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Interpretation ID: garymiller





    The Honorable Gary Miller
    Member, United States House of
    Representatives
    22632 Golden Spring Drive
    Diamond Bar, CA 91765


    Fax: (909) 612-1087


    Dear Congressman Miller:

    Thank you for your telephone inquiry seeking information for a constituent about the Federal requirements applicable to the marking of automotive wheel rims. Mr. Jonny Vong of your staff has advised us that the constituent is a rim manufacturer who believes that other rim manufacturers may not be marking their rims as required by law.

    There are two Federal Motor Vehicle Safety Standards (FMVSS) that apply to wheel rims, one for passenger cars and the other for rims for all other types of motor vehicles. Markings are only required to appear on rims for use on motor vehicles other than passenger cars. However, to be certain that I answer your question fully, I will explain our requirements for both passenger car rims and rims for use on other motor vehicles.

    The two applicable standards are FMVSS No. 110, Tire Selection and Rims - Passenger Cars (49 CFR 571.110), and FMVSS No. 120, Tire Selection and Rims for Motor Vehicles Other Than Passenger Cars (49 CFR 571.120). I have enclosed copies of both these standards for your information.

    For passenger cars, section S4.4 of FMVSS No. 110 specifies two requirements. First the rim must be constructed to the dimensions of one of the rims that is listed under the definition of a test rim in FMVSS No. 109. This means that the rim must comply with the dimensional requirements shown for that rim size in the current publications of specified standardization organizations, including the Tire and Rim Association, The European Tyre and Rim Technical Organization, or the Japan Automobile Tire Manufacturers Association. Second, in the event of a rapid loss of inflation pressure with the vehicle traveling in a straight line at 60 miles per hour, the rim must retain the deflated tire until the vehicle can be stopped with a controlled braking application. No markings are required on passenger car rims.

    For rims for use on motor vehicles other than passenger cars, FMVSS No. 120 also specifies two requirements. The first requirement, set forth in section S5.1.1, is that the rims on a vehicle must correspond with the size tire on the vehicle, i.e., be listed as suitable for use with that tire size by the tire manufacturer, pursuant to either FMVSS No. 109 or No. 119. This would be done in the publications of the standardization organizations, as explained above. This requirement is the responsibility of the vehicle manufacturer, not the rim manufacturer, since only the vehicle manufacturer knows what size tires will actually be mounted on the rim.

    The second requirement, set forth in S5.2, is that rims be marked with five specified items of information. These are:

    (1) A specified designation indicating the source of the rim's published nominal dimensions;

    (2) The rim size designation and, in the case of multipiece rims, the rim type designation;

    (3) The symbol DOT, which constitutes a certification by the rim manufacturer that the rim complies with the applicable requirements of the safety standards;

    (4) A designation identifying the rim manufacturer by name, trademark, or symbol; and

    (5) The month and year in which the rim was manufactured.

    If, after reviewing this information, your constituent continues to believe that other rim manufacturers are not complying with any applicable standard or standards, he or she may wish to contact John Finneran in NHTSA's Office of Vehicle Safety Compliance at (202) 366-0645.

    For your constituent's information, I am enclosing fact sheets we prepared entitled Information for New Manufacturers of Motor Vehicles and Motor Vehicle Equipment, and Where to Obtain NHTSA's Safety Standards and Regulations.

    I hope this information is helpful. If you have any questions or need additional information, feel free to contact Nancy Bell of my staff at (202) 366-2992.


    Sincerely,


    Frank Seales, Jr.
    Chief Counsel


    cc: Washington Office


    Enclosures
    ref:110
    d.7/31/00