I keep flipping between 500.8 and 501.105. My question about 500.8(B)(3) is that it says "Where specifically permitted in articles 501 through 503, general purpose equipment...shall be permitted in CID2 location if the equpment does not constitute a source of ignition."
What I would like this to say would be "General purpose equipment...shall be permitted in CID2 locations if the equipment does not constitute a source of ignition". It does not say this however, and says that the equipment has to be specifically permitted in 501 through 503.
So just reading 500.8(B)(3), then you are limited to just Transformers, Capacitors, Meters, Instruments, Relays, Motors... that are specifically described in article 501. If the electronics equipment is not a "Meter, Instrument, or Relay" for example, then the exception in 500.8(B)(3) would not be of any use.
So would it then be 500.8 (A)(3) alone that would allow someone to use an electronics device that is not an Instrument, Meter, or Relay in a CID2 area if the evaluation/evidence provided for the device show that it does not have any exposed surfaces that operate at temperatures in excess of the AIT of the specific gas or vapor, and the device is non arcing or sparking?
For example, a PLC. I know most are labelled for CID2, but if it were not, would I be able to consider it an "Instrument" and use the analysis from 501.105? If it is not considered an instrument, then what?
What I would like this to say would be "General purpose equipment...shall be permitted in CID2 locations if the equipment does not constitute a source of ignition". It does not say this however, and says that the equipment has to be specifically permitted in 501 through 503.
So just reading 500.8(B)(3), then you are limited to just Transformers, Capacitors, Meters, Instruments, Relays, Motors... that are specifically described in article 501. If the electronics equipment is not a "Meter, Instrument, or Relay" for example, then the exception in 500.8(B)(3) would not be of any use.
So would it then be 500.8 (A)(3) alone that would allow someone to use an electronics device that is not an Instrument, Meter, or Relay in a CID2 area if the evaluation/evidence provided for the device show that it does not have any exposed surfaces that operate at temperatures in excess of the AIT of the specific gas or vapor, and the device is non arcing or sparking?
For example, a PLC. I know most are labelled for CID2, but if it were not, would I be able to consider it an "Instrument" and use the analysis from 501.105? If it is not considered an instrument, then what?