97-4489. Passenger Train Emergency Preparedness  

  • [Federal Register Volume 62, Number 36 (Monday, February 24, 1997)]
    [Proposed Rules]
    [Pages 8330-8359]
    From the Federal Register Online via the Government Publishing Office [www.gpo.gov]
    [FR Doc No: 97-4489]
    
    
    
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    Part III
    
    
    
    
    
    Department of Transportation
    
    
    
    
    
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    Federal Railroad Administration
    
    
    
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    49 CFR Parts 223 and 239
    
    
    
    Passenger Train Emergency Preparedness; Proposed Rule
    
    Federal Register / Vol. 62, No. 36 / Monday, February 24, 1997 / 
    Proposed Rules
    
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    DEPARTMENT OF TRANSPORTATION
    
    Federal Railroad Administration
    
    49 CFR Parts 223 and 239
    
    [FRA Docket No. PTEP-1, Notice No. 1]
    RIN 2130-AA96
    
    
    Passenger Train Emergency Preparedness
    
    AGENCY: Federal Railroad Administration (FRA), Department of 
    Transportation (DOT).
    
    ACTION: Notice of proposed rulemaking.
    
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    SUMMARY: Pursuant to section 215 of the Federal Railroad Safety 
    Authorization Act of 1994, FRA proposes a rule to require minimum 
    Federal safety standards for the preparation, adoption, and 
    implementation of emergency preparedness plans by railroads connected 
    with the operation of passenger trains, including freight railroads 
    hosting the operations of rail passenger service. The proposed rule 
    also requires each affected railroad to instruct its employees on the 
    plan's provisions. Elements of this emergency preparedness plan would 
    include communication, employee training and qualification, joint 
    operations, tunnel safety, liaison with emergency responders, on-board 
    emergency equipment, and passenger safety information. The plan adopted 
    by each affected railroad would be subject to formal review and 
    approval by FRA.
        This proposal for emergency preparedness regulations, which 
    formalizes a planning requirement and identifies certain mandatory 
    elements, is the second phase in a four-phase process that began in 
    1994. In the first phase, FRA encouraged railroads to examine their 
    programs to determine what improvements could be made, while in the 
    third phase, FRA will review the railroad plans to determine if all 
    emergency preparedness issues have been adequately addressed within the 
    varying contexts of railroad operations. In the fourth phase, FRA will 
    review the implementation and effectiveness of the proposed standards 
    and related voluntary developments, and will address the need for 
    further rulemaking activity.
        The proposed rule does not apply to tourist and historic railroad 
    operators. However, after appropriate consultation with the excursion 
    railroad associations to determine appropriate applicability in light 
    of financial, operational, or other factors unique to such operations, 
    emergency preparedness requirements for these operations may be 
    prescribed by FRA that are different from those affecting other types 
    of passenger operations.
    
    DATES: (1) Written comments: Written comments must be received on or 
    before April 25, 1997. Comments received after that date will be 
    considered by FRA and the Passenger Train Emergency Preparedness 
    Working Group in preparing the final rule to the extent possible 
    without incurring additional expense or delay. The docket will remain 
    open until the Working Group proceedings are concluded. Requests for 
    formal extension of the comment period must be made by April 10, 1997.
        (2) Public hearings: FRA intends to hold two public hearings, and 
    the dates of these hearings will be published in a forthcoming notice 
    in the Federal Register. Anyone who desires to make an oral statement 
    at either of the hearings must notify the Docket Clerk by telephone 
    (202-632-3198) or mail, and must submit three copies of the oral 
    statement that he or she intends to make at the hearing. The dates by 
    which the Docket Clerk must be notified about the oral statement and 
    receive the three copies of this statement will be set forth in the 
    notice announcing the public hearings.
    
