Loading...
HomeMy WebLinkAboutAMEND 2018-0004; SPRINT SD03XC137 NORTH BATIQUITOS LAGOON WCF; RADIO FREQUENCY ELECTROMAGNETIC ENERGY COMPLIANCE REPORT; 2018-03-20Radio Frequency -Electromagnetic Energy (RF-EME) Compliance Report Site No. SD03XC 137 North Batiquitos Lagoon 760 Macadamia Drive Carlsbad, California 920 I I San Diego County 33.106611 ; -117.313733 NAD83 Rooftop EBI Project No. 621800 186 7 March 20, 20 18 Prepared for: Sprint Nextel do Md? LLC I 0590 West Ocean Air Drive, Suite 300 San Diego, CA 92130 RF-EME Compliance Report EBI Project No. 6218001867 EXECUTIVE SUMMARY Purpose of Report Site No. SD03XC 137 760 Macadamia Drive, Carlsbad, California EnviroBusiness Inc. (dba EBI Consulting} has been contracted by Sprint to conduct radio frequency electromagnetic (RF-EME) modeling for Sprint Site SD03XC 137 located at 760 Macadamia Drive in Carlsbad, California to determine RF-EME exposure levels from existing and proposed Sprint wireless communications equipment at this site. As described in greater detail in Appendix B of this report, the Federal Communications Commission (FCC) has developed Maximum Permissible Exposure (MPE) Limits for general public exposures and occupational exposures. This report summarizes the results of RF-EME modeling in relation to relevant FCC RF-EME compliance standards for limiting human exposure to RF-EME fields. This report contains a detailed summary of the RF EME analysis for the site. This document addresses the compliance of Sprint's proposed transmitting facilities independendy at the site. Modeling results included in this report are based on drawings dated February 20, 2018 as provided to EBI Consulting. Subsequent changes to the drawings or site design may yield changes in the MPE levels or FCC Compliance recommendations. Maximum Permlulble Exposure (MPE) Summary % of FCC General %ofFCC Power Density Location Public/Uncontrolled Occupational/Controlled (mW/cm1) Exposure Umlt Exposure Umlt Sprint Equipment Ground 37.20 7.44 0.19840 Statement of Compliance Based on worst-case predictive modeling, there are no modeled exposures on any accessible ground- level walking/working _surface related to Sprint's existing and proposed equipment in the area that exceed the FCC's occupational and/or general public exposure limits at this site. As such, the existing and proposed Sprint project is in compliance with FCC rules and regulations. Signage is recommended at the site as presented in Section 9.0 and Appendix A Posting of the signage brings the site into compliance with FCC rules and regulations. EBI Consulting • 21 B Street • Burlington, MA 01803 • 1.800.786.2346 RF-EME Compliance Report EBI Project No. 6218001867 Site No. SD03XC 137 760 Macadamia Drive, Carlsbad, California 1.0 LOCATION OF ALL EXISTING ANTENNAS AND FACILITIES AND EXISTING RF LEVELS Sprint proposes the addition of seven (7) wireless telecommunication antennas on a rooftop in Carlsbad, California. Additionally, there are two (2) existing Sprint antennas that are proposed to remain onsite. The proposed modification will result in a total of nine (9) Sprint antennas at the site. There are three sectors (A, B and C) proposed at the site, with two (2) proposed antennas in Sector A and B and three (3) proposed antennas in Sector C. There are no collocated carriers on the rooftop. 2.0 LOCATION OR ALL APPROVED {BUT NOT INSTALLED) ANTENNAS AND FACILITIES AND EXPECTED RF LEVELS FROM THE APPROVED FACILITIES There are no antennas or facilities that are approved and not installed based on information provided to EBI and Sprint at the time of this report. 