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Interpretation ID: nht87-1.100

TYPE: INTERPRETATION-NHTSA

DATE: 06/04/87

FROM: AUTHOR UNAVAILABLE; Erika Z. Jones; NHTSA

TO: Mr. Barry Bartlett

TITLE: FMVSS INTERPRETATION

TEXT:

Mr. Barry Bartlett President Canadian Automotive Radiator Air Industrial Park P.O. Box 189 Debert, Nova Scotia, BOM 1GO CANADA

Dear Mr. Bartlett:

Thank you for your letter of May 5, 1987, concerning Standard No. 301, Fuel System Integrity. You asked the agency to confirm that the requirements set out in the standard apply only to fuel systems installed as items of original equipment in new vehicles and do not apply to aftermarket fuel systems. Several of the Federal Motor Vehicle Safety Standards apply both to original any aftermarket equipment. Standard No. 301, however, applies only to fuel system; installed as items of original equipment in new vehicles.

Although the agency does not have any standards that directly apply to aftermarket fuel systems, manufacturers of motor vehicle equipment, which includes aftermarket fuel systems, are subject to the requirements in sections 151-159 of the Vehicle Safety Act concerning the recall any remedy of products with defects related to motor vehicle safety. I have enclosed an information sheet which briefly describes those responsibilities.

In addition, installation of your product can be affected by section 108(a)(2)(A) of the National Traffic and Motor Vehicle Safety Act. This section prohibits commercial businesses from knowingly rendering inoperative devices or elements of design installed in a vehicle in compliance with the Federal motor vehicle Safety Standards. Thus, a manufacturer, dealer, distributor or motor vehicle repair shop that installs replacement fuel tanks most ensure that it does not knowingly render inoperative the vehicle's compliance with Standard No. 301.

The prohibition of section 108(a)(2)(a) does not apply to individual vehicle owners who alter their own vehicles. Thus, under Federal law, they may install or remove any items of motor vehicle equipment regardless of its effect on compliance with Federal Motor Vehicle Safety Standards. However, the agency encourages vehicle owners not to remove or otherwise tamper with the vehicle safety equipment.

If you have any further questions, please let me know.

Sincerely,

Erika Z. Jones Chief Counsel

May 5, 1987 Ms. Erika Z. Jones, Chief Counsel National Highway Traffic Safety, 400 7th St. S.W., Washington, D.C. 20590

Dear Ms. Jones:

Recent discussions with Mr. Steven Wood, representative of the Legal Regulations Office of the National Highway Safety Transportation, regards gas tank production for the automotive market, has prompted my writing this letter to you for clarification and confirmation. It is Mr. Wood's opinion that regulation standard number 301 as outlined in your Federal Motor Standards Act governs gas tank specifications aimed at original equipment production and does not cover products produced solely for aftermarket consumption. We would appreciate it greatly if you would confirm Mr. Wood's observations.

Thanking you in advance for your assistance in this matter, I remain,

Yours very truly,

CANADIAN AUTOMOTIVE RADIATOR EXCHANGE AND MANUFACTURING LIMITED

Barry Bartlett, President