    ADDRESSES: Written Comments: Written comments should identify the 
    docket number and must be submitted in triplicate to the Docket Clerk, 
    Office of Chief Counsel, Federal Railroad Administration, 400 Seventh 
    Street, S.W., Washington, D.C. 20590. Persons desiring to be notified 
    that their comments have been received by FRA should submit a stamped, 
    self-addressed postcard with their comments. The Docket Clerk will 
    indicate on the postcard the date on which the comments were received 
    and will return the card to the addressee. Written comments will be 
    available for examination, both before and after the closing date for 
    written comments, during regular business hours on the Seventh floor of 
    1120 Vermont Avenue, N.W. in Washington, D.C.
    
    FOR FURTHER INFORMATION CONTACT: Mr. Edward R. English, Director, 
    Office of Safety Assurance and Compliance, FRA, 400 Seventh Street, 
    S.W., Washington, D.C. 20590 (telephone number: 202-632-3349), or David 
    H. Kasminoff, Esq., Trial Attorney, Office of Chief Counsel, FRA, 400 
    Seventh Street, S.W., Washington, D.C. 20590 (telephone: 202-632-3191).
    
    SUPPLEMENTARY INFORMATION:
    
    Request for Comments
    
        In accordance with Executive Order 12866, FRA is allowing 60 days 
    for comments. FRA believes that a 60-day comment period is necessary 
    for parties with interests that were not represented by the working 
    group on passenger train emergency preparedness that has been 
    established by the agency under 49 U.S.C. 20133.
    
    Background
    
        The overall safety record of conventional intercity and commuter 
    passenger train operations in the United States has been exemplary. 
    However, accidents continue to occur, often as a result of factors 
    beyond the control of the passenger railroad. Further, the rail 
    passenger operating environment in the United States is rapidly 
    changing--technology is advancing, equipment is being designed for 
    ever-higher speeds, and many potential new operators of passenger 
    equipment are appearing. With this more complex operating environment, 
    FRA must become more proactive to ensure that operators of passenger 
    train service, as well as freight railroads hosting passenger 
    operations, engage in careful, advance planning to minimize the 
    consequences of emergencies that could occur. Even minor incidents 
    could easily develop into life-threatening events if they are not 
    addressed in a timely and effective manner.
        In recent years, passenger train accidents, such as the tragic 
    ``Sunset Limited'' passenger train derailment near Mobile, Alabama in 
    September 1993, have demonstrated the need to improve the way railroads 
    respond in emergency situations. On September 22, 1993, at about 2:45 
    a.m., barges that were being pushed by the towboat Mauvilla in dense 
    fog struck and displaced the Big Bayou Canot railroad bridge near 
    Mobile, Alabama. At about 2:53 a.m., National Railroad Passenger 
    Corporation (Amtrak) train no. 2, the Sunset Limited, en route from Los 
    Angeles, California to Miami, Florida with 220 persons on board, struck 
    the displaced bridge and derailed. The three locomotive units, the 
    baggage and dormitory cars, and two of the six passenger cars fell into 
    the water. The fuel tanks on the locomotive units ruptured, and the 
    locomotive units and the baggage and dormitory cars caught fire. Forty-
    two passengers and five crewmembers were killed, and 103 passengers 
    were injured. The towboat's four crewmembers were not injured.
        In a report on the accident released on September 19, 1994, the 
    National Transportation Safety Board (NTSB) determined that several 
    circumstances hampered emergency response efforts. NTSB Railroad-Marine 
    Accident Report 94/01. In its assessment of emergency
    
