaterjammers For A Keyclown-Free Newsgroup) wrote in message . com...
(Richard Cranium) wrote in message . com... (Repeaterjammers For A Keyclown-Free Newsgroup) wrote in message . com... (Richard Cranium) wrote in message . com... Sure, there may be an "intruder" or two, but it's not the major prob you guys claim it is. Who ya gona believe? The FCC or some guy named Cranus The Anus??? LOL Who ya gonna believe? The FCC or a known repeater jammer named DouGay Adair? Try reading what Riley said, or do you have the same reading comprehension problem that the non-existent Aanal Aaron had? Hmmmm; gotta wonder about that! Wonder all you want feces muncher, it still won't change you being a gay FAGGOT KEYCLOWN. Could you try to stay on topic, DouGay? Have you tried re-reading what Riley Hollingsworth said, and comprehending it? Of course not, you are obcessed with what you believe, even if you haven't got a clue (and you haven't). You're also obcessed with your perverted sexual fantasies. I guess we know who the "faggot keyclown" really is: DouGay! Still jamming 2 meter repeaters? |
#4
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![]() "Richard Cranium" wrote in message om... (Repeaterjammers For A Keyclown-Free Newsgroup) wrote in message . com... (Richard Cranium) wrote in message . com... Sure, there may be an "intruder" or two, but it's not the major prob you guys claim it is. s Posted - Oct/17 2003 : 10:20:21 AM -------------------------------------------------------------------------- Snip. Could this be the end of "export" radios? Bandit Before the FEDERAL COMMUNICATIONS COMMISSION Washington, D.C. 20554 Mr. David P. Pace, Jr. d.b.a. File No.: EB-03- DL-143 Pacetronics Sent via Certified Pace Marketing Return Receipt Requested 531-C East Main Street and First Class U.S. Mail Nacogdoches, TX 75963 CITATION Released: July 7, 2003 By the Enforcement Bureau, Dallas Office: 1. This is an Official Citation issued pursuant to Section 503(b)(5) of the Communications Act of 1934, as amended (``Act''),1 to Mr. David P. Pace, Jr. d.b.a. Pacetronics / Pace Marketing for violation of Section 302(b) of the Act,2 and Section 2.803(a)(1) of the Commission's Rules.3 2. An investigation by the FCC's Dallas Office revealed that the Internet domain name PACERADIOS.COM is registered to Pace Marketing, David Pace, P.O. Box 631207, Nacogdoches, TX 75963 with Pace Marketing, David Pace listed as the administrative contact. Furthermore, on June 30, 2003, Mr. David P. Pace, Jr. d.b.a. Pacetronics / Pace Marketing through its Internet site(s) www.paceradios.com (with an addresses listed on the site as Pace Marketing, 531-C East Main St, Nacogdoches, TX 75961 and Pace Marketing, P.O. Box 631207, Nacogdoches, TX 75961) offered for sale, the following thirty seven (37) non-certified Citizens Band transceivers: NAME MODEL PRICE DESCRIPTION Connex 4800 DXL $289.99 12 Bands of 40 Channels Connex 4400 High Power $219.99 8 Bands of 40 Channels Connex 3300 High Power $199.99 Range 25.615 - 28.305 Connex 3300 $179.99 Range 25.615 - 28.305 Connex Patriot $199.99 Range 25.615 - 28.305 Connex Deer Hunter $139.99 Can be converted to operate on 120 Chan. Connex 3300 LE $179.99 Range 25.615 - 28.305 Connex 3300 HP LE $199.99 Range 25.615 - 28.305 Connex 3300 Coyote Hunter $169.99 . . . CB band, with . . . 120 channels below Galaxy DX99V $329.99 Robot Talk, Voice Changer Galaxy DX 93T $429.99 Echo with dual controls Galaxy DX88HL $314.99 Dual-Control Echo, Talkback Galaxy DX77HML $219.99 6 bands of 40Ch. Galaxy DX66V $234.99 Dual Control Echo, Talkback Galaxy DX55V $164.99 equipped as an ideal multi-band radio NAME MODEL PRICE DESCRIPTION Galaxy 48T $369.99 Deluxe Export Radio Galaxy DX45-MP $249.99 Export Radios Galaxy DX44V $189.99 Dual control echo/reverb Galaxy DX33HML $159.99 dual control echo/reverb, Talkback General Lee $199.99 6 Bands of 40 Channels General A.P. Hill $169.99 6 Bands of 40 Channels General Grant $399.99 12 Bands of 40 Channels ? ? ? General Longstreet $229.99 6 Bands of 40 Channels Magnum 257 $179.99 10 bands of channels Ranger 6900F-25 $289.99 . . . 12-band segments Ranger 6900F-150 $409.99 . . . 24.2650 - 29.6650 MHz Ranger 6900FTB-refurbished $369.99 Export Radios Ranger 6300F-25 $269.99 . . . 12-band segments Ranger 6300F-150 $389.99 Export Radios Ranger 2995DX $549.99 Export Base Station Ranger 2985DX $439.99 Export Base Station Ranger 2980WX $409.99 Export Base Station Ranger 2970DX $399.99 Export Radios Ranger 2950DX $269.99 Export Radios Superstar 3900HP-Gold $239.99 6 Bands 240 Channels Superstar Grant $179.99 120 Channels Superstar 121 $129.99 CB features...with...Upper and Lower Freq According to the Commission's records, these devices have not received an FCC equipment authorization which is required for Citizens Band transmitters marketed in the United States. 