FCC Declaration of Conformity

United States — 47 CFR Part 15, Subpart B

Draft — not yet issued. This Supplier's Declaration of Conformity is in preparation and is not in force. The radio module's FCC grant is on file (Contains FCC ID: 2AC7Z-ESPS3WROOM1); the Declaration will be issued once compliance testing of the finished product is complete.

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YachtLINK™ (model YLK-1-WIFI) is declared as a Class B digital device under FCC 47 CFR Part 15 Subpart B and contains FCC ID 2AC7Z-ESPS3WROOM1. This page carries the FCC Supplier's Declaration of Conformity and the required user notices.

Supplier's Declaration of Conformity

47 CFR §§ 2.1077 and 15.101 (Class B digital device).

Product nameYachtLINK™
Model / type numberYLK-1-WIFI
Product descriptionNMEA 2000® Marine Gateway
Radio moduleContains FCC ID: 2AC7Z-ESPS3WROOM1 (Espressif Systems ESP32-S3-WROOM-1)

Responsible Party — U.S. Contact

Party nameYACHTWAVE (Durban Equity Holdings II, LLC)
Address935 N Beneva Rd, Ste 609-2056, Sarasota, FL 34232, USA
Contact[email protected]  ·  +1 (941) 291-0040

Declaration

This device complies with Part 15 of the FCC Rules. The manufacturer declares, under its sole responsibility, that the product identified above has been tested and found to comply with the limits for a Class B digital device, pursuant to Part 15, Subpart B of the FCC Rules. These limits are designed to provide reasonable protection against harmful interference in a residential installation.

Operation is subject to the following two conditions:

  1. This device may not cause harmful interference; and
  2. This device must accept any interference received, including interference that may cause undesired operation.

User Information (47 CFR §15.105)

This equipment has been tested and found to comply with the limits for a Class B digital device, pursuant to Part 15 of the FCC Rules. This equipment generates, uses and can radiate radio-frequency energy and, if not installed and used in accordance with the instructions, may cause harmful interference to radio communications. However, there is no guarantee that interference will not occur in a particular installation. If this equipment does cause harmful interference to radio or television reception, the user is encouraged to try to correct the interference by one or more of the usual measures (reorient or relocate the receiving antenna; increase separation between the equipment and receiver; connect the equipment to a different circuit; or consult the dealer).

Modifications (47 CFR §15.21)

Changes or modifications not expressly approved by the party responsible for compliance could void the user's authority to operate the equipment.

RF Exposure Statement

This equipment complies with FCC radiation exposure limits set forth for an uncontrolled environment. This equipment should be installed and operated with a minimum distance of 20 cm (8 inches) between the radiator and your body. This transmitter must not be co-located or operating in conjunction with any other antenna or transmitter.

California Proposition 65

WARNING: This product can expose you to chemicals including lead and di(2-ethylhexyl)phthalate (DEHP), which are known to the State of California to cause cancer and birth defects or other reproductive harm. For more information go to www.P65Warnings.ca.gov.

Radio Module

The intentional radiator is a certified modular transmitter bearing FCC ID 2AC7Z-ESPS3WROOM1; it is integrated unmodified and in accordance with the module grant conditions. The single-modular Grant of Equipment Authorization (Nemko North America TCB, granted 2022-01-21) is held in the technical documentation. The product label carries the statement "Contains FCC ID: 2AC7Z-ESPS3WROOM1".

Signed for and on behalf of the manufacturer:

Durban Equity Holdings II, LLC (dba YACHTWAVE)
935 N Beneva Rd, Ste 609-2056, Sarasota, FL 34232, USA

/john e. okeefe/

Electronic signature

Name: John E. O'Keefe  ·  Title: Chief Executive Officer
Place of issue: Sarasota, FL, United States  ·  Date of issue: 2026-08-01