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Interpretation ID: 2662o

Leonard Cain, Director
School Building and Transportation
Mississippi State Department of Education
Suite 306, Sillers Office Building
P.O. Box 771
Jackson, MS 39205-077l

Dear Mr. Cain:

This letter responds to your inquiry of July 30, 1987, in which you pose some questions concerning the applicability of Federal motor vehicle safety standards and Standard 17 to certain vehicles used for transporting school students. I apologize for the delay in this response.

Before I answer your specific questions, I think it might be useful to give you some general information on the Federal role in school bus regulation. The National Highway Traffic Safety Administration (NHTSA) deals with school buses under two different Federal laws: the National Traffic and Motor Vehicle Safety Act of 1966 (Vehicle Safety Act), and the Highway Safety Act.

In 1974, Congress amended the Vehicle Safety Act and directed NHTSA to issue safety standards respecting certain elements of school bus performance, and addressing any person who manufactures or sells a new "school bus." The Federal Motor Vehicle Safety Standards issued under this Act are mandatory Federal standards that apply to school bus manufacturers and sellers. A school bus manufacturer must certify its vehicles as complying with Federal standards that are applicable to school buses. A seller may not sell a vehicle that does not comply with those standards if the seller has reason to know that the buyer intends to use the vehicle as a school bus.

NHTSA defines "school bus" as a motor vehicle designed for carrying 11 or more persons, including a driver, and sold for transporting students to and from school or school-related events. Note that in determining whether a vehicle is a school bus, one must consider both the vehicle's seating capacity, and its intended use.

Under the Highway Safety Act, NHTSA has issued guidelines (23 CFR No. 17, Highway Safety Program Standard) that cover a wide range of subjects relative to school bus identification, operation, and maintenance. Different practices apply to "school vehicles" under the guidelines depending upon whether the vehicle is "Type I" or "Type II." This agency may recommend that an individual State adopt all or part of these guidelines as the State's own policy governing student transportation programs. However, pursuant to the Highway Safety Act, NHTSA does not require compliance with these guidelines. Instead, each individual State decides whether it will adopt some or all of these "Standard 17" guidelines.

Please keep this information in mind as I answer your questions in order. I have assumed in answering your questions that the activities to which you refer are school-related.

Question 1a: Does a vehicle (type 1 bus) purchased by a local public school district for transporting students for only activity purposes have to conform to all Federal Motor Vehicle Safety Standards?

The answer to your question is "yes." However, the agency's regulatory and enforcement authority is directed toward the person manufacturing or selling a school bus. This agency can not regulate purchase or use of a school bus, and consequently can not require a school district to purchase a particular kind of vehicle for transporting students. As noted above, the definition of "school bus" includes vehicles sold for transporting students to and from school-related events. An activity bus is a school bus under this functional definition. Therefore, a manufacturer or seller of a vehicle who has reason to believe that the vehicle's intended use is solely for transporting students to and from school-related activities must ensure its compliance with any Federal safety standard that applies to a school bus.

Question 1b: Does a bus purchased and used solely for activity purposes have to be painted school bus yellow?

School bus color is a matter addressed under the guidelines set out in "Standard 17" discussed above. Accordingly, the answer to your question depends on the laws and regulations of Mississippi. There is no Federal standard requiring that a manufacturer or seller paint a school bus a particular color.

Question 2a: Does a van (designed to carry 11 or more persons) purchased by a local public school district for transporting students for only activity purposes have to conform to all Federal Motor Vehicle Safety Standards?

Recall again that our regulations are directed to school bus manufacturers and sellers. A van designed to carry 11 or more persons, and intended to transport students to and from school-related events is a "school bus" under the agency's definition. Therefore, a manufacturer or seller would have to ensure the vehicle's compliance with any applicable Federal safety standard. To determine whether a local school district may use a noncomplying vehicle it purchases, you must look to state law.

Question 2b: Does a van purchased and used solely for activity purposes have to be painted school bus yellow?

Again, for the reasons set out in my answer to Question 1b, the answer to this question depends on the laws of your State.

I hope you find this information helpful.

Sincerely,

Erika Z. Jones Chief Counsel

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