96-30362. Federal Motor Vehicle Safety Standards; Occupant Crash Protection  

  • [Federal Register Volume 61, Number 230 (Wednesday, November 27, 1996)]
    [Rules and Regulations]
    [Pages 60206-60221]
    From the Federal Register Online via the Government Publishing Office [www.gpo.gov]
    [FR Doc No: 96-30362]
    
    
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    DEPARTMENT OF TRANSPORTATION
    National Highway Traffic Safety Administration
    
    49 CFR Part 571
    
    [Docket No. 74-14; Notice 103]
    RIN 2127-AG14
    
    
    Federal Motor Vehicle Safety Standards; Occupant Crash Protection
    
    AGENCY: National Highway Traffic Safety Administration (NHTSA), DOT.
    
    ACTION: Final rule.
    
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    SUMMARY: As one method of reducing the adverse effects of air bags, 
    especially for children, NHTSA is requiring new, attention getting 
    labels. This rule requires vehicles with air bags to bear three new 
    warning labels. Two of the labels replace existing labels on the sun 
    visor. The third is a temporary label on the dash. These new labels 
    would not be required on vehicles having a ``smart'' passenger-side air 
    bag, i.e., an air bag that would automatically shut off or adjust its 
    deployment so as not to adversely affect children. This rule also 
    requires rear-facing child seats to bear a new, enhanced warning label 
    to replace the existing label. The labels will help reduce the adverse 
    effects by increasing the number of people who read and understand the 
    message of the warning labels.
    
    DATES: Effective Date: The amendments made in this rule are effective 
    December 27, 1996.
        Compliance Dates: Passenger cars, light trucks, and vans that are 
    equipped with passenger air bags that do not qualify as ``smart'' air 
    bags that are manufactured on or after February 25, 1997 must include 
    the new, attention- getting labels specified in this rule.
        Child restraint systems that can be used in a rear-facing position 
    and are manufactured on or after May 27, 1997 must include the new, 
    attention-getting label specified in this rule.
        Manufacturers may voluntarily substitute the new labels for the 
    currently required labels prior to these dates.
        Petition Date: Any petitions for reconsideration must be received 
    by NHTSA no later than Janaury 13, 1997.
    
    ADDRESSES: Any petitions for reconsideration should refer to the docket 
    and notice number of this notice and be submitted to: Administrator, 
    National Highway Traffic Safety Administration, 400 Seventh Street, SW, 
    Washington, DC 20590.
    
    FOR FURTHER INFORMATION CONTACT: The following persons at the National 
    Highway Traffic Safety Administration, 400 Seventh Street, SW, 
    Washington, DC 20590:
        For non-legal issues: Mary Versailles, Office of Safety Performance 
    Standards, NPS-31, telephone (202) 366-2057, facsimile (202) 366-4329, 
    electronic mail mversailles@nhtsa.dot.gov''.
        For legal issues: J. Edward Glancy, Office of Chief Counsel, NCC-
    20, telephone (202) 366-2992, facsimile (202) 366-3820, electronic mail 
    eglancy@nhtsa.dot.gov''.
    
    SUPPLEMENTARY INFORMATION:
    
    Table of Contents
    
    I. Background
    II. Currently Required and Proposed Vehicle Labels
        A. Labels on Sun Visor
        B. Label on Passenger-Side End of Vehicle Dash or on Door Panel
        C. Label in the Middle of the Dash Panel
    III. Current and Proposed Labels for Rear-Facing Child Seats
    IV. Summary of Comments on Proposal
    V. Focus Groups
    VI. General Issues Applicable to All Labels
        A. Vehicles with Smart Passenger-Side Air Bags or Manual Cutoff 
    Switches for Passenger-Side Air Bags
        B. Flexibility
        C. Headings
        D. Color
        E. Pictogram
    VII. Sun Visor Alert Label
    VIII. Sun Visor Warning Label
    
    [[Page 60207]]
    
    IX. Label on Passenger-Side End of Vehicle Dash or on Door Panel
    X. Label in the Middle of the Dash Panel
    XI. Child Seat Label
    XII. Letters to Owners of Existing Vehicles
    XIII. Leadtime and Costs
    XIV. Rulemaking Analyses and Notices
        A. Executive Order 12866 and DOT Regulatory Policies and 
    Procedures
        B. Regulatory Flexibility Act
        C. Paperwork Reduction Act
        D. National Environmental Policy Act
        E. Executive Order 12612 (Federalism)
        F. Civil Justice Reform
    
    I. Background
    
        On August 6, 1996, NHTSA published a notice of proposed rulemaking 
    (NPRM) on Standard No. 208, ``Occupant Crash Protection,'' (49 CFR 
    571.208) and Standard No. 213, ``Child Restraint Systems,'' (49 CFR 
    571.213). The NPRM proposed several amendments to these standards to 
    reduce the adverse effects of air bags, especially those on children. 
    One of the proposed steps involved new, attention-getting warning 
    labels for vehicles without smart passenger-side air bags \1\ and for 
    rear-facing child seats.
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        \1\ The NPRM identified three types of smart passenger-side air 
    bags: (1) systems that provide an automatic means to ensure that the 
    air bag does not deploy when a child seat or a child with a total 
    mass of 30 kg or less is present on the front outboard passenger 
    seat, (2) systems using sensors, other than or in addition to weight 
    sensors, which automatically prevent the air bag from deploying in 
    situations where it might have an adverse effect on children, and 
    (3) systems designed to deploy in a manner that does not create a 
    risk of serious injury to children very near the bag.
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    II. Current and Proposed Vehicle Labels
    
        NHTSA's current vehicle labeling requirements for vehicles with air 
    bags require the following information, coupled with the signal phrase 
    ``CAUTION, TO AVOID SERIOUS INJURY:,'' to be labeled on the sun visors:
    
        For maximum safety protection in all types of crashes, you must 
    always wear your safety belt.
        Do not install rearward-facing child restraints in any front 
    passenger seat position.
        Do not sit or lean unnecessarily close to the air bag.
        Do not place any objects over the air bag or between the air bag 
    and yourself.
        See the owner's manual for further information and explanations.
    
    The standard allows the word ``WARNING'' to be used in lieu of 
    ``CAUTION.'' In addition, the owner's manual must include appropriate 
    additional information in each of these areas. The coloring of the 
    lettering must contrast with the background of the label. No minimum 
    size dimensions are specified.
        In addition, NHTSA requires an ``air bag alert label'' if the sun 
    visor warning label is not visible when the sun visor is in its stowed 
    position. The air bag alert label can either be on the air bag cover or 
    on the side of the sun visor visible when the visor is in the stowed 
    position. To the best of the agency's knowledge, to date, all 
    manufacturers have placed the alert label on the visible side of the 
    sun visor. This alert label must read, ``Air bag. See other side.'' 
    Again, the coloring of the lettering must contrast with the background 
    of the label. No minimum size dimensions are specified.
        NHTSA proposed four new labels for vehicles without smart 
    passenger-side air bags. Two of the proposed labels would replace the 
    currently required labels. One of the new labels would be a permanent 
    label on the passenger-side end of the vehicle dash or on the adjacent 
    area of the door panel. The other new label would be a temporary label 
    on the middle of the vehicle dash.
    
    A. Labels on Sun Visor
    
        NHTSA proposed to enhance the warning labels currently required on 
    sun visors for vehicles which lack smart passenger-side air bags. The 
    current warning labels on sun visors would no longer be required. In 
    their place, enhanced alert labels and warning labels would be 
    required. Manufacturers would continue to be permitted to provide a 
    warning label only, if that label is visible when the sun visor is in 
    its stowed position.
        For the alert label, NHTSA proposed to require that a new permanent 
    label be affixed to the side of the visor that is visible when the 
    visor is in its stowed position. The label would be required on that 
    side of the visor above every seating position equipped with an air 
    bag. The label would have a black background. On the left side of the 
    proposed alert label would be a pictogram showing an inflating air bag 
    striking a rear-facing child seat, with a red slash through that. On 
    the right side of the proposed alert label would be yellow letters 
    reading ``AIR BAG WARNING.'' Underneath that warning, in much smaller 
    yellow letters, would appear text reading ``FLIP VISOR OVER.'' The 
    agency proposed that all the new labels, including the alert label, be 
    at least at least 140 mm long and 65 mm high. However, NHTSA asked for 
    comments on labels that were 75 percent, 50 percent, and 25 percent of 
    the proposed size.
        For the warning label to be permanently affixed on the side of the 
    visor visible when the visor was turned down in the deployed position 
    (unless the manufacturer chooses to place the warning label on the side 
    of the visor visible in its stowed position), NHTSA proposed there 
    would be a white pictogram on a black background in the lower left 
    corner of this label. The pictogram would be a representation of a 
    belted adult occupant in front of a deploying air bag. The background 
    for the rest of the proposed label would be yellow. In red across the 
    top of the label would appear a triangle with an exclamation mark 
    inside it followed by the word ``WARNING'' in large type. In smaller 
    red type beneath that heading, the phrase ``Severe injury or death can 
    occur'' would appear. Beneath that, in black type, would appear the 
    phrase ``Air bags need room to inflate.'' Beneath that, the proposed 
    label would have had four bullets in black type reading:
         Never put a rear-facing child seat in the front.
         Unbelted children can be killed by the air bag.
         Don't sit close to the air bag.
         Always use seat belts.
        For vehicles with a manual cutoff switch, the first bullet on the 
    label for the stowed side of the sun visor would be modified to read 
    ``Never put a rear-facing child seat in the front UNLESS the air bag is 
    off.''
        The agency also proposed to carry forward the current prohibition 
    against sun visors showing any other information about air bags or the 
    need to wear seat belts, except for air bag maintenance information and 
    the utility vehicle label required by NHTSA's consumer information 
    regulations. Finally, the agency asked whether a sun visor label should 
    be required for vehicles with smart passenger-side air bags.
    
