HomeMy WebLinkAbout2011-07-05 Planning Board Supplemental Materials (8)
Donald L. Haes, Jr., Ph.D., CHP
Radiation Safety Specialist
MA Radiation Control Program Health Physics Services Provider Registration #65-0017
P.O. Box 368, Hudson, NH 03051
Voice: 603-303-9959 Fax: 603-386-6315 Email: donald_haes_chp@myfairpoint.net
September 28, 2010
Re: AT&T personal wireless services antennas mounted on an existing guyed lattice tower at
300 Chestnut Street in North Andover, MA.
PURPOSE
I have reviewed information pertinent to the installation at the above location. In order to
determine regulatory compliance, actual field measurements of existing ambient radio-frequency
[RF] fields have been obtained. The measurements included ambient RF fields from all FCC-
licensees, including the contributions from AT&T. The physical conditions are that AT&T personal
wireless services directional panel antennas for their Federal Communications Commission [FCC]-
licensed technologies are mounted on the existing guyed lattice tower owned by SBA Towers (See
Figure 1) (FCC ASR#1060890). Antennas from other personal wireless service providers are
mounted on the lattice tower as well. The measured values of RF field levels are presented as a
1,2
percent of current Maximum Permissible Exposures [%MPE] as adopted by the FCC , and those
3
established by the Massachusetts Department of Public Health [MDPH] . (With 100% signifying
an acceptable amount).
SUMMARY
The measured existing ambient RF field levels for all FCC-licensed activities indicate the
maximum to be less than two percent of the current State and Federal maximum permissible
exposure guidelines. The contributions solely from AT&T indicate the maximum to be much less
than one-tenth of one percent of the current State and Federal maximum permissible exposure
guidelines. These RF measurements are accurate, and meet both FCC and the MDPH guidelines.
Based on my extensive experience with personal wireless services facilities, and the RF
fields I have measured, it is my expert opinion that the AT&T personal wireless services installation
complies with FCC RF emission requirements of the 1996 Telecommunications Act, and regulatory
guidelines for RF exposure.
Note:
The professional analyses, conclusions and opinions are based upon the precise parameters and conditions of
existing lattice tower at 300 Chestnut Street in North Andover, MA.
this particular site; Utilization of these
professional analyses, conclusions and opinions for any personal wireless services installation, existing or proposed, other
than the aforementioned have not been sanctioned by the author, and therefore should not be accepted as evidence of
regulatory compliance.
Figure 1: Lattice tower at 300 Chestnut Street, North Andover, MA.
(Picture courtesy Microsoft Virtual Earth and may not represent current conditions)
RF EXPOSURE LIMITS AND GUIDELINES
The RF exposure guidelines adopted by the FCC are a combination of the standards
4
published by the American National Standards Institute (ANSI) and the National Council on
5
Radiation Protection and Measurement (NCRP) . The Massachusetts Department of Public Health
3
[MDPH] exposure standards are analogous. Listed in Table 1 below are the applicable RF exposure
guidelines for public areas as they pertain to the operating frequency bands of the PWS facility
industry.
Table 1: Maximum Permissible Exposure Values for Uncontrolled/Public Areas
Frequency
BandMaximum Permissible Exposure
2
300 - 1500 MHz f / 1.5 in W/cm
2*
1500 - 100,000 MHz1000 W/cm
Note: 1 W = 0.000001 Watt
*6
For equivalent plane-wave power density, where f is the frequency in MHz (10 Hz).
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PERTINENT SECTIONS OF THE ZONING BYLAWS
*
8.9 Wireless Service Facilities
(8) Monitoring and Maintenance
a) After the facility is in operation, the applicant shall submit to the SPGA ... at
annual intervals from the date of issuance of the Special Permit, preexistent and
current RFR measurements. Such measurements shall be signed and certified by an
RF engineer, stating that RER measurements are accurate and are in compliance or
why the measurements fail to comply with all applicable FCC Guidelines as specified
in Section 8.9(4)(c)(1) RFR Filing Requirements of this Bylaw. The measurements
shall be submitted for both the applicant and all co-locators.
