Interpretation ID: nht70-1.35
DATE: 01/26/70
FROM: AUTHOR UNAVAILABLE; Francis Armstrong; NHTSA
TO: U.S. Suzuki Motor Corporation
TITLE: FMVSS INTERPRETATION
TEXT: RE: Request for Interpretations By Suzuki
This is in reply to your letter of October 13, 1969, requesting confirmation of your interpretation of certain Federal Motor Vehicle Safety Standards and regulations, and further asking whether or not certain other areas of vehicle performance are presently regulated under the National Traffic and Motor Vehicle Safety Act of 1966 (15 U.S.C. 1391 et seq.).
In your letter you state that your request results from the fact that Suzuki is considering the production of a multipurpose passenger vehicle for expert into the United States sometimes in 1970, and attach a sketch of this vehicle. The vehicle represented by the sketch, however, appears to be a truck, and not a multipurpose passenger vehicle. "Multipurpose passenger vehicle" is defined in the regulations (49 CFR 371.3(b)) as a motor vehicle with motive power, except a trailer, designed to carry(Illegible Word) persons or less which is constructed either on a truck chassis or with special features for occasional off-road operation." "Truck" is defined to mean (49 CFR 371.3(b)) "a motor vehicle with motive power, except a trailer, designed primarily for the transportation of property or(Illegible Word) equipment." The distinction between a truck and multipurpose passenger vehicle, therefore, is whether the vehicle is designed primarily to carry persons or property. The sketch you enclose is of a vehicle designed to carry property, and for this reason I have answered your questions with reference only to trucks. Your questions are repeated below, with our replies following them:
Subject No. 1 - Glazing Requirements - Rear Windows
1. "We understand it would be permissible to use a fabric soft top with no rear window if an outside mirror was installed on the right side of the vehicle."
You are correct in saying you may use a fabric soft top with no rear window. Federal Motor Vehicle Safety Standard No. 205 specific glazing materials for use in passenger cars, multipurpose passenger vehicles, motorcycles, trucks and buses. It does not require a rear window or the use of glazing material therein. If a rear window is installed, however, the referenced United States of America Standards Institute "American Standard Safety Code for Safety Glazing Materials for Glazing Motor Vehicles Operating on Land Highways," AGA Standard 325.1-1966, July 15, 1955, specifies the types of material which must be used.
There are no National Highway Safety Bureau requirements for mirrors on trucks.
2. "We understand it would be permissible to use a fabric soft top, with an open section in the back, utilizing no installation of glazing material, but just an open area which would permit viewing to the rear using the inside rear view mirror."
Your understanding is correct. As stated before, Standard No. 205 does not require the use of glazing material.
3. "We understand it would be permissible to use a fabric soft top, using a rear window such as found in the tops of convertible automobiles, in which the rear window's composition has utilized a ASA plastic material conforming to 325.1-1966 regulations.
"If this is correct we would appreciate being informed which plastic materials can be utilized."
That is incorrect. The criterion for "a rear window such as found in convertible automobiles" is inappropriate for trucks. The only plastics which may be used in trucks are S4 and S5, rigid plastics, and then only "where other means to afford visibility of the highway" are provided.
4. "We understand it would be permissible to use a fabric soft top, using a rear window such as found in the tops of convertible automobiles, in which the rear window's composition has utilized a ASA safety glass material conforming to 325.1-1966 regulations.
"If this is correct we would appreciate being informed which safety glass materials can be utilized."
As indicated in our comment to number 3 above, the criterion for rear window glazing used in convertible automobiles is inappropriate for trucks. ASA Standard 325.1-1966 allows the use of Items 1, 2, 3, 8, 9, 10, and 11 glass in the rear window of trucks. Item 3 or 9 glass may only be used, however, "where other means to afford visibility of the highway" are provided.
Subject No. 2 - Gross Vehicle Weight
"It is our understanding that, at present, there is no requirement that a manufacturer attach a label to the vehicle stating the gross vehicle weight of . . . [trucks] in the weight category of 2,000 lbs. or less."
Your understanding is correct. The National Highway Safety Bureau does not presently have a requirement for gross vehicle weight labeling.
Subject No. 3 - Fuel Tank Requirements
"It is our understanding again that there is no present Federal Motor Vehicle Safety Standard retaining to gas tanks on . . . [trucks]. I understand that there may be future standards implemented in the near future regarding this subject."
Your understanding is correct. Federal Motor Vehicle Safety Standard No. 301, "Fuel Tanks, Fuel Tank Filler(Illegible Word) and Fuel Tank Connection-Passenger Cars", applies to only passenger cars at this time. Docket No. 3-2 (F.R. 14232), currently under consideration, contemplates extending the requirements of Standard No. 301 to multipurpose passenger vehicles, trucks, buses and motorcycles.
Subject No. 4 - Vehicle Noise Level "It is our understanding that, at the present time, there is no special noise level requirements pertaining to . . . [trucks]. We would appreciate your comments as to any future standard presently under discussion regarding this subject."
Your understanding is correct. There are no Federal requirements or proposals at present concerning vehicle noise level, There are states and municipalities, however, that have requirements concerning this subject.
Subject No. 5 - Speedometer Error
"There are several questions we have regarding this subject.
1. Is there a stipulation regarding allowance of percentage of speedometer error.
2. Would it be considered the manufacturer's responsibility for speedometer error in case the user or person was to change the tire size."
There are presently no Federal requirements concerning speedometers. A substantial speedometer error resulting from a reasonable tire size change might be considered a safety related defect for which the manufacturer would be responsible.
Subject No. 6 - Special Label for Non-Conforming Vehicle Entry Into The United States
"I would like to confirm the following information regarding the placement of a special label to be placed on the inside of the vehicle's windshield so that it is readable from the outside of a vehicle being imported into the United States. This would be placed on a vehicle that does not have the This would be placed on a vehicle that does not have the required Federal Motor Vehicle Safety Standard items readily attached in their respective place on the vehicle.
"It is my understanding, for instance, that if the outside rear view mirror was not attached to the vehicle, but packaged in a box to prevent damage or pulferage while in transit to the United States, that in such a case a label would be required to be attached to the vehicle stating essentially the following message.
THIS VEHICLES DOES NOT CONFORM TO FEDERAL MOTOR VEHICLE SAFETY STANDARD # 111 BECAUSE THE OUTSIDE REAR VIEW MIRROR HAS NOT BEEN ATTACHED FOR THE CONVENIENCE OF SHIPMENT. THIS VEHICLE WILL BE BROUGHT INTO CONFORMITY BY ATTACHMENT OF THE OUTSIDE REAR VIEW MIRROR BEFORE IT IS OFFERED FOR SALE TO THE FIRST PURCHASER FOR THE PURPOSE OF RESALE.
"If we have interpreted this requirement correctly would you please advise us of the full requirements for this label. It is also our understanding that at the time of importation of these vehicles the importer would be required to submit in duplicate the Federal Highway Administration Form Number HS-7."
Your interpretation of the above is correct. A label such as you have described, used in conjunction with the certification label required in 49 CFR 367, would meet the requirements. Your understanding regarding the HS-7 form is also correct.
We trust this will clarify the situation for you.