Interpretation ID: nht87-1.48
TYPE: INTERPRETATION-NHTSA
DATE: 03/14/87
FROM: AUTHOR UNAVAILABLE; Erika Z. Jones; NHTSA
TO: David A. White
TITLE: FMVSS INTERPRETATION
TEXT:
Mr. David A. White Senior Safety Engineer Grumman Olson Post Office Box 2005 Sturgis, MI 48091
Dear Mr. White:
This letter responds to your inquiry of November 17, 1986, asking this agency to approve an alternate location for the certification label of a light duty truck your company intends to manufacture for the United States Post Office. Section 567.4 of the N ational Highway Traffic Safety Administration (NHTSA) regulations requires that a motor vehicle manufacturer affix a certification label to each vehicle it makes, and permits the manufacturer to place the label in any one of the places set out in that pr ovision. If none of those locations is practicable, S567.4 directs the manufacturer to suggest an alternate place to affix the label, and to ask our approval for that alternative.
You explain in your letter that in the circumstances you describe, the S567.4 locatons are impractical. First, you explain, the vehicle's small and irregularly shaped for a label. Second, if your company places the label on the inside of the sliding door , opening the door would hide the label. Third, you assert that the instrument panel is too small for a label.
You enclose a drawing to illustrate where your company intends to place the certification label. According to your description, the certification label will be placed on a fixed panel behind the driver, and between the cab and the load compartment. This panel is one part of a three piece assembly of which the remaining two components are a center sliding door and a second fixed panel. You state that a person can see the certification label from the driver's area without moving any vehicle item.
In directing a manufacturer to put its certification label in those places set out in S567.4, NHTSA's purpose is to make these labels easy to see and read. Based on the information you supplied, the agency determines that for this particular design, inst alling the certification label as your company proposes will facilitate seeing and reading the label, while placing the label as specified in S567.4 may not be practicable or might interfere with those activities. Therefore, on the condition that your co mpany's label complies in all other respects with S567.4, NHTSA grants your request to install the certification label on the forward side of the left hand bulkhead fixed panel.
Sincerely,
Erika Z. Jones Chief Counsel
November 17, 1986
Administration of National Highway Traffic Safety Administration Washington, D.C. 20590
Grumman Allied Industries, Inc., LLV Division would like to request approval of an alternate location for the certification label of a light duty truck to be manufactured for the U.S. Post Office. The locations specified in 49 CFR 567.4 are not practical for the following reasons:
1. The vehicle has sliding side doors making the hinge pillar, door latch post, and door edge too small and irregularly shaped to accept a label.
2. A label placed on the inward facing side of the side door would be covered up by the vehicle structure when the door is opened.
3. The instrument panel is too small to accept a label.
Grumman Allied Industries proposes to locate the label on the forward side of the left hand bulkhead fixed panel. This bulkhead is located behind the driver between the cab and load compartment. The bulkhead is a three piece assembly consisting of a cent er sliding door and two fixed panels. The door slides to the right when opened. The certification label will be in view from the drivers area without moving any vehicle item. I am enclosing a copy of drawing 85616200 to show the location we are proposing .
David A. White Senior Safety Engineer DAW/sm 03/14/87