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HomeMy WebLinkAbout2012-04-17 Planning Board Supplemental Materials (22) RF ENGINEERING AFFIDAVIT The undersigned hereby states the following in support of the application by SBA Communications Corporation and Sprint/Nextel, hereafter referred to as "Applicant', to install/replace wireless communications broadcast/receive equipment at approximately 130 feet above ground level (AGL)at the property located at 300 Chestnut Street,North Andover,MA 01845-5308,Sprint/Nextel Site ID:BS23XC422,hereinafter referred as the"Site". 1. I am a Radio Frequency Engineer employed by Alcatel-Lucent, representing the Applicant, with an office located at 1 Robbins Road,Westford,MA 01886. 2. My primary responsibilities include radio frequency design and planning in the State of Massachusetts. 3. I have thoroughly reviewed the radio frequency (RF) engineering studies, reports and computer models prepared by Sprint/Nextel,with respect to the Site. 4. Sprint/Nextel is licensed by the Federal Communications Commission (herein after "FCC') to provide wireless cmmnunication services by building a network of communication sites. 5. In order to build out its network and meet customer demand for wireless Services, Sprint/Nextel must have in place a system of wireless sites to serve portable wireless conmumication data devices. 6. To maintain effective, reliable and uninterrupted service, there must be a continuous series of sites located within close proximity to each other so as to overlap in a system comparable to a honeycomb pattern. If there is no site available to accept/receive the signal,network service to the mobile customer will terminate involuntarily. Accordingly, the overlap of coverage is necessary for the signal to transfer from one site to another site seamlessly and without involuntary termination, 7. A number of factors determine the distance between cell sites, including, but not limited to, topography,physical obstructions,foliage,antenna height and line-of-sight. 8. Based on the radio frequency studies, reports and computer models prepared in connection with this Site, it is my professional assertion that without the proposed wireless communication facilities at this location there would be inadequate network service for Sprint/Nextel customers due to a coverage gap. 9. The existing wireless communications facility and proposed equipment installation/replacenrent at the Site shall be in compliance with the FCC Guidelines for Evaluating the Environmental Effects of Radio Frequency Radiation.It is the responsibility of SprinUNextel to make sure that it will be in service and in compliance with FCC guidelines. 10.The proposed wireless communications equipment at the Site will be installed,erected,maintained and used in compliance with all applicable Federal, State and local regulations, including,but not limited to:the radio frequency emissions regulations set forth in the 1996 Federal Communications Act, applicable regulations administered by the Federal Aviation Administration (FAA), Federal Communications Commission (FCC), Massachusetts Aeronautics Commission and the Massachusetts Department of Public Health. 11. The RF energy from the proposed wireless communications equipment at the Site will not exceed the State and Federal standards,when combined with all other existing facilities on the Site and also that new antennas would not "interfere"with the other existing wireless structures from other carriers at the Site location. 12. Based upon the best radio fregitency technology available at this time, it is my professional opinion that the proposedSiteequipment is a( the thihimum height that is needed to ensure adequate service to area residents and businesses. Ryan Monte de Ramos RF ENGINEER,Alcatel-Lucent for Sprint/Nextel Date:March 15,2012