Browse: Departments Dates Agencies
Docket ID: [Docket No. NHTSA 2006-25017]
RIN ID: RIN 2127-AG41
SUBJECT CATEGORY: Federal Motor Vehicle Safety Standards; Rearview Mirrors
DOCUMENT SUMMARY: In response to a petition for rulemaking, in 2005 the National
Highway Traffic Safety Administration (NHTSA) proposed to amend Federal
Motor Vehicle Safety Standard No. 111, ``Rearview Mirrors'' to require
straight trucks with a gross vehicle weight rating (GVWR) of between
4,536 kilograms (10,000 pounds) and 11,793 kilograms (26,000 pounds) to
be equipped with a system capable of providing drivers with a view of
objects directly behind the vehicle. More refined data generated since
the 2005 NPRM shows that the subpopulation of midsized trucks
accounts for only four of the estimated 183 fatalities per year due to
backover accidents. In addition, the recently signed Cameron
Gulbranson Kids Transportation Safety Act of 2007 \1\ (K.T. Safety Act
of 2007) requires NHTSA to revise the Federal standard for rearward
visibility, specifically to reduce backing crashes involving children
and disabled people. Considering these developments, the agency
believes it more appropriate to address backing safety of straight
trucks as part of the comprehensive effort to address backing safety
generally, and that solutions should be formulated after the completion
and review of ongoing research and data gathering on backing safety. We are therefore withdrawing this rulemaking at this time.
\1\ Public Law 110189, February 28, 2008.
SUMMARY: Federal Motor Vehicle Safety Standards; Rearview Mirrors,
In March 1995, Mr. Dee Norton, an individual, submitted a petition for rulemaking seeking to amend Federal Motor Vehicle Safety Standard (FMVSS) No. 111, ``Rearview Mirrors,'' to require convex, crossview mirrors on the rear of the cargo box of stepvans and walkin style delivery and service trucks. The requested rule was intended to prevent future tragedies similar to one that befell Mr. Norton's grandson, who was killed when he was struck and backed over by a delivery truck in an apartment complex parking lot.
The agency granted Mr. Norton's petition. However, because Mr.
Norton's solution was only one of many at that time, and the agency had
no performance specification for crossview mirrors, NHTSA published a
request for comments in the Federal Register on June 17, 1996. The agency sought specific information on crossview
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mirrors such as costs and performance specifications, and any other
alternatives with costs similar to the mirrors described by Mr. Norton
(61 FR 30586).\2\ The agency received six comments in response to that
notice. In general, commenters urged the agency to consider both visual
systems such as cameras and mirrors and nonvisual systems such as
sonar or radar, to address the safety issue. Additionally, truck
manufacturers suggested that mirrors would not address the safety
problem and that there were several types of straight trucks for which
cameras would not be an effective solution. In addition to the analysis
of comments, NHTSA performed additional studies related to this
rulemaking. A program was initiated to determine the size of the safety
problem, that is, determine the number of people being backed over by a
motor vehicle of any size. Using a combination of our own Fatality
Analysis Reporting System (FARS) and National Center for Health
Statistics data, the agency was able to estimate the number of non
traffic crashes, including backover accidents. Next, the agency
performed research on stateoftheart and prototype rear crossview mirror designs.
\2\ This Request for Comments and the comments subsequently
received are available in hard copy in Docket No. NHTSA9653.
However, for ease of reference, the Request for Comments also has been included in the electronic docket located at http: //
www.regulations.gov, Docket No. NHTSA2000796725.
On November 27, 2000, NHTSA published an advance notice of proposed rulemaking (ANPRM) (65 FR 70681).\3\ In addition to a request for general comments, the ANPRM posed twenty specific questions regarding rear crossview mirrors, rear video systems, and rear object detection systems.
NHTSA received fourteen comments in response to the ANPRM, including submissions from trade associations, automobile and rear object detection system manufacturers, fleet operators, organized labor, a State agency, and individuals. Although the commenters were generally supportive of efforts to improve backing safety, many expressed concerns about a regulatory requirement in this area. In addition to responding to the questions posed in the ANPRM, commenters also raised a variety of issues, including scope of the regulatory requirement, potential exclusions, alternatives to regulation, maintenance and training requirements, and preemption.
