Pasar al contenido principal
Search Interpretations

Interpretation ID: aiam0194

Mr. Warren M. Heath, Commander, Engineering Section, Department of California Highway Patrol, P.O. Box 898, Sacramento, CA 95804; Mr. Warren M. Heath
Commander
Engineering Section
Department of California Highway Patrol
P.O. Box 898
Sacramento
CA 95804;

Dear Mr. Heath: In response to your letter of July 9 to Mr. Toms I would like to mak clear that the creation of the subcategory 'mobile structure trailer' does not remove mobile homes towed on their own wheels from their original categorization under the Federal motor vehicle safety standards as trailers. This means that rule making actions applicable to 'trailers' are also applicable to mobile homes unless there is specific language indicating that a Federal standard or portion thereof does not apply to a mobile structure trailer.; Therefore, in answer to your specific questions: >>>(a) Proposed Standards Nos. 119 and 120 would apply to trailers an therefore to mobile structure trailers.; (b) No proposal has been issued which would extend the Federa hydraulic brake standard, No. 105, to cover trailers. Therefore a State may adopt hydraulic brake requirements for mobile homes. However, we have issued a proposal (Docket No. 70-16, 35 F.R. 10456, June 26, 1970) which would establish requirements for 'trailers equipped with air brake systems'. If adopted, this new standards would preclude a state from adopting other than identical air brake requirements for mobile homes and other trailers. The point may be academic as it is my understanding that mobile homes, as a rule, are equipped with electric brakes.<<<; Sincerely, Lawrence R. Schneider, Assistant Chief Counsel, Regulation