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Interpretation ID: 1985-01.18

TYPE: INTERPRETATION-NHTSA

DATE: 01/28/85

FROM: AUTHOR UNAVAILABLE; Frank Berndt; NHTSA

TO: Jerry D. Williams -- Senior Vice President, American Transportation Corporation

TITLE: FMVSS INTERPRETATION

TEXT:

Mr. Jerry D. Williams Senior Vice President American Transportation Corporation Highway 65 South Conway, Arkansas 72032

This is in further response to your December 12, 1984 letter to the National Highway Traffic Safety Administration (NHTSA) concerning our definition of a school bus. Your specific question asked, "Are vehicles which are built to carry ten school aged passengers or less, and which are used for school or related functions, considered by NHTSA to be school buses or multipurpose passenger vehicles?" As explained below, a vehicle carrying 11 or more persons (i.e., 10 children and a driver) to and from school or related events would be considered a school bus. A vehicle carrying 10 or less persons would be a multipurpose passenger vehicle.

Under the definitions section of our Federal Motor Vehicle Safety Standards (49 CFR Part 571.3), vehicles carrying 11 or more persons which are sold for purposes that include carrying students to and from school or related events are "school buses." Under our regulations, a vehicle which is designed to carry less than 11 persons would considered a multipurpose passenger vehicle. Such a vehicle would be certified as complying with the safety standards applicable to multipurpose passenger vehicles.

Ms. Deirdre Hom of my staff informed your associate, Mr. Joe Clark, of the above in a telephone call on December 14, 1984. This letter confirms the information given to Mr. Clark in that conversation.

If you have any further questions, do not hesitate to contact my office.

Sincerely,

Frank Berndt Chief Counsel December 12, 1984

Mr. Frank Berndt, Chief Counsel National Highway Traffic Safety Adm. 407 Street S.W. , Room 5219 Washington, DC 20590

Dear Sir:

We, as a manufacturer school bus bodies, have for some time now been operating with the understanding that vehicles built to transport ten (10) passengers or less came under the vehicle classification designated as a multi-purpose vehicle. For this reason, we have refrained from building school bus bodies with capacities of ten passengers or less. (Please see the attached bulletin we published on this matter.)

It is recently been brought to our attention that this interpretation, which we are recently following, is not a shared practice by every manufacturer. Although we do not have actual verification of the fact, we understand NHTSA has advised some bus body manufacturers that the multi-purpose vehicle definition does not serve the intent of the public law, specifically as it relates to the transportation of ten school aged passengers or less.

We, therefore, wish to have clarification of this matter and specially to the question: Are vehicles which are built to carry ten school aged passengers or less, and which are used for school or related functions, considered by NHTSA to be school buses or multi-purpose vehicles?

We have a bid pending for several units and would appreciate your telex response by Friday, December 14, 1984. I am afraid we will lose this bid unless we can respond positively in the same manner is our competitors have responded.

Sincerely,

Jerry D. Williams Senior Vice President Marketing

JDW:jj

Attachment

TO: All AmTran Dealers FROM: Joe Clark, National Sales Manager

DATE: March 25, 1983

SUBJECT: Minimum Capacity Ratings for School Use Vanguard and Minuteman Model Bus Bodies

In order to certify a Vanguard or a Minuteman model bus body as a school bus, we must observe the federal minimum passenger capacity rating which is now set at ten (10) passengers. This minimum passenger rating does not include the driver. In the case of a lift-equipped bus, the passenger rating would translate to two (2) wheelchair passengers and eight (8) passengers seated in the fixed seating area.

For your information, if a Vanguard or Minuteman order is requested with a rating less than ten (10) passengers we must certify the bus to what is know as a multi-purpose vehicle standard. To meet this standard, other federal standards come into effect which are very stringent and extremely expensive to comply with. For this reason, we request your cooperation in always observing the minimum passenger capacity criteria of ten (10) passengers.

JCC/jj