3. Section 302(b) of the Act2 provides ``[n]o person shall manufacture, import, sell, offer for sale, or ship devices or home electronic equipment and systems, or use devices, which fail to comply with regulations promulgated pursuant to this section.'' Section 2.803(a)(1) of the Rules3 provides that ``... no person shall sell or lease, or offer for sale or lease (including advertising for sale or lease), or import, ship or distribute for the purpose of selling or leasing or offering for sale or lease, any radio frequency device unless: (1) In the case of a device subject to certification, such device has been authorized by the Commission in accordance with the rules in this chapter and is properly identified and labeled ....'' Mr. David P. Pace, Jr. d.b.a. Pacetronics / Pace Marketing's offer for sale of these devices violates both sections. 4. Mr. David P. Pace, Jr. d.b.a. Pacetronics / Pace Marketing marketed these devices as amateur transceivers. The Commission has evaluated radiofrequency devices similar to those listed in paragraph 2 and concluded that the devices at issue are not only amateur radios but can easily be altered for use as Citizens Band devices as well. A CB transmitter is a transmitter that operates or is intended to operate at a station authorized for the CB service, and it must be certificated by the FCC prior to marketing or importation.4 The Commission has further concluded that these devices fall within the definition of a CB transmitter and therefore cannot legally be imported or marketed in the United States. See Response from the Commission's General Counsel to U.S. Customs Service dated May 17, 1999, 14 FCC Rcd 7797 (1999). 5. Additionally, dual use CB and amateur radios of the kind at issue here may not be certificated under the Commission's rules. Section 95.655(a) of the rules5 states: ``. . . . ([CB] Transmitters with frequency capability for the Amateur Radio Services . . . . will not be certificated.)'' See also FCC 88-256, 1988 WL 488084 (August 17, 1988). This clarification was added to explicitly foreclose the possibility of certification of dual use CB and amateur radios, see id., and thereby deter use by CB operators of frequencies allocated for amateur radio use. 6. Furthermore, the Commission has revised Section 2.1204(a)(5) of its rules6 to prohibit all marketing and/or offering for sale in the United States of such devices even when the purchaser(s) had provided assurances that the transceivers are being bought solely for export. ALL DOMESTIC MARKETING OF SUCH DEVICES VIOLATES THE COMMUNICATIONS ACT OF 1934, AS AMENDED, AND THE COMMISSION'S RULES. 7. In addition to the marketing of the non-certified transceivers addressed above, Mr. David P. Pace, Jr. d.b.a. Pacetronics / Pace Marketing is warned that Section 302(b) of the Act2, and Section 2.815(c) of the Commission's Rules7 requires FCC Type Acceptance (or Certification) of External Radio Frequency Power Amplifiers (or amplifier kits) capable of operation on any frequency or frequencies below 144 MHz. Furthermore, Section 2.815(b) of the Commission's Rules8 prohibits the marketing of External Radio Frequency Power Amplifiers (or amplifier kits) capable of operation on any frequency or frequencies between 24 and 35 MHz. 8. Subsequent violations of the Communications Act and/or of the Commission's Rules may subject the violator to substantial monetary forfeitures not to exceed $11,000 for each such violation or each day of a continuing violation,9 seizure of equipment through in rem forfeiture action, and criminal sanctions including imprisonment.10 9. Mr. David P. Pace, Jr. d.b.a. Pacetronics / Pace Marketing may request a personal interview at the closest FCC location to its place of business,11 namely: Federal Communications Commission 9330 LBJ Freeway, Suite 1170 Dallas, Texas 75243-3470 which can be contacted by telephone at 214-575-6361. They must schedule this interview to take place within 14 days of the date of this citation. Mr. David P. Pace, Jr. d.b.a. Pacetronics / Pace Marketing may submit a written statement within 14 days of the date of this Citation to the same address. Any written statement should specify what actions have been taken to correct the violation outlined above. When corresponding with the Commission, case number EB-03-DL-143 should be referenced. 10. Any statement or information provided may be used by the Commission to determine if further enforcement action is required.12 Any knowingly or willfully false statement made in reply to this notice is punishable by fine or imprisonment.13 FEDERAL COMMUNICATIONS COMMISSION James D. Wells District Director - Dallas Office LRB Cc:Mr. David P. Pace, Jr. d.b.a. Pacetronics Pace Marketing P.O. Box 631207 Nacogdoches, TX 75963 _________________________ 1 47 U.S.C. § 503(b)(5) 2 47 U.S.C. § 302a(b) 3 47 C.F.R. § 2.803(a)(1) 4 See 47 C.F.R. §§ 95.603(c) & 2.803 5 47 C.F.R. § 95.655(a) 6 47 C.F.R. § 2.1204(a)(5) revised effective February 28, 2000 7 47 C.F.R. § 2.815(c) 8 47 C.F.R. § 2.815(b) 9 See 47 C.F.R. § 1.80(b)(3) 10 See 47 U.S.C. §§ 401, 501, 503, 510 11 See 47 U.S.C. § 503(b)(5) 12 See Privacy Act of 1974, 5 U.S.C. §552a(e)(3) 13 See 18 U.S.C. §1001 Who ya gona believe? The FCC or some guy named Cranus The Anus??? LOL Who ya gonna believe? The FCC or a known repeater jammer named DouGay Adair? Try reading what Riley said, or do you have the same reading comprehension problem that the non-existent Aanal Aaron had? Hmmmm; gotta wonder about that! Jerry |
#5
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His sites were bought out by EEI a while back if memory serves me correctly.
