Gillig, LLC, Receipt of Petition for Decision of Inconsequential Noncompliance
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Abstract
Gillig, LLC, (Gillig) has determined that certain model year (MY) 1998-2022 Gillig Low Floor buses do not fully comply with Federal Motor Vehicle Safety Standard (FMVSS) No. 205, Glazing Materials. Gillig filed a noncompliance report dated July 6, 2022, and later amended the report on July 22, 2022. Gillig subsequently petitioned NHTSA (the "Agency") on July 21, 2022, for a decision that the subject noncompliances are inconsequential as they relate to motor vehicle safety. This document announces receipt of Gillig's petition.
Full Text
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<title>Federal Register, Volume 88 Issue 203 (Monday, October 23, 2023)</title>
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[Federal Register Volume 88, Number 203 (Monday, October 23, 2023)]
[Notices]
[Pages 72812-72814]
From the Federal Register Online via the Government Publishing Office [<a href="http://www.gpo.gov">www.gpo.gov</a>]
[FR Doc No: 2023-23330]
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DEPARTMENT OF TRANSPORTATION
National Highway Traffic Safety Administration
[Docket No. NHTSA-2022-0093; Notice 1]
Gillig, LLC, Receipt of Petition for Decision of Inconsequential
Noncompliance
AGENCY: National Highway Traffic Safety Administration (NHTSA),
Department of Transportation (DOT).
ACTION: Receipt of petition.
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SUMMARY: Gillig, LLC, (Gillig) has determined that certain model year
(MY) 1998-2022 Gillig Low Floor buses do not fully comply with Federal
Motor Vehicle Safety Standard (FMVSS) No. 205, Glazing Materials.
Gillig filed a noncompliance report dated July 6, 2022, and later
amended the report on July 22, 2022. Gillig subsequently petitioned
NHTSA (the ``Agency'') on July 21, 2022, for a decision that the
subject noncompliances are inconsequential as they relate to motor
vehicle safety. This document announces receipt of Gillig's petition.
DATES: Send comments on or before November 22, 2023.
ADDRESSES: Interested persons are invited to submit written data,
views, and arguments on this petition. Comments must refer to the
docket and notice number cited in the title of this notice and may be
submitted by any of the following methods:
<bullet> Mail: Send comments by mail addressed to the U.S.
Department of Transportation, Docket Operations, M-30, West Building
Ground Floor, Room W12-140, 1200 New Jersey Avenue SE, Washington, DC
20590.
<bullet> Hand Delivery: Deliver comments by hand to the U.S.
Department of Transportation, Docket Operations, M-30, West Building
Ground Floor, Room W12-140, 1200 New Jersey Avenue SE, Washington, DC
20590. The Docket Section is open on weekdays from 10 a.m. to 5 p.m.
except for Federal Holidays.
<bullet> Electronically: Submit comments electronically by logging
onto the Federal Docket Management System (FDMS) website at <a href="https://www.regulations.gov/">https://www.regulations.gov/</a>. Follow the online instructions for submitting
comments.
<bullet> Comments may also be faxed to (202) 493-2251.
Comments must be written in the English language, and be no greater
than 15 pages in length, although there is no limit to the length of
necessary attachments to the comments. If comments are submitted in
hard copy form, please ensure that two copies are provided. If you wish
to receive confirmation that comments you have submitted by mail were
received, please enclose a stamped, self-addressed postcard with the
comments. Note that all comments received will be posted without change
to <a href="https://www.regulations.gov">https://www.regulations.gov</a>, including any personal information
provided.
All comments and supporting materials received before the close of
business on the closing date indicated above will be filed in the
docket and will be considered. All comments and supporting materials
received after the closing date will also be filed and will be
considered to the fullest extent possible.
When the petition is granted or denied, notice of the decision will
also be published in the Federal Register pursuant to the authority
indicated at the end of this notice.
All comments, background documentation, and supporting materials
submitted to the docket may be viewed by anyone at the address and
times given above. The documents may also be viewed on the internet at
<a href="https://www.regulations.gov">https://www.regulations.gov</a> by following the online instructions for
accessing the dockets. The docket ID number for this petition is shown
in the heading of this notice.
DOT's complete Privacy Act Statement is available for review in a
Federal Register notice published on April 11, 2000 (65 FR 19477-78).
FOR FURTHER INFORMATION CONTACT: Jack Chern, General Engineer, NHTSA,
Office of Vehicle Safety Compliance, (202) 366-0661.