Using the information obtained from these two previous notices, the
agency then published a Notice of Proposed Rulemaking (NPRM) on
September 12, 2005 (70 FR 53753).\4\ To address the identified problem
of backingrelated deaths and injuries associated with straight trucks,
NHTSA proposed to amend FMVSS No. 111, to require medium straight
trucks with a GVWR of between 4,536 kg (10,000 pounds) and 11,793 kg
(26,000 pounds) to be equipped with either a crossview mirror or rear
video system in order to provide the driver with a visual image of a 3
meters by 3 meters area immediately behind the vehicle. The NPRM set
out proposed requirements for each of these two compliance options, as
well as test procedures suitable for each option. However, in light of
concerns regarding the feasibility of attaching rear object detection
systems on certain types of trucks, we also requested comments on
categories of vehicles that the agency should consider excluding from the requirements of a final rule.
\4\ Docket No. NHTSA2004192391.
The agency received 55 comments pursuant to our September 12, 2005, NPRM. Comments were received from a variety of interested parties, including consumers, a consumer advocacy group, fleet operators, equipment manufacturers, vehicle manufacturers, trade associations, the National Institute of Occupational Safety and Health (NIOSH), and two members of Congress, Representative Marsha Blackburn and Representative Nathan Deal. These comments are available in Docket No. NHTSA2004 19239, and are generally summarized as follows.
Comments from consumers were generally in favor of rear object detection systems, with several commenters urging the agency to expand the scope of the rulemaking to include all vehicles (including passenger vehicles). The consumer advocacy group recommended expansion of the proposal's applicability to passenger vehicles and larger trucks, recommended that the rule require a combination of cameras and nonvisual systems, and recommended requiring retrofitting the systems onto existing vehicles. Conversely, one consumer suggested that we not regulate in this area and leave the decision to install a rear object detection system up to the purchaser of the vehicle.
Fleet operators expressed divergent opinions regarding the agency's
proposal. Some delivery companies were generally supportive of the
proposal and enthusiastic about rear object detection systems. However,
fleets involved in construction suggested that we exclude construction
service trucks from the proposed requirements because of the potential
for ongoing maintenance problems associated with repairing systems
subject to continuous damage in rugged environments such as
construction sites. Fleets in the category of leasing companies (e.g.,
selfmove companies) were also opposed to mandatory regulation, again
due to the potential maintenance burden and questionable system
effectiveness, caused in part by the equipment being used by non
professional drivers who might substitute reliance on such systems for
the recommended ``spotter'' system,\5\ which they say has proven highly effective in practice for such users.
\5\ A spotter is a person who stands outside a vehicle to aid
the driver in backing and alert the driver of an object or person
behind the vehicle, to ensure nothing or no one is in the way.
Equipment manufacturers were supportive of the intent of the proposal, and manufacturers of mirrors and camera systems had minor technical suggestions.
However, nonvisual system equipment (e.g., sonar or radarbased) manufacturers and Representatives Blackburn and Deal urged us to alter the rulemaking proposal to adopt broader criteria which would allow nonvisual systems to be used to comply with the standard's
Vehicle manufacturers asked for changes to the proposal or exclusions for certain vehicles specific to their market. Several manufacturers of traditional straight delivery trucks had specific technical suggestions. Manufacturers of specialty trucks suggested their vehicles should be excluded from the proposed requirements because of the lack of any apparent safety need, difficulty in installing systems based on certain vehicle configurations, and durability problems associated with systems subject to excessive environmental abuse. The cited specialty vehicles included ambulances, buses, concrete trucks, refuse trucks, fire trucks, small volume equipment trucks, and sport utility vehicles (SUVs) with a GVWR of over 10,000 pounds.
