Interpretation ID: 2673y
Vice President
Industry-Government Affairs
750 17th Street, NW
Suite 902
Washington DC 20006
Dear Mr. Nishibori:
This responds to your request for an interpretation of Standard No. 114, Theft Protection (49 CFR 571.114). You were uncertain whether your shift lock emergency override system, your emergency key release, and your transmission park lock system comply with S4.2 and S4.3, as amended by a May 30, 1990 final rule (55 FR 21868). On June 29, 1990, you submitted a petition for reconsideration which the agency is currently considering. Under the revised requirements, section S4.2 provides that:
"Each vehicle shall have a key-locking system that, whenever the key is removed, prevents: (a) the normal activation of the vehicle's engine or motor; and (b) either steering or forward self-mobility of the vehicle or both. For a vehicle equipped with an automatic transmission with a "park" position, the key-locking system shall prevent removal of the key unless the transmission or transmission shift lever is locked in "park" or becomes locked in "park" as the direct result of removing the key."
As explained below, we have made the following interpretations concerning your systems based on our understanding of them from your petition for reconsideration, your July 25, 1990 letter, and your discussions with agency staff.
By way of background, the National Traffic and Motor Vehicle Safety Act, ("Vehicle Safety Act," 15 USC 1381 et seq.) requires every new motor vehicle sold in the United States to be certified as complying with all applicable Federal motor vehicle safety standards. The Vehicle Safety Act specifies that the manufacturer must certify that each of its vehicles complies with all applicable safety standards in effect on the date of manufacture. Because of this statutory requirement, this agency does not approve any manufacturer's vehicles or offer assurances that the vehicles comply with the safety standards. Any person violating the Vehicle Safety Act by manufacturing or selling new noncomplying vehicles may be liable for potential penalties of $1,000 per violation up to $800,000.
Shift Lock Emergency Override You explained that your shift lock emergency override system is operable by depressing a button on the lower, rear portion of the shift lever. By depressing the button, the transmission may be shifted out of "park," independent of the ignition key position or the key being in the ignition switch. You expressed your opinion that the transmission remains "locked" in "park" until it is "unlocked," either by turning the ignition key to the "on" position and depressing the brake pedal or by operating the emergency shift release override. This led you to conclude that your emergency shift override would be permissible under S4.2(b).
We disagree with your suggested interpretation. Under S4.2(b), the key-locking system must prevent removal of the key unless the transmission or transmission shift lever is locked in "park" or becomes locked in "park" as the direct result of removing the key. Given the presence of the emergency shift release override, we do not believe the transmission or transmission shift lever would ever be "locked" in park, since it could be released without regard to the key used to operate the vehicle's key-locking system. Your alternative shift lock system in which the manual override would be operable only after removing a cover over the override lever would also not appear to comply with S4.2 because the presence of a cover would not affect one's ability to release the transmission shift lever without regard to the key used to operate the vehicle's key-locking system.
Emergency Key Release You explained that your emergency key release system facilitates removal of the ignition key in the event of an electrical system failure. That system permits overriding the ignition key lock, so that the ignition key can be removed from the vehicle and the driver can lock the vehicle. You explained that the emergency key release override is activated by removing a cover over the ignition switch and then using a screw driver to activate a hidden lever located inside the exposed ignition switch compartment.
We do not concur with your suggested interpretation of S4.2. That requirement provides that "the key-locking system shall prevent removal of the key unless the transmission or transmission shift lever is locked in "park." The regulatory text does not refer to alternative methods of key removal such as the procedure you describe. While you state that virtually any key locking system can be overriden through some form of lock disassembly and associated procedures, we do not consider the simple override you describe to be similar to lock disassembly. Therefore, an emergency key release system in which the key could be removed in a position other than "park" would not comply with S4.2, regardless how the key could be removed. Nevertheless, such an emergency key release would be permissible if it were operable only while the transmission or transmission shift lever were locked in the "park" position. You should be aware that we are evaluating such systems in our review of the petitions for reconsideration to the final rule.
Park Lock System You explained that your park lock system prevents drivers from inadvertently depressing the accelerator pedal rather than the brake pedal when shifting out of "park". This is accomplished by permitting the transmission lever to be moved out of "park" only if the ignition key is in the "on" position and the brake pedal is depressed. You further explained that if the transmission is placed in "park," the shift lever locks in that position when the ignition key is turned to the "off" position. You expressed your belief that your park lock system complies with S4.3, as amended.
I agree that your park lock system appears to comply with S4.3. That provision requires that the prime means for deactivating the vehicle's engine or motor, typically the ignition key, shall not activate the key-locking system described in S4.2(b). Based on our understanding of your key-locking system, it appears to comply with S4.3 because that provision refers to the key-locking system and not a transmission shift lock. As you correctly note, the purpose of S4.3 is to prevent the potentially dangerous situation in which the ignition key of a moving vehicle is turned to the "off" position causing the steering column to lock.
You asked that we continue to consider your petition for reconsideration, if, as we have done, we concluded that some of your suggested interpretations were incorrect. We will notify you of our response to that petition as soon as we complete our review of it.
I hope this explanation is helpful. Please contact Mr. Marvin Shaw of my staff at (202) 366-2992 if you have any further questions.
Sincerely,
Paul Jackson Rice Chief Counsel Enclosure ref:ll4 d:9/26/90