SUPPLEMENTARY INFORMATION:
I. Overview: Gillig determined that certain MY 1998-2022 Gillig Low
Floor buses do not fully comply with paragraph S6 \1\ of FMVSS No. 205,
Glazing Materials, and ANSI/SAE Z26.1-l996, as referenced by FMVSS No.
205 (49 CFR 571.205).
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\1\ Gillig filed a Part 573 noncompliance report dated July 6,
2022, and later amended the report on July 22, 2022, indicating that
it has violated the marking requirements as specified in S6 of FMVSS
No. 205. However, in its July 21, 2022, petition to NHTSA for a
decision that the subject noncompliances are inconsequential as they
relate to motor vehicle safety, Gillig stated that the noncompliance
was with the Section 5.1.3 of FMVSS No. 205. The Agency would like
to correct Gillig's mistake because it was, in fact, a violation of
Section 6 of FMVSS No. 205, as stated in its original Part 573
report.
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Gillig filed a noncompliance report dated July 6, 2022, and later
amended the report on July 22, 2022, pursuant to 49 CFR part 573,
Defect and Noncompliance Responsibility and Reports. Gillig petitioned
NHTSA on July, 21, 2022, for an exemption from the notification and
remedy requirements of 49 U.S.C. chapter 301 on the basis that these
noncompliances are inconsequential as they relate to motor vehicle
safety, pursuant to 49 U.S.C. 30118(d) and 30120(h) and 49 CFR part
556, Exemption for Inconsequential Defect or Noncompliance.
This notice of receipt of Gillig's petition is published under 49
U.S.C. 30118 and 30120 and does not represent any agency decision or
another exercise of judgment concerning the merits of the petition.
II. Buses Involved: Gillig stated that an unknown number of MY
1998-2022 Gillig Low Floor buses, manufactured between May 28, 1998,
and May 23, 2022, are potentially involved.
[[Page 72813]]
III. Noncompliance: Gillig explains that the noncompliance is that
subject buses may be equipped with a polycarbonate barrier adjacent to
the driver's designated seating position that does not meet the
performance requirements to be certified as Item 4 glazing.
Specifically, the interior partition installed in the subject buses do
not meet the requirements of the abrasion, chemical resistance, and
weathering tests. Within the population affected by this noncompliance,
there are certain partitions that are also missing the required glazing
certification marking required by Section 6 of FMVSS No. 205. In a
separate vehicle population, Gillig explains that ``modesty panels''
were installed that are also missing the required glazing certification
marking. The modesty panels are polycarbonate barriers installed in
certain transit buses that are located in the passenger compartment of
the bus.
IV. Rule Requirements: S6 of FMVSS No. 205 and ANSI/SAE Z26.1-l996,
as referenced by FMVSS No. 205, include the requirements relevant to
this petition.
V. Summary of Gillig's Petition: The following views and arguments
presented in this section, ``V. Summary of Gillig's Petition,'' are the
views and arguments provided by Gillig. They have not been evaluated by
the Agency and do not reflect the views of the Agency. Gillig describes
the subject noncompliances and contends that the noncompliances are
inconsequential as they relate to motor vehicle safety.
1. Glazing Material Noncompliance
Gillig believes that the noncompliance relating to the partitions
is inconsequential because the subject partitions are not exposed to
``elements or conditions that would affect the stability and robustness
of the partition due to weathering, abrasion or chemical degradation.''
Therefore, Gillig contends that the performance requirements to certify
Item 4 glazing ``are not appropriate or necessary to maintain the safe
performance of the partitions as installed in Gillig's transit bus
applications.''
Gillig states its belief that two of the functional purposes of the
interior partitions installed in the subject buses are to create a
``hygiene barrier'' between the driver of the vehicles and the
passengers that minimizes the driver's risk of exposure to airborne
viruses and to protect the driver from passengers that may pose a
security risk.
Gillig also believes that the overall purpose of the abrasion,
chemical resistance, and weathering tests ``is to ensure that driver
visibility is adequately maintained through the glazing and that the
Item 4 glazing material can withstand long term exposure to simulated
weathering conditions, abrasion due to contact friction and resistance
to certain chemicals that are likely to be used for cleaning purposes
and that could lead to degradation of the glazing surface.''
