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Interpretation ID: nht93-7.23

DATE: October 13, 1993

FROM: John Womack -- Acting Chief Counsel, NHTSA

TO: Frau Margret Schmock von Ohr -- Robert Bosch GmbH

TITLE: None

ATTACHMT: Attached to letter dated 7/9/93 from Margret Schmock von Ohr to Taylor Vinson (OCC-8841)

TEXT:

This responds to your FAX of July 9, 1993, to Taylor Vinson of this Office, asking for a further interpretation of Motor Vehicle Safety Standard No. 108 as it relates to reflex reflectors.

In your earlier FAX, you asked whether it is permissible to have an amber painted reflex reflector lens, and the conditions under which it is permissible to have it painted. We informed you that the amber painted reflex reflector lens is permissible provided that the front reflex reflector assembly meets all requirements of Standard No. 108 including the referenced SAE J594f.

You ask now whether "the combination plastic + paint" has to meet SAE J576c, pointing out that the outdoor exposure test requires a period of three years. You also ask whether it is sufficient to have only the plastic material (without paint) tested, and if it is not sufficient, the means by which you may get an exemption from the rule.

S5.1.2(c) of Standard No. 108 requires that, after the outdoor exposure test, plastic materials used for reflex reflectors shall meet the appearance requirements of paragraph 4.2.2 of SAE J576c. Paragraph 3.1 of SAE J576c indicates that the plastic materials are to be tested with the colors that will be employed in their end use. We understand that Bosch is not the manufacturer of the plastic materials but is simply the entity that fabricates the reflex reflectors from the plastic materials. Your customer, in turn, will install these reflectors until December 1993 as original equipment on its motor vehicles. We have found, under Standard No. 108, that the manufacturer of the plastic materials advises the lamp manufacturer that, if used in the manner specified by the materials manufacturer, the plastic materials supplied to be incorporated into lamps will perform in accordance with the requirements of SAE J576c for plastic materials. The manufacturer of the materials should provide Bosch with such assurances of compliance with SAE J576c as Bosch deems suitable to support its own assurances in turn to the vehicle manufacturer, enabling the vehicle manufacturer to certify . that it meets all applicable Federal motor vehicle safety standards. There is no legal requirement that the plastics manufacturer conduct an actual 3-year test in order to provide Bosch with these assurances.

Because our temporary exemption procedures involve a process of three to four months duration, and are not retroactive in applicability, there appears to be no feasible way to consider an exemption.

You have asked that this request be treated "as a confidential business

information." We are unable to do so in this instance because our interpretations are a matter of public record, and the matters discussed herein cannot be separated from our earlier interpretation which has been made available to the public. However, we have removed your name from the copy of this letter that will be publicly available. Furthermore, Taylor Vinson has removed the name of your customer from the publicly available copy of the earlier interpretation, in accordance with the concern you expressed to him in a phone call, and we believe that this meets the intent of your request.