3.0 NUMBER AND TYPES OF WIRELESS TELECOMMUNICATION SITES (WTS) WITHIN I 00 FEET OF THE EXISTING AND PROPOSED SITE There are no other Wireless Telecommunication Service (WTS) sites observed within I 00 feet of the proposed site. 4.0 LOCATION AND NUMBER OF THE SPRINT ANTENNAS AND BACK-UP FACILITIES PER STRUCTURE AND NUMBER AND LOCATION OF OTHER TELECOMMUNICATION FACILITIES ON THE PROPERTY Sprint proposes the addition of seven (7) wireless telecommunication antennas on a rooftop in Carlsbad, California. Additionally, there are two (2) existing Sprint antennas that are proposed to remain onsite. The proposed modification will result in a total of nine (9) Sprint antennas at the site. There are three sectors (A, B and C) proposed at the site, with two (2) proposed antennas in Sector A and B and three (3) proposed antennas in Sector C. In each sector, there is proposed to be two antennas transmitting in the 800 MHz and 1900 MHz frequency ranges and one antenna transmitting in the 2500 MHz frequency range. The Sector A antennas will be oriented 50° from true north. The Sector B antennas will be oriented I 55° from true north. The Sector C antennas will be oriented 300° from true north. The bottoms of the Sector A and B antennas will be 32.4 feet and 32.7 feet above ground level. The bottoms of the Sector C antennas will be 27.2 feet and 27.5 feet above ground level. There are no collocated carriers on the rooftop. 5.0 POWER RA TING FOR ALL EXISTING AND PROPOSED BACKUP EQUIPMENT SUBJECT TO THE APPLICATION The operating power of each frequency, for modeling purposes, was assumed to be the following: Sprint Operatln1 Powen Per Sector Frequency (MHz.) Power (Watts) # of Transmitters 800 50 4 1900 45 8 2500 20 8 Additional transmitter information used in the modeling of Sprint antennas is summarized in the RoofView® export file presented in Appendix D. EBI Consulting • 21 B Street • Burlington, MA 01803 • 1.800.786.2346 RF-EME Compliance Report EBI Project No. 6218001867 Site No. SD03XC 137 760 Macadamia Drive, Carlsbad, California 6.0 TOTAL NUMBER OF WATTS PER INSTALLATION AND THE TOTAL NUMBER OF WATTS FOR ALL INSTALLATIONS ON THE STRUCTURE The Effective Radiated Power (ERP) for each carrier and frequency is summarized below: Effective Radiated Power (ERP) per Frequency Frequency (MHz) ERP(Watts) Sprint 800 7,925 Sprint 1900 18,311 Sprint 2500 7,803 7 .0 PREFERRED METHOD OF ATTACHMENT OF PROPOSED ANTENNA WITH PLOT OR ROOF PLAN INCLUDING: DIRECTIONALITY OF ANTENNAS, HEIGHT OF ANTENNAS ABOVE NEAREST WALKING SURFACE, DISCUSS NEARBY INHABITED BUILDINGS Based on the information provided to EBI, the proposed antennas are to be pipe-mounted to the rooftop parapet and operating in the directions, frequencies, and heights mentioned in section 4.0 above. The surrounding area includes residential and commericial buildings. 8.0 ESTIMATED AMBIENT RADIO FREQUENCY FIELDS FOR THE EXISTING AND PROPOSED SITE Based on worst-case predictive modeling, there are no modeled exposures on any accessible ground- level walking/working surface related to Sprint's existing and proposed equipment in the area that exceed the FCC's occupational and/or general public exposure limits at this site. As such, the existing and proposed Sprint project is in compliance with FCC rules and regulations. Maximum Permlsslble Exposure (MPE) Summary % of FCC General % of FCC Power Density Location Public/Uncontrolled Occupational/Controlled Exposure Limit Exposure Limit (mW/cm2) Sprint Equipment Ground 37.20 7.44 0.19840 The inputs used in the modeling are summarized in the RoofView® export file presented in Appendix D. 9.0 SIGNAGE AT THE FACILITY IDENTIFYING ALL WTS EQUIPMENT AND SAFETY PRECAUTIONS FOR PEOPLE NEARING THE EQUIPMENT AS MAY BE REQUIRED BY THE APPLICABLE