Interpretation ID: nht94-2.75
TYPE: INTERPRETATION-NHTSA
DATE: May 9, 1994
FROM: Womack, John -- Acting Chief Counsel, NHTSA
TO: Bloomfield, John -- Manager, Engine Management, Legislation and Certification, Lotus Cars, Ltd. (ENGLAND)
TITLE: NONE
ATTACHMT: Attached To a Letter Dated 10/28/93 From Rachel Jelly To John Womack
TEXT: This responds to the letter from Ms. Rachel Jelly, formerly of your company, concerning low volume CAFE exemptions. I apologize for the delay in our response. Ms. Jelly asked whether Bugatti Automobili S.p.A. (Bugatti) and Lotus Cars, Ltd. (Lotus), bot h of which are controlled by the same holding company, may submit separate low volume CAFE exemption petitions requesting two alternative standards. The answer to this question is no. Since any alternative CAFE standard would apply to Bugatti and Lotus together, a single combined petition must be submitted for a single alternative standard.
The reasons for the above response are discussed in the attached letter from NHTSA to Mr. Lance Tunick, of Bugatti. Mr. Tunick's letter to NHTSA raised issues that are of concern to both Bugatti and Lotus. Thus, NHTSA's response to Mr. Tunick should ad dress Lotus' concerns about filing for alternative CAFE standards.
I hope this information is helpful. If there are any questions, please contact Dorothy Nakama of my staff at this address or at (202) 366-2992.