I still have E-Mail from Pace asking me if I would be interested in selling one of my web sites to him. What a PUTZ! Train "Jerry" wrote in message .. . "Richard Cranium" wrote in message om... (Repeaterjammers For A Keyclown-Free Newsgroup) wrote in message . com... (Richard Cranium) wrote in message . com... Sure, there may be an "intruder" or two, but it's not the major prob you guys claim it is. s Posted - Oct/17 2003 : 10:20:21 AM -------------------------------------------------------------------------- Snip. Could this be the end of "export" radios? Bandit Before the FEDERAL COMMUNICATIONS COMMISSION Washington, D.C. 20554 Mr. David P. Pace, Jr. d.b.a. File No.: EB-03- DL-143 Pacetronics Sent via Certified Pace Marketing Return Receipt Requested 531-C East Main Street and First Class U.S. Mail Nacogdoches, TX 75963 CITATION Released: July 7, 2003 By the Enforcement Bureau, Dallas Office: 1. This is an Official Citation issued pursuant to Section 503(b)(5) of the Communications Act of 1934, as amended (``Act''),1 to Mr. David P. Pace, Jr. d.b.a. Pacetronics / Pace Marketing for violation of Section 302(b) of the Act,2 and Section 2.803(a)(1) of the Commission's Rules.3 2. An investigation by the FCC's Dallas Office revealed that the Internet domain name PACERADIOS.COM is registered to Pace Marketing, David Pace, P.O. Box 631207, Nacogdoches, TX 75963 with Pace Marketing, David Pace listed as the administrative contact. Furthermore, on June 30, 2003, Mr. David P. Pace, Jr. d.b.a. Pacetronics / Pace Marketing through its Internet site(s) www.paceradios.com (with an addresses listed on the site as Pace Marketing, 531-C East Main St, Nacogdoches, TX 75961 and Pace Marketing, P.O. Box 631207, Nacogdoches, TX 75961) offered for sale, the following thirty seven (37) non-certified Citizens Band transceivers: NAME MODEL PRICE DESCRIPTION Connex 4800 DXL $289.99 12 Bands of 40 Channels Connex 4400 High Power $219.99 8 Bands of 40 Channels Connex 3300 High Power $199.99 Range 25.615 - 28.305 Connex 3300 $179.99 Range 25.615 - 28.305 Connex Patriot $199.99 Range 25.615 - 28.305 Connex Deer Hunter $139.99 Can be converted to operate on 120 Chan. Connex 3300 LE $179.99 Range 25.615 - 28.305 Connex 3300 HP LE $199.99 Range 25.615 - 28.305 Connex 3300 Coyote Hunter $169.99 . . . CB band, with . . . 120 channels below Galaxy DX99V $329.99 Robot Talk, Voice Changer Galaxy DX 93T $429.99 Echo with dual controls Galaxy DX88HL $314.99 Dual-Control Echo, Talkback Galaxy DX77HML $219.99 6 bands of 40Ch. Galaxy DX66V $234.99 Dual Control Echo, Talkback Galaxy DX55V $164.99 equipped as an ideal multi-band radio NAME MODEL PRICE DESCRIPTION Galaxy 48T $369.99 Deluxe Export Radio Galaxy DX45-MP $249.99 Export Radios Galaxy DX44V $189.99 Dual control echo/reverb Galaxy DX33HML $159.99 dual control echo/reverb, Talkback General Lee $199.99 6 Bands of 40 Channels General A.P. Hill $169.99 6 Bands of 40 Channels General Grant $399.99 12 Bands of 40 Channels ? ? ? General Longstreet $229.99 6 Bands of 40 Channels Magnum 257 $179.99 10 bands of channels Ranger 6900F-25 $289.99 . . . 12-band segments Ranger 6900F-150 $409.99 . . . 24.2650 - 29.6650 MHz Ranger 6900FTB-refurbished $369.99 Export Radios Ranger 6300F-25 $269.99 . . . 12-band segments Ranger 6300F-150 $389.99 Export Radios Ranger 2995DX $549.99 Export Base Station Ranger 2985DX $439.99 Export Base Station Ranger 2980WX $409.99 Export Base Station Ranger 2970DX $399.99 Export Radios Ranger 2950DX $269.99 Export Radios Superstar 3900HP-Gold $239.99 6 Bands 240 Channels Superstar Grant $179.99 120 Channels Superstar 121 $129.99 CB features...with...Upper and Lower Freq According to the Commission's records, these devices have not received an FCC equipment authorization which is required for Citizens Band transmitters marketed in the United States. 3. Section 302(b) of the Act2 provides ``[n]o person shall manufacture, import, sell, offer for sale, or ship devices or home electronic equipment and systems, or use devices, which fail to comply with regulations promulgated pursuant to this section.'' Section 2.803(a)(1) of the Rules3 provides that ``... no person shall sell or lease, or offer for sale or lease (including advertising for sale or lease), or import, ship or distribute for the purpose of selling or leasing or offering for sale or lease, any radio frequency device unless: (1) In the case of a device subject to certification, such device has been authorized by the Commission in accordance with the rules in this chapter and is properly identified and labeled ....'' Mr. David P. Pace, Jr. d.b.a. Pacetronics / Pace Marketing's offer for sale of these devices violates both sections. 