Various associations also offered positions. The National
Association of State Directors of Pupil Transportation Services
requested that NHTSA not include a rear object detection requirement
for school buses. The Truck Manufacturers Association questioned the
appropriateness of a mandatory regulation, although it suggested that an
[[Page 42311]]
equipment standard might be useful if this equipment is voluntarily
installed. The National Truck Equipment Association, which represents
multistage manufacturers, argued that the proposed requirements may not
be practical for certain types of vehicles, and that there could be
problems with continual maintenance for constructiontype vehicles. The
Alliance of Automobile Manufacturers suggested the rulemaking was
premature and should await completion of an assessment of rear object
detection systems required under the Safe, Accountable, Flexible,
Efficient Transportation Equity Act: A Legacy for Users (SAFETEA
LU).\6\ The Truck Renting and Leasing Association urged us to adopt
less restrictive requirements and to delay the rule until a more
accurate costbenefit analysis could be conducted. The Truck Trailer
Manufacturers Association urged the agency not to extend the proposed
requirements to combination truck trailers, arguing that such systems would be impractical and of little benefit.
NIOSH provided insight into the scope of the backing problem in occupational settings and studies into potential solutions. Specifically, NIOSH provided data concerning backing accidents at highway construction sites and field experience studies concerning durability problems with rear video systems. Furthermore, NIOSH noted that a system whereby workers wear a device that can alert both the wearer and the driver of a vehicle when the wearer is in a danger zone offers some promise in addressing backing accidents involving heavy trucks.
As noted above, in 2005, Congress passed related mandates for the agency as part of its SAFETEALU legislation, specifically, requiring two actions by NHTSA related to backing incidents. In Section 10304, Congress mandated NHTSA to ``conduct a study of effective methods for reducing the incidence of injury and death outside of parked passenger motor vehicles with a gross weight rating of not more than 10,000 pounds attributable to movement of such vehicles.'' That provision of the Act further stipulated that the study shall, ``(1) Include an analysis of backover prevention technology; (2) identify, evaluate, and compare the available technologies for detecting people or objects behind a motor vehicle with a gross vehicle weight rating of not more than 10,000 pounds for their accuracy, effectiveness, cost, and feasibility for installation; and (3) provide an estimate of cost saving that would result from widespread use of backover prevention devices and technologies in motor vehicles with a gross vehicle weight rating of not more than 10,000 pounds, including savings attributable to the prevention of (A) injuries and fatalities; and (B) damage to bumpers and other motor vehicle parts and damage to other objects.''
Under section 10305 of the Act, Congress directed the agency as
follows: ``(a) In General.In conjunction with the study required in
section 10304, the National Highway Traffic Safety Administration shall
establish a method to collect and maintain data on the number and types
of injuries and deaths involving motor vehicles with a gross vehicle
weight rating of not more than 10,000 pounds in nontraffic incidents'' and ``(b) data collection and publication.The Secretary of
Transportation shall publish the data collected under subsection (a) no less frequently than biennially.''
In response to section 10304 of SAFETEALU, a report of the agency's study of technologies with possible application to reducing deaths and injuries from backing passenger vehicles was submitted to Congress in November 2006. That report is titled, ``Vehicle Backover Avoidance Technology Study,'' and is available in the Department of Transportation docket at http://www.regulations.gov, Docket NHTSA 255790003.
In this Report to Congress, NHTSA reported on several systems currently available as original equipment on vehicles or as aftermarket products to evaluate their performance and potential effectiveness in mitigating backover crashes. The backover prevention technologies that are currently offered by vehicle manufacturers are marketed as ``parking aids,'' which are designed to assist attentive drivers in performing low speed parking maneuvers. Some aftermarket systems using similar technologies are being marketed as safety devices. NHTSA testing that predated SAFETEALU showed that the performance of sensor based (ultrasonic and radar) parking aids in detecting child pedestrians behind the vehicle was typically poor, sporadic and limited in range. Based on calculation of the distance required to stop from a typical backing speed, detection ranges exhibited by the systems tested were not sufficient to prevent collisions with pedestrians or other objects. Of the technologies tested for their potential to reduce backover incidents, the camerabased system may have the greatest potential to provide drivers with reliable assistance in identifying people in the path of the vehicle when backing. However, the agency is concerned that the human factors issues surrounding camera systems are not well understood, issues such as: Will drivers use cameras if they are installed? Will they be relied on too much, to the exclusion of actually looking to the rear of a vehicle and checking rear view mirrors? Will new patterns of driver behavior that emerge if cameras are in place enhance the safe operation of vehicles?