Gillig refers to an August 2020 interpretation by NHTSA, in which
it says the Agency ``took the position that rigid plexiglass installed
to the right of the bus driver is installed in an area that is
requisite for driving visibility and that NHTSA would consider such a
barrier to be an `interior partition.' '' \2\ Gillig lists the types of
glazing that are allowed to be used for ``an interior partition
installed in an area requisite for driving visibility,'' which includes
Item 4 glazing. Gillig says that while Item 4 glazing is allowed in
this application, it is ``typically used for glazing on or facing the
exterior of the vehicle,'' and would therefore be exposed to weather
and other elements.
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\2\ See Letter to Collingwood, August 20, 2020, 571.205
Plexiglass Barriers (002) [bond] NHTSA.
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However, Gillig states that because the subject partitions are
installed inside of the vehicle compartment, they would not be exposed
to such elements that the abrasion, chemical resistance, and weathering
test requirements are intended to replicate. Thus, Gillig believes that
those performance requirements are ``not appropriate for generic
partitions installed inside the vehicle compartment.''
According to Gillig, the abrasion, chemical resistance, and
weathering performance requirements ``were intended for glazing used as
windows, doors and other glazing that typically are or may be installed
facing and exposed to the exterior of the vehicles.'' Therefore, Gillig
believes that the application of these performance requirements ``may
be appropriate for exterior-mounted devices but is overinclusive and
unnecessary for interior partitions like the Gillig partitions.''
A. Abrasion Test
According to Gillig, ``the risk of exposure to actual abrasion
conditions in real-world operation similar to those specified by the
standard is extremely low.''
Gillig says that in a Notice of Proposed Rulemaking \3\ the Agency
``acknowledged that internal glazing requires significantly less
cleaning compared to glazing mounted facing the exterior of the
vehicle, which needs frequent cleaning to remove dirt and grime due to
exposure to external elements.'' Gillig states that the Agency also
recognized that different performance requirements for glass and glass
faced plastic are based on the differing locations on the vehicle in
which each type of glazing is installed. While Gillig acknowledges that
an internal partition may be exposed to abrasion when passengers are
``leaning and rubbing against the glazing surface,'' Gillig explains
that the partition installed in the subject buses ``is situated in an
area of the passenger compartment where no standees are allowed and,
therefore, this risk is considerably reduced.''
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\3\ 77 FR 37477, June 21, 2012.
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B. Chemical Resistance Test
Gillig provides the ANSI Standard that states the purpose of the
chemical resistance test:
``The purpose of the test is to determine whether non-stressed
transparent plastic or glass-plastic glazing material have certain
minimum resistance to the following chemicals which are likely to be
used for cleaning purposes in motor vehicle service:
(1) One percent solution of nonabrasive soap in deionized water;
(2) Kerosene No. K-1 or K-2;
(3) Undiluted denatured alcohol (Formula SD No. 30);
(4) Gasoline;
(5) An aqueous solution of isopropanol and glycol ether solvents in
concentration no greater than 10% or less than 5% by weight each and
ammonium hydroxide no greater than 5% or less than 1% by weight each,
simulating typical commercial windshield cleaner.''
Gillig explains that the partitions installed in the subject buses
were found to be noncompliant with the performance requirements
pertaining to the gasoline immersion. Gillig says that the gasoline
exposure test is ``focused on extended exposure to gasoline where the
glazing specimen is immersed in the substance'' which Gillig believes
is unlikely to occur in real-world use. Gillig contends that in the
event gasoline were to make contact with the partition, ``it would not
occur at a rate or level that is so frequent that it would have any
impact on the performance of the partition.'' Furthermore, Gillig says
it is not aware of any claims, information, or other data that suggests
the partitions installed in the subject buses would be exposed to
gasoline.
Gillig adds that the subject buses equipped with the noncompliant
interior partitions are not gasoline powered, therefore the potential
for the
[[Page 72814]]
partitions to be exposed to gasoline is lowered. Furthermore, due to
the location of the partition inside the subject buses adjacent to the
driver's seat, Gillig contends that the probability that the partitions
would be exposed to gasoline is ``extremely low and most likely to be
nonexistent.''
C. Weathering Test
Gillig states that the purpose of the weathering test is ``to
determine whether the plastic or glass plastic material glazing will
sufficiently withstand exposure to simulated weathering conditions over
an extended period of time.'' To conduct this test, Gillig explains
that a specimen is first exposed to a simulated source of radiation,
after which the specimen's luminous transmittance is required to not be
reduced by more than 5 percent, however, any increase in regular
luminous transmittance is acceptable. The specimen may develop some
discoloration but other defects should not develop. Additionally, the
irradiated specimen shall develop no bubbles or other noticeable
decomposition.
