U.S. Agent Designation Attestation for FCC Certification

2FCC_U_S_AgenT_Designation_Attestation

This document serves as the U.S. Agent Designation for Service of Process attestation, complying with FCC certification requirements under Section 2.911(d)(7). It confirms that Baihetian Innovative Solutions has accepted the responsibility to act as the Designated U.S. Agent on behalf of Ningbo Shuanghe Hongsheng Electronic Technology Co., Ltd.

The attestation includes details of both the applicant and the designated U.S. agent, including company names, FRNs, contact information, and addresses. Kenneth Young of Baihetian Innovative Solutions has signed as the U.S. Agent, while Steven Li of Ningbo Shuanghe Hongsheng Electronic Technology Co., Ltd has signed as the applicant.

The document also acknowledges the obligation to maintain an agent for at least one year after terminating marketing and importation or the conclusion of any Commission-related proceedings. Furthermore, it emphasizes the responsibility to inform the FCC of any changes to the Designated U.S. Agent information.


File Info : application/pdf, 1 Pages, 361.54KB

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tags: ["FCC Certification", "Section 2.911(d)(7)", "U.S. Agent", "Baihetian Innovative Solutions", "Ningbo Shuanghe Hongsheng Electronic Technology Co., Ltd", "2ATK8", "2ATK8-SH9160", "SH9160"]
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This document serves as the U.S. Agent Designation for Service of Process attestation, complying with FCC certification requirements under Section 2.911(d)(7). It confirms that Baihetian Innovative Solutions has accepted the responsibility to act as the Designated U.S. Agent on behalf of Ningbo Shuanghe Hongsheng Electronic Technology Co., Ltd.

The attestation includes details of both the applicant and the designated U.S. agent, including company names, FRNs, contact information, and addresses. Kenneth Young of Baihetian Innovative Solutions has signed as the U.S. Agent, while Steven Li of Ningbo Shuanghe Hongsheng Electronic Technology Co., Ltd has signed as the applicant.

The document also acknowledges the obligation to maintain an agent for at least one year after terminating marketing and importation or the conclusion of any Commission-related proceedings. Furthermore, it emphasizes the responsibility to inform the FCC of any changes to the Designated U.S. Agent information.

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