Pasar al contenido principal
Search Interpretations

Interpretation ID: 18033.ztv

Mr. Edward F. Dugan
President
Soda Fountain
FAX 908-322-3026

Dear Mr. Dugan:

This is in reply to your letter of May 14, 1998, to the New York Regional Office of this agency, with respect to a lighting device that you wish to offer to funeral directors. This device is a battery operated lamp, 3 inches in diameter, intended to be attached by a magnet or suction cup to the roofs of cars in funeral processions. The lamp, which emits a white color, flashes, with the intent of assisting drivers in the procession to stay together. You also note your belief that, with the advent of daytime running lamps, headlamps alone "are no longer a sufficient identifier of a funeral procession." You have asked if we have any objection to the use of these lamps.

The use of these lamps would not violate any Federal statute or regulation. They are subject to the laws of the State or municipality in which they will be used. Some jurisdictions may prohibit the use of flashing lights except on police or emergency vehicles. However, we are not conversant with local laws and are not able to advise you about them.

Because our interpretations are a matter of public record, I would like to explain briefly, without legal citations, how we reached our conclusion that the use of these lamps is not prohibited under Federal law. A flashing white lamp cannot be installed on a new motor vehicle, before its first sale, because all lamps must be steady burning, except for turn and hazard warning signals, school bus warning lamps, and headlamps that flash for signaling purposes. After the first sale of a vehicle, the lamp could not be attached by a manufacturer, dealer, distributor, or motor vehicle repair business because that would make inoperative the Federal lighting standard that applied to the vehicle when it was new. But this prohibition covers only the entities named, and installation of the flashing lamp by a person other than the entities named is not prohibited. That is to say, an employee of a funeral home or the owner of a vehicle in the procession can install the lamp without violating Federal law.

Sincerely,
Frank Seales, Jr.
Chief Counsel
ref:108
d.6/24/98