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Interpretation ID: 20014.ztv

Mr. Joel Sacher
Director of Product Development
Italjet U.S.A.
302 Spring Street
New York NY 10013

Dear Mr. Sacher:

We have received your letter of May 11, 1999, asking for a temporary exemption for "a small number of Italjet scooters" from one requirement of Federal Motor Vehicle Safety Standard No. 123 Motorcycle Controls and Displays.

I am sorry to inform you that the petition does not meet our procedural requirements, and we request that you revise and resubmit it in accordance with the following comments. Our regulation, 49 CFR 555.5(b)(3), requires that a petition

state the full name and address of the applicant,

the nature of its organization (individual, partnership, corporation, etc.) and the name of the State or country under the laws of which it is organized.

Italjet U.S.A. appears to be petitioning on behalf of Italjet S.p.A. If our assumption is correct, please provide the identifying information for Italjet S.p.A. that the regulation requires. If Italjet U.S.A. is a wholly-owned subsidiary of Italjet S.p.A., we ask that you confirm this as well. If Italjet U.S.A. is not a wholly-owned subsidiary of Italjet S.p.A., we would like to have a copy of the authorization from Italjet S.p.A. to you to petition on its behalf.

In order that any possible exemption be limited in scope, please inform us of the model name or number of the vehicle for which you are requesting exemption.

Finally, we call your attention to 49 CFR 555.5(b)(2) which requires that temporary exemption petitions be filed in three copies; we received only one copy.

When we have this information, we shall be pleased to consider your request.

Sincerely,
Frank Seales, Jr.
Chief Counsel
ref:555
d.6/3/99