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Interpretation ID: 8033

Ms. Joanna L. Campfield
Vice President
Ultra B-O-N-D, Inc.
11151 Pierce Street
Riverside, CA 92505

Dear Ms. Campfield:

This responds to your letter asking the National Highway Traffic Safety Administration (NHTSA) to issue an "approval" letter for your method of repairing cracks in windshields. As explained below, this agency does not approve motor vehicles or items of motor vehicle equipment. However, this letter does discuss Federal safety requirements in connection with windshield repairs.

By way of background information, section 103 of the National Traffic and Motor Vehicle Safety Act of 1966 (Safety Act, 15 U.S.C. 1392) authorizes this agency to issue safety standards applicable to new motor vehicles and items of new motor vehicle equipment. NHTSA, however, does not approve motor vehicle or motor vehicle equipment, nor do we endorse any commercial products. Instead, the Safety Act establishes a self-certification process under which each manufacturer is responsible for certifying that its products meet our safety standards. The agency periodically tests vehicles and equipment items for compliance with the standards, and also investigates alleged safety-related defects.

NHTSA has issued Federal Motor Vehicle Safety Standard No. 205, Glazing Materials (49 CFR 571.205) which establishes performance and location requirements for glazing used in new motor vehicles and for all new replacement glazing for motor vehicles. Neither Standard No. 205 nor any other FMVSS establishes performance requirements for repair kits, such as the Ultra B-O-N-D method, used to repair cracks in broken glazing. However, use of such a material or process in a new windshield prior to the first consumer purchase which requires repair, for example, as a result of damage sustained in shipment would be affected by Standard No. 205. Manufacturers must certify that their new vehicles comply with all applicable safety standards. If a windshield is repaired prior to the new vehicle being sold for the first time to a consumer, the person making the repairs would be considered a vehicle alterer under our certification regulations (Part 567). As an alterer, the person would have to certify that the vehicle, as altered, continues to comply with all of the requirements of Standard No. 205.

In the case of a used vehicle, use of a windshield repair kit could potentially be affected by section 108(a)(2)(A) of the Safety Act. That section prohibits commercial businesses from knowingly rendering inoperative devices or elements of design installed in a vehicle in compliance with a FMVSS. In discussing the applicability of section 108(a)(2)(A) to the repair of windows in used vehicles, NHTSA has said that the prohibitions of that section do not apply to use of a product or process used in the repair of a windshield which has been previously installed in a vehicle and damaged in use. The agency has considered the event that damaged the windshield, and not any subsequent action by the person repairing the damaged window in a used vehicle, as the event which rendered inoperative the compliance of the glazing with the standard. Thus, there is no Federal regulation which would prohibit the use of a product or process in the repair of a windshield which has previously been installed in a vehicle and damaged in use. I note, however, that if the repair shop, in the course of fixing a damaged windshield that is installed in a vehicle renders another part of the vehicle or element of design inoperative with respect to another applicable Federal motor vehicle safety standard, then the repair shop would violate section 108(a)(2)(A).

In addition, the manufacturer of the windshield repair kit is considered a manufacturer of motor vehicle equipment. Accordingly, it is subject to the requirements in sections 151-159 of the Safety Act concerning the recall and remedy of products with defects related to motor vehicle safety.

Please be aware that the laws of the individual States may be relevant to the repair of motor vehicle glazing. For more information about these laws, you should contact the American Association of Motor Vehicle Administrators. Its address is 4600 Wilson Boulevard, Arlington, Va. 22203.

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

Sincerely,

John Womack Acting Chief Counsel

Enclosure ref:205 d.2/1/93