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Interpretation ID: 1984-1.7

TYPE: INTERPRETATION-NHTSA

DATE: 02/01/84

FROM: AUTHOR UNAVAILABLE; Frank Berndt; NHTSA

TO: The Firestone Tire & Rubber Co.

TITLE: FMVSS INTERPRETATION

TEXT:

Mr. A. J. DiMaggio Manager, Gov. and Customer Relations The Firestone Tire a Rubber Co. 1200 Firestone Parkway Akron Ohio 44317

Dear Mr. DiMaggio:

This is in reply to your letter of December 8, 1983, to the Administrator, petitioning for a determination that a noncompliance with Motor Vehicle Safety Standard No. 117, Retreaded Pneumatic Tires, be deemed inconsequential as it relates to motor vehicle safety.

The noncompliance consists of omission of the "DOT" certification symbol. You have represented that tires so affected nevertheless meet Standard No. 117 in all other respects.

It has been the policy of this agency since 1977 to treat omissions of the DOT symbol ss failures to certify pursuant to Sections 114 and 108(a)(1)(C) of the National Traffic and Motor Vehicle Safety Act rather than as failures to comply with the Federal motor vehicle safety standard that requires or allows that method of certification. The symbol is not considered to establish a minimum standard of motor vehicle performance. This means that manufacturers who fail to provide the symbol are not required to conduct a notification and remedy campaign, and that accordingly the National Highway Traffic Safety Administration is not required to publish notices of petitions requesting inconsequentiality determinations.

Your petition is therefore moot. Thank you for bringing this matter to our attention.

Sincerely,

Frank Berndt Chief Counsel

December 8, 1983

Ms. Diane Steed, Administrator National Highway Traffic Safety Administration 400 Seventh Street, S.W. Washington, D.C. 20590

RE: PETITION FOR EXEMPTION FOR INCONSEQUENTIAL NONCOMPLIANCE WITH FEDERAL MOTOR VEHICLE SAFETY STANDARD 117

Dear Ms. Steed:

The Firestone Tire & Rubber Company hereby petitions, in accordance witn the provisions of 49CFR 556, for exemption from the notification and remedy requirements of the National Traffic and Motor Vehicle Safety Act for a noncompliance with the requirements of FMVSS 117 (49CFR 571.117). The basis for this petition is that the noncompliance is inconsequential as it pertains to motor safety.

Section S5.2.3 (a) of FMVSS 117 requires that the symbol DOT be permanently molded onto the sidewall of each retreaded tire. Section S6.1 states that this symbol certifies that the retreaded tire on which it appears meets tne requirements of FMVSS 117. One mold, number 49, put into production at our retread plant in Parkersburg, West Virginia, was found to have all the required stamping except the DOT symbol. The tire identification number area in this mold reads -R-DBL 49 XXX instead of DOT-R-DBL 49 XXX. All other molds in this size, L, LR7815 Town & Country were found to be correctly stamped.

The fact that the aforementioned symbol was missing was detected when a tire from the subject mold was submitted to our testing facility as part of our compliance surveillance program. The tire met all other requirements of FMVSS 117, indicating that the plant was eligible for continued certification of compliance insofar as the quality of the product was concerned.

Inventories in the plant of tires from the subject mold were impounded and branded correctly. It is estimated that in the period during which this mold could have been in use, a maximum of 1,340 retreaded tires could have been produced. During this period, weeks 320 to 373, the plant was producing product which was in compliance with the quality of product test requirements of FMVSS 117. Further, all casings used bore the DOT symbols indicating compliance of the original tire with the requirements of FMVSS 109. Only passenger casings with this DOT stamping are used by us for retreading.

The bases upon which this petition is being submitted are as follows:

1. The quality of the subject tires met the requirements of Firestone and NHTSA. Retreaded casings cured in the subject mold all were certified by the original tire manufacturer as being in compliance with FMVSS 109. The plant follows Firestone Retread Shop practices intended to produce high quality, safe retreads. These practices include submitting tires for compliance surveillance testing. 2. The symbol -R- is stamped in the mold in the vicinity of the serial, leaving no doubt that the tire can be identified as a retread. 3. The absence of the symbol DOT does not adversely affect the quality or safety capabilities of the tires cure in the subject mold.

In view of the above, we conclude that the stamping noncompliance is inconsequential as it relates to motor vehicle safety and respectfully request exemption from the notification and remedy requirements of the Act.

Thank you for your consideration of this petition.

Very truly yours,

A. J. DiMaggio MANAGER, GOV. AND CUSTOMER RELATIONS

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