Interpretation ID: 86-5.37
TYPE: INTERPRETATION-NHTSA
DATE: 10/24/86
FROM: AUTHOR UNAVAILABLE; Erika Z. Jones; NHTSA
TO: Mr. Heinz Huentemann
TITLE: FMVSS INTERPRETATION
TEXT:
Mr. Heinz Huentemann Vice-President Spartan Transit Supply Corp. 325 Fairlane Drive Spartanburg, SC 29302
Dear Mr. Huentemann:
This responds to your letter dated June 17, 1986, asking how our regulations affect a convex outside mirror manufactured by your company. In your letter, you state that this convex mirror has a reflective surface of 92.5 square inches, and would be used on the curb side of a transit bus. You also state that this convex mirror has a radius of curvature of 94.5 inches. You specifically asked whether this mirror could be used on the curb side of a transit bus.
Standard No. 111, Rearview Mirrors, a copy of which is enclosed, sets different requirements for buses depending on whether the gross vehicle weight rating (GVWR) is above 10,000 pounds. I believe that the GVWR of a transit bus would exceed 10,000 pounds.
Buses with a GVWR of more than 10,000 pounds must meet S7.1, which requires buses, other than school buses, to have outside mirrors of unit magnification, each with not less than 50 square inches of reflective surface, installed with stable supports on both sides of the vehicle. These mirrors must also be located so as to provide the driver a view to the rear along both sides of the vehicle and must be adjustable both in the horizontal and vertical directions to view the rearward scene. Although the surface, due to the 94.5-inch radius of curvature, it is not a unit magnification or plane mirror. Therefore, it does not meet the requirements for rearview mirrors on new buses.
A manufacturer of new transit buses could use your convex mirror on the curb side of the bus in addition to a unit magnification mirror which ? all applicable requirements of Standard No. 111. However, a commercial business could not substitute your mirror for a complying mirror. Section 108(a) (2) (A) of the National Traffic and Motor Vehicle Safety ? prohibits any manufacturer, distributor, or dealer of motor vehicles or motor vehicle equipment, or any motor vehicle repair business from knowingly rendering inoperative any device or element of design installed on a vehicle in compliance with a safety standard. Thus, a manufacturer, distributor, dealer, or repair business could not remove a unit magnification rearview mirror, installed as original equipment in compliance with our standard, and replace that mirror with a convex mirror.
The sample of your rearview mirror, #STS-0-253, is being returned to you under separate cover.
I hope this information is helpful to you.
Sincerely,
Erika Z. Jones Chief Counsel
Legal Council - NHPSA - NHTSA Room 5219 US-Department of Transportation 407th Street SW Washington, D.C. 20590
Gentlemen:
Re: Authorization for use of convex outside mirrors with convexity of approximately 94.5" radius for installation on curb side of 130 Transit Buses for SEPTA, Philadelphia, PA
We are supplying the inside- and outside mirrors for a number of 130 AD8? Transit Buses to be built by Neoplan USA Corporation, Lamar, CO for Southeastern Pennsylvania Transport Authority, Philadelphia, PA.
On the curb side, these buses will be equipped with a mirror 14 x 6.6" having a mirror surface of 92.5 sq. inch. The convexity is abt.94.5" in mirror radius.
With this petition we enclose a sample of this mirror, #STS-0.253, and which we please may ask you to return to us after inspection.
Having contacted by phone the National Highway Safety Administration and the Pennsylvania Department of Transportation Bureau of Traffic Safety Operations, Harrisburg, PA, we have been advised, that in accordance with FMVSS 1011 and 49 CFR Standard 111 a convex mirror on the curb side can have a convexity between 35" minimum to 65" maximum. Since our mirror has convexity of 94.5" radius it is meeting the required standard.
As this matter is of urgency, may we please, ask to have your written authorization at your earliest convenience.
Sincerely, Spartan Transit Supply Corp.
Heinz Huentemann Vice-President
Encl. - 1 Sample mirror - # STS - 0.253