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Interpretation ID: aiam4035

Mr. Daniel J. Wacek, Quality Control Supervisor, Viracon, Inc., 800 Park Drive, Owatonna, MN 55060; Mr. Daniel J. Wacek
Quality Control Supervisor
Viracon
Inc.
800 Park Drive
Owatonna
MN 55060;

Dear Mr. Wacek: Thank you for your letter of September 30, 1985, to Stephen Oesch of m staff concerning the application of Standard No. 205, Glazing Materials, to a street sweeper.; As with all of our safety standards, Standard No. 205 applies only t vehicles classified as motor vehicles by the National Traffic and Motor Vehicle Safety Act. Section 102(3) of the Vehicle Safety Act defines the term 'motor vehicle' as 'any vehicle driven or drawn by mechanical power manufactured primarily for use on the public streets, roads, and highways, except any vehicle operated exclusively on a rail or rails.'; There are some vehicles which are excepted from this classificatio despite their use on the highway. Vehicles such as highway lane strippers, self-propelled asphalt pavers, and other vehicles which have a low maximum speed capability and whose unusual configuration distinguishes them from the traffic flow are not considered motor vehicles. Enclosed is a copy of an information sheet prepared by the agency which discusses additional factors we consider in determining whether a vehicle meets the statutory definition of 'motor vehicle.' In your phone conversation of October 25, 1985, with Mr. Oesch you explained that you currently do not have definite information on the configuration, speed capability and other design characteristics of the street sweeper. We cannot provide you with an answer about whether we would consider the sweeper to be a motor vehicle without that information.; I hope this background information is of assistance to you. We would b glad to provide you with a specific interpretation concerning your vehicle after we receive more information about its design characteristics.; Sincerely, Erika Z. Jones, Chief Counsel