Motorola Solutions Incorporated

MSI

Motorola Solutions' business is safety and security.

Lobbying Activity

Meeting with Dārta Tentere (Cabinet of Commissioner Maroš Šefčovič)

13 Feb 2025 · Economic Security

Meeting with Dārta Tentere (Cabinet of Commissioner Maroš Šefčovič)

13 Feb 2025 · Economic Security

Meeting with Adam Romanowski (Cabinet of Commissioner Maroš Šefčovič), Bernd Biervert (Cabinet of Commissioner Maroš Šefčovič), Chiara Galiffa (Cabinet of Commissioner Maroš Šefčovič), Renata Goldirova (Cabinet of Commissioner Maroš Šefčovič) and

29 Jan 2025 · EU-US trade

Meeting with Sabine Weyand (Director-General Trade) and

29 Jan 2025 · Transatlantic trade relations in the second Trump administration.

Meeting with Axel Hellman (Cabinet of Commissioner Jessika Roswall), Luis Planas Herrera (Cabinet of Commissioner Jessika Roswall), Paulina Dejmek Hack (Cabinet of Commissioner Jessika Roswall) and

28 Jan 2025 · Exchange of views on the priorities of the current Commission

Meeting with Ioan-Dragos Tudorache (Cabinet of Executive Vice-President Stéphane Séjourné) and JPMorgan Chase & Co. and

27 Jan 2025 · Policies to improve EU’s business environment and competitiveness, business concerns related to regulatory burdens, and key sectoral challenges.

Meeting with Dragoş Tudorache (Member of the European Parliament, Rapporteur)

12 Oct 2022 · Data Act

Meeting with Werner Stengg (Cabinet of Executive Vice-President Margrethe Vestager)

12 Oct 2022 · AI act

Meeting with Ibán García Del Blanco (Member of the European Parliament, Shadow rapporteur for opinion)

12 Oct 2022 · Exchange of views on the AI Act

Response to Light deployment regime for small-area wireless access points

2 Apr 2020

COMMENTS ON DRAFT IMPLEMENTING REGULATION SPECIFYING THE CHARACTERISTICS OF SMALL-AREA WIRELESS ACCESS POINTS PURSUANT TO ARTICLE 57(2) OF DIRECTIVE (EU) 2018/1972 ESTABLISHING THE EUROPEAN ELECTRONIC COMMUNICATIONS CODE Motorola Solutions Inc is a leading global provider of mission critical communications and analytics. We hereby express thanks to the Commission for the opportunity to give feedback on Vertical Sector (private & public) requirements and to post our comments and suggestions. Since this initiative was published, 5G technology has rapidly evolved to the emergence and availability of small and compact, lower cost autonomous (self-contained) 5G systems, which may be owned and operated by the served entity itself (municipality or private enterprise). A regulatory provision to operate such “autonomous small-area access points” has now been introduced nationally by some EU member states, where associated spectrum resources have been identified. Such an option for 5G implementation should be expressed more clearly in the text of this Implementing Regulation, insofar as it constitutes a harmonising measure also for the Vertical Segment’s professional applications of 5G. We maintain that Spectrum Resources within the range 110 MHz – 100 GHz for 5G Small-Area Access Points is among the significant technical parameters pursuant to Article 57(2) of EU Regulation 2018/1972, in particular when Small-Area Access Points are operated autonomously, as serving local corporate industry applications, such as high-precision robotized (M2M) production lines, secure and dependable WiFi, real time video, advanced staff voice, data and video group communications and other advanced digital applications inside and around the users’ facilities (airports, seaports, industrial complexes or municipalities, etc). A proposed text modification follows here: Motorola Solutions recommends that Article 57(2) be amended to clarify that 5G implementations can include autonomous small-area access points as shown below: (2) A small-area wireless access point comprises different elements such as a small central controller (such as eNodeB, gNodeB), including a signal processing unit, an antenna system, cable connections and casing. In some cases, the antenna system or portions thereof could be installed separately from the other elements of a small-area wireless access point and connected by one or more dedicated cables. This may be the case for distributed antenna systems or a distributed radio system used by one or multiple operators. A small-area wireless access point may be designed to serve two or more spectrum users, and it may be operated as an autonomous system serving the owner, such as a municipality, a private business or industrial corporation or similar entity. Identification of spectrum resources for such local, autonomous small-area access points may be laid forth by member states' spectrum regulatory authorities, according to national conditions. Finally, Motorola Solutions recommends including the definition of Autonomous Small-Area Access Point under Article 2.
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Response to Commission Implementing Regulation -information provided for in Article 10 (10) of the RED 2014/53/EU

20 Jan 2017

* We need additional guidance how this regulation is linked to other RED requirements, for example to remove the radio class 2 identifier "!"-mark. Should the "!" mark removed when applying to Art10(10), or do we need to remove "!" mark on 13-Jun when RED becomes mandatory. It is much appreciated to not make the removal of "!°" mark mandatory and have to options to remove it on a running change to avoid scrap costs and difficulties to synchronize the different timelines. * Because the new RED Art10(10) definitions are different to current implemented printing following R&TTE we need to understand if it is ok to continue with the R&TTE package printing until RED Art10(10) becomes mandatory? Current R&TTE package printing lists countries where the product can be used. * Are there any size requirements for the pictogram country code table at the packaging? * It is understood from the RED that the ce-mark also should be at the packaging, can this be confirmed in Art10(10) Annexes with examples if possible? * As we have many products which have to be licensed for all EU countries it would be easier for manufacturers, authorities and customs to allow "EU" as an abbreviation to replace the list of all EU countries. (may include EFTA as well) * Due to other deficiencies in RED like missing harmonized standards, please consider to synchronize the transition times of the different regulations/requirements.
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