    B. Label on Passenger-Side End of Vehicle Dash or on Door Panel
    
        NHTSA currently has no requirements for any safety labels in these 
    locations. However, the International Organization for Standardization 
    (ISO) has a proposed label featuring a pictogram showing a rear-facing 
    child seat positioned in front of an air bag, with a red slash through 
    the visual. The proposed location is on the passenger-side end of the 
    dash, which is visible only when the passenger door is opened. An 
    alternative location is on the door panel in a location that is also 
    visible only when the door is opened.
        NHTSA proposed to require a label either on the passenger-side end 
    of the dash or on the door panel, for vehicles which lack smart 
    passenger-side air bags. The proposed label would have
    
    [[Page 60208]]
    
    been identical to the label proposed for child seats (see below in 
    section III). It would be a permanent label with the same minimum 
    dimensions, the same yellow and red colors, and the same content, 
    including the visual with the red slash through it. If the vehicle had 
    a manual cutoff switch for the passenger air bag, the label would be 
    modified to read ``Danger! Do not place rear-facing child seat on front 
    seat with air bag UNLESS the air bag is off.''
    
    C. Label in the Middle of the Dash Panel
    
        NHTSA currently has no requirements for a safety label in this 
    location. The label NHTSA proposed was a very visible label to be 
    placed in the middle of the dash of all new vehicles equipped with air 
    bags, if they lack smart passenger-side air bags. However, this label 
    would have been permitted to be readily removable. If removable, the 
    label would have been required on new vehicles when they are delivered 
    to consumers, but could have then been removed by consumers after they 
    have had a chance to read it. As proposed, the top half of this label 
    would have a yellow background with the phrase ``Make sure all children 
    wear seat belts'' in red type. The bottom half of this label would have 
    a white background. In black type, the bottom half of the proposed 
    label would say, ``Unbelted children and children in rear-facing child 
    seats may be KILLED or INJURED by passenger-side air bag.'' To make the 
    proposed label as effective as possible, the signal word ``WARNING'' 
    would be placed at the beginning of the label to highlight the 
    importance of the message.
    
    III. Current and Proposed Labels on Rear-Facing Child Seats
    
        NHTSA currently requires a warning to be labeled on each child 
    restraint that can be used in a rear-facing position. Specifically, 
    S5.5.2(k)(ii) of Standard No. 213, Child Restraint Systems (49 CFR 
    571.213) requires:
    
        Either of the following statements, as appropriate, on a red, 
    orange, or yellow contrasting background, and placed on the 
    restraint so that it is on the side of the restraint designed to be 
    adjacent to the front passenger door of a vehicle and is visible to 
    a person installing the rear-facing child restraint system in the 
    front passenger seat:
        WARNING: WHEN YOUR BABY'S SIZE REQUIRES THAT THIS RESTRAINT BE 
    USED SO THAT YOUR BABY FACES THE REAR OF THE VEHICLE, PLACE THE 
    RESTRAINT IN A VEHICLE SEAT THAT DOES NOT HAVE AN AIR BAG, or
        WARNING: PLACE THIS RESTRAINT IN A VEHICLE SEAT THAT DOES NOT 
    HAVE AN AIR BAG.
    
        NHTSA proposed to move and enhance the warning label currently 
    required on child restraint systems that can be used in a rear-facing 
    position. As proposed, a new permanent label would be affixed to each 
    child restraint system that can be used in a rear-facing position. The 
    label would be located in the area where a child's head would rest. 
    This new label would have a yellow background for the text portion. On 
    that yellow background, there would first appear a heading in red that 
    said ``DANGER!'' Under that heading, the text of the proposed label 
    would appear in black as:
    
        DO NOT place rear-facing child seat on a vehicle seat with air 
    bag.
        DEATH or SERIOUS INJURY can occur.
    
    Opposite the text, this warning label would have a pictogram showing an 
    inflating air bag striking a rear-facing child seat, with a red slash 
    through that.
    
    IV. Summary of Comments on Proposal
    
        Over 50 of the comments received in response to the NPRM addressed 
    labeling issues. Except for General Motors (GM), vehicle manufacturers 
    were not strongly opposed to the concept of labels. However, nearly all 
    manufacturers asked NHTSA to specify the exact language and content of 
    labels, but to allow flexibility in other areas. Manufacturers also 
    raised concerns about adhesive residue from the temporary label and 
    leadtime.
        In general, child seat manufacturers had stronger objections to the 
    labeling proposal, feeling that they and child seat purchasers would 
    bear a disproportionate share of the economic burden when the air bag, 
    not the child seat, was the hazard. Some child seat manufacturers 
    expressed concerns with the proposed location for the label, citing 
    visibility, durability, and child comfort concerns. Some child seat 
    manufacturers also were concerned that the proposed format and location 
    might falsely lead users to conclude that this warning was more 
    important than other warnings.
        Insurance groups, consumer advocacy groups, and parents generally 
    supported more conspicuous labels. Some of these commenters felt the 
    proposed labels were not conspicuous enough. Some of these commenters 
    also were concerned that proposed labels did not make it clear that all 
    children should be in the rear seat.
        Finally, comments were received concerning harmonization with a 
    proposed symbol from the International Organization for Standardization 
    (ISO) and with the series of Z535 standards from the American National 
    Standards Institute (ANSI).
    
    V. Focus Groups
    
        The labels proposed in the NPRM were developed in part based on the 
    results of six focus groups the agency conducted in March 1996. GM in 
    particular criticized the agency's reliance on the results of focus 
    groups. GM requested an analysis of the proposed labels from Dr. Jane 
    T. Welch, a human factors and communications consultant, and attached a 
    copy of her report to the GM comment. The report states, ``NHTSA has 
    seen fit to toss aside 20 years of research in favor of the opinions of 
    54 naive lay people.''
        Much of GM's criticism of the labeling proposal is an incorrect 
    impression that NHTSA believes improved labels guarantee that all 
    people would act correctly in response to the warning. Dr. Welch 
    referred to 20 years of human factors studies reportedly demonstrating 
    that warning labels on products have produced ``very little reduction 
    in accident rates.'' NHTSA does not believe that labels by themselves 
    will solve the adverse effects of air bags. In its August 6 proposal, 
    NHTSA acknowledged that no label works perfectly for all people and 
    that different people prefer different label concepts. However, even if 
    GM and Dr. Welch are correct in their assertion that labels will 
    produce only a ``very little'' reduction in fatalities and injuries, 
    NHTSA believes it should do all it can to present a ``warning'' message 
    frequently and prominently so as to achieve whatever reduction is 
    possible.
        Further, the agency stated in the August 6 proposal that it had 
    used the ``focus groups with the aim of designing a label which would 
    improve substantially the likelihood that people will read the label 
    and understand its message.'' NHTSA recognized that even if motorists 
    received the message, there was not any assurance that people would act 
    on the message. GM and Dr. Welch concede that some people will act on 
    the message. The agency has used focus groups to help ensure the label 
    will be conspicuous enough to attract more people's attention and the 
    message will be clear and powerful enough to increase the likelihood 
    that more people will act in accordance with the message.
        Finally, NHTSA appreciates the inputs from GM and other commenters 
    about the content of the labels. The agency has used the public's 
    inputs to help it modify and better define the message these labels 
    will convey. NHTSA agrees that human factors knowledge is extremely 
    valuable in deciding whether a label can be used to
    