FCC ADOPTED STANDARDS (DISCUSS SIGNAGE FOR THOSE WHO SPEAK LANGUAGES OTHER THAN ENGLISH) Signs are the primary means for control of access to areas where RF exposure levels may potentially exceed the MPE. It is recommended that Notice signs be installed for the new antennas making people aware of the antennas locations. There are no exposures above the FCC limits in front of the existing and proposed antennas and therefore barriers are not recommended. Workers that are elevated above the ground may be exposed to power densities greater than the occupational limit. Workers should be informed about the presence of antennas and their associated fields and practice RF Safety Procedures. To reduce the risk of exposure and/or injury, EBI recommends EBI Consulting • 21 B Street • Burlington, MA 0 1803 • 1.800.786.2346 RF-EME Compliance Report EBI Project No. 6218001867 Site No. SD03XC 137 760 Macadamia Drive, Carlsbad, California that access to the rooftop or areas associated with the active antenna installation be restricted and secured where possible. Access to this site is unknown. To be conservative, the modeling results are reported as though the general public is able to access the rooftop. I 0.0 STATEMENT ON WHO PRODUCED THIS REPORT AND QUALIFICATIONS Please see the certifications attached in Appendix C below. I 1.0 LIMITATIONS This report was prepared for the use of Sprint. It was performed in accordance with generally accepted practices of other consultants undertaking similar studies at the same time and in the same locale under like circumstances. The conclusions provided by EBI are based solely on the information provided by the client. The observations in this report are valid on the date of the investigation. Any additional information that becomes available concerning the site should be provided to EBI so that our conclusions may be revised and modified, if necessary. This report has been prepared in accordance with Standard Conditions for Engagement and authorized proposal, both of which are integral parts of this report. No other warranty, expressed or implied, is made. 12.0 SUMMARY AND CONCLUSIONS EBI has prepared this Radiofrequency Emissions Compliance Report for the existing and proposed Sprint telecommunications equipment at the site located at 760 Macadamia Drive in Carlsbad, California. EBI has conducted theoretical modeling to estimate the worst-case power density from existing and proposed Sprint antennas to document potential MPE levels at this location and ensure that site control measures are adequate to meet FCC and OSHA requirements. As presented in the preceding sections, based on worst-case predictive modeling, there are no modeled exposures on any accessible ground- level walking/working surface related to Sprint's existing and proposed equipment in the area that exceed the FCC's occupational and/or general public exposure limits at this site. As such, the existing and proposed Sprint project is in compliance with FCC rules and regulations. Signage is recommended at the site as presented in Section 9.0 and Appendix A Posting of the signage brings the site into compliance with FCC rules and regulations. EBI Consulting • 21 B Street • Burlington, MA 01803 • 1.800.786.2346 RF-EME Compliance Report EBI Project No. 6218001867 Appendix A Site No. SD03XC 137 760 Macadamia Drive, Carlsbad, California MPE Analysis and Recommended Signage EBI Consulting • 21 B Street • Burlington, MA 0 1803 • 1.800. 786.2346 Post Signs at All Roof •:ViU3i (<1>) --=-..=:::"-:--~ .s,121,a,a~ 0 5' 10' 20' % FCC Public Exposure Limit • Exposure l evel .? 