* Last Amended July 10, 2006
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MEASUREMENT PROTOCOL
RF field measurements were obtained on September 25, 2010, using accepted scientific
6, 7
procedures. The temperature was 74F with overcast skies. The measuring equipment included
a Narda model SRM-300 Electromagnetic Radiation Meter/Spectrum Analyzer with model 3AX
75M-3G Broadband Isotropic Probe. The instrumentation can provide a meter read-out in %MPE
for members of the general public
(percent FCC 1997 Maximum Permissible Exposure) within
the frequency band from 50 MHz to 3 GHz. The readings can be obtained in two different modes:
(1) A Safety Analysis mode, where the total RF field can be examined within each
8
frequency band licensed by the FCC (88 MHz to 3 GHz) , along with the total of the entire
band 50 MHz to 3 GHz. The instrumentation provides a meter read-out in percent FCC 1997
Maximum Permissible Exposure for members of the general public. This Safety Analysis
mode was used to obtain the RF field values representing the current RFR measurements
as outlined in 8.9(8)(a) of the Zoning Bylaw.
See results, Table 2.
(2) A Spectrum Analysis mode, where the total RF field can be examined with a visual
representation of the spectrum (See example Figure 3) and the value of each peak identified
by frequency. In this manner, and referencing the FCC-licensed frequencies operated at the
site by AT&T, information regarding the contributions from AT&T only was obtained. When
this value is subtracted from the total RF field values obtained in the Safety Analysis
mode, the resultant value then represents the RF field values absent of AT&T; and represents
the preexistent RFR measurements as outlined in 8.9(8)(a) of the Zoning Bylaw.
See results, Table 3.
The RF field measurements were obtained during normal use of the existing transmitters at
various locations (See Figure 2). The results within each band are listed in Tables 2 and 3 for the
current RFR measurements and preexistent RFR measurements, respectively.
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Figure 2: Locations of RF Field Measurements
300 Chestnut Street Site in North Andover, MA
(Picture courtesy Google Earth and may not represent current conditions)
Figure 3: Actual Spectrum Analysis of Measurement (Location #1)
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RESULTS
Table 2: Results of RF Field Measurements
Representing the Current RFR Measurements
300 Chestnut Street and Surrounding Area, North Andover, MA
Location NumberPercent Public Maximum Permissible
(See Figure 2)Exposure ( % MPE)*
11.312%
21.340%
31.306%
40.671%
51.211%
61.262%
70.518%
80.725%
91.173%
101.868%
* Total, 50 MHz - 3 GHz:% MPE Members of the Public
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Table 3: Results of RF Field Measurements
Representing the Preexisting RFR Measurements
300 Chestnut Street and Surrounding Area, North Andover, MA
Column 2 minus
Total Percent
Total Column 3;
Public Maximum
Location NumberContributions Representing
Permissible
(See Figure 2)from AT&T Only; Preexisting RFR
Exposure ( %
( % MPE)Measurements
MPE)*
( % MPE)
11.312%0.005%1.307%
21.340%0.003%1.337%
31.306%0.002%1.304%
40.671%0.001%0.671%
51.211%0.001%1.210%
61.262%0.019%1.243%
70.518%0.016%0.502%
80.725%0.026%0.699%
91.173%0.024%1.149%
101.868%0.003%1.865%
* Total, 50 MHz - 3 GHz:% MPE (Public)
Page -7-
CONCLUSION
The measured existing ambient RF field levels for all FCC-licensed activities indicate the
maximum to be less than two percent of the current State and Federal maximum permissible
exposure guidelines. The contributions solely from AT&T indicate the maximum to be much less
than one-tenth of one percent of the current State and Federal maximum permissible exposure
guidelines. These RF measurements are accurate, and meet both FCC and the MDPH guidelines.
Based on my extensive experience with personal wireless services facilities, and the RF
fields I have measured, it is my expert opinion that the AT&T personal wireless services installation
complies with FCC RF emission requirements of the 1996 Telecommunications Act, and regulatory
guidelines for RF exposure.