    [[Page 60209]]
    
    help address a problem and what the message and purpose of the label 
    should be. However, once these decisions have been made, NHTSA believes 
    that focus groups are a valid and helpful technique to see if a 
    proposed label design is effective; i.e., whether the label design 
    succeeds in attracting the user's attention and whether the label 
    clearly conveys the intended message.
        Consistent with this belief, NHTSA has conducted six more focus 
    groups in three cities to test consumer reaction to fine tuning changes 
    suggested by the comments on the proposed labels. The contractor's 
    final report on the second focus group study has been placed in the 
    docket for this rulemaking. What follows is a brief overview of the 
    second study.
        Focus groups were conducted in San Diego, CA on October 29, 1996, 
    in Chicago, IL on October 30, 1996, and in Baltimore, MD on November 4, 
    1996. The study involved six focus groups. The Baltimore, MD groups 
    each had eight participants, the San Diego groups each had nine 
    participants, and the Chicago groups had nine and ten participants, for 
    a total of 53 participants. The composition of the groups reflected the 
    population as a whole in terms of gender, ethnic background, and level 
    of education. All participants had at least one child under 13, made 
    several trips per week with one or more children in the car, drove at 
    least 7,500 miles per year, were 25-45 years of age, had no connection 
    with the automotive industry or with market research, and had not 
    participated in a focus group during the preceding six months.
        The focus groups lasted approximately two hours. The first half-
    hour of each focus group was spent discussing their current actions and 
    beliefs regarding children riding in cars, use of seat belts, air bags, 
    and awareness of any warning labels currently in vehicles. Most of the 
    remaining time was devoted to evaluating three different sets of 
    prototype labels. The San Diego and Chicago groups evaluated a total of 
    12 labels, while the Baltimore groups evaluated a total of 15 labels.
        For the sun visor warning label, the San Diego and Chicago groups 
    evaluated the currently required label, the proposed label, and three 
    new labels based on the comments. The new labels used the proposed 
    pictogram, the ISO pictogram, and a pictogram included in Chrysler's 
    comments. The colors tested were the colors specified in the ANSI 
    standards (see below), except that both yellow and orange headings were 
    tested. The text of the new labels was also revised from the proposal. 
    The Baltimore group also evaluated two additional labels, based on 
    results from the first two focus groups. One of the these labels had 
    the heading in red on a yellow background. This color combination was 
    preferred by both the San Diego and Chicago focus groups instead of the 
    heading in black on the yellow background, as specified by ANSI 
    labeling guidelines. Both of these additional labels had new, more 
    specific text.
        For the temporary label on the middle of the dash, the groups 
    evaluated the proposed label and three new labels. The colors of the 
    new labels were those specified in the ANSI standards, except that both 
    yellow and orange headings were tested. The text of the new labels was 
    also revised. The text of one of the new labels was further modified 
    for the Baltimore group to give more specific advice concerning the age 
    below which children are at special risk from deploying air bags.
        For the child seat label, the San Diego and Chicago groups 
    evaluated the proposed label and two new labels. The new labels include 
    the new pictograms and the new color combinations of the previous 
    labels, and revised text. The Baltimore group tested an additional new 
    label with an all yellow background.
        In general, there were not major differences among the six groups. 
    Generally, the members were well-informed and very interested in 
    automobile safety. Every group had heard that the rear seat was the 
    safest place for children. Almost every participant had heard of the 
    dangers to children from air bags. However, the groups did indicate 
    that most of their information was from the media and that they were 
    interested in obtaining information from the government and the motor 
    vehicle industry. The participants indicated that they would be very 
    interested in receiving clear, unambiguous statements of the risks from 
    the government and industry, along with guidance on how to minimize 
    those risks. The reactions of the focus groups to specific labels or 
    label features are discussed later in this notice.
    
    VI. General Issues Applicable to all Labels
    
    A. Vehicles With Smart Passenger-Side Air Bags or Manual Cutoff 
    Switches for Passenger-Side Air Bags
    
        As an incentive for vehicle manufacturers to equip their vehicles 
    with smart passenger-side air bags, the agency proposed to limit the 
    requirement for the new labels to vehicles lacking such air bags.
        The public comments focused on the proposed definition for ``smart 
    passenger air bag.'' A definition is needed if the labeling requirement 
    is to be limited to vehicles without smart bags. Many commenters argued 
    that the proposed definition was not specific enough, and that test 
    procedures should be specified. IIHS, however, stated that the agency 
    should not develop a definition so as not to restrict developments in 
    technology. Commenters raised a variety of concerns about the portion 
    of the definition associated with weight suppression, which specified 
    that the air bag be suppressed ``when a child seat or child with a 
    total mass of 30 kg or less is present on the front outboard passenger 
    seat.'' GM, for example, argued that the definition is ambiguous and 
    does not provide sufficient information. That company stated that some 
    child seats and booster seats with children would exceed the 30 kg 
    minimum and that, assuming a 20 percent sensor error, a person with a 
    standing weight of 152 pounds could suppress the air bag. Various 
    commenters addressed the different levels of effectiveness that might 
    occur for simpler versus more advanced smart systems, and limitations 
    associated with simpler systems. AAMA expressed concern that use of the 
    term ``smart air bag'' could mislead the public into believing they 
    have no responsibility in the performance of restraint systems.
        In the absence of significant adverse comments about excepting 
    vehicles with smart passenger-side air bags from the requirements for 
    new labels, the agency is adopting that exception. Absent any evidence 
    that warnings are necessary for vehicles with smart air bags, or what 
    those warnings would be, NHTSA is not specifying any warning labels for 
    vehicles with smart passenger-side air bags. Manufacturers may provide 
    any information or warnings that would be appropriate for their smart 
    air bag designs. NHTSA recognizes that the term ``smart air bag'' is 
    still very general. The issue of more specific criteria and other 
    issues relating to smart air bags will be addressed in a rulemaking in 
    the near future.
        In recognition of the fact that some vehicles are currently 
    permitted to have manual cutoff switches for the passenger-side air 
    bag, NHTSA is specifying optional label language for those vehicles. 
    The absolute language about never placing a rear-facing child restraint 
    in the front seat is not necessary for a vehicle in which the 
    passenger-side air bag can be turned off.
    
    [[Page 60210]]
    
    The optional language for those vehicles is as follows: ``NEVER put a 
    rear-facing child seat in the front unless air bag is off.''
    
    B. Flexibility
    
        NHTSA's proposal would have required labels to conform in content, 
    format, size, and color to the proposed labels. Manufacturers agreed 
    that NHTSA should specify the label content and prohibit additional 
    labels. However, they asked for more flexibility in the areas of format 
    and size. Manufacturers also asked to be allowed to present the label 
    text not only in English, but also in other languages.
        Generally, manufacturers asked for flexibility to rearrange the 
    information to fit tight spaces in the vehicle interior. For example, 
    manufacturers asked to be able to make the label vertical rather than 
    horizontal, with the pictogram above the message, or to round the 
    corners and make the label oval.
        The purpose of the enhanced labels is to make them more noticeable 
    and more explicit. NHTSA believes that arrangement and shape of the 
    labels is irrelevant to these purposes, and therefore, is amending the 
    regulatory language to allow such changes.
        The proposal specified rectangular labels with a minimum size of 
    140  x  65 mm. The NPRM asked for comments on labels that were 75%, 
    50%, and 25% of the proposed size. Most commenters said the proposed 
    labels were larger than needed to be more conspicuous than existing 
    labels, and larger than practicable, given space considerations at some 
    locations. A visor supplier and some vehicle manufacturers asked NHTSA 
    to specify a 75% label. One manufacturer asked for a 50% label. Other 
    manufacturers asked NHTSA to specify a minimum area for the pictogram 
    and a minimum area for text, to allow the manufacturer flexibility in 
    the overall shape and layout of the label.
        NHTSA has re-examined the labels, and the proposed vehicle 
    locations for the labels, and agrees that there would be issues at some 
    locations about the sufficiency of the space for the placement of 
    labels of the proposed size. With the exception of the air bag alert 
    label discussed below, NHTSA has decided to reduce the size of the 
    labels to 75% of the proposed size because this size is still 
    conspicuous. Consistent with the above decision on format, NHTSA has 
    also decided to adopt the suggestion to specify the minimum areas of 
    the message text and pictogram only. To determine the size, NHTSA 
    measured the size of these areas on a label that was 75% of the 
    proposed size. Based on these measurements, NHTSA is specifying that 
    the pictogram must be a minimum of 30 mm in diameter, and the English 
    text must be minimum of 30 square cm.
        With respect to the size of the text, NHTSA learned from the focus 
    groups that the public generally prefers larger fonts in label text 
    because it is easier to read. This helps ensure the labels will 
    effectively convey the message to the reader. NHTSA considered 
    mandating a minimum font size for the text, but has not done so for two 
    reasons. First, it is hard to specify a single font size that would 
    assure ease of reading with all possible typefaces. Second, NHTSA does 
    not think it is necessary to specify a regulatory requirement for font 
    size to assure that manufacturers will make the message large enough to 
    be easily read. The agency expects that manufacturers will ensure the 
    English text of each label fills the 30 square cm text area, instead of 
    using smaller font size and leaving most of the text area blank 
    (white).
        NHTSA did not intend to reverse its current policy of allowing a 
    required message to be stated in additional languages once the required 
    English language message was provided. In a March 10, 1994 notice, 
    NHTSA stated:
    
