Interpretation ID: 2967yy
Pupil Transportation Consultant
Michigan Department of Education
P.O. Box 30008
Lansing, Michigan 48909
Dear Mr. Dashney:
This responds to your letter of February 19, 1991. In your letter you asked several questions regarding the purchase, sale, and use of motor vehicles used to transport students to and from school and related events. Where two or more questions concern a common issue, they are addressed by a single response.
Question 1: Do Federal Motor Vehicle Safety Standards (FMVSS) apply to multi-purpose vehicles with seating positions for more than 10 passengers, passenger vans, used to transport students to and from school and related events?
Question 5: Are there FMVSS's in effect for occupants of sedans, station wagons, or mini-vans with seating positions for fewer than 10 passengers used to transport students to and from school and related events?
The answer to both questions is yes. NHTSA has issued FMVSS covering all of the types of motor vehicles mentioned in your questions. The application section of each FMVSS indicates which types of motor vehicles are required to comply with its provisions.
The motor vehicles you refer to in Question 1 are considered "schoolbuses" by this agency. A "school bus" is a motor vehicle designed to carry 11 or more persons, including a driver, and sold for transporting students to and from school and school-related events (49 CFR 571.3). New school buses must comply with the Federal Motor Vehicle Safety Standards (FMVSS) for "buses" and also those for "school buses." The following is a list of the FMVSS that include requirements for school buses:
Standards No. 101 through No. 104; Standard No. 105 (school buses with hydraulic service brake systems); Standards No. 106 through No. 108; Standards No. 111 through 113; Standard No. 115; Standard No. 116 (school buses with hydraulic service brake systems); Standard No. 119; Standard No. 120; Standard No. 121 (school buses with air brake systems); Standard No. 124; Standards No. 201 through No. 204 (school buses with a GVWR of 10,000 pounds or less); Standard No. 205; Standards No. 207 through No. 210; Standard No. 212 (school buses with a GVWR of 10,000 pounds or less); Standard No. 217; Standard No. 219 (school buses with a GVWR of 10,000 pounds or less); Standard No. 220; Standard No. 221 (school buses with a GVWR greater than 10,000 pounds); and Standards No. 222, 301, and 302.
These standards are part of 49 CFR 571. I have enclosed information on how you can obtain copies of the FMVSS.
Regarding the motor vehicles mentioned in Question 5, definitions of other motor vehicle types are also found in 49 CFR 571.3. For instance, "multipurpose passenger vehicle" is defined as "a motor vehicle with motive power, except a trailer, designed to carry 10 persons or less which is constructed either on a truck chassis or with special features for occasional off-road operation" (49 CFR 571.3(b)). "Passenger car" is defined as " a motor vehicle with motive power, except a multipurpose passenger vehicle, motorcycle, or trailer, designed for carrying 10 persons or less" (49 CFR 571.3(b)).
Question 2: Is it legal for automobile manufacturers or dealers to lease or sell passenger vans to school districts or private fleet operators when the purpose of those vehicles is to transport students to and from school and related events?
Question 6: Is it legal for automobile manufacturers or dealers to lease or sell sedans, station wagons, and mini-vans to school districts or private fleet operators for the purpose of transporting students to and from school and related events?
Assuming that the particular vehicle manufactured or sold complies with all FMVSS that apply to that type of vehicle, the answer to your question is yes. Note however, that unlike other motor vehicle types, a school bus is defined by both the vehicle's seating capacity and its intended use. If a manufacturer or dealer is aware that the intended use of a vehicle is to transport students to and from school and related events, it is a violation of Federal law to sell a vehicle with a capacity of 11 or more persons, including the driver, unless the vehicle complies with all FMVSS applicable to school buses.
Question 3: Does a school district or private fleet operator increase its liability risk if it purchases passenger vans to transport students to and from school and related events?
Question 4: Does a school district or private fleet operator increase its liability risk if it uses passenger vans to transport students to and from school and related events?
Question 7: Does a school district or private fleet operator increase its liability risk if it purchases sedans, station wagons, or mini-vans to transport students to and from school and related events?
Question 8: Does a school district or private fleet operator increase its liability risk if it uses sedans, station wagons, or mini-vans to transport students to and from school and related events?
Liability risk is a question of state, not Federal law. I am not qualified to offer an opinion on how these issues would be resolved under Michigan law. I suggest that you contact the Attorney General for the State of Michigan for an opinion on the application of Michigan law to these situations. You may also wish to consult your agency's attorney and insurance company for more information.
I must emphasize, however, NHTSA's position that a vehicle meeting Federal school bus regulations is the safest way to transport students. In addition, I encourage your school districts to give their most careful consideration to the possible consequences of transporting students in vehicles other than school buses.
I hope that you find this information helpful. If you have further questions, please contact Mary Versailles of my staff at this address or by telephone at (202) 366-2992.
Sincerely,
Paul Jackson Rice Chief Counsel
Enclosures ref:VSA#571.3 "school bus" d:4/l2/9l