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Interpretation ID: nht95-3.76

TYPE: INTERPRETATION-NHTSA

DATE: August 4, 1995

FROM: John Womack -- Acting Chief Counsel, NHTSA

TO: Jerel M. Sachs -- General Manager, Automotive Glass, Import Products Glass (IPG)

TITLE: NONE

ATTACHMT: ATTACHED TO 6/26/95 LETTER FROM JEREL M, SACHS TO CLARKE HARPER; ALSO ATTACHED TO 8-4-86 LETTER FROM ERIKA JONES TO HENRY A. GORRY; ALSO ATTACHED TO 6/10/87 LETTER FROM ERIKA JONES TO DAVID C. MAROON; ALSO ATTACHED TO 6/14/90 LETTER FROM PAUL J ACKSON RICE TO NORMAND LAURENDEAU

TEXT: Dear Mr. Sachs:

This responds to your June 26, 1995, letter requesting a manufacturer's code mark for automotive glazing to comply with the marking requirements in Federal Motor Vehicle Safety Standard (FMVSS) No. 205, Glazing Materials. You stated in your letter that y ou "intend to engage in the manufacture and/or contract manufacture of automotive safety glass in the United States and overseas." Your letter also stated that you were negotiating for the tooling, machinery, and the code mark of Lin's Glass Company in T aiwan.

In a June 29, 1995, phone conversation between Paul Atelsek and a member of your staff, we learned that IPG only imports and distributes; but does not actually make, glazing. He was also told that Lin's has gone out of business, and that you had switche d to another supplier in Taiwan. In a July 13, 1995, phone conversation with Mr. Atelsek, you confirmed that IPG makes no glazing and that your new supplier has a code mark assigned by NHTSA, but said that you preferred to use a "fresh" number assigned to your company. You said that other companies that do not make glazing have code marks assigned to them, and named another company that you said imports "cheap" Chinese glass and applies its own manufacturer's code mark in order to disguise the origin of the glass from its buyers. In a July 13, 1995, letter in support of your request, you stated that IPG would be doing contract manufacturing with a supplier who is also supplying other customers, and that having your own number would help you monitor quality control and track your product in the marketplace. You believe that having your own number would also benefit NHTSA because the agency would have an easier time implementing a recall through IPG than through the Taiwanese supplier.

As Mr. Atelsek explained on the telephone, we cannot issue a number to your company because you are not a "prime glazing manufacturer." Standard 205, at S6.1, defines "prime glazing material manufacturer" as "one who fabricates, laminates, or tempers the glazing material." As your company does none of these things, we cannot issue a code mark to IPG. To show you that this is a matter of longstanding legal interpretation, I have enclosed some interpretation letters we have written to others asking this question and related questions.

The glass should be marked with the number we have assigned to your supplier, the prime glazing manufacturer in Taiwan. The practice you mentioned of using code marks to disguise the identity of the manufacturer is directly contrary to our policy. This code mark is supposed to help NHTSA identify the prime manufacturer of the glazing material for purposes of defect and noncompliance recall campaigns. Therefore, the code mark on a particular piece of glazing needs to refer to the company that actually , made the glazing, and code marks should never be applied to glazing made by anyone else.

I hope this information is helpful. Please feel free to contact Mr. Atelsek at this address or by telephone at (202) 366-2992 if you have any further questions or need additional information.