5,000 D 500 < Exposure l evel s 5,000 • 100 < Exposure l evel S 500 • Exposure Level S 100 • Sprint Antennas MPE Analysis and Recommended Signage Facility Operator: Sprint Site Name: North Batiquitos Lagoon Sprint Site Number: SD03XC 137 Report Date: March 20, 2018 di ~~~~~ RF-EME Compliance Report EBI Project No. 6218001867 Appendix B Site No. SD03XC 137 760 Macadamia Drive, Carlsbad, California Federal Communications Commission (FCC) Requirements EBI Consulting • 21 B Street • Burlington, MA 0 1803 • 1.800.786.2346 RF-EME Compliance Report EBI Project No. 6218001867 Site No. SD03XC 137 760 Macadamia Drive, Carlsbad, California The FCC has established Maximum Permissible Exposure (MPE) limits for human exposure to Radiofrequency Electromagnetic (RF-EME) energy fields, based on exposure limits recommended by the National Council on Radiation Protection and Measurements (NCRP) and, over a wide range of frequencies, the exposure limits developed by the Institute of Electrical and Electronics Engineers, Inc. (IEEE) and adopted by the American National Standards Institute (ANSI) to replace the 1982 ANSI guidelines. Limits for localized absorption are based on recommendations of both ANSI/IEEE and NCRP. The FCC guidelines incorporate two separate tiers of exposure limits that are based upon occupational/controlled exposure limits (for workers) and general publiduncontrolled exposure limits for members of the general public. Occupational/controlled exposure limits apply to situations in which persons are exposed as a consequence of their employment and in which those persons who are exposed have been made fully aware of the potential for exposure and can exercise control over their exposure. Occupational/ controlled exposure limits also apply where exposure is of a transient nature as a result of incidental passage through a location where exposure levels may be above general publiduncontrolled limits (see below), as long as the exposed person has been made fully aware of the potential for exposure and can exercise control over his or her exposure by leaving the area or by some other appropriate means. General public/uncontrolled exposure limits apply to situations in which the general public may be exposed or in which persons who are exposed as a consequence of their employment may not be made fully aware of the potential for exposure or cannot exercise control over their exposure. Therefore, members of the general public would always be considered under this category when exposure is not employment-related, for example, in the case of a telecommunications tower that exposes persons in a nearby residential area. Table I and Figure I (below), which are included within the FCC's OET Bulletin 65, summarize the MPE limits for RF emissions. These limits are designed to provide a substantial margin of safety. They vary by frequency to take into account the different types of equipment that may be in operation at a particular facility and are "time-averaged" limits to reflect different durations resulting from controlled and uncontrolled exposures. The FCC's MPEs are measured in terms of power (mW) over a unit surface area (cm2). Known as the power density, the FCC has established an occupational MPE of 5 milliwatts per square centimeter (mW/cm2) and an uncontrolled MPE of I mW/cm2 for equipment operating in the 1900 MHz and 2500 MHz frequency ranges. For the Sprint equipment operating at 800 MHz, the FCC's occupational MPE is 2.66 mW/cm2 and an uncontrolled MPE of 0.53 mW/cm2• These limits are considered protective of these populations. Table I: Limits for Maximum Permissible Exposure (MPE) (A) Limits for Occupational/Controlled Exposure Frequency Range Electric Field Magnetic Field Power Density (S) Averaging Time (MHz) Strength (E) Strength (H) (mW/cm2) [E]2, [H]2, or S (V/m) (Alm) (minutes) 0.3-3.0 614 1.63 (100)* 6 3.0-30 1842/f 4.89/f (900/f)* 6 30-300 61.4 0.163 1.0 6 300-1,500 .. .. f/300 6 1,500-100,000 .. .. 