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Interpretation ID: nht80-1.48

DATE: 04/10/80

FROM: AUTHOR UNAVAILABLE; F. Berndt; NHTSA

TO: Whitley & Whitley, Inc.

TITLE: FMVSS INTERPRETATION

TEXT:

Mr. William N. Whitley Vice President, Whitley & Whitley, Inc. 20600 Chagrin Boulevard, Tower East Shaker Heights, Ohio 44122

Dear Mr. Whitley:

This responds to your February 8, 1980, letter asking whether the CarVan that you manufacture would be required to comply with Federal safety standards. The CarVan is designed to be mounted over the trunk of a car and weighs approximately 80 pounds.

The CarVan is considered a piece of motor vehicle equipment for purposes of compliance with the motor vehicle safety standards. Since it does not slide into the cargo area of a truck, however, it would not be considered a slide-in camper subject to Standard No. 126, Truck-Camper Loading. However, as a piece of equipment, it would be required to comply with Standard No. 205, Glazing Materials. I am enclosing an information sheet detailing where you can obtain a complete copy of all motor vehicle safety standards.

The agency notes that the CarVan would be installed in such a location that it would obscure the rear lights of the vehicle upon which it is mounted. The agency considers this to be very dangerous and concludes that you should adopt a tail light system for the CarVan. The Federal safety standard for lighting is Standard No. 108. Without a tail light system, the agency concludes that the installation and use of your CarVan would constitute a safety related defect, and we would exercise our authority to require any such defect to be remedied. We note also that many States prohibit any device that covers the license plates.

The agency would like to take this opportunity to correct some misinformation that was supplied to you on May 4, 1978, when we responded to your previous request for information on a camper that was designed to be loaded in a car's trunk. In that letter, the agency stated that the camper would be required to comply with Standard No. 126. That statement is incorrect. Since your camper is designed for a passenger car and not a truck, it would not be required to comply with Standard No. 126. It would be subject to the other standards mentioned above for the CarVan. We regret any inconvenience our error may have caused you.

Sincerely,

Frank Berndt Chief Counsel

Enclosure

February 8, 1980

U.S. Department of Transportation National Highway Traffic Safety Administration Washington, D.C. 20590

Attention: Administrator for Rulemaking

Dear Sir:

We are considering manufacturing the CarVan. The CarVan is described in the enclosed resume.

Please indicate how the CarVan will be classed and be regulated by the Federal Motor Vehicle Safety Standards. Please note the CarVan will not slide into the car trunk but will be supported over the trunk.

I am enclosing a copy of your response to my request on a larger but similar type unit.

Sincerely,

WHITLEY & WHITLEY, INC.

William N. Whitley Vice President

WNW:Cj

The CarVan is a new light weight (80 pound) foldable gas saving recreational vehicle (RV). The unit can be attached to a standard or compact automobile trunk and meet the minimal living needs of two adults without increasing the gas comsumption of the automobile. The CarVan provides safe, secure, private space for sleeping, resting, cooking, eating, changing clothes and can be used for all day sports activities, fishing, hunting, skiing, overnight recreational or business travel.

The CarVan will appear and function (without wheels) as an extension of the car. The dimensions of the CarVan in the up position provide sufficient room for comfortable sitting, sleeping and standing, but extend the length of the car by only two feet. The unit folds down for easy road travel. The rear view mirror and regular side view mirrors of the car are functional while driving with the CarVan attached. No additional driving skills are required. Standard size garages and parking spaces may be used for car storage with the CarVan attached.