        NHTSA interprets the labeling requirements * * * as requiring 
    manufacturers to supply the information in English. Once this 
    requirement is met, manufacturers may supply the same information in 
    other languages, so long as it does not confuse consumers. As long 
    as the non-English language label is a translation of the required 
    information, NHTSA does not interpret it to be ``other 
    information.'' (59 FR 11200, at 11201-202).
    
    The proposed sun visor label language also included the prohibition 
    about ``other information.'' NHTSA would again not consider 
    translations of the required label message to be ``other information.'' 
    However, all the requirements for the English label message must be 
    met, including size. The proposed provisions regarding the other 
    proposed labels did not include a prohibition against other 
    information; therefore, it would be permitted.
    
    C. Headings
    
        As proposed, three of the labels would use the word ``warning,'' 
    while two (the label for the child seat and the end of the dash) would 
    use the word ``danger.'' Commenters pointed out that the labels should 
    use only one of these words. Other commenters asked to be allowed the 
    option to continue using either ``warning'' or ``caution.'' Two 
    commenters also asked for the agency to harmonize the proposed labels 
    with ANSI standards.
        The ANSI standards specify the use of various words in the heading 
    of a label based on the degree of hazard and risk (ANSI Z535.4-1991, 
    section 4.15). The word ``danger'' should be used when there is an 
    imminent hazard that could result in death or serious injury. The word 
    ``warning'' should be used when there is a potential hazard that could 
    result in death or serious injury. The word ``caution'' should be used 
    when there is a potential hazard that could result in minor or moderate 
    injury. The ANSI standards also specify that, when multiple hazards are 
    being addressed by a label, the word for the highest level of hazard 
    among those hazards should be used (ANSI Z535.4-1991, section 5.3). 
    Finally, the ANSI standards allow the use of an ``alert symbol'' in the 
    heading (ANSI Z535.4-1991, section 7.2). The symbol is a triangle with 
    an exclamation point inside, as shown on the proposed sun visor warning 
    label.
        NHTSA originally allowed either ``warning'' or ``caution'' on the 
    current label because either word would achieve the goal of attracting 
    attention to the label (59 FR 11200, at 11202; March 10, 1994). NHTSA 
    continues to believe that the word choice for the heading will not 
    change the effectiveness of the label. However, a recent Federal law 
    encourages agencies to harmonize their standards with existing 
    standards (Pub.L. 104-113; March 7, 1996). One of the stated purposes 
    of the ANSI standards is ``to achieve application of a national uniform 
    system for the recognition of potential personal injury hazards for 
    those persons using products'' (ANSI Z535.4-1991, section 2.2). Given 
    the Federal law and this purpose, and absent strong evidence that 
    argues against following the ANSI standards, NHTSA has decided to 
    adhere to them with respect to the heading.
        Under the ANSI standard, the hazards associated with air bags are 
    appropriately classified as potential hazards, since they only exist if 
    there is a crash of sufficient severity to cause the air bags to 
    deploy. For children, the risk associated with the hazard is clearly 
    death or serious injury. Therefore, NHTSA will require that all labels 
    use the word ``warning.'' NHTSA will also specify the use of the alert 
    symbol allowed by the ANSI standards (i.e., an exclamation mark inside 
    a triangle, preceding the text of the heading). Participants in the 
    recent focus groups noted that this symbol was very effective in 
    drawing attention to the label, and also made the warning appear more 
    official.
    
    [[Page 60211]]
    
    D. Color
    
        Two commenters again asked NHTSA to harmonize the colors with the 
    ANSI standards (ANSI Z535.4, section 7). Commenters also raised 
    concerns about the readability of certain color combinations for 
    persons with vision difficulties. In particular, commenters noted that 
    black was easier to read than red on a yellow background, or that black 
    was easier to read on white background rather than a yellow background. 
    Other commenters, though, specifically stated that it was the 
    colorfulness of the proposed labels that contributed to their 
    effectiveness.
        The ANSI standards specify that, when ``warning'' is used in the 
    heading, the background color should be orange, the text black, and the 
    alert symbol should be a black triangle with an orange exclamation 
    point. Pictograms should be black on white, with occasional uses of 
    color for emphasis. Message text should be black on white. The color 
    yellow used in NHTSA's proposed labels is associated with the word 
    ``caution'' in the ANSI standards.
        Yellow was the overwhelming color preference of the participants in 
    the focus groups. Only two of the 53 participants preferred orange. 
    Participants generally stated that yellow was more eye-catching than 
    orange. Participants also noted that red (stop) and yellow (caution) 
    had meaning to them, but not orange. Participants in San Diego and 
    Chicago preferred the red on yellow headings in some of the tested 
    labels, because they were very eye-catching. However, the participants 
    in Baltimore preferred the black headings, as recommended by ANSI, on a 
    yellow background, stating that this color combination was easier to 
    read. Participants in San Diego and Chicago also indicated that the all 
    yellow labels were more eye-catching than labels in which the message 
    text had a white background. However, the Baltimore participants 
    thought the all yellow labels were ``too much'' and suggested that the 
    color on the heading was sufficient to attract their attention.
        NHTSA is requiring that all pictograms be black on a white 
    background with a red circle and slash. While some of the proposed 
    labels were white on black background, NHTSA believes that the two 
    versions are equally visible, and therefore, is harmonizing with the 
    ANSI standards. NHTSA is also requiring that the message text be black 
    on white. This color combination is consistent with ANSI standards. 
    NHTSA agrees this may be easier to read for some people.
        However, NHTSA has decided not to follow the ANSI standards with 
    respect to the background color for the heading ``Warning.'' Instead of 
    the orange specified in the ANSI standards, NHTSA is requiring that 
    yellow be used as the background for the heading. The focus group 
    evidence overwhelmingly suggests that yellow would be a more effective 
    color than orange for attracting attention to the label. As noted 
    above, 51 participants said yellow was significantly more eye-catching 
    and effective than orange, while only 2 participants said orange was 
    more effective than yellow. NHTSA takes very seriously the importance 
    of making sure these labels do all they can to help avoid preventable 
    deaths. Given the importance of this task and the focus group results, 
    NHTSA has concluded that it should specify that the background color 
    for the header of these labels be yellow.
    
