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• Chemical, biological, radiological, nuclear, and high explosive (CBRNE) operational search and <br />rescue equipment, logistical support equipment, reference materials, or incident response <br />vehicles; <br />• Interoperable communications equipment, including for alert and warning capabilities; <br />• Components or systems needed to address flaws in the computerized systems that control <br />generators, switching stations, and electrical substations as well as other threats to infrastructure <br />critical to the U.S. economy; <br />• Detection Equipment; <br />• Power equipment; <br />• Terrorism incident prevention equipment; and <br />• Physical security enhancement equipment. <br />Recipients may purchase equipment not listed on the AEL, but only if they first seek and obtain prior <br />approval from FEMA. <br />Unless otherwise noted, equipment must be certified as meeting required regulatory and FEMA-adopted <br />standards to be eligible for purchase using IPR funds. Equipment must comply with the Occupational <br />Safety and Health Act requirement for certification of electrical equipment by a nationally recognized <br />testing laboratory and demonstrate compliance with relevant FEMA-adopted standards through a <br />s uppl i er ' s de cl a at i on of c o n f or in t y wi t h a p p r op <br />Organization for Standardization/International Electro-technical Commission (ISO/IEC) 17050, Parts One <br />and Two. The recipient must have all necessary certifications and licenses for the requested equipment, as <br />appropriate, prior its purchase. In addition, recipients that are using IPR funds to support emergency <br />communications equipment activities must comply with the SAFECOM Guidance on Emergency <br />Communications Grants, including provisions on technical standards that ensure and enhance <br />interoperable communications. This SAFECOM Guidance can be found at: <br />https://www.cisa.gov/safecom/funding. <br />Requirements for Small Unmanned Aircraft Systems <br />All requests to purchase Small Unmanned Aircraft Systems (sUAS) with FEMA grant funding must comply <br />with FEMA Policy 207-22-0002, Prohibited or Controlled Equipment Under FEMA Awards, and also <br />i n c l u d e a d e s c r i p t i o n o f t h e p o t i c i e s a n d p r o c e d u r <br />and civil liberties of the jurisdiction that will purchase, take title to or otherwise use the sUAS equipment. <br />SUAS policies are not required at the time of application but must be received and approved by FEMA prior <br />to obligating IPR funds. All grant -funded procurements must be executed in a manner compliant with <br />federal procurement standards at 2 C.F.R. §§ 200.317 — 200.327. For recipients that use IPR funds for <br />sUAS, FEMA advises that there is a general privacy concern related to the use of this equipment if the <br />data the devices collect is transmitted to servers not under the control of the operator. It has been reported <br />that some manufacturers of sUAS encrypt data and send that data to servers outside the United States. The <br />U. S. De p a r t me n t o f Home 1 and S e c u r i t y' s P r i v a c y Of <br />transmission and storage issues with vendors to reduce the possibility of data breaches. <br />Additionally, the Joint Explanatory Statement (JES) accompanying the FY 2023 DHS Appropriations <br />further requires recipients to certify they have reviewed the Industry Alert on Chinese Manufactured <br />Unmanned Aircraft Systems, and completed a risk assessment that considers the proposed use of foreign - <br />made sUAS to ascertain potential risks (e.g., privacy, data breaches, cybersecurity, etc.) related to foreign - <br />made versus domestic sUAS. <br />���Nos��. e <br />��� <br />FEMA IPR Appendix 12023 Page F-7 <br />