This document is an attestation from Stryker Medical to the Federal Communications Commission (FCC) regarding compliance with regulations related to covered equipment and cybersecurity software. Dated January 17, 2025, it addresses the FCC's Covered List and relevant sections of 47 CFR.
Stryker Medical certifies that the equipment for which authorization is sought is not considered "covered" equipment and does not originate from any company named on the Covered List. Furthermore, Stryker Medical confirms that it is not identified on the Covered List as an entity producing covered equipment and is not a subsidiary or affiliate of any such entity.
The attestation also states that no Cybersecurity or anti-virus software produced or provided by Kaspersky Lab, Inc. is installed in the equipment being certified. This includes equipment with integrated Kaspersky Lab, Inc. software. Anindita Paul, Director of Digital Health RAQAC at Stryker Medical, signs the document, affirming authorization to make these representations and agreeing to notify Intertek of any changes in the identified status.
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Stryker Medical certifies that the equipment for which authorization is sought is not considered "covered" equipment and does not originate from any company named on the Covered List. Furthermore, Stryker Medical confirms that it is not identified on the Covered List as an entity producing covered equipment and is not a subsidiary or affiliate of any such entity.
The attestation also states that no Cybersecurity or anti-virus software produced or provided by Kaspersky Lab, Inc. is installed in the equipment being certified. This includes equipment with integrated Kaspersky Lab, Inc. software. Anindita Paul, Director of Digital Health RAQAC at Stryker Medical, signs the document, affirming authorization to make these representations and agreeing to notify Intertek of any changes in the identified status.
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