    E. Pictogram
    
         The proposed labels included two pictograms: one showing an adult 
    and an inflating air bag, and the other showing a rear-facing child 
    seat being impacted by an air bag surrounded by a red circle with a 
    slash across it. Commenters criticized the first pictogram for 
    representing an adult (instead of a child) and for the lack of a 
    visible shoulder belt. Transport Canada asked if the agency had 
    considered the proposed ISO pictogram for the child seat pictogram, and 
    asked if the agency would consider proposing its pictogram to ISO for 
    use internationally. Other commenters also asked the agency to 
    harmonize with the proposed ISO pictogram. Commenters criticized the 
    proposed child pictogram because there was too little of the vehicle to 
    give a context for the picture, because there was no visible seat belt, 
    and because the lines around the child's head looked like the rays of 
    the sun. Chrysler's comment included some suggested labels which used a 
    different, but similar, child pictogram. The Chrysler pictogram 
    modifies the proposed pictogram by showing more of the vehicle seat for 
    context, by having the child seat broken by the inflating air bag, and 
    by having the air bag bending around the child seat. Finally, many 
    commenters noted that the red slash went in different directions on 
    different labels and asked the agency to specify the standard upper 
    left-to-lower right orientation.
        The participants in the second round of focus groups examined the 
    proposed child pictogram, the ISO pictogram, and the Chrysler 
    pictogram. The participants indicated that a pictogram was important to 
    attract attention, and that even a bad pictogram would get them to read 
    the label. The ISO pictogram was the least liked by these groups. 
    Participants indicated that it was too peaceful, and didn't convey a 
    sense of danger. One of the Chicago groups also indicated that the 
    pictogram was misleading, as it suggested that a fully inflated air bag 
    never touched a rear-facing child seat. Of the remaining two 
    pictograms, the Chrysler pictogram was preferred. However, some 
    participants found this pictogram too graphic and harsh. Others 
    indicated that it was one of the most effective pictograms they had 
    seen because it enabled the viewer to understand the harm without 
    reading the text. The one change suggested by the focus groups was to 
    increase the relative size of the child seat in the pictogram, similar 
    to the proposed pictogram.
        Because the most serious air bag side effects relate to infants and 
    children, NHTSA is amending the labels to require a child (infant) 
    pictogram on all labels. However, at least one participant in five of 
    the six focus groups expressed concern that pictogram showing air bag 
    danger to infants in rear-facing child seats might imply that an air 
    bag poses no danger to children in forward-facing seats, booster seats, 
    or children using vehicle belts. These participants were concerned that 
    a pictogram focusing entirely on infants in rear-facing child seats 
    would mislead the public with regard to the hazards of current air bag 
    designs.
        NHTSA agrees this is a legitimate concern. However, after further 
    agency analysis of this area, NHTSA has decided to keep a pictogram 
    showing an infant in a rear-facing child seat. First, it would place an 
    extraordinary burden on a pictogram to rely exclusively on it to show 
    all possible hazards instead of using the pictogram to communicate some 
    hazards and the accompanying text to communicate others. For instance, 
    the recognized symbol for ``no smoking'' shows a lit cigarette with a 
    red slash through it. One might misinterpret this symbol to mean no 
    cigarette smoking, but that smoking a cigar or a pipe is permitted by 
    the symbol. One of the participants in a Chicago focus group commented 
    that the concerns about the infant pictogram are demanding too much of 
    a pictogram. According to this participant, the job of the pictogram is 
    simply to attract the reader's interest and attention to the text of 
    the warning label.
        NHTSA agrees with the participant's judgment that one significant 
    purpose of the pictogram is to attract the reader's attention. In 
    addition to this, NHTSA
    
    [[Page 60212]]
    
    expects a good pictogram to identify a significant portion of the 
    hazard and to depict that portion accurately. The agency concludes that 
    the pictogram showing the hazard posed by an air bag to a child in a 
    rear-facing child seat meets all of these purposes. While the pictogram 
    does not depict the larger group at risk, the focus groups all found 
    that the pictogram of the child in the rear-facing seat would be 
    effective at attracting people's attention to the label and getting 
    them to read the label. Again, based on the focus group results, NHTSA 
    believes the language of the labels makes it very clear that a larger 
    group of children are at risk.
        NHTSA is not adopting the ISO pictogram for its label. NHTSA 
    thoroughly examined the ISO pictogram when developing the proposed 
    pictograms. NHTSA decided to propose its pictogram, which the agency 
    believes represents a significant improvement to the ISO pictogram by 
    making the diagram more dynamic and by depicting the harm more clearly. 
    NHTSA tested the ISO pictogram in its second round of focus groups and 
    found that only one out of 53 participants liked it. More 
    significantly, most of the participants did not understand what it was 
    attempting to show and most said it would not attract their attention 
    to the label. Given these results, NHTSA does not believe it would be 
    appropriate to use the ISO pictogram. NHTSA staff are involved with the 
    ISO committee working on this pictogram. The agency representatives 
    will suggest that the ISO committee consider replacing its current 
    pictogram with the pictogram NHTSA is requiring on its labels.
        NHTSA was impressed by the pictogram included with the comment from 
    Chrysler, as were the recent focus groups. Participants in the focus 
    groups preferred the Chrysler pictogram by a substantial margin. Some 
    participants even said the Chrysler pictogram was ``perfect,'' and that 
    ``you understand the problem before you've read one word of the 
    label.'' This was not a universally shared sentiment. Some participants 
    said the Chrysler pictogram was ``too harsh,'' ``too violent,'' and 
    ``too scary.'' However, even those participants who said it was too 
    graphic agreed that it was very effective at drawing attention to the 
    label. Therefore, NHTSA is specifying this pictogram for use on the air 
    bag warning labels. In addition, this rule corrects the slash on the 
    air bag alert label pictogram so that it follows the standard 
    convention.
    
    VII. Sun Visor Alert Label
    
        NHTSA proposed an alert label for the side of the sun visor visible 
    when the visor is in the stowed position. A manufacturer did not have 
    to provide this label if the other proposed sun visor warning label 
    were placed by the manufacturer so that is visible when the visor is in 
    the stowed position. Ford commented that manufacturers would only use 
    one sun visor label unless the alert label were smaller than the 
    warning label. Manufacturers also pointed out that there were 
    additional size concerns with this side of the visor as it was the most 
    common location used for another mandatory warning label in utility 
    vehicles. Some manufacturers wanted to keep the current alert label.
        NHTSA has decided that the alert label can be reduced to 50% of the 
    proposed size, rather than to 75% as for other labels. Because this 
    label has fewer words than other labels, it will still be very visible. 
    This should alleviate some of the concerns about space for other 
    required labels. In addition, because the new labels are so colorful, 
    NHTSA is concerned about public objections if manufacturers were to 
    place the warning label so that it was visible for extended periods of 
    time. To be consistent with other size changes, NHTSA is specifying 
    that the pictogram have a minimum diameter of 20 mm, and the text area 
    be no smaller than 20 square cm.
        The new alert label replaces the current alert label. NHTSA 
    believes that the addition of the pictogram and the word ``warning,'' 
    are more likely to attract the attention of vehicle occupants and 
    induce them to look for the label on the other side of the visor.
    
    VIII. Sun Visor Warning Label
    
        The proposed sun visor warning label stated, ``Unbelted children 
    can be killed by the air bag.'' Commenters said that this statement was 
    too narrow, since improperly belted, and perhaps even some properly 
    belted, children can be injured or killed by the air bag. The proposed 
    label stated, ``Never put a rear-facing child seat in the front.'' 
    Again, commenters said this statement was too narrow, that all children 
    should be in the rear seat. The proposed label stated, ``Don't sit 
    close to the air bag.'' Commenters preferred the current statement, 
    ``Do not sit or lean unnecessarily close to the air bag,'' because 
    people may believe that it is unnecessary to worry about leaning or 
    being thrown forward so long as their seat is moved back from the air 
    bag. Finally, some commenters said that air bags have adverse effects 
    for adults and that the label placed too much emphasis on children.
        NHTSA believes that many of the suggestions regarding wording 
    changes have merit, and is making some changes to the labels. NHTSA 
    tested some of the recommendations in the focus groups. After reviewing 
    the comments and the focus group results, NHTSA has decided that the 
    message of the new label will read:
        DEATH or SERIOUS INJURY can occur.
         Children 12 and under can be killed by the air bag.
         The BACK SEAT is the SAFEST place for children.
         NEVER put a rear-facing child seat in the front.
         Sit as far back as possible from the air bag.
         ALWAYS use SEAT BELTS and CHILD RESTRAINTS.
        The addition of the sentence that all children are safest in the 
    back reflects the emphasis of the agency's public education campaign. 
    NHTSA has removed the modifier ``unbelted'' in front of children. NHTSA 
    agrees that this statement was too narrow. Focus group participants 
    generally asked for guidance about when occupants are no longer to be 
    regarded as ``children.'' This rule responds to this concern by adding 
    the age range ``12 and under.'' Finally, focus group participants found 
    the statement ``don't sit close to the air bag'' vague and asked for 
    more guidance about how close was too close. In response to these 
    concerns, NHTSA provided the Baltimore focus groups with labels 
    containing the following guidance: ``sit as far back as possible from 
    the air bag.'' The participants found this much more helpful. 
    Accordingly, this rule makes the same change to the sun visor warning 
    label.
        NHTSA is not changing the emphasis on children. The primary thrust 
    of the proposed changes was the adverse effects on children. NHTSA 
    believes this focus is necessary as long as the current threat to 
    children remains as serious as it is now. Both the first and second 
    rounds of focus groups indicated that they were much more likely to 
    read and heed a label that tells them of a hazard to children and how 
    to protect children than they would be to read a general hazard 
    warning. Thus, the focus on children helps make the label more 
    effective in communicating warnings relevant to adults as well as 
    children. NHTSA notes that the advice in the last two bullets of this 
    label is applicable to anyone, and would reduce the risk for those 
    occupants. The focus groups correctly understood that these last two 
    bullets applied to all occupants, not just children. Thus, there was no 
    indication in the focus groups that the label's
    
    [[Page 60213]]
    
    emphasis on children leaves the public with the erroneous impression 
    that only children face risks from air bags or that the general 
    occupant safety messages in the last two bullets are limited to 
    children.
    
