Interpretation ID: aiam1200
Associate Director
Truck Body and Equipment Association
Inc.
5530 Wisconsin Avenue
Suite 1220
Washington
DC 20015;
Dear Mr. Haransky: This is in reply to your letter of July 6, 1973, forwarding to us letter from Mr. Jim Finley of the Hughes Tool Company. Mr. Finley describes two situations, requesting an opinion on the applicability of NHTSA requirements to each of them.; The first question is whether an earth auger body that is mounted o crane carrier will conform to the Certification regulations (49 CFR Part 567) if the vehicle exceeds its stated weight ratings when a derrick is mounted on the vehicle but a permanent metal plate is also affixed to the vehicle which states: 'The GVWR and GAWR require that the derrick be removed before operating this vehicle upon a public highway.'; We do not believe such a label may be used to bring a vehicle int conformity with the Certification regulations. Both 'gross vehicle weight rating' and 'gross axle weight rating' call for a rating set by the manufacturer, but each is intended to reflect a fully-loaded vehicle or axle condition as vehicle is likely to be used. Although your letter is not explicit in this regard, if it is a reasonable expectation that the vehicle will be operated on the public highways with the derrick mounted on it (but for the label), even though the derrick is 'removable', we would not consider the weight ratings to be consistent with the regulations if they do not take into account the weight of the derrick.; Similarly, the components used in the manufacture of the vehicle shoul be of sufficient strength to carry the derrick when the vehicle is in motion. On the other hand, if it is unreasonable to expect the derrick to be attached to the crane carrier when the carrier is operated on the highway, the weight ratings need not take into account the weight of the derrick. In neither case, however, would the label you illustrate affect the conformity of the vehicle to the regulations, in the former case the label does not correct the incorrect weight ratings, and in the latter case, the label is unnecessary,; Your second question is whether Federal regulations regarding lightin may be met if the rear lights of a truck-mounted earth auger utilize hinged covers that are intended to protect the lights during boring operations. You state that when the vehicle is operated, the cover is secured to expose the lights. You ask if we recommend the use of a warning sticker in the cab to remind the driver to open the covers.; The use of these covers is not prohibited by the Federal lightin standard, Federal Motor Vehicle Safety Standard No. 108, 'Lights, Reflective Devices, and Associated Equipment' (49 CFR 571.108). We thInk the idea of a warning sticker in the cab is nonetheless a good one.; Yours truly, Richard B. Dyson, Assistant Chief Counsel