When testing the partitions installed in the subject buses, Gillig
found that ``segments of the coating peeled up and flaked off during
the exposure and did not pass the abrasion test that followed the
weathering procedure.'' However, Gillig believes that this weathering
test does not reflect real-world use of the subject partition. Gillig
explains that the light sources used to conduct the weathering test
``simulate solar maximum conditions, meaning global, noon sunlight at
normal incidence on the summer solstice.'' Gillig says this is ``the
most severe condition met in outdoor service.''
Gillig says that any type of glass that surrounds a partition
located in the passenger compartment of a vehicle would act as a
sunlight filter and would significantly reduce the energy of the
damaging wavelengths. Thus, Gillig believes, the material deterioration
due to UV weathering of subject partitions would be greatly reduced.
Gillig further contends that ``since automotive glass is thicker than
common window glass, it provides an even superior filtering efficiency
compared to common glass with the potential to filter out almost all of
the damaging UV wavelengths.''
2. Glazing Marking Noncompliance
In the same population of buses affected by the glazing material
noncompliance, Gillig determined that certain buses are not marked with
the ``DOT AS4'' glazing marking required by FMVSS No. 205 to indicate
that it is certified as Item 4 glazing. Gillig also determined that a
separate population of buses are equipped with modesty panels in the
passenger compartment that are not marked with the required ``AS4''
glazing marking. Gillig says the modesty panel is not used for driver
visibility but is used to ``enhance privacy for passengers.''
Gillig says, ``The purpose of the glazing marking is so that
appropriate equivalent glazing can be used in the event that the
original glazing needs to be replaced.'' Gillig states its belief that
the absence of the required glazing marking does not create an
increased risk to motor vehicle safety because the subject buses are
operated by personnel that are trained and knowledgeable of the
appropriate Item of glazing that is allowed to be used in the interior
of the bus. Despite the lack of the marking, Gillig says that the
trained maintenance personnel would ensure that the subject glazing is
replaced by the appropriate glazing. Furthermore, Gillig says that
replacement parts need to be specifically ordered for the vehicle using
a unique part number.
Gillig states production has been corrected and any of the subject
glazing still in its possession have been removed from future service.
Gillig says that the modesty panels meet all other FMVSS No. 205
labeling and performance requirements and the interior partitions
``meet all of the performance requirements that are necessary for the
real-world use'' of the subject partitions.
Gillig claims that the Agency has granted prior petitions in which
the glazing was missing the required marking, such as the 2016 granting
of a petition submitted by Supreme Corporation.\4\
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\4\ See, e.g., Grant of Petition of Supreme Corporation, 81 FR
72850, October 21, 2016.
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Gillig concludes its petition by stating its belief that the
subject noncompliances are inconsequential as they relate to motor
vehicle safety and its petition to be exempted from providing
notification of the noncompliances, as required by 49 U.S.C. 30118, and
a remedy for the noncompliances, as required by 49 U.S.C. 30120, should
be granted.
NHTSA notes that the statutory provisions (49 U.S.C. 30118(d) and
30120(h)) that permit manufacturers to file petitions for a
determination of inconsequentiality allow NHTSA to exempt manufacturers
only from the duties found in sections 30118 and 30120, respectively,
to notify owners, purchasers, and dealers of a defect or noncompliance
and to remedy the defect or noncompliance. Therefore, any decision on
this petition only applies to the subject vehicles that Gillig no
longer controlled at the time it determined that the noncompliance
existed. However, any decision on this petition does not relieve
vehicles distributors and dealers of the prohibitions on the sale,
offer for sale, or introduction or delivery for introduction into
interstate commerce of the noncompliant vehicles under their control
after Gillig notified them that the subject noncompliances existed.
(Authority: 49 U.S.C. 30118, 30120: delegations of authority at 49
CFR 1.95 and 501.8.)
Otto G. Matheke, III,
Director, Office of Vehicle Safety Compliance.
[FR Doc. 2023-23330 Filed 10-20-23; 8:45 am]
BILLING CODE 4910-59-P
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</html>This is legal information, not legal advice. Laws vary by jurisdiction and change frequently. Always verify current law with official sources and consult a licensed attorney in your jurisdiction for advice on your specific situation.