    IX. Label on Passenger-Side End of Vehicle Dash or on Door Panel
    
        As discussed in the NPRM, none of the 66 participants in the 
    original focus groups noticed this label on the vehicle they were 
    shown. This was the proposed label that generated the most comments on 
    size concerns from manufacturers. Manufacturers noted that the 
    available space was very small on some vehicles, and that the area 
    sometimes has vents or access panels. Manufacturers also asked that the 
    label be harmonized with the proposed ISO label. General Motors stated 
    that the agency should only require one new label. Finally, Advocates 
    for Highway and Auto Safety stated that the label was likely to be 
    ineffective and should not be required.
        NHTSA has decided not to require this label. The agency's focus 
    groups provided no indications that a label in this location would be 
    effective. In addition, NHTSA agrees that too many labels can reduce 
    the impact of all the labels. Not including the end-of-dash label in 
    the final rule will help address concerns expressed in the comments 
    about the number of new labels NHTSA is requiring and the potential 
    conflict if ISO adopts its proposed end-of-dash label.
    
    X. Label in the Middle of the Dash Panel
    
        As proposed, this label was to be a temporary label. Many advocacy 
    groups and individuals stated that this should be a permanent label. 
    Manufacturers expressed concerns with adhesive residue marring the 
    vehicle surface, and asked for alternatives such as hang tags from the 
    mirror or other non-adhesive labels. Manufacturers also stated that the 
    middle of the dash could have instruments which would make it difficult 
    to place even a temporary label there, and asked if the label could be 
    placed on other areas of the dash such as the glove compartment door.
        NHTSA is not making this label permanent. NHTSA does not want the 
    labels to become a source of irritation to consumers. The label in the 
    middle of the dash is an additional means to reach a new vehicle buyer 
    and ensure that the buyer knows that the vehicle has air bags and that 
    there are warnings associated with this equipment. Since air bags are 
    still a new feature for many buyers, NHTSA believes this additional 
    reminder will be useful. However, this is not the only, or even the 
    primary, means to warn consumers about the adverse effects of air bags. 
    Indeed, the permanent sun visor warning label contains the warning that 
    ``Children 12 and under can be killed by air bag.''
        NHTSA is relaxing the location requirements for this label. NHTSA 
    proposed the middle of the dash to ensure the label was in a highly 
    visible location. NHTSA agrees that there are other very conspicuous 
    locations in a vehicle, and will allow the label to be anywhere on the 
    dash or the steering wheel hub where the label will be clearly visible 
    to the driver. NHTSA is not allowing the label to be a hang tag from 
    the rearview mirror, however. NHTSA is concerned that this location 
    would cause visibility concerns during a test drive and the label would 
    very likely be removed from the vehicle before it reaches the 
    purchaser.
        NHTSA is also relaxing the requirement that the label be 
    ``affixed,'' so that manufacturers do not need to use adhesives. 
    Manufacturers would be allowed to use other means of attaching the 
    label to the dash, such as clips in available openings.
        After reviewing the comments and the second round of focus group 
    results, the agency has decided that the text of the new removable 
    label will read:
    
        Children Can be KILLED or INJURED by Passenger Air Bag.
        The back seat is the safest place for children 12 and under.
        Make sure all children use seat belts or child seats.
    
        The second round of focus groups examined three alternative 
    versions of removable labels that differed in some respect from the 
    text of the proposed label. For two of the new alternatives, the 
    changes moved the statement ``make sure all children wear seat belts'' 
    to the end of the label and added the phrase ``or child seats.'' Some 
    commenters indicated that the original statement might lead people to 
    use seat belts for children that should be in child seats. The message 
    was changed so that the warning about the possibility of death or 
    injury is not limited to unbelted children or children in rear-facing 
    child seats. Finally, a statement that the back seat is safest was 
    added. The third alternative removable label tested in these focus 
    groups used the language suggested by the Parent's Coalition for Air 
    Bag Warnings (``WARNING. Do not seat children in the front passenger 
    seat. Air bag deployment can cause serious injury or death to 
    children.'').
        The focus groups preferred the label design that began, ``WARNING--
    Children can be KILLED or INJURED by Passenger Air Bag.'' The 
    participants indicated that this was ``more informative'' than the 
    proposed removable label and that the message was ``quick and to the 
    point.'' Again, some participants thought this language was 
    ``strident'' and ``scary,'' but the participants nearly unanimously 
    agreed that this opening would induce people to read the rest of the 
    label to learn more about the problem. NHTSA is adopting this as the 
    first line of the removable label required by this rule.
        The next line of this removable label explains that ``The back seat 
    is the safest place for children 12 and under.'' This language was 
    suggested in the comments of National Safe Kids Campaign. NHTSA has 
    added an age definition to more clearly explain the meaning of the word 
    ``children,'' as suggested by the focus groups in San Diego and 
    Chicago. The final line in the label advises ``Make sure all children 
    use seat belts or child seats.''
        The label suggested by the Parents' Coalition was the second choice 
    of the focus group participants. It was the preferred choice for those 
    participants who found the ``children can be killed'' message too 
    strident. However, a number of participants reacted by saying the 
    opening ``Do not seat children in the front passenger seat'' was ``too 
    preachy'' and that they ``didn't like someone telling them what to 
    do.'' Others observed that they might not even read the second sentence 
    about air bags causing serious injury or death, because the opening 
    sentence here does not ``draw you into'' the label. The participants 
    agreed that both the Parents' Coalition label and the label required in 
    this rule convey essentially the same message. However, the focus group 
    participants found the required label conveyed the message more 
    effectively for them.
    
    XI. Child Seat Label
    
        NHTSA proposed to require the enhanced warning label on a rear-
    facing child seat to be affixed in the area where a child's head would 
    rest. Many commenters stated that this location would not be so visible 
    as the area on the cushion adjacent to where the head would rest. 
    Commenters noted that many parents place the child in the seat before 
    placing the seat in a vehicle, and therefore the warning would not be 
    visible when placing the seat in the vehicle. Commenters also expressed 
    concern with durability in this area or with the possibility that the 
    label could irritate a child's head. Child seat manufacturers were also 
    concerned that the prominence of this label would lead
    
    [[Page 60214]]
    
    users to conclude ``falsely'' that this warning was more important than 
    other warnings.
        NHTSA is requiring that an enhanced child seat warning label be 
    placed on the upper portion of the child seat cushion. While NHTSA 
    agrees that other issues are important, at this time, the air bag 
    warning is the most important issue to communicate to consumers. 
    However, NHTSA will allow some flexibility in the location on the 
    cushion. The label can be either where the child's head rests or 
    adjacent to that area. The purpose of the new location is to ensure 
    that parents see the label each time they place the seat in a vehicle. 
    This modification may make the label more visible and will ease some of 
    the burden on child seat manufacturers.
        The recent focus groups tested new versions of this label. The 
    focus groups tested two new labels: (1) a label with the ISO pictogram, 
    and the ANSI color scheme, except that the heading had a yellow 
    background, and (2) a label with the Chrysler pictogram, the ANSI color 
    scheme, and an additional line of text that the back seat is the safest 
    place for children. The focus groups preferred the latter version of 
    the label, if the heading were yellow instead of orange.
        Based on the comments and focus groups results, the message of the 
    new label will read:
    
        WARNING:
        DO NOT place rear-facing child seat on front seat with air bag.
        DEATH OR SERIOUS INJURY can occur.
        The back seat is the safest place for children 12 and under.
    
