Interpretation ID: nht94-3.10
TYPE: Interpretation-NHTSA
DATE: May 31, 1994
FROM: John Womack -- Acting Chief Counsel, NHTSA
TO: Mike Parker -- House of Representatives
TITLE: None
ATTACHMT: Attached to letter dated 4/18/94 from Mike Parker to Christopher Hart, letter dated 1/31/94 from Steve Williams to William Moss, and letter dated 1/28/94 from Steve Williams to Terry L. Voy
TEXT:
Thank you for your letter on behalf of your constituent, Mr. George Duke of the Jones County School District, concerning your constituent's desire to install television monitors in school buses to air "drug-free videos." You asked whether the installatio n would be consistent with our school bus regulations.
I am pleased to explain our school bus regulations. By way of background, the National Traffic and Motor Vehicle Safety Act of 1966 (Safety Act) authorizes the National Highway Traffic Safety Administration (NHTSA) to issue Federal motor vehicle safety s tandards (FMVSS) for new motor vehicles, including school buses. Under the authority of the Safety Act, NHTSA issued FMVSS No. 222, "School Bus Passenger Seating and Crash Protection." The standard has head impact protection requirements that require the area around a school bus passenger to be free of surfaces that could injure the child in a crash. All new school buses must be certified as complying with FMVSS No. 222.
Our regulations do not prohibit Jones County from installing the video equipment in their school buses. Since the FMVSS only apply to new school buses, we do not require existing school buses to continue to meet FMVSS No. 222. Further, NHTSA does not reg ulate in any manner how individual owners choose to modify their own vehicles. Thus, the Jones County School District may install the television monitors in its school buses without regard to whether the head impact protection requirements of FMVSS No. 2 22 are maintained. However, we would urge Jones County to install the television monitors safely. Standard No. 222 requires large school buses to provide passenger crash protection through a concept called "compartmentalization." Compartmentalization ent ails improving the interior of the school bus with protective seat backs, additional seat padding, and better seat spacing and performance. These interior features are intended to keep occupants in their seating area and to ensure that the seating area i s free from harmful structures. To protect school bus passengers, we suggest to Jones County that any video equipment installed on a school bus should be outside of an area that a school bus passenger might impact in a crash. Further, the equipment shoul d be installed so that it does not become unsecured, especially during a crash where any projectile can be very dangerous to the vehicle occupants.
We also note that the Safety Act limits how certain commercial businesses may modify new or existing school buses. Section 108(a)(2)(A) of the Safety Act prohibits manufacturers, distributors, dealers, and motor
vehicle repair businesses from knowingly rendering inoperative any safety device or element of design installed on or in a motor vehicle or item of equipment in compliance with any FMVSS. If any of these parties installed the video equipment in a manner that rendered inoperative the compliance of the school bus with FMVSS No. 222, a possible violation of S108 (a) (2) (A) could result.
The "render inoperative" provision of section 108 (a) (2) (A) does not apply to owners modifying their own vehicles. Thus, the Jones County School District, the owner of the school buses, could install the equipment itself in its own shops without violat ing this or any other provision of the Safety Act. As mentioned above, NHTSA urges the school district to ensure that the equipment does not degrade the safety of the school buses, particularly with regard to the head impact protection provided by the bu ses.
I hope this information will be helpful to you in responding to your constituent. If you or your constituent have any further questions, please feel free to contact John Womack, Acting Chief Counsel, at this address or at (202) 366-9511.