5 6 EBI Consulting • 21 B Street • Burlington, MA O 1803 • 1.800.786.2346 RF-EME Compliance Report EBI Project No. 6218001867 Site No. SD03XC 137 760 Macadamia Drive, Carlsbad, California (B) Limits for General Public/Uncontrolled Exposure Frequency Range Electric Field Magnetic Field Power Density (5) (MHz) Strength (E) Strength (H) (Vim) (Alm) (mW/cm2) 0.3-1.34 614 1.63 (100)* 1.34-30 824/f 2.19/f (180/f)* 30-300 27.5 0.073 0.2 300-1,500 ----f/1,500 1,500-100,000 ----1.0 f = Frequency in (MHz) * Plane-wave equivalent power density F(gure 1 FCC Limits for Maximum Permissible Exposure (MPE) Plane-wave Equivalent Power Density 1.000~--~-~~--~--~-~~--~-~ -e ~ 100 .s ~ "iii 10 ~ 5 0 J 0.2 --OccupatklnaVCcntrofled E,cposure ----Gen&ra/ Population/Uncontrolled Expo5ure ,_ ---_,,,, / / / ✓---------• 0. ''------::L:---'-!,-----,-=------=..,,....--'-.L-,--=-,-'1=---l--' o.03 o.3 1 J JO 300 13.000 30.ooo l 300.000 1.34 1.500 100.000 Frequency (MHz} Averaging Time [E]2, [H]2, or S (minutes) 30 30 30 30 30 Based on the above, the most restrictive thresholds for exposures of unlimited duration to RF energy for several personal wireless services are summarized below: Penonal Wireless Service Approximate Occupational Public MPE Frequency MPE Personal Communication Services (PCS) 1,950 MHz 5.00 mW/cm' 1.00 mW/cm' Cellular Telephone 870 MHz 2.90 mW/cm' 0.58 mW/cm' Specialized Mobile Radio 855 MHz 2.85 mW/cm' 0.57 mW/cm' Most Restrictive Freq, Range 30-300 MHz 1.00 mW/cm' 0.20 mW/cm2 MPE limits are designed to provide a substantial margin of safety. These limits apply for continuous exposures and are intended to provide a prudent margin of safety for all persons, regardless of age, gender, size, or health. Personal Communication Services (PCS) facilities used by Sprint in this area operate within a frequency range of 800-1900 MHz. Facilities typically consist of: I) electronic transceivers (the radios or cabinets) connected to wired telephone lines; and 2) antennas that send the wireless signals created by the transceivers to be received by individual subscriber units (PCS telephones). Transceivers are typically connected to antennas by coaxial cables. EBI Consulting • 21 B Street • Burlington, MA O 1803 • 1.800.786.2346 RF-EME Compliance Report EBI Project No. 621800 186 7 Site No. SD03XC 137 760 Macadamia Drive, Carlsbad, California Advanced Wireless Services (AWS) facilities used by Sprint in this area operate within a frequency range of 2496 -2690 MHz. Facilities typically consist of: I) electronic transceivers (the radios or cabinets); and 2) antennas that send the wireless signals created by the transceivers to be received by individual subscriber units. Transceivers are typically connected to antennas by coaxial cables. Because of the short wavelength of PCS/AWS services, the antennas require line-of-site paths for good propagation, and are typically installed above ground level. Antennas are constructed to concentrate energy towards the horizon, with as little energy as possible scattered towards the ground or the sky. This design, combined with the low power of PCS facilities, generally results in no possibility for exposure to approach Maximum Permissible Exposure (MPE) levels, with the exception of areas directly in front of the antennas. FCC Compliance Requirement A site is considered out of compliance with FCC regulations if there are areas that exceed the FCC exposure limits and there are no RF hazard mitigation measures in place. Any