Feel free to contact me if you have any questions.
Sincerely,
Note:
The professional analyses, conclusions and opinions are based upon the precise parameters and conditions of this
existing lattice tower at 300 Chestnut Street in North Andover, MA.
particular site; Utilization of these professional
analyses, conclusions and opinions for any personal wireless services installation, existing or proposed, other than the
aforementioned have not been sanctioned by the author, and therefore should not be accepted as evidence of regulatory
compliance.
Page -8-
Donald L. Haes, Jr., Ph.D., CHP
Radiation Safety Specialist
MA Radiation Control Program Health Physics Services Provider Registration #65-0017
P.O. Box 368, Hudson, MA 03051
Voice: 603-303-9959 Fax: 603-386-6315 Email: donald_haes_chp@myfairpoint.net
STATEMENT OF CERTIFICATION
1.I certify to the best of my knowledge and belief, the statements of fact contained in this report
are true and correct.
2.The reported analyses, opinions, and conclusions are limited only by the reported
assumptions and limiting conditions, and are personal, unbiased professional analyses,
opinions and conclusions.
3.I have no present or prospective interest in the property that is the subject of this report and
I have no personal interest or bias with respect to the parties involved.
4.My compensation is not contingent upon the reporting of a predetermined energy level or
direction in energy level that favors the cause of the client, the amount of energy level
estimate, the attainment of a stipulated result, or the occurrence of a subsequent event.
5.This assignment was not based on a requested minimum environmental energy level or
specific power density.
6.My compensation is not contingent on an action or event resulting from the analyses,
opinions, or conclusions in, or the use of, this report.
7.The consultant has accepted this assessment assignment having the knowledge and
experience necessary to complete the assignment competently.
8.My analyses, opinions, and conclusions were developed and this report has been prepared,
in conformity with the American Board of Health Physics [ABHP] statement of standards
of professional responsibility for Certified Health Physicist.
September 28, 2010
Date
Page -9-
ENDNOTES
1. Federal Register, Federal Communications Commission Rules; Radiofrequency radiation;
environmental effects evaluation guidelines Volume 1, No. 153, 41006-41199, August 7, 1996.
[47 CFR Part 1; Federal Communications Commission].
th
2. Telecommunications Act of 1996, 47 USC; Second Session of the 104Congress of the
United States of America, January 3, 1996.
3.105 CMR 122.000: Massachusetts Department of Public Health, Non-Ionizing Radiation
Limits for: The General Public from Non-Occupational Exposure to Electromagnetic Fields,
Employees from Occupational Exposure to Electromagnetic Fields, and Exposure from
Microwave Ovens.
4.ANSI/IEEE C95.1-1999: American National Standard, Safety levels with respect to human
(Updated in 2005)
exposure to radio frequency electromagnetic fields, from 3 KHz to 300 GHz.
5.National Council on Radiation Protection and Measurements (NCRP); Biological Effects and
Exposure Criteria for Radiofrequency Electromagnetic Fields, NCRP Report 86, 1986.
6. ANSI/IEEE C95.3-2002: American National Standard, Recommended Practice for the
Measurement of Potential Electromagnetic Fields - RF and Microwave.
7.NCRP Report No. 119: National Council on Radiation Protection and Measurements, 1993;
A Practical Guide to the Determination of Human Exposure to Radiofrequency Fields.
8.FCC Licensee Lower Band (MHz)Upper Band (MHz)
TV Ch. 2-6 54 88
FM Radio 88 108
Paging 152 159
TV Ch. 7-13 174 216
TV Ch. 14-69 470 806
SMR Transmit 806 821
Private Land Mobile 821 824
Cellular AMPS 824 849
ESMR/Land Mobile 849 869
Cellular AMPS 869 894
Aeronautical Mobile 894 896
Private Land Mobile 896 901
PCS Narrowband 901 902
Land Mobile & Armature (Ham) 902 930
PCS Narrowband 930 931
Paging 931 932
PCS Narrowband 940 941
Public Land Mobile 941 960
PCS Broadband1,850 2550
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