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Interpretation ID: 7169-3

Mr. Charles Chun
General Manager
Kia Motors Corporation
Los Angeles Office
1 Technology Drive, Building H
Irvine, CA 92718

Dear Mr. Chun:

This responds to your letter of April 1, 1992, requesting an interpretation of section S5 of Federal Motor Vehicle Safety Standard No. 214, Side Impact Protection. You asked two questions, which I have answered below.

First, you asked about the meaning of "manufactured date," in connection with cars that would be produced at your factory in Korea and imported into the United States. Specifically, you asked whether the "manufactured date" would be the date of production at the Kia factory or the date of U.S. customs clearance.

For purposes of S5 of Standard No. 214 and all the rest of the Federal motor vehicle safety standards, the date of manufacture is the date on which the assembly and other manufacturing operations are completed for a motor vehicle. See 49 CFR Part 571.7 and 49 CFR Part 567.4(g)(2) and (5). Therefore, the "manufactured date" for the your company's vehicles would be the production date at the Kia factory in Korea.

Second, you asked whether "manufactured date," as used in S5 of Standard No. 214, has the same meaning as "model year." The answer is no. The term "model year" is defined in 49 CFR Part 565.3(h) as "the year used to designate a discrete vehicle model irrespective of the calendar year in which the vehicle was actually produced, so long as the actual period is less than two calendar years." As explained above, the concept of "manufactured date" refers to the actual date on which manufacturing operations are completed on a vehicle, not a year designation chosen by the manufacturer.

Please note that the minimum percentage phase-in requirements for Standard No. 214's dynamic requirements are based on annual production periods and not model years. See, for example, S8.1 to S8.1.1 of Standard No. 214. A manufacturer's annual production of passenger cars manufactured on or after September 1, 1993 and before September 1, 1994 would include all passenger cars completed during that time. The annual production period for purposes of the Standard No. 214 phase-in would not be based on the number of passenger cars which the manufacturer chose to designate as model year 1994 cars.

I hope the above information is responsive to your inquiry. Should you have any further questions or need any additional information regarding this matter, please feel free to contact Mr. Walter Myers of my staff at this address or by telephone at (202) 366-2992.

Sincerely,

Paul Jackson Rice Chief Counsel

ref:214#571#567 d:5/22/92