4. Mr. David P. Pace, Jr. d.b.a. Pacetronics / Pace Marketing marketed these devices as amateur transceivers. The Commission has evaluated radiofrequency devices similar to those listed in paragraph 2 and concluded that the devices at issue are not only amateur radios but can easily be altered for use as Citizens Band devices as well. A CB transmitter is a transmitter that operates or is intended to operate at a station authorized for the CB service, and it must be certificated by the FCC prior to marketing or importation.4 The Commission has further concluded that these devices fall within the definition of a CB transmitter and therefore cannot legally be imported or marketed in the United States. See Response from the Commission's General Counsel to U.S. Customs Service dated May 17, 1999, 14 FCC Rcd 7797 (1999). 5. Additionally, dual use CB and amateur radios of the kind at issue here may not be certificated under the Commission's rules. Section 95.655(a) of the rules5 states: ``. . . . ([CB] Transmitters with frequency capability for the Amateur Radio Services . . . . will not be certificated.)'' See also FCC 88-256, 1988 WL 488084 (August 17, 1988). This clarification was added to explicitly foreclose the possibility of certification of dual use CB and amateur radios, see id., and thereby deter use by CB operators of frequencies allocated for amateur radio use. 6. Furthermore, the Commission has revised Section 2.1204(a)(5) of its rules6 to prohibit all marketing and/or offering for sale in the United States of such devices even when the purchaser(s) had provided assurances that the transceivers are being bought solely for export. ALL DOMESTIC MARKETING OF SUCH DEVICES VIOLATES THE COMMUNICATIONS ACT OF 1934, AS AMENDED, AND THE COMMISSION'S RULES. 7. In addition to the marketing of the non-certified transceivers addressed above, Mr. David P. Pace, Jr. d.b.a. Pacetronics / Pace Marketing is warned that Section 302(b) of the Act2, and Section 2.815(c) of the Commission's Rules7 requires FCC Type Acceptance (or Certification) of External Radio Frequency Power Amplifiers (or amplifier kits) capable of operation on any frequency or frequencies below 144 MHz. Furthermore, Section 2.815(b) of the Commission's Rules8 prohibits the marketing of External Radio Frequency Power Amplifiers (or amplifier kits) capable of operation on any frequency or frequencies between 24 and 35 MHz. 8. Subsequent violations of the Communications Act and/or of the Commission's Rules may subject the violator to substantial monetary forfeitures not to exceed $11,000 for each such violation or each day of a continuing violation,9 seizure of equipment through in rem forfeiture action, and criminal sanctions including imprisonment.10 9. Mr. David P. Pace, Jr. d.b.a. Pacetronics / Pace Marketing may request a personal interview at the closest FCC location to its place of business,11 namely: Federal Communications Commission 9330 LBJ Freeway, Suite 1170 Dallas, Texas 75243-3470 which can be contacted by telephone at 214-575-6361. They must schedule this interview to take place within 14 days of the date of this citation. Mr. David P. Pace, Jr. d.b.a. Pacetronics / Pace Marketing may submit a written statement within 14 days of the date of this Citation to the same address. Any written statement should specify what actions have been taken to correct the violation outlined above. When corresponding with the Commission, case number EB-03-DL-143 should be referenced. 10. Any statement or information provided may be used by the Commission to determine if further enforcement action is required.12 Any knowingly or willfully false statement made in reply to this notice is punishable by fine or imprisonment.13 FEDERAL COMMUNICATIONS COMMISSION James D. Wells District Director - Dallas Office LRB Cc:Mr. David P. Pace, Jr. d.b.a. Pacetronics Pace Marketing P.O. Box 631207 Nacogdoches, TX 75963 _________________________ 1 47 U.S.C. § 503(b)(5) 2 47 U.S.C. § 302a(b) 3 47 C.F.R. § 2.803(a)(1) 4 See 47 C.F.R. §§ 95.603(c) & 2.803 5 47 C.F.R. § 95.655(a) 6 47 C.F.R. § 2.1204(a)(5) revised effective February 28, 2000 7 47 C.F.R. § 2.815(c) 8 47 C.F.R. § 2.815(b) 9 See 47 C.F.R. § 1.80(b)(3) 10 See 47 U.S.C. §§ 401, 501, 503, 510 11 See 47 U.S.C. § 503(b)(5) 12 See Privacy Act of 1974, 5 U.S.C. §552a(e)(3) 13 See 18 U.S.C. §1001 Who ya gona believe? The FCC or some guy named Cranus The Anus??? LOL Who ya gonna believe? The FCC or a known repeater jammer named DouGay Adair? Try reading what Riley said, or do you have the same reading comprehension problem that the non-existent Aanal Aaron had? Hmmmm; gotta wonder about that! Jerry |
#6
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"Train" wrote in message ...
