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Interpretation ID: 6320.jeg

    Mr. John Lovstedt
    Highway Safety Manager
    DOT/HWY-V, Room 511
    Kapolei, Hawaii 96707


    Dear Mr. Lovstedt:

    This responds to your letter asking about the relationship between Federal and State laws relating to kit cars. The issues raised by your letter are addressed below.

    In your letter, you cited the example of a kit car in which everything except the engine and transmission is new. As you suggest in your letter, this would be considered a new motor vehicle under Federal law. The assembler would be the "manufacturer" of the vehicle. Under Federal law, 49 U.S.C. 30112(a), a person may not manufacture for sale, sell, offer for sale, or introduce in interstate commerce any vehicle that does not comply with all applicable Federal motor vehicle safety standards (FMVSS) in effect at the time of the assembly of the vehicle. The manufacturer would also have to certify compliance with all applicable FMVSS.

    You stated, however, that Hawaii State law allows a person to build, register, use, and sell for use on the public roads such a vehicle without certifying compliance with the FMVSS, and asked whether this portion of the law would be in violation of 49 U.S.C. 30103. You also stated that you do not see how a person could ever "legally register" a car like this, yet people seem to be registering them in other states.

    While we decline to provide an opinion about the Hawaii law you cite, I will note that the issue of whether a kit car is considered to be a new motor vehicle subject to the FMVSS in effect at the time of the assembly of the vehicle is a matter of Federal law, not State law. Thus, a person who manufactured a kit car that did not comply with the FMVSS and sold it, offered it for sale, or introduced it into interstate commerce would be in violation of Federal law, regardless of any State laws.

    The issue of whether the person could legally register the vehicle would be a matter of State law. However, even if the State law did permit such registration, the person would still be in violation of Federal law.

    I hope this information is helpful. If you have any further questions, please call Edward Glancy of my staff at (202) 366-2992.

    Sincerely,

    Jacqueline Glassman
    Chief Counsel

    ref:VSA
    d.10/29/03