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Interpretation ID: aiam3610

Mr. Darnley M. Howard, Director, Office of Safety and Health, United States Postal Service, 475 L'Enfant Plaza, S.W., Washington, DC 20260; Mr. Darnley M. Howard
Director
Office of Safety and Health
United States Postal Service
475 L'Enfant Plaza
S.W.
Washington
DC 20260;

Dear Mr. Howard: This responds to your August 18 letter to Roger Fairchild of thi office, regarding the use of cross-view mirrors on certain Postal Service vehicles. These mirrors are convex and have a non-uniform radius of curvature. They would be used to assist drivers in viewing the area immediately in front of the vehicle.; Federal Motor Vehicle Safety Standard No. 111 sets forth rear vie mirror requirements for new motor vehicles. Vehicles such as Postal Service trucks are required to comply with one of three specified alternative sets of requirements for mirror systems. The first alternative requires a plane inside mirror providing a specified field of view and a plane exterior driver side mirror, also providing a specified field of view. The second alternative is the same as the first, except that it permits the interior mirror to have a more narrow field of view as long as the vehicle also uses an exterior mirror on the passenger side. The third alternative requires two plane exterior mirrors of at least 19.5 square inches surface area each, with one placed on the driver's side and the other on the passenger's side of the vehicle.; The agency has taken the position that mirrors used on a vehicle i addition to the required mirrors are not subject to any requirements of FMVSS 111. If the cross-view mirrors you wish to use would supplement mirrors which fully comply with one of the alternatives in the standard, the installation of the cross-view mirrors on new Postal Service trucks is in no way prohibited by our standard.; Further, our requirements do not apply to aftermarket modifications t the original equipment mirror system, when those modifications are performed by the vehicle owner. Modifications to the required system would be deemed unlawful only if done by vehicle manufacturers, distributors, dealers, or motor vehicle repair businesses. Thus, the use of the cross-view mirrors is permissible in any case, so long as one of these designated businesses does not perform the modification. However, we recommend that the cross-view mirror be used in addition to the original equipment mirrors, and not as a substitute for those mirrors. Based on our experience with non-uniform radius mirrors, these mirrors should not be used when the vehicle is in motion, since the mirror produces an image which can distort distances. Rather, the mirror should be used to detect people in front of the vehicle while the vehicle is stopped.; NHTSA would appreciate the opportunity to review the results of you test program once it is completed. If we can be of assistance to you in evaluating the mirrors, please feel free to contact us.; Sincerely, Frank Berndt, Chief Counsel