His sites were bought out by EEI a while back if memory serves me correctly. I still have E-Mail from Pace asking me if I would be interested in selling one of my web sites to him. What a PUTZ! Train "Jerry" wrote in message .. . "Richard Cranium" wrote in message om... (Repeaterjammers For A Keyclown-Free Newsgroup) wrote in message . com... (Richard Cranium) wrote in message . com... Sure, there may be an "intruder" or two, but it's not the major prob you guys claim it is. s Posted - Oct/17 2003 : 10:20:21 AM -------------------------------------------------------------------------- Snip. Could this be the end of "export" radios? Bandit Before the FEDERAL COMMUNICATIONS COMMISSION Washington, D.C. 20554 Mr. David P. Pace, Jr. d.b.a. File No.: EB-03- DL-143 Pacetronics Sent via Certified Pace Marketing Return Receipt Requested 531-C East Main Street and First Class U.S. Mail Nacogdoches, TX 75963 CITATION Released: July 7, 2003 By the Enforcement Bureau, Dallas Office: 1. This is an Official Citation issued pursuant to Section 503(b)(5) of the Communications Act of 1934, as amended (``Act''),1 to Mr. David P. Pace, Jr. d.b.a. Pacetronics / Pace Marketing for violation of Section 302(b) of the Act,2 and Section 2.803(a)(1) of the Commission's Rules.3 2. An investigation by the FCC's Dallas Office revealed that the Internet domain name PACERADIOS.COM is registered to Pace Marketing, David Pace, P.O. Box 631207, Nacogdoches, TX 75963 with Pace Marketing, David Pace listed as the administrative contact. Furthermore, on June 30, 2003, Mr. David P. Pace, Jr. d.b.a. Pacetronics / Pace Marketing through its Internet site(s) www.paceradios.com (with an addresses listed on the site as Pace Marketing, 531-C East Main St, Nacogdoches, TX 75961 and Pace Marketing, P.O. Box 631207, Nacogdoches, TX 75961) offered for sale, the following thirty seven (37) non-certified Citizens Band transceivers: NAME MODEL PRICE DESCRIPTION Connex 4800 DXL $289.99 12 Bands of 40 Channels Connex 4400 High Power $219.99 8 Bands of 40 Channels Connex 3300 High Power $199.99 Range 25.615 - 28.305 Connex 3300 $179.99 Range 25.615 - 28.305 Connex Patriot $199.99 Range 25.615 - 28.305 Connex Deer Hunter $139.99 Can be converted to operate on 120 Chan. Connex 3300 LE $179.99 Range 25.615 - 28.305 Connex 3300 HP LE $199.99 Range 25.615 - 28.305 Connex 3300 Coyote Hunter $169.99 . . . CB band, with . . . 120 channels below Galaxy DX99V $329.99 Robot Talk, Voice Changer Galaxy DX 93T $429.99 Echo with dual controls Galaxy DX88HL $314.99 Dual-Control Echo, Talkback Galaxy DX77HML $219.99 6 bands of 40Ch. Galaxy DX66V $234.99 Dual Control Echo, Talkback Galaxy DX55V $164.99 equipped as an ideal multi-band radio NAME MODEL PRICE DESCRIPTION Galaxy 48T $369.99 Deluxe Export Radio Galaxy DX45-MP $249.99 Export Radios Galaxy DX44V $189.99 Dual control echo/reverb Galaxy DX33HML $159.99 dual control echo/reverb, Talkback General Lee $199.99 6 Bands of 40 Channels General A.P. Hill $169.99 6 Bands of 40 Channels General Grant $399.99 12 Bands of 40 Channels ? ? ? General Longstreet $229.99 6 Bands of 40 Channels Magnum 257 $179.99 10 bands of channels Ranger 6900F-25 $289.99 . . . 12-band segments Ranger 6900F-150 $409.99 . . . 24.2650 - 29.6650 MHz Ranger 6900FTB-refurbished $369.99 Export Radios Ranger 6300F-25 $269.99 . . . 12-band segments Ranger 6300F-150 $389.99 Export Radios Ranger 2995DX $549.99 Export Base Station Ranger 2985DX $439.99 Export Base Station Ranger 2980WX $409.99 Export Base Station Ranger 2970DX $399.99 Export Radios Ranger 2950DX $269.99 Export Radios Superstar 3900HP-Gold $239.99 6 Bands 240 Channels Superstar Grant $179.99 120 Channels Superstar 121 $129.99 CB features...with...Upper and Lower Freq According to the Commission's records, these devices have not received an FCC equipment authorization which is required for Citizens Band transmitters marketed in the United States. 3. Section 302(b) of the Act2 provides ``[n]o person shall manufacture, import, sell, offer for sale, or ship devices or home electronic equipment and systems, or use devices, which fail to comply with regulations promulgated pursuant to this section.'' Section 2.803(a)(1) of the Rules3 provides that ``... no person shall sell or lease, or offer for sale or lease (including advertising for sale or lease), or import, ship or distribute for the purpose of selling or leasing or offering for sale or lease, any radio frequency device unless: (1) In the case of a device subject to certification, such device has been authorized by the Commission in accordance with the rules in this chapter and is properly identified and labeled ....'' Mr. David P. Pace, Jr. d.b.a. Pacetronics / Pace Marketing's offer for sale of these devices violates both sections. 4. Mr. David P. Pace, Jr. d.b.a. Pacetronics / Pace Marketing marketed these devices as amateur transceivers. The Commission has evaluated radiofrequency devices similar to those listed in paragraph 2 and concluded that the devices at issue are not only amateur radios but can easily be altered for use as Citizens Band devices as well. A CB transmitter is a transmitter that operates or is intended to operate at a station authorized for the CB service, and it must be certificated by the FCC prior to marketing or importation.4 The Commission has further concluded that these devices fall within the definition of a CB transmitter and therefore cannot legally be imported or marketed in the United States. See Response from the Commission's General Counsel to U.S. Customs Service dated May 17, 1999, 14 FCC Rcd 7797 (1999). 5. Additionally, dual use CB and amateur radios of the kind at issue here may not be certificated under the Commission's rules. Section 95.655(a) of the rules5 states: ``. . . . ([CB] Transmitters with frequency capability for the Amateur Radio Services . . . . will not be certificated.)'' See also FCC 88-256, 1988 WL 488084 (August 17, 1988). This clarification was added to explicitly foreclose the possibility of certification of dual use CB and amateur radios, see id., and thereby deter use by CB operators of frequencies allocated for amateur radio use. 6. Furthermore, the Commission has revised Section 2.1204(a)(5) of its rules6 to prohibit all marketing and/or offering for sale in the United States of such devices even when the purchaser(s) had provided assurances that the transceivers are being bought solely for export. ALL DOMESTIC MARKETING OF SUCH DEVICES VIOLATES THE COMMUNICATIONS ACT OF 1934, AS AMENDED, AND THE COMMISSION'S RULES. 