In support of this rulemaking, NHTSA conducted research specifically aimed at evaluating the performance of various mirror, sensor and video systems for medium trucks. All the systems were purchased in the aftermarket. The systems evaluated include three sensor systems, one sensor/rear video combination system, one rear video system, and one rear crossview mirror system. The results indicated that sensorbased systems were poor, sporadic, and limited in range with regards to their ability to consistently detect child pedestrians and objects. Additionally, the mirror system image was insufficient to allow drivers to see a small object behind a vehicle and would not be a very effective means of allowing drivers to see behind vehicles. Video systems provided excellent images but only under welllit, goodweather conditions. The agency has conducted similar research involving light vehicles with similar results.
At this time, the agency does not know whether drivers would use
the information from the video displays of rear object detection
systems and if they did whether they would do so in enough time to
prevent backover incidents. Agency research involving driver use of
rearward visual images in passenger vehicles is underway. This research
will examine drivers' use of rearview video systems during backing
maneuvers to assess their potential to reduce the incidence of
collisions with rear obstacles and pedestrians. While performance
testing of sensorbased backing systems and field of view measurement
for rearview video systems give data to quantify their likelihood to
``perceive'' an obstacle behind a vehicle, only examining drivers' use
of the systems can provide a sense of the potential effectiveness of
the systems in preventing crashes. The main purpose of the study is to
determine (1) whether drivers of vehicles equipped with camera systems
look at the display prior to and/or during backing and (2) whether use of the system affects backing performance
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(i.e., obstacle avoidance success). We expect to complete the testing
portion of this research in 2008 and believe that the findings of this
study will apply to the performance of typical drivers of all straight trucks.
During the preparation of the Report to Congress, the agency also
developed more refined nontraffic crash data than was reported in the
2005 NPRM.\7\ The agency estimated in the Report to Congress, that
there is an average of 183 fatalities annually for all backover
crashes, which is below what was estimated in the NPRM. Our more recent
data analysis focusing on trucks of the sort that were addressed in the
original petition, is indicating that this a subpopulation of straight
trucks (those less than 20 feet in length), accounts for 2 of the
estimated 183 fatalities per year due to backover accidents.
Similarly, when all straight trucks from 10,000 to 26,000 pounds GVWR
(including those lessthan20feet) are included, the number of
fatalities from backovers accounts for only 4 fatalities per year.\8\
\7\ See ``Regulatory Evaluation, FMVSS No. 111, Rear Detection System for Single Unit Trucks'' in Docket No. 25017.
\8\ ``Estimation of Backover Fatalities'' at http:// www.regulation.gov, Docket NHTA25579.
In response to sections 2012 and 10305 of SAFETEALU, the agency's National Center for Statistics and Analysis is currently exploring expanded approaches to gathering both injury and fatality data on non traffic incidents, which include nontraffic backing crashes that occur on private property, in driveways, and in parking facilities. The primary issues facing NHTSA in the collection of data on nontraffic crashes are the collection of fatality and injury counts and the detailed data at the event level needed to fully understand the circumstances surrounding the crash. The agency conducted a review of existing systems within NHTSA, surveillance systems in other Federal agencies, and nonFederal sources to determine the feasibility for collecting nontraffic fatality and injury counts and detailed crash data. The review suggested possible expansion of NHTSA's existing crash databases and the use of other Federal agencies, especially the National Center for Health Statistics and the Consumer Product Safety Commission, which operate surveillance systems that may provide some useful information in arriving at a better estimate of the backover safety problem. However, the review of the nonFederal sources including hospital systems, emergency medical services systems, insurance company data, and news media databases found that they were generally incomplete or lacked the detail needed by NHTSA to understand the circumstances surrounding backing incidents.