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    response at the accident site, the NTSB noted that the location of the 
    accident was remote (accessible only by rail, water, or air), fog in 
    the area was dense (requiring the use of radar to navigate boats), 
    limited modes of transportation were available for bringing in 
    personnel and equipment, and the magnitude of the accident was great. 
    Nevertheless, the NTSB concluded that, following the delay while 
    emergency responders identified the location of the accident, emergency 
    response activities were efficient and effective. The report did find, 
    however, that Amtrak did not have an effective system in place to 
    apprise passengers of train safety features, passengers were at a 
    disadvantage during evacuation due to the absence of portable lighting 
    on the passenger cars, and emergency responders were at a disadvantage 
    because they were unable to obtain an adequate passenger and crew list 
    from Amtrak until the next day. The NTSB also noted that had the Mobile 
    County Emergency Management Agency held drills to simulate a train 
    accident, the incident commander may have known about Amtrak's 
    procedure for accounting for passengers, and CSX Transportation, Inc., 
    the owner of the bridge, may have had the correct telephone number to 
    contact the U.S. Coast Guard.
        Considerable effort has focused on how to mitigate casualties after 
    a train accident occurs. In this regard, even before the occurrence of 
    the tragic accident near Mobile, FRA had tasked DOT's Volpe National 
    Transportation Systems Center (TSC), in Cambridge, Massachusetts, to 
    perform research and to recommend emergency preparedness guidelines for 
    passenger train operators. The results were published at the end of 
    1993 as a publication entitled ``RECOMMENDED EMERGENCY PREPAREDNESS 
    GUIDELINES FOR PASSENGER TRAINS'' (Volpe Report), which is available to 
    the public through the National Technical Information Service, 
    Springfield, VA 22161 (DOT/FRA/ORD-93-24--DOT-VNTSC-FRA-93-23). The 
    publication references safety recommendations of the NTSB, as well as 
    many other publications on the subject of emergency preparedness, and 
    contains recommended guidelines designed to assist passenger train 
    operating systems and emergency response organization management in 
    evaluating and modifying or supplementing their emergency response 
    plans. A copy of the Volpe Report has been placed in the public docket 
    for this rulemaking.
        The Volpe Report recommendations address guidelines relating to 
    emergency plans, procedures, and training. In addition, guidelines for 
    passenger train and facility features intended to shorten emergency 
    response time, improve the effectiveness of evacuating passengers, and 
    minimize the effects of an emergency are presented. The publication 
    also lists inter-organizational emergency protocols, which include 
    those of fire departments, emergency medical services (EMS), police 
    departments, public utilities, hospitals, and local, State, regional, 
    and Federal governments.
        In an effort to be proactive after the accident near Mobile, FRA 
    mailed the Volpe Report to all intercity passenger and commuter 
    railroads, freight railroads, the United Transportation Union, and the 
    Brotherhood of Locomotive Engineers in March 1994 for their information 
    and guidance. Concurrent with this mailing, FRA invited the railroads 
    to attend a roundtable meeting in Washington, D.C., on June 9, 1994, to 
    discuss the emergency preparedness issues addressed in the publication. 
    The 23-member roundtable discussion was comprised of representatives 
    from the following organizations:
    
    Amtrak,
    FRA,
    Long Island Rail Road (LIRR),
    MTA Metro-North Railroad (METRO-NORTH),
    Northeast Illinois Regional Commuter Railroad Corporation (METRA),
    Peninsula Corridor Joint Powers Board (CALTRAIN),
    Port Authority Trans-Hudson Corporation (PATH),
    Southern California Regional Rail Authority (METROLINK),
    Southeastern Pennsylvania Transportation Authority (SEPTA),
    Tri-County Commuter Rail Authority (TRI-RAIL),
    TSC, and
    Virginia Railway Express (VRE).
        During the meeting, FRA agreed to assist the passenger railroads in 
    establishing improved working relationships with their host freight 
    railroads. FRA also promised to help the passenger railroads in their 
    emergency response efforts in larger metropolitan areas by contacting 
    emergency response agencies and eliciting more cooperation between 
    them. In addition, FRA stated that it would conduct field visits to 
    several passenger railroads to study their equipment and their 
    emergency response and training programs.
        At that same meeting, the passenger railroads agreed to provide 
    stronger supervisory oversight of their emergency response and training 
    programs, and stated that they would offer additional, structured 
    ``hands-on'' training to their train crews concerning the removal of 
    emergency windows and passenger evacuation. They also agreed to develop 
    programs for recurring passenger car inspections, emphasizing checking 
    of emergency equipment such as windows, tools, and fire extinguishers. 
    Further, they agreed to improve their methods of apprising passengers 
    of emergency information, to include seat drops, placards inside each 
    car, and messages in on-board magazines. While FRA is encouraged that 
    passenger railroads have already begun to incorporate the 
    recommendations of the Volpe Report into their own emergency 
    preparedness plans, more progress by the entire industry is needed.
        As a result of concerns raised about the safety of the operation of 
    rail passenger service, Congress enacted section 215 of the Federal 
    Railroad Safety Authorization Act of 1994, Public Law No. 103-440, 108 
    Stat. 4619, 4623-4624 (November 2, 1994), entitled ``Passenger Car 
    Safety Standards.'' Section 215, as now codified at 49 U.S.C. 20133, 
    reads as follows:
    
    Sec. 20133. Passenger cars.
    