7. In addition to the marketing of the non-certified transceivers addressed above, Mr. David P. Pace, Jr. d.b.a. Pacetronics / Pace Marketing is warned that Section 302(b) of the Act2, and Section 2.815(c) of the Commission's Rules7 requires FCC Type Acceptance (or Certification) of External Radio Frequency Power Amplifiers (or amplifier kits) capable of operation on any frequency or frequencies below 144 MHz. Furthermore, Section 2.815(b) of the Commission's Rules8 prohibits the marketing of External Radio Frequency Power Amplifiers (or amplifier kits) capable of operation on any frequency or frequencies between 24 and 35 MHz. 8. Subsequent violations of the Communications Act and/or of the Commission's Rules may subject the violator to substantial monetary forfeitures not to exceed $11,000 for each such violation or each day of a continuing violation,9 seizure of equipment through in rem forfeiture action, and criminal sanctions including imprisonment.10 9. Mr. David P. Pace, Jr. d.b.a. Pacetronics / Pace Marketing may request a personal interview at the closest FCC location to its place of business,11 namely: Federal Communications Commission 9330 LBJ Freeway, Suite 1170 Dallas, Texas 75243-3470 which can be contacted by telephone at 214-575-6361. They must schedule this interview to take place within 14 days of the date of this citation. Mr. David P. Pace, Jr. d.b.a. Pacetronics / Pace Marketing may submit a written statement within 14 days of the date of this Citation to the same address. Any written statement should specify what actions have been taken to correct the violation outlined above. When corresponding with the Commission, case number EB-03-DL-143 should be referenced. 10. Any statement or information provided may be used by the Commission to determine if further enforcement action is required.12 Any knowingly or willfully false statement made in reply to this notice is punishable by fine or imprisonment.13 FEDERAL COMMUNICATIONS COMMISSION James D. Wells District Director - Dallas Office LRB Cc:Mr. David P. Pace, Jr. d.b.a. Pacetronics Pace Marketing P.O. Box 631207 Nacogdoches, TX 75963 _________________________ 1 47 U.S.C. § 503(b)(5) 2 47 U.S.C. § 302a(b) 3 47 C.F.R. § 2.803(a)(1) 4 See 47 C.F.R. §§ 95.603(c) & 2.803 5 47 C.F.R. § 95.655(a) 6 47 C.F.R. § 2.1204(a)(5) revised effective February 28, 2000 7 47 C.F.R. § 2.815(c) 8 47 C.F.R. § 2.815(b) 9 See 47 C.F.R. § 1.80(b)(3) 10 See 47 U.S.C. §§ 401, 501, 503, 510 11 See 47 U.S.C. § 503(b)(5) 12 See Privacy Act of 1974, 5 U.S.C. §552a(e)(3) 13 See 18 U.S.C. §1001 Who ya gona believe? The FCC or some guy named Cranus The Anus??? LOL Who ya gonna believe? The FCC or a known repeater jammer named DouGay Adair? Try reading what Riley said, or do you have the same reading comprehension problem that the non-existent Aanal Aaron had? Hmmmm; gotta wonder about that! Jerry couldn't happen to a nicer bunch of ripoff artist if you ask me....... |
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![]() "Richard Cranium" wrote in message m... (gw) wrote in message . com... "Train" wrote in message ... His sites were bought out by EEI a while back if memory serves me correctly. I still have E-Mail from Pace asking me if I would be interested in selling one of my web sites to him. What a PUTZ! Train 4. Mr. David P. Pace, Jr. d.b.a. Pacetronics / Pace Marketing marketed these devices as amateur transceivers. The Commission has evaluated radiofrequency devices similar to those listed in paragraph 2 and concluded that the devices at issue are not only amateur radios but can easily be altered for use as Citizens Band devices as well I submit that the aforementioned Rule applies equally to every single AMATEUR transceiver ever imported or sold in the United States. They are notoriously simple to wideband; just clip a wire or two, or remove (or add) a diode or two. Therefore, all ham radios are also illegal under FCC Rules and Regulations. NO!! Each service has different rules. Amateur Radio is governed by Part 97; CB is under Part 95. The 'exports' are being marketed as "10 Meter" ham rigs. Because the have "bands" of 'channels', those "bands" cover OTHER than the 40 CB frequencies, and have MORE than the 4 watts allowed for CB, such "export" radios do not meet the requirements for EITHER service. It still is legal for a franchised dealer to import and sell APPROVED trans- ceivers according to the rules of Part 97. Not both. FCC approved radios will have a certification sticker on the back or side of said radios; the exports do not. As for building unalterable radios, it would be terrifically expensive to do that because there are *some* radios that can be certified in other services. A number of Icom, Kenwood, and Yaesu radios can be used for *certain* applications. The military has used some of them in the past. Civil Air Patrol and other gov't agencies are able to do so because, again, the rules apply differently to differ-ent Services. I hope it would not come to that (but it could)--making the radios difficult to modify--but we have CBers to thank for the banning of amplifiers for 24-30 MHZ back in 1978. Folks want to flaunt *their* own agenda (and to hell to whomever it hurts) and often cause hardship to innocents. That is kind of what is happening now with the "export" radio thing; folks are bound and determined to break the rules, so something will likely happen that will cause trouble for other CBers and hams alike. Gee, that's all I need to have a $900 ham radio I used to be able able to use with FEMA, USAF/CAP, and SHARES cause me to have to spend $2000 for a special motorola to do the same job. Yeah, thanks!! If people would just stay OUT of the adjacent bands, it wouldn't be an issue, but NOOOOOO, they want theirs and ours TOO!! Ain't gonna happen! Look for of the same dealer busts to increase soon. J couldn't happen to a nicer bunch of ripoff artist if you ask me....... Except maybe Copper Electronics! |
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"Jerry" wrote in message ...
