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Interpretation ID: aiam3376

Mr. James E. Skeen, President, Cragar Industries, Inc., 19007 South Reyes Avenue, Compton, California 90221; Mr. James E. Skeen
President
Cragar Industries
Inc.
19007 South Reyes Avenue
Compton
California 90221;

Dear Mr. Skeen: The Office of Vehicle Safety compliance has asked me to respond to you October 14, 1980, letter asking for a clarification of the basis upon which it was suggested that your wheel spinners may not be in compliance with Safety Standard No. 211, *Wheel Nuts, Wheel Discs, and Hub Caps*.; Standard No. 211 prohibits the manufacture or assembly of wheel nuts wheel disc and hub caps that incorporate winged projections. This safety standard has been in effect since 1968 and was implemented at that time, because it was determined that these devices presented potential safety hazard to pedestrians and to cyclists. Prior to 1968, manufacturers were constructing devices with winged projections that extended quite far from the wheel. To prevent this from arising again, the agency issued the standard prohibiting the manufacture of *all* such devices.; From reviewing the wheel spinner that you are producing, our technica staff has concluded that it incorporates a winged projection of the type prohibited by the standard. Accordingly, our staff notified you of your possible noncompliance. I trust that this clarifies the basis of our investigation. Any questions that you have with respect to this possible noncompliance would be referred to our office of Vehicle Safety Compliance.; Pursuant to your request, the National Highway Traffic Safet Administration will provide confidential treatment, subject to the limitation of 15 U.S.C. 1418(a)(2)(B), for the total production figure in paragraph 4 of your October 14 letter; Sincerely, Frank Berndt, Chief Counsel