        (a) MINIMUM STANDARDS.--The Secretary of Transportation shall 
    prescribe regulations establishing minimum standards for the safety 
    of cars used by railroad carriers to transport passengers. Before 
    prescribing such regulations, the Secretary shall consider--
        (1) the crashworthiness of the cars;
        (2) interior features (including luggage restraints, seat belts, 
    and exposed surfaces) that may affect passenger safety;
        (3) maintenance and inspection of the cars;
        (4) emergency response procedures and equipment; and
        (5) any operating rules and conditions that directly affect 
    safety not otherwise governed by regulations.
        The Secretary may make applicable some or all of the standards 
    established under this subsection to cars existing at the time the 
    regulations are prescribed, as well as to new cars, and the 
    Secretary shall explain in the rulemaking document the basis for 
    making such standards applicable to existing cars.
        (b) INITIAL AND FINAL REGULATIONS.--(1) The Secretary shall 
    prescribe initial regulations under subsection (a) within 3 years 
    after the date of enactment of the Federal Railroad Safety 
    Authorization Act of 1994. The initial regulations may exempt 
    equipment used by tourist, historic, scenic, and excursion railroad 
    carriers to transport passengers.
        (2) The Secretary shall prescribe final regulations under 
    subsection (a) within 5 years after such date of enactment.
        (c) PERSONNEL.--The Secretary may establish within the 
    Department of Transportation 2 additional full-time equivalent 
    positions beyond the number
    
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    permitted under existing law to assist with the drafting, 
    prescribing, and implementation of regulations under this section.
        (d) CONSULTATION.--In prescribing regulations, issuing orders, 
    and making amendments under this section, the Secretary may consult 
    with Amtrak, public authorities operating railroad passenger 
    service, other railroad carriers transporting passengers, 
    organizations of passengers, and organizations of employees. A 
    consultation is not subject to the Federal Advisory Committee Act (5 
    U.S.C. App.), but minutes of the consultation shall be placed in the 
    public docket of the regulatory proceeding.
    
        The Secretary of Transportation has delegated these rulemaking 
    responsibilities to the Federal Railroad Administrator. 49 CFR 1.49(m).
        FRA is committed to the maximum feasible use of collaborative 
    processes in the development of safety regulations. Consistent with the 
    intent of Congress that FRA consult with the railroad industry, FRA 
    invited various organizations to participate in a working group 
    (Working Group) to focus on the issues related to passenger train 
    emergency preparedness and build the framework for the development of a 
    Notice of Proposed Rulemaking (NPRM) and, ultimately, a final rule. FRA 
    held its first Working Group meeting on August 8, 1995. The 33-member 
    Working Group was comprised of representatives from the following 
    organizations:
    
    American Public Transit Association (APTA),
    Amtrak,
    Association of American Railroads (AAR),
    Brotherhood of Locomotive Engineers (BLE),
    CALTRAIN,
    FRA,
    LIRR,
    Maryland Mass Transit Administration (MARC),
    Massachusetts Bay Transportation Authority (MBTA),
    METRA,
    METRO-NORTH,
    METROLINK,
    National Association of Railroad Passengers (NARP),
    NTSB,
    New Jersey Transit Rail Operations, Inc. (NJTR),
    Northern Indiana Commuter Transportation District (NICTD),
    PATH,
    Safe Travel America (STA),
    SEPTA,
    TRI-RAIL,
    TSC,
    United Transportation Union (UTU), and
    VRE.
    
