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Interpretation ID: 77-1.3

TYPE: INTERPRETATION-NHTSA

DATE: 01/18/77

FROM: AUTHOR UNAVAILABLE; F. Berndt; NHTSA

TO: Meyer Products, Inc.

TITLE: FMVSS INTERPRETATION

TEXT:

JAN 18 1977 N40-30

Mr. D. J. Henry Executive Vice President Meyer Products, Inc. 18513 Euclid Avenue Cleveland, Ohio 44112

Dear Mr. Henry:

This is in response to your November 16, 1976, letter concerning the removal of snow below assemblies prior to testing motor vehicles for conformity to Federal Motor Vehicle Safety Standard No. 301-75, Fuel System Integrity.

You have pointed out that a snow plow assembly includes components other than the part that actually contacts and moves the snow. You have requested confirmation of your interpretation that "no part of the snow plow assembly, including mounting components, was to be attached to a vehicle for purposes of (compliance testing ..."

That interpretation is incorrect. The presence or absence of snow plow components on a vehicle during compliance testing depends on whether the components are included in the vehicle's "unloaded vehicle weight". As the July 16, 1976, letter from Mr. Robert Carter of this agency to the jeep Corporation indicates, unloaded vehicle weight includes the weight of accessories that are not ordinarily removed from the vehicle when they are not in use. The statement in that letter that "snow plows" would be removed by the NHTSA prior to compliance testing can be amplified as follows: 1) A snow plow, i.e., the component of a snow plow assembly that actually contacts and moves the snow, will be removed. 2) Those other components of a snow plow assembly that, like the snow plow itself, are ordinarily removed when not in use will also be removed. 3) Those components which are not ordinarily removed from the vehicle when not in use will not be removed by the NHTSA prior to compliance testing. The agency will abide by a manufacturer's good faith categorization of accessories and components of accessories.

Sincerely,

Frank Berndt

Acting Chief Counsel

November 16, 1976

Mr. Frank A. Berndt Acting Chief Counsel National Highway Traffic Safety Administration 400 Seventh St., S.W. Washington, D.C. 20590

Dear Mr. Berndt:

Recently, our Sales Manager, Mr. Michael Groff, had the pleasure of meeting with Mr. Robrt N. Williams of your organization in regard to Federal Motor Vehicle Safety Standard 301-75, and Mr. Williams suggested that we address this letter to you.

Meyer Products, Inc. is a manufacturer of snow plows and salt spreaders for installation on or use in conjunction with motor vehicles, and we have been concerned about the effect of FMVSS 301-75 upon our business and that of our distributors.

In attempting to determine what, if any, action we should be taking with respect to FMVSS 301-75, we have examined a letter dated July 16, 1976, from Robert L. Carter, Associate Administrator for Motor Vehicle Programs of the National Highway Traffic Safety Administration, to Jeep Corporation, which states that snow plows "would be removed by the NHTSA prior to testing for conformity to Standard No. 301-75." As you will appreciate, a snow plow assembly consists of many components other than the moldboard that actually contacts and moves the snow. It has been our interpretation that no part of the snow plow assembly, including mounting components, was to be attached to a vehicle for purposes of teting the vehicle for compliance with FMVSS 301-75, and Mr. Groff has reported to us that our interpretation was orally confirmed by Mr. Williams.

In order to better asdsure our distributors that the installation of Meyer Products snow plows by them will not require them to retest the vehicles and will not result in their violating the National Traffic and Motor Vehicle Safety Act of 1966, as amended, or the regulations promulgated pursuant thereto, we would appreciate your sending us a leter confirming our understanding as recited above.

Since winter and the snow season have already arrived, it is imperative that we advise our distributors with respect to FMVSS 301-75 immediately, and we, therefore, request and thank you for your prompt response to this letter.

Sincerely yours,

MEYER PRODUCTS, INC.

D. J. Henry Executive Vice President

DJH/lt

cc: Marc W. Freimuth, Esq. Squire, Sanders & Dempsey

cc: Mark Schwimmer, Esq. National Highway Traffice Safety Administration

cc: Robin N. Williams National Highway Traffic Safety Administration