"Richard Cranium" wrote in message om... (Repeaterjammers For A Keyclown-Free Newsgroup) wrote in message . com... (Richard Cranium) wrote in message . com... Sure, there may be an "intruder" or two, but it's not the major prob you guys claim it is. s Posted - Oct/17 2003 : 10:20:21 AM -------------------------------------------------------------------------- Snip. Could this be the end of "export" radios? Bandit Before the FEDERAL COMMUNICATIONS COMMISSION Washington, D.C. 20554 Mr. David P. Pace, Jr. d.b.a. File No.: EB-03- DL-143 Pacetronics Sent via Certified Pace Marketing Return Receipt Requested 531-C East Main Street and First Class U.S. Mail Nacogdoches, TX 75963 CITATION Released: July 7, 2003 By the Enforcement Bureau, Dallas Office: 1. This is an Official Citation issued pursuant to Section 503(b)(5) of the Communications Act of 1934, as amended (``Act''),1 to Mr. David P. Pace, Jr. d.b.a. Pacetronics / Pace Marketing for violation of Section 302(b) of the Act,2 and Section 2.803(a)(1) of the Commission's Rules.3 2. An investigation by the FCC's Dallas Office revealed that the Internet domain name PACERADIOS.COM is registered to Pace Marketing, David Pace, P.O. Box 631207, Nacogdoches, TX 75963 with Pace Marketing, David Pace listed as the administrative contact. Furthermore, on June 30, 2003, Mr. David P. Pace, Jr. d.b.a. Pacetronics / Pace Marketing through its Internet site(s) www.paceradios.com (with an addresses listed on the site as Pace Marketing, 531-C East Main St, Nacogdoches, TX 75961 and Pace Marketing, P.O. Box 631207, Nacogdoches, TX 75961) offered for sale, the following thirty seven (37) non-certified Citizens Band transceivers: NAME MODEL PRICE DESCRIPTION Connex 4800 DXL $289.99 12 Bands of 40 Channels Connex 4400 High Power $219.99 8 Bands of 40 Channels Connex 3300 High Power $199.99 Range 25.615 - 28.305 Connex 3300 $179.99 Range 25.615 - 28.305 Connex Patriot $199.99 Range 25.615 - 28.305 Connex Deer Hunter $139.99 Can be converted to operate on 120 Chan. Connex 3300 LE $179.99 Range 25.615 - 28.305 Connex 3300 HP LE $199.99 Range 25.615 - 28.305 Connex 3300 Coyote Hunter $169.99 . . . CB band, with . . . 120 channels below Galaxy DX99V $329.99 Robot Talk, Voice Changer Galaxy DX 93T $429.99 Echo with dual controls Galaxy DX88HL $314.99 Dual-Control Echo, Talkback Galaxy DX77HML $219.99 6 bands of 40Ch. Galaxy DX66V $234.99 Dual Control Echo, Talkback Galaxy DX55V $164.99 equipped as an ideal multi-band radio NAME MODEL PRICE DESCRIPTION Galaxy 48T $369.99 Deluxe Export Radio Galaxy DX45-MP $249.99 Export Radios Galaxy DX44V $189.99 Dual control echo/reverb Galaxy DX33HML $159.99 dual control echo/reverb, Talkback General Lee $199.99 6 Bands of 40 Channels General A.P. Hill $169.99 6 Bands of 40 Channels General Grant $399.99 12 Bands of 40 Channels ? ? ? General Longstreet $229.99 6 Bands of 40 Channels Magnum 257 $179.99 10 bands of channels Ranger 6900F-25 $289.99 . . . 12-band segments Ranger 6900F-150 $409.99 . . . 24.2650 - 29.6650 MHz Ranger 6900FTB-refurbished $369.99 Export Radios Ranger 6300F-25 $269.99 . . . 12-band segments Ranger 6300F-150 $389.99 Export Radios Ranger 2995DX $549.99 Export Base Station Ranger 2985DX $439.99 Export Base Station Ranger 2980WX $409.99 Export Base Station Ranger 2970DX $399.99 Export Radios Ranger 2950DX $269.99 Export Radios Superstar 3900HP-Gold $239.99 6 Bands 240 Channels Superstar Grant $179.99 120 Channels Superstar 121 $129.99 CB features...with...Upper and Lower Freq According to the Commission's records, these devices have not received an FCC equipment authorization which is required for Citizens Band transmitters marketed in the United States. 3. Section 302(b) of the Act2 provides ``[n]o person shall manufacture, import, sell, offer for sale, or ship devices or home electronic equipment and systems, or use devices, which fail to comply with regulations promulgated pursuant to this section.'' Section 2.803(a)(1) of the Rules3 provides that ``... no person shall sell or lease, or offer for sale or lease (including advertising for sale or lease), or import, ship or distribute for the purpose of selling or leasing or offering for sale or lease, any radio frequency device unless: (1) In the case of a device subject to certification, such device has been authorized by the Commission in accordance with the rules in this chapter and is properly identified and labeled ....'' Mr. David P. Pace, Jr. d.b.a. Pacetronics / Pace Marketing's offer for sale of these devices violates both sections. 4. Mr. David P. Pace, Jr. d.b.a. Pacetronics / Pace Marketing marketed these devices as amateur transceivers. The Commission has evaluated radiofrequency devices similar to those listed in paragraph 2 and concluded that the devices at issue are not only amateur radios but can easily be altered for use as Citizens Band devices as well. A CB transmitter is a transmitter that operates or is intended to operate at a station authorized for the CB service, and it must be certificated by the FCC prior to marketing or importation.4 The Commission has further concluded that these devices fall within the definition of a CB transmitter and therefore cannot legally be imported or marketed in the United States. See Response from the Commission's General Counsel to U.S. Customs Service dated May 17, 1999, 14 FCC Rcd 7797 (1999). 