    XII. Letters to Owners of Existing Vehicles
    
        NHTSA is aware that some manufacturers intend to send letters to 
    current owners of vehicles with passenger-side air bags. These letters 
    may include copies of the new warning labels. NHTSA encourages 
    manufacturers to do this.
        The warning labels now on vehicles were put on in compliance with 
    Standard No. 208. Thus, vehicle owners or others might wonder whether 
    placing a new warning label over the existing warning label would be a 
    violation of the statutory prohibition against ``making inoperative'' 
    items, including labels, installed in compliance with a safety 
    standard. NHTSA would like to assure the public that no statutory 
    prohibition would be violated by placing a new warning label over an 
    existing warning label. Obviously, there is no violation if a person 
    decides to do this to his or her own vehicle, because the Federal 
    prohibition does not apply to owners of vehicles, but only to 
    commercial businesses like manufacturers, dealers, and repair 
    businesses. If a manufacturer, dealer, or repair shop were to place a 
    new warning label over the existing warning labels, that act would not 
    constitute a ``making inoperative'' violation. NHTSA has long said 
    that, with respect to a safety standard requirement that has changed 
    since a vehicle was manufactured, modifying the vehicle so that it no 
    longer complies with the requirement in effect when the vehicle was 
    manufactured is not a violation of this prohibition if the modification 
    brings the vehicle into compliance with the requirement currently in 
    effect. Thus, commercial businesses do not need to be concerned about 
    potential violations of this prohibition.
        The NHTSA focus groups indicated that the inclusion of a label in a 
    letter from a vehicle manufacturer would increase significantly the 
    likelihood that they would read the letter. Based on this, NHTSA 
    strongly encourages manufacturers to consider including labels with any 
    letters they may send existing owners. The letter will give the 
    manufacturers an additional opportunity to inform the public about this 
    problem and to offer more detailed advice than can be expressed on a 
    label.
    
    XIII. Leadtime and Costs
    
        NHTSA proposed to require the new or enhanced vehicle labels for 
    vehicles manufactured on or after a date 60 days after publication of 
    the final rule. The agency also proposed that enhanced labels be 
    affixed to all child restraints that can be used in a rear-facing 
    position and that are manufactured on or after a date 180 days after 
    publication of the final rule. This longer lead time for child seat 
    manufacturers was an acknowledgment that these manufacturers will have 
    to change their manufacturing process to include some means of 
    permanently labeling the padding or cushion, something they do not do 
    presently, to the best of the agency's knowledge.
        No child seat manufacturers asked for longer leadtime. Therefore, 
    NHTSA is adopting the proposed leadtime of 180 days after publication 
    of this final rule.
        Most vehicle manufacturers asked for longer leadtime, ranging from 
    90 to 180 days. NHTSA has decided to allow 90 days leadtime for vehicle 
    labels. The proposed 60 day leadtime reflected NHTSA's desire for 
    expedited action on this issue. Both suppliers and manufacturers have 
    said that 60 days is not feasible. The adopted leadtime is at the low 
    end of the estimates of feasible leadtime from the commenters. Because 
    NHTSA has decided not to adopt one of the proposed labels, the leadtime 
    needed by manufacturers should be reduced. In view of the immediate 
    need to alert the public to the adverse effects of air bags on 
    children, NHTSA finds that a lead time of less than 180 days is in the 
    public interest.
        Finally, to encourage the earliest possible installation of the new 
    enhanced labels, NHTSA is allowing manufacturers to install the new 
    labels before the required date.
        NHTSA estimates that the total incremental costs of the vehicle 
    labels will be $0.11 to $0.35 per vehicle. Based on an estimated 15 
    million passenger cars and light trucks sold annually, the cost of this 
    rule will be $1.65 to $5.25 million. For the child seat label, NHTSA 
    estimates that the total incremental costs will be $0.30 to $0.60 per 
    child seat. Based on an estimate that 3.9 million of the 5.1 million 
    child restraints sold annually are capable of being used rear-facing, 
    the annual cost of this rule will be $1.17 to $2.34 million. Thus, the 
    total cost of this rule is estimated to be $2.82 to $7.59 million 
    annually. A complete discussion of the agency's cost estimate can be 
    found in the Final Regulatory Evaluation placed in the docket for this 
    rulemaking.
    
    XIV. Rulemaking Analyses and Notices
    
    A. Executive Order 12866 and DOT Regulatory Policies and Procedures
    
        NHTSA has considered the impact of this rulemaking action under 
    E.O. 12866 and the Department of Transportation's regulatory policies 
    and procedures. This rulemaking document was reviewed under E.O. 12866, 
    ``Regulatory Planning and Review.'' This action has been determined to 
    be ``significant'' under the Department of Transportation's regulatory 
    policies and procedures. This action is considered significant because 
    of the degree of public interest in this subject. This action is not 
    economically significant. The total cost of this rule is estimated to 
    be $2.82 to $7.59 million annually. A complete discussion of the 
    agency's cost estimate can be found in the Final Regulatory Evaluation 
    placed in the docket for this rulemaking.
    
    B. Regulatory Flexibility Act
    
        NHTSA has also considered the impacts of this final rule under the 
    Regulatory Flexibility Act. I hereby certify that this rule will not 
    have a significant economic impact on a substantial number of small 
    entities. This final rule affects motor vehicle manufacturers and child 
    seat manufacturers. Almost all motor vehicle manufacturers do not 
    qualify as small
    
    [[Page 60215]]
    
    businesses. The agency knows of eight manufacturers of child seats, two 
    of which NHTSA considers to be small business. However, since this rule 
    involves only labeling changes, the rule will not have any significant 
    economic impact.
    
    C. Paperwork Reduction Act
    
        In accordance with the Paperwork Reduction Act of 1980 (Pub. L. 96-
    511), there are no requirements for information collection associated 
    with this final rule.
    
    D. National Environmental Policy Act
    
        NHTSA has also analyzed this final rule under the National 
    Environmental Policy Act and determined that it will not have a 
    significant impact on the human environment.
    
    E. Executive Order 12612 (Federalism)
    
        NHTSA has analyzed this rule in accordance with the principles and 
    criteria contained in E.O. 12612, and has determined that this rule 
    will not have significant federalism implications to warrant the 
    preparation of a Federalism Assessment.
    
    F. Civil Justice Reform
    
        This final rule does not have any retroactive effect. Under 49 
    U.S.C. 30103, whenever a Federal motor vehicle safety standard is in 
    effect, a State may not adopt or maintain a safety standard applicable 
    to the same aspect of performance which is not identical to the Federal 
    standard, except to the extent that the State requirement imposes a 
    higher level of performance and applies only to vehicles procured for 
    the State's use. 49 U.S.C. 30161 sets forth a procedure for judicial 
    review of final rules establishing, amending or revoking Federal motor 
    vehicle safety standards. That section does not require submission of a 
    petition for reconsideration or other administrative proceedings before 
    parties may file suit in court.
    
    List of Subjects in 49 CFR Part 571
    
        Imports, Motor vehicle safety, Motor vehicles.
    
        In consideration of the foregoing, 49 CFR Part 571 is amended as 
    follows:
    
    PART 571--FEDERAL MOTOR VEHICLE SAFETY STANDARDS
    
        1. The authority citation for Part 571 of Title 49 continues to 
    read as follows:
    
        Authority: 49 U.S.C. 322, 30111, 30115, 30117, and 30166; 
    delegation of authority at 49 CFR 1.50.
    
        2. Section 571.208 is amended by redesignating S4.5.1(e) as 
    S4.5.1(f), by revising S4.5.1, S4.5.1(b) and S4.5.1(c), and by adding a 
    new S4.5.1(e) and a new S4.5.5, to read as follows:
    
    
    Sec. 571.208  Standard No. 208, Occupant Crash Protection.
    
    * * * * *
        S4.5.1 Labeling and owner's manual information. The labels 
    specified in S4.5.1(b), (c), and (e) of this standard are not required 
    for vehicles that have a smart passenger air bag meeting the criteria 
    specified in S4.5.5 of this standard.
        (a) * * *
        (b) Sun visor warning label.
        (1) Vehicles manufactured before February 25, 1997. Each vehicle 
    shall comply with either S4.5.1(b)(1)(i) or S4.5.1(b)(1)(ii), and with 
    S4.5.1(b)(1)(iii). At the manufacturer's option, the vehicle may comply 
    with the requirements of S4.5.1(b)(2), instead of the requirements of 
    S4.5.1(b)(1).
        (i) Each front outboard seating position that provides an 
    inflatable restraint shall have a label permanently affixed to the sun 
    visor for that seating position on either side of the sun visor, at the 
    manufacturer's option. Except as provided in S4.5.1(b)(1)(v), this 
    label shall read:
    
        CAUTION--TO AVOID SERIOUS INJURY:
        For maximum safety protection in all types of crashes, you must 
    always wear your safety belt.
        Do not install rearward-facing child seats in any front 
    passenger seat position.
        Do not sit or lean unnecessarily close to the air bag.
        Do not place any objects over the air bag or between the air bag 
    and yourself.
        See the owner's manual for further information and explanations.
    