Based upon this review, efforts to collect both the fatality and injury data and detailed collision data are underway. The agency is currently using the existing Fatality Analysis Reporting System (FARS) infrastructure to collect information about nontraffic crash fatalities and the National Automotive Sampling System (NASS) infrastructure for nontraffic injuries. Similarly, the agency's Special Crash Investigation team is conducting detailed investigations of backovers involving light passenger vehicles.
On February 28, 2008, the President signed the K.T. Safety Act of 2007. Section 2(b) of this law requires that within 12 months of the President's signing the bill, NHTSA must initiate rulemaking to expand the required driver's field of view behind vehicles to reduce deaths and injuries from backing crashes, especially crashes involving small children and disabled people. NHTSA must issue a final rule no later than three years after the President signs the bill. Section 2(c)(1) of this law requires that the expanded rear visibility requirements be phasedin. Section 2(c)(2) requires NHTSA to consider whether the phasein should give priority to particular types of motor vehicles if NHTSA finds that there are any differences in the frequency with which individual types are involved in backing crashes.
The new law does not specifically influence the straight trucks at issue in this rulemaking. The K.T. Safety Act of 2007 is applicable only to motor vehicles with a GVWR of 10,000 pounds or less (see section 2(e)). However, as explained above, the agency believes that additional data on backovers collected by the agency, with regard to all vehicles, will allow us to address this problem in a more comprehensive manner.
The agency is charged by the new law to take a comprehensive look at backing safety for all types of motor vehicles. As described above, the agency has a great deal of research and data gathering currently underway that will allow us to develop appropriate and effective improvements to backing safety. The agency needs to better understand the effectiveness of the videobased systems. We believe the results of NHTSA's current study that will be completed in 2008 will substantially improve our understanding of how video systems are used by drivers and therefore their potential to reduce the backover risk. Given this, the agency believes that efforts to address medium truck backing safety by itself should held in abeyance pending the research and data gathering, and that this problem should be addressed as a part of the agency's comprehensive approach to backing safety.
Accordingly, we have decided to withdraw this rulemaking and incorporate medium trucks into consideration of a possible broad based approach, including passenger vehicles, to addressing the backing safety problem.
Authority: 49 U.S.C. 30162; delegations of authority at 49 CFR 1.50 and 49 CFR 501.8.
Issued: July 15, 2008.
Stephen R. Kratzke,
Associate Administrator for Rulemaking.
[FR Doc. E816530 Filed 71808; 8:45 am]
BILLING CODE 491059P
FOR FURTHER INFORMATION CONTACT For non-legal issues, you may contact Mr. Clarke Harper, Office of Crash Avoidance Standards (NVS120), NHTSA, 1200 New Jersey Avenue, SE., Washington, DC 20590 (Telephone: 2023661740) (Fax: 2023665930).
For legal issues, you may contact Mr. Ari Scott, (NCC112), Office of the Chief Counsel, NHTSA, 1200 New Jersey Avenue, SE., Washington, DC 20590 (Telephone: 2023662992) (FAX: 2023663820).
14 CFR Part 39 40 CFR Part 52 14 CFR Part 71 33 CFR Part 165 50 CFR Part 679 47 CFR Part 73 26 CFR Part 1 40 CFR Part 180 33 CFR Part 117 50 CFR Part 17 44 CFR Part 67 50 CFR Part 648 14 CFR Part 97 40 CFR Part 63 33 CFR Part 100 50 CFR Part 622 50 CFR Part 660 26 CFR Part 301 44 CFR Part 65 39 CFR Part 111 40 CFR Part 300 6 CFR Part 5 40 CFR Part 271 47 CFR Part 64 40 CFR Parts 52 and 81 50 CFR Part 665 10 CFR Part 50 44 CFR Part 64 49 CFR Part 571 39 CFR Part 3020