Interpretation ID: 17494.ztv
Mr. Keith Reichow
26409 148th Ave. S.E.
Kent, WA 98042-8142
Dear Mr. Reichow:
This is in reply to your letter of March 5, 1998, with respect to your planned importation of an automobile body. You have asked for a "letter that can be presented to U.S. Customs that would assist in clearing this hardware."
We are pleased to provide an interpretation to you. You intend to import "the frame with axles and suspension attached." In addition, "the aluminum body skin and fenders would be in place and the dashboard would be equipped with some instruments. The radiator, brake, clutch and gas pedals would also be mounted."
None of the Federal motor vehicle safety standards apply to any of these items of equipment. Accordingly, it is permissible for you to import the body by completing the box titled "Description Of Merchandise If Motor Vehicle Equipment" on the HS-7 Declaration Form which you may be required to execute, and, under it, checking Box 1 which states in pertinent part that "the equipment item was manufactured on a date when no applicable Federal Motor Vehicle Safety or Theft Prevention Standard was in effect." You may attach a copy of this letter to the form to facilitate entry.
Even though the assembled vehicle will be a replica of an early 1960s Lotus 7, it must comply upon manufacture with all Federal motor vehicle safety standards of 49 CFR Part 571 that apply to passenger cars manufactured in 1998, even if they are not necessarily compatible with a 35-year old design. The vehicle would have to meet the bumper standard as well (49 CFR Part 581).
If you have any questions, you may call Taylor Vinson of this Office (202-366-5263).
Sincerely,
John Womack
Acting Chief Counsel
ref:591
d.5/22/98