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Interpretation ID: GF004197

    Mr. Robert Babcock
    Manager, Corporate Affairs
    Hyundai America Technical Center, Inc.
    5075 Venture Drive
    Ann Arbor, MI 48108


    Dear Mr. Babcock:

    This responds to your letter regarding applicability of Federal Motor Vehicle Safety Standard (FMVSS) No. 201, Occupant Protection in Interior Impact, to items attached to a floor-mounted console. You specifically ask about a foldable video monitor that is attached to the console. Our answer is the monitor you depict would be excluded.

    FMVSS No. 201 establishes performance requirements designed to reduce the risk of injury in the event an occupant strikes the interior of a vehicle during a crash. Specifically, certain areas within the vehicle must be properly padded or otherwise have energy absorbing properties to minimize head injury in the event of a crash. Head impact protection performance is determined, in part, by testing specific targets on the vehicle interior.

    S5.1.1(a) of FMVSS No. 201 excludes console assemblies from the head impact protection requirements of the standard. Although console assemblies are not defined in FMVSS No. 201, they commonly refer to low-lying structures mounted on the vehicle floor between the front seats. You ask if the exclusion in S5.1.1(a) would apply to a foldable video monitor attached to the console.

    The height of a console assembly is not limited by our standards. If the monitor were permanently incorporated into the console in the protruded position, it would be considered part of the console and excluded from the standard even though the height of the console would be unusually high. The fact that the monitor you are considering can fold to a "stored" position does not have a bearing on whether the monitor is part of the console. We consider a video monitor attached to the console to be part of the console even when it is foldable.

    If you need further assistance, please contact George Feygin of my staff at this address or at (202) 366-2992.

    Sincerely,

    Jacqueline Glassman
    Chief Counsel

    ref:201
    d.7/7/05