        Regulations covering rail passenger equipment safety standards--
    inspection, testing, and maintenance of passenger equipment; equipment 
    design and performance criteria related to passenger and crew 
    survivability in the event of a train accident; and the safe operation 
    of passenger train service--supplementing existing railroad safety 
    standards, will be covered by a separate rulemaking and are being 
    addressed by a separate working group. Persons wishing to receive more 
    information regarding this other rulemaking should refer to FRA Docket 
    No. PCSS-1 and contact either Mr. Thomas Peacock, Staff Director, 
    Motive Power and Equipment Division, Office of Safety Assurance and 
    Compliance, RRS-14, FRA, 400 Seventh Street, S.W., Washington, D.C. 
    20590 (telephone 202-632-3338), or Daniel L. Alpert, Esq., Trial 
    Attorney, Office of Chief Counsel, FRA, 400 Seventh Street, S.W., 
    Washington, D.C. 20590 (telephone 202-632-3186).
        The proposed rule was developed by FRA in consultation with the 
    Working Group. The proposal incorporates comments submitted by the 
    Working Group in response to a preliminary draft of the proposed rule 
    text. FRA expects that the Working Group will help FRA develop the 
    final rule based on a consensus process, with facts and analysis 
    flowing from both the Working Group's deliberations and information 
    submitted by commenters on this NPRM. In accordance with 49 U.S.C. 
    20133(d), the evolving positions of the Working Group members--as 
    reflected in the minutes of the group meetings and associated 
    documentation, together with data provided by the membership during 
    their deliberations--will be placed in the public docket of this 
    rulemaking. All comments submitted in response to this NPRM will be 
    provided to the Working Group for their consideration in preparation of 
    the final rule.
        FRA convened the first meeting of the Working Group on August 8, 
    1995, by announcing that the purpose of the meeting was to provide an 
    opportunity to collectively focus on evaluating issues related to 
    passenger train emergency preparedness, as well as to develop and 
    formulate plans and programs that would culminate in a final rule. The 
    discussion focused on the key issues of emergency notification, 
    training of railroad employees and emergency responders, suitability of 
    on-board emergency equipment, and the Volpe Report. While FRA did not 
    limit the Working Group's discussions, the agency requested that, at a 
    minimum, the following topics and issues should be considered and 
    addressed during the consultation process for possible inclusion in the 
    rule:
         Types of safety equipment that should be required in each 
    passenger car (e.g., fire extinguishers, saws, hammers, and 
    flashlights) including where the equipment should be located, who 
    should have access to it, and how to avoid pilferage;
         Training for railroad employees on the use of on-board 
    emergency equipment;
         Frequency of inspection of on-board emergency equipment;
         Effective marking of emergency windows on each passenger 
    car;
         Informing passengers about safety procedures and emergency 
    equipment, including locations of exit doors and windows;
         Demonstrations by on-board crewmembers of emergency 
    procedures and exits after major station stops;
         Communication capabilities of on-board crewmembers;
         Requiring on-board crewmembers to be trained to provide 
    cardio-pulmonary resuscitation (CPR) and/or first aid treatment;
         Ensuring that on-board crewmembers have contact telephone 
    numbers for control centers and local authorities;
         Requiring preparation of an emergency preparedness plan, 
    including periodic exercises to test employee knowledge of proper 
    procedures involving passenger illness or injury, stalled trains, 
    evacuation procedures, derailments, collisions, severe weather, and 
    security threats;
         Coordinating applicable portions of emergency preparedness 
    plans between passenger railroads and freight railroads that host these 
    passenger operations;
         Extent to which safety action plans should be regulated in 
    terms of content or format, and whether such plans should be subject to 
    FRA review and approval;
         Training for auxiliary individuals participating in 
    passenger emergencies (e.g., control center employees, on-board service 
    staff, and appropriate supervisory and maintenance personnel);
         Training for emergency responders along passenger corridor 
    routes;
         Accounting for the unique emergency preparedness concerns 
    raised by passenger operations through tunnels, on elevated structures, 
    and in electrified territory;
         Level of training specificity required for each category 
    of employee;
         Requiring passenger railroads to develop and update inter-
    organizational emergency protocols with local communities, in order to 
    augment safety action plans;
    