carrier which has an installation that contributes more than 5% of the applicable MPE must participate in mitigating these RF hazards. EBI Consulting • 21 B Street • Burlington, MA 0 1803 • 1.800.786.2346 RF-EME Compliance Report EBI Project No. 6218001867 Appendix C Certifications Site No. SD03XC 137 760 Macadamia Drive, Carlsbad, California EBI Consulting • 21 B Street • Burlington, MA 01803 • 1.800.786.2346 RF-EME Compliance Report EBI Project No. 6218001867 Preparer Certification I, Vanessa P. Garcia, state that: Site No. SD03XC I 37 760 Macadamia Drive, Carlsbad, California • I am an employee of EnviroBusiness Inc. (d/b/a EBI Consulting), which provides RF-EME safety and compliance services to the wireless communications industry. • I have successfully completed RF-EME safety training, and I am aware of the potential hazards from RF-EME and would be classified "occupational" under the FCC regulations. • I am familiar with the FCC rules and regulations as well as OSHA regulations both in general and as they apply to RF-EME exposure. • I have reviewed the data provided by the client and incorporated it into this Site Compliance Report such that the information contained in this report is true and accurate to the best of my knowledge. EBI Consulting • 21 B Street • Burlington, MA O 1803 • 1.800.786.2346 RF-EME Compliance Report EBI Project No. 6218001867 Appendix D Site No. SD03XC 137 760 Macadamia Drive, Carlsbad, California Roofview® Export File / Antenna Inventory EBI Consulting • 21 B Street • Burlington, MA 01803 • 1.800.786.2346 finition Roof Max~ Roof Max) Map Max~ Map Max ~y Offset X Offset Number of envelope 170 160 180 170 10 10 1 $U$41:$FX $U$41:$FX$210 sOata Standard Method 4 Uptime 2 Scale Facto Low Thr Low Color Mid Thr Mid Color Hi Thr Hi Color Over Color Ap Ht Mult Ap Ht Method 3 1 100 1 500 4 5000 2 3 1.5 1 It is advisable to provide an ID (ant 1) for all antennas (MHz) Trans Trans Coax Coax Other Input Cale (ft) (ft) ID Name Freq Power Count Len Type Loss Power Power Mfg Model X y SPTA2 Sprint 2500 20 8 10 1/2 LDF 0.5 134.9336 Samsung 64T64R Ma 113 SPT A3 Sprint 800 so 2 10 1/2 LDF 0.5 84.33348 RFS APXVFRR1; 114 SPT A3 Sprint 1900 45 4 10 1/2 LOF 0.5 151.8003 RFS APXVFRR\; 114 SPT Bl Sprint 800 so 2 10 1/2 LOF 0.5 84.33348 RFS APXVFRR1; 104 SPT 81 Sprint 1900 45 4 10 1/2 LDF 0.5 151.8003 RFS APXVFRR1; 104 5PT82 Sprint 2500 20 8 10 1/2 LDF 0.5 134.9336 Samsung 64T64R M• 98 SPTCl Sprint 800 so 2 10 1/2 LOF 0.5 84.33348 RFS APXVFRRl; 45 SPTCl Sprint 1900 45 4 10 1/2 LOF 0.5 151.8003 RFS APXVFRR1; 45 SPTC2 Sprint 2500 20 8 10 1/2 LDF 0.5 134.9336 Samsung 64T64R M• 48 SPT C3 Sprint 800 50 2 10 1/2 LDF 0.5 84.33348 RFS APXVFRRl; 51 SPTC3 Sprint 1900 45 4 10 1/2 LDF 0.5 151.8003 RFS APXVFRRl; 51 SPTAl Sprint 800 so 2 10 1/2 LDF 0.5 84.33348 RFS APXVFRR1; 112 SPTAl Sprint 1900 45 4 10 1/2 LDF 0.5 151.8003 RFS APXVFRR1; 112 SPT 83 Sprint 800 so 2 10 1/2 LOF 0.5 84.33348 RFS APXVFRR1: 93 SPTB3 Sprint 1900 45 4 10 1/2 LDF 0.5 1S1.8003 RFS APXVFRR1; 93 !Data Sym Map Marki Roof X RoofY Map Label Description ( notes for this table only) Sym 5 35 AC Unit Sample symbols Sym 14 5 Roof Access Sym 45 5 AC Unit Sym 45 20 Ladder (ft) (ft) dBd BWdth Uptime ON z Type Aper Gain Pt Dir Profile flag 67 32.69667 3.44 12.85 65;50 ON• 65 32.41667 4 10.S 72;50 ON• 65 32.41667 4 13.9 65;50 ON• 58 32.41667 4 10.S 72;155 ON• 58 32.41667 4 13.9 65;155 ON• 56 32.69667 3.44 12.85 65;155 ON• 67 27.16667 4 13.9 65;300 ON• 67 27.17 4 10.5 72;300 ON• 68 27.45 3.44 12.85 65;300 ON• 69 27.17 4 13.9 65;300 ON• 69 27.17 4 10.S 72;300 ON• 69 32.41667 4 10.S 72;50 ON• 69 32.41667 4 13.9 65;50 ON• 54 32.41667 4 10.S 72;155 ON• 54 32.41667 4 13.9 65;155 ON•