        (ii) If the vehicle is equipped with a cutoff device permitted by 
    S4.5.4 of this standard, each front outboard seating position that 
    provides an inflatable restraint shall have a label permanently affixed 
    to the sun visor for such seating position on either side of the sun 
    visor, at the manufacturer's option. Except as provided in 
    S4.5.1(b)(1)(v), this label shall read:
        CAUTION--TO AVOID SERIOUS INJURY:
        For maximum safety protection in all types of crashes, you must 
    always wear your safety belt.
        Do not install rearward-facing child seats in any front 
    passenger seat position, unless the air bag is off.
        Do not sit or lean unnecessarily close to the air bag.
        Do not place any objects over the air bag or between the air bag 
    and yourself.
        See the owner's manual for further information and explanations.
    
        (iii) The coloring of the label shall contrast with the background 
    of the label.
        (iv) If the vehicle does not have an inflatable restraint at any 
    front seating position other than that for the driver, the statement 
    ``Do not install rearward-facing child seats in any front passenger 
    seat position'' may be omitted from the label.
        (v) At the manufacturer's option, the word ``warning'' may replace 
    the word ``caution'' in the labels specified in S4.5.1(b)(1)(i) and 
    S4.5.1(b)(1)(ii).
        (2) Vehicles manufactured on or after February 25, 1997. Each 
    vehicle shall have a label permanently affixed to either side of the 
    sun visor, at the manufacturer's option, at each front outboard seating 
    position that is equipped with an inflatable restraint. The label shall 
    conform in content to the label shown in either Figure 6a or 6b of this 
    standard, as appropriate, and shall comply with the requirements of 
    S4.5.1(b)(2)(i) through S4.5.1(b)(2)(iii).
        (i) The heading area shall be yellow with the word ``warning'' and 
    the alert symbol in black.
        (ii) The message area shall be white with black text. The message 
    area shall be no less than 30 square cm.
        (iii) The pictogram shall be black with a red circle and slash on a 
    white background. The pictogram shall be no less than 30 mm in 
    diameter.
        (3) Except for the information on an air bag maintenance label 
    placed on the visor pursuant to S4.5.1(a) of this standard, no other 
    information shall appear on the same side of the sun visor to which the 
    sun visor warning label is affixed. Except for the information in an 
    air bag alert label placed on the visor pursuant to S4.5.1(c) of this 
    standard, or in a utility vehicle label that contains the language 
    required by 49 CFR 575.105(c)(1), no other information about air bags 
    or the need to wear seat belts shall appear anywhere on the sun visor.
        (c) Air bag alert label--(1) Vehicles manufactured before February 
    25, 1997. If the label required by S4.5.1(b)(1) for a sun visor (other 
    than the sun visor for the driver seating position) is not visible when 
    the sun visor is in the stowed position, an air bag alert label shall 
    be permanently affixed either to that visor so that the label is 
    visible when the visor is in that position or to the cover of the air 
    bag for that seating position, at the option of the manufacturer. An 
    air bag alert label affixed to an air bag cover pursuant to this 
    paragraph shall read ``Air Bag. See Sun Visor.'' An air bag alert label 
    affixed to a sun visor pursuant to this paragraph shall read ``Air Bag. 
    See Other Side.'' The color of the label shall contrast with the 
    background of the label. If a manufacturer chooses to comply with
    
    [[Page 60216]]
    
    the requirements of S4.5.1(b)(2) rather than the requirements of 
    S4.5.1(b)(1), the air bag alert label shall comply with the 
    requirements of S4.5.1(c)(2).
        (2) Vehicles manufactured on or after February 25, 1997. If the 
    label required by S4.5.1(b)(2) is not visible when the sun visor is in 
    the stowed position, an air bag alert label shall be permanently 
    affixed to that visor so that the label is visible when the visor is in 
    that position. The label shall conform in content to the sun visor 
    label shown in Figure 6c of this standard, and shall comply with the 
    requirements of S4.5.1(c)(2)(i) and S4.5.1(c)(2)(ii).
        (i) The message area shall be black with yellow text. The message 
    area shall be no less than 20 square cm.
        (ii) The pictogram shall be black with a red circle and slash on a 
    white background. The pictogram shall be no less than 20 mm in 
    diameter.
    * * * * *
        (e) Label on the dash. Each vehicle manufactured on or after 
    February 25, 1997 that is equipped with an inflatable restraint for the 
    passenger position shall have a label attached to a location on the 
    dashboard or the steering wheel hub that is clearly visible from all 
    front seating positions. The label need not be permanently affixed to 
    the vehicle. This label shall conform in content to the label shown in 
    Figure 7 of this standard, and shall comply with the requirements of 
    S4.5.1(e)(2)(i) and S4.5.1(e)(2)(ii).
        (i) The heading area shall be yellow with the word ``warning'' and 
    the alert symbol in black.
        (ii) The message area shall be white with black text. The message 
    area shall be no less than 30 square cm.
    * * * * *
        S4.5.5 Smart passenger air bags. For purposes of this standard, a 
    smart passenger air bag is a passenger air bag that:
        (a) Provides an automatic means to ensure that the air bag does not 
    deploy when a child seat or child with a total mass of 30 kg or less is 
    present on the front outboard passenger seat, or
        (b) Incorporates sensors, other than or in addition to weight 
    sensors, which automatically prevent the air bag from deploying in 
    situations in which it might have an adverse effect on infants in rear-
    facing child seats, and unbelted or improperly belted children, or
        (c) Is designed to deploy in a manner that does not create a risk 
    of serious injury to infants in rear-facing child seats, and unbelted 
    or improperly belted children.
    * * * * *
        3. Section 571.208 is amended by adding new figures 6a, 6b, 6c, and 
    7 at the end of the section as follows:
    
    BILLING CODE 4910-59-P
    
    [[Page 60217]]
    
    [GRAPHIC] [TIFF OMITTED] TR27NO96.010
    
    
    
    [[Page 60218]]
    
    [GRAPHIC] [TIFF OMITTED] TR27NO96.011
    
    
    
    [[Page 60219]]
    
    [GRAPHIC] [TIFF OMITTED] TR27NO96.012
    
    
    
    [[Page 60220]]
    
    [GRAPHIC] [TIFF OMITTED] TR27NO96.013
    
    
    
    BILLING CODE 4910-59-C
        4. Section 571.213 is amended by adding S5.5.2(k) introductory 
    text' and adding a new section S5.5.2(k)(4) to read as follows:
    
    
    Sec. 571.213  Standard No. 213, Child restraint systems.
    
    * * * * *
        S5.5.2
    * * * * *
        (k) At the manufacturer's option, child restraint systems that can 
    be used in a rear-facing position may comply with the requirements of 
    S5.5.2(k)(4), instead of the requirements of S5.5.2(k)(1)(ii) or 
    S5.5.2(k)(2)(ii).
        (1) * * *
    * * * * *
        (4) In the case of each child restraint system that can be used in 
    a rear-facing position and is manufactured on or after May 27, 1997, 
    instead of the warning specified in S5.5.2(k)(1)(ii) or 
    S5.5.2(k)(2)(ii) of this standard, a label that conforms in content to 
    Figure 10 and to the requirements of S5.5.2(k)(4)(i) through 
    S5.5.2(k)(4)(iii) of this standard shall be permanently affixed to the 
    outer surface of the cushion or padding in or adjacent to the area 
    where a child's head would rest, so that the label is plainly visible 
    and easily readable.
        (i) The heading area shall be yellow with the word ``warning'' and 
    the alert symbol in black.
        (ii) The message area shall be white with black text. The message 
    area shall be no less than 30 square cm.
        (iii) The pictogram shall be black with a red circle and slash on a 
    white background. The pictogram shall be no less than 30 mm in 
    diameter.
    * * * * *
        5. Section 571.213 is amended by adding a new figure 10 at the end 
    of the section as follows:
    
    BILLING CODE 4910-59-P
    
    [[Page 60221]]
    
    [GRAPHIC] [TIFF OMITTED] TR27NO96.014
    
    
        Issued on November 22, 1996.
    Ricardo Martinez,
    Administrator.
    
    [FR Doc. 96-30362 Filed 11-22-96; 4:01 pm]
    BILLING CODE 4910-59-C
    
    
    

Document Information

Published:
11/27/1996
Department:
National Highway Traffic Safety Administration
Entry Type:
Rule
Action:
Final rule.
Document Number:
96-30362
Pages:
60206-60221 (16 pages)
Docket Numbers:
Docket No. 74-14, Notice 103
RINs:
2127-AG14: Federal Motor Vehicle Safety Standards; Occupant Crash Protection--Warning Labels
RIN Links:
https://www.federalregister.gov/regulations/2127-AG14/federal-motor-vehicle-safety-standards-occupant-crash-protection-warning-labels
PDF File:
96-30362.pdf
CFR: (2)
49 CFR 571.208
49 CFR 571.213