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         Providing emergency responders with accurate passenger 
    counts; and
         Emergency lighting in passenger cars (e.g., floor strip 
    lighting, flood lighting, and emergency exit lighting), including 
    standards for testing and reliability.
        FRA deliberated at length with members of the Working Group about 
    what the proposed rule would demand of affected railroads, in order to 
    achieve the goal of optimizing their level of preparedness when faced 
    with passenger train emergencies. The consensus was that the final rule 
    needed to be flexible in its requirements to allow each railroad to 
    address the unique characteristics of its individual operation. The 
    Working Group recommended that FRA require each affected railroad to 
    prepare a formal emergency preparedness plan covering broad elements, 
    such as: employee and emergency responder training; on-board crewmember 
    responsibilities; communication between the train crew and the control 
    center, and between the control center and the emergency responders; 
    delineation of passenger railroad and freight railroad responsibilities 
    in cases of joint operations; and operations in tunnels or over 
    elevated structures. However, the group urged FRA to afford railroads 
    considerable latitude to design and administer emergency preparedness 
    plans that best address each railroad's specific safety issues and 
    concerns, with each plan then subject to review and approval by FRA.
        FRA incorporated the Working Group's recommendations into a draft 
    NPRM, and mailed the draft to the group on December 14, 1995, along 
    with a copy of the minutes of the first meeting of the Working Group. 
    Copies of both documents, and other relevant enclosures, have been 
    placed in the public docket for this rulemaking. The 34-member Working 
    Group held its second meeting on February 6-7, 1996, and was comprised 
    of representatives from the same organizations in attendance at the 
    first Working Group meeting. The Working Group reviewed the draft and 
    presented its comments, and a copy of the minutes of the second meeting 
    of the group has also been included in the rulemaking docket. The 
    Working Group's comments were then incorporated into this NPRM. Through 
    subsequent communication with the Working Group, additional specificity 
    has been incorporated into this proposal.
        While FRA has focused on crafting a rule containing comprehensive 
    requirements in connection with railroads adopting, implementing, and 
    complying with their emergency preparedness plans, many details remain 
    unresolved concerning the enforcement obligations that FRA will impose 
    in the final rule. Among the broad range of possibilities, the final 
    rule could impose a ``reasonable care'' standard and focus on achieving 
    substantial compliance, with an emphasis on determining whether each 
    railroad has demonstrated a general effort to fulfill each of the 
    elements of its emergency preparedness plan. Under this approach, for 
    example, FRA would verify whether a railroad has established a training 
    program for its employees on the applicable provisions of the emergency 
    preparedness plan, and could impose a civil penalty on a railroad for 
    failing to comply with this basic element of emergency preparedness. 
    However, if FRA concluded that the railroad had properly adopted a 
    training program, but during the occurrence of an actual emergency 
    several employees failed (under the stress of the situation) to fulfill 
    all of their responsibilities under the emergency preparedness plan, 
    FRA would not penalize the railroad. Also, if a railroad failed to 
    designate an employee to maintain a current list of emergency telephone 
    numbers, for use by control center personnel to notify outside 
    emergency responders, adjacent rail modes of transportation, and 
    appropriate railroad officials that a passenger train emergency has 
    occurred, FRA could clearly penalize the railroad for this omission. 
    However, if a railroad's plan properly provided for the maintenance of 
    the list of emergency telephone numbers, but one telephone number on a 
    long list of accurate numbers was found by FRA to be out of date, and 
    thus incorrect, the railroad would not face the imposition of a civil 
    penalty.
        As an alternative, FRA could maintain strict oversight by requiring 
    compliance with every individual element of the emergency preparedness 
    plan, and impose a civil penalty in every instance in which a railroad 
    fails to achieve compliance. Accordingly, under this approach, a 
    railroad could be penalized for failing to constantly update its list 
    of emergency telephone numbers, neglecting to distribute applicable 
    portions of its emergency preparedness plan to all on-line emergency 
    responders, or operating a train with an incorrect type of on-board 
    emergency equipment. Rather than stress the concept of determining the 
    overall level of emergency preparedness achieved by a railroad before 
    the emergency occurs, this enforcement philosophy would specifically 
    focus on whether the railroad in fact complied with all of the written 
    emergency plan procedures for implementing each plan element. FRA 
    invites commenters to address the questions of what compliance 
    obligations should exist in the final rule, in the context of requiring 
    railroads to adopt and implement procedures for achieving emergency 
    preparedness, and what enforcement policy should be exercised by the 
    agency regarding those obligations. Commenters are also asked to review 
    the language of the section-by-section analysis and rule text of the 
    proposed rule and to offer suggestions on whether FRA's expectations 
    for compliance with the emergency preparedness plan elements are too 
    rigid, or not strict enough.
        In drafting the final rule, FRA also expects to incorporate all 
    relevant information derived from the investigation of the accident 
    involving Amtrak train no. 1, the ``Sunset Limited,'' which occurred in 
    Hyder, Arizona on October 9, 1995. In that accident, the initial 
    notification was made by the Amtrak locomotive engineer to the Southern 
    Pacific Transportation Company (SP) train dispatcher's office in 
    Denver, Colorado, which then notified the appropriate local emergency 
    response agencies. The SP yardmaster in Phoenix Yard also dialed 911 
    after hearing the engineer's radio transmissions to the train 
    dispatcher.
        While the local emergency responders stated that the accident was 
    handled well by all parties involved, the responders noted that they 
    were hampered in reaching the accident site by extremely rough terrain, 
    initially negotiable only by four-wheel drive vehicles until graders 
    and earth movers created a trail for conventional vehicles. The 
    responders were somewhat confused by being provided with only a 
    milepost location instead of a more familiar identifier. The responders 
    were also frustrated by the lack of an accurate passenger count, but 
    Amtrak has stated that once it has satellite cellular telephone 
    capabilities train conductors will report passenger counts to a central 
    telephone number after leaving each station. In addition, the 
    responders indicated that, although the emergency lighting did not 
    function on the overturned passenger cars, passengers were able to 
    disembark through the car doors and emergency windows.
        FRA also expects to include requirements in the final rule relating 
    to emergency egress from passenger trains, based upon information 
    obtained from the investigations of the two recent train accidents in 
    New Jersey and Maryland.
    
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    In the first accident, a near-head-on collision occurred on February 9, 
    1996 between NJTR trains 1254 and 1107 at milepost 2.8, on the 
    borderline of Secaucus and Jersey City, New Jersey. Of the 331 
    passengers and crew on both trains, two crewmembers and one passenger 
    were fatally injured, and an additional 162 passengers reported minor 
    injuries. In the second accident, a near-head-on collision occurred on 
    February 16, 1996 between MARC train 286 and Amtrak train 29 on CSX 
    Transportation, Inc., at Silver Spring, Maryland, milepost 8.3. The 
    accident resulted in 11 fatalities, consisting of three crewmembers and 
    eight passengers, and at least 12 non-fatal injuries to passengers of 
    the MARC train.
        While many of the questions raised by the New Jersey and Maryland 
    train accidents are being addressed by the working group which is 
    considering regulations covering rail passenger equipment safety 
    standards, the important issue of emergency egress must be addressed by 
    this rulemaking. Specifically, the Silver Spring accident raised 
    serious concerns as to whether MARC passengers had sufficient 
    information about the location and operation of emergency exits to 
    enable them to find and use those exits in an emergency or accident. 
    FRA believes that all commuter and intercity passenger railroads should 
    review their practices, in addition to marking the exits, for providing 
    this information. On February 20, 1996, FRA issued Emergency Order No. 
    20 (Notice No. 1), which required prompt action to immediately enhance 
    passenger train operating rules and emergency egress and to develop an 
    interim system safety plan addressing cab car forward and multiple unit 
    (MU) operations. 61 FR 6876, Feb. 22, 1996. In pertinent part, Notice 
    No. 1 of the Emergency Order stated:
    
        [T]here is a need to ensure that emergency exits are clearly 
    marked and in operable condition on all passenger lines, regardless 
    of the equipment used or train control system. FRA's regulations 
    generally require that all passenger cars be equipped with at least 
    four emergency opening windows, which must be designed to permit 
    rapid and easy removal during a crisis situation. The investigation 
    of the Silver Spring accident has raised some concerns that at least 
    some of the occupants of the MARC train attempted unsuccessfully to 
    exit through the windows. Whether those same people eventually were 
    among those who exited safely, or whether those persons were 
    attempting to open windows that were not emergency windows is not 
    known at this time. However, there is sufficient reason for concern 
    to require that measures be taken to ensure that such windows are 
    readily identifiable and operable when they are needed. Accordingly, 
    the order requires that any emergency windows that are not already 
    legibly marked as such on the inside and outside be so marked, and 
    that a representative sample of all such windows be examined to 
    ensure operability. (FRA Safety Glazing Standards, 49 CFR Part 223, 
    require that each passenger car have a minimum of four emergency 
    window exits ``designed to permit rapid and easy removal during a 
    crisis situation.'')
    
    61 FR 6880, Feb. 22, 1996.
        On February 29, 1996, FRA issued Notice No. 2 to Emergency Order 
    No. 20 to refine three aspects of the original order, including 
    providing more detailed guidance on the emergency egress sampling 
    provision. 61 FR 8703, Mar. 5, 1996. In pertinent part, Notice No. 2 of 
    the Emergency Order stated:
    
        The original order required but did not set parameters for 
    testing a representative sample of emergency exits. The alteration 
    to the emergency egress provisions requires that sampling of 
    emergency window exits be conducted in conformity with either of two 
    alternate methods commonly recognized for such efforts. This 
    modification provides a degree of uniformity industry wide. These 
    methods require sampling meeting a 95 percent confidence level that 
    all emergency window exits operate properly (i.e., the methods do 
    not accept a defect rate of 5 percent). Although the original order 
    would have required testing all exits on a specific series or type 
    of car if one such car had a defective window exit, the amended 
    order permits the use of these commonly accepted sampling techniques 
    to determine how many additional windows in [sic] test. In general, 
    these principles require that the greater the percentage of windows 
    initially found defective, the greater the percentage of windows 
    that will have to be tested.
        In addition, FRA has modified the emergency egress portion of 
    the order to clarify that the exterior marking requirement applies 
    to those windows that may be employed for access by emergency 
    responders, which may be windows other than, or in addition to, 
    those designed for emergency egress for passengers. In addition, FRA 
    has modified the interim system safety plan portion of the order to 
    require discussion of the railroad's programs and plans for liaison 
    with and training of emergency responders with respect to emergency 
    access to passengers. The original order required discussion only of 
    methods used to inform passengers of the location and method of 
    emergency exits.
    
    61 FR 8703, Mar. 5, 1996.
        On March 12, 1996, in response to the MARC train accident in Silver 
    Spring, Maryland on February 16, 1996, the NTSB issued ``Safety 
    Recommendations'' to both the Maryland Mass Transit Administration (R-
    96-4 through R-96-6) and FRA (R-96-7). The NTSB was concerned because 
    the emergency quick-release mechanisms for the exterior doors on MARC's 
    Sumitomo rail cars are located in a secured cabinet some distance from 
    the doors that they control, and the emergency controls for each door 
    are not readily accessible and identifiable. The NTSB recommends that 
    emergency quick-release mechanisms for exterior doors on MARC cars be 
    well marked and relocated, so that they are immediately adjacent to the 
    door control and readily accessible for emergency escape. The NTSB also 
    noted that the left and right rear exterior side doors of the first car 
    and the front interior end door and the right front exterior door of 
    the second car were jammed, and observed that none of the car doors had 
    removable windows or pop-out emergency escape panels (kick panels) for 
    use in an emergency.
        In addition, the NTSB stated that several train passengers were 
    unaware of the locations of emergency exits, and none knew how to 
    operate them. The NTSB found that the interior emergency window decals 
    were not prominently displayed and that one car had no interior 
    emergency window decals. Also, the exterior emergency decals were often 
    faded or obliterated, and