5. Additionally, dual use CB and amateur radios of the kind at issue here may not be certificated under the Commission's rules. Section 95.655(a) of the rules5 states: ``. . . . ([CB] Transmitters with frequency capability for the Amateur Radio Services . . . . will not be certificated.)'' See also FCC 88-256, 1988 WL 488084 (August 17, 1988). This clarification was added to explicitly foreclose the possibility of certification of dual use CB and amateur radios, see id., and thereby deter use by CB operators of frequencies allocated for amateur radio use. 6. Furthermore, the Commission has revised Section 2.1204(a)(5) of its rules6 to prohibit all marketing and/or offering for sale in the United States of such devices even when the purchaser(s) had provided assurances that the transceivers are being bought solely for export. ALL DOMESTIC MARKETING OF SUCH DEVICES VIOLATES THE COMMUNICATIONS ACT OF 1934, AS AMENDED, AND THE COMMISSION'S RULES. 7. In addition to the marketing of the non-certified transceivers addressed above, Mr. David P. Pace, Jr. d.b.a. Pacetronics / Pace Marketing is warned that Section 302(b) of the Act2, and Section 2.815(c) of the Commission's Rules7 requires FCC Type Acceptance (or Certification) of External Radio Frequency Power Amplifiers (or amplifier kits) capable of operation on any frequency or frequencies below 144 MHz. Furthermore, Section 2.815(b) of the Commission's Rules8 prohibits the marketing of External Radio Frequency Power Amplifiers (or amplifier kits) capable of operation on any frequency or frequencies between 24 and 35 MHz. 8. Subsequent violations of the Communications Act and/or of the Commission's Rules may subject the violator to substantial monetary forfeitures not to exceed $11,000 for each such violation or each day of a continuing violation,9 seizure of equipment through in rem forfeiture action, and criminal sanctions including imprisonment.10 9. Mr. David P. Pace, Jr. d.b.a. Pacetronics / Pace Marketing may request a personal interview at the closest FCC location to its place of business,11 namely: Federal Communications Commission 9330 LBJ Freeway, Suite 1170 Dallas, Texas 75243-3470 which can be contacted by telephone at 214-575-6361. They must schedule this interview to take place within 14 days of the date of this citation. Mr. David P. Pace, Jr. d.b.a. Pacetronics / Pace Marketing may submit a written statement within 14 days of the date of this Citation to the same address. Any written statement should specify what actions have been taken to correct the violation outlined above. When corresponding with the Commission, case number EB-03-DL-143 should be referenced. 10. Any statement or information provided may be used by the Commission to determine if further enforcement action is required.12 Any knowingly or willfully false statement made in reply to this notice is punishable by fine or imprisonment.13 FEDERAL COMMUNICATIONS COMMISSION James D. Wells District Director - Dallas Office LRB Cc:Mr. David P. Pace, Jr. d.b.a. Pacetronics Pace Marketing P.O. Box 631207 Nacogdoches, TX 75963 _________________________ 1 47 U.S.C. § 503(b)(5) 2 47 U.S.C. § 302a(b) 3 47 C.F.R. § 2.803(a)(1) 4 See 47 C.F.R. §§ 95.603(c) & 2.803 5 47 C.F.R. § 95.655(a) 6 47 C.F.R. § 2.1204(a)(5) revised effective February 28, 2000 7 47 C.F.R. § 2.815(c) 8 47 C.F.R. § 2.815(b) 9 See 47 C.F.R. § 1.80(b)(3) 10 See 47 U.S.C. §§ 401, 501, 503, 510 11 See 47 U.S.C. § 503(b)(5) 12 See Privacy Act of 1974, 5 U.S.C. §552a(e)(3) 13 See 18 U.S.C. §1001 Who ya gona believe? The FCC or some guy named Cranus The Anus??? LOL Who ya gonna believe? The FCC or a known repeater jammer named DouGay Adair? Try reading what Riley said, or do you have the same reading comprehension problem that the non-existent Aanal Aaron had? Hmmmm; gotta wonder about that! Jerry Old news. A few dealers and/or truckstops get busted every year or so. What's your point? At least a few of those Rangers are marketed as ten meter radios, and advertised as such in amateur magazines. And any of those radios are usable by amateurs on ten (or 12) meters. Not a major problem, Jerry. Except by a few mental midgets who would like to believe otherwise and seem capable of making a mountain out of a molehill. You want "intruders" off ten meters? USE IT! They won't have a chance. |
#10
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In ,
(Richard Cranium) wrote: snip You want "intruders" off ten meters? USE IT! They won't have a chance. They can't, because they would be interfering with illegal operators, which is illegal. -----= Posted via Newsfeeds.Com, Uncensored Usenet News =----- http://www.newsfeeds.com - The #1 Newsgroup Service in the World! -----== Over 100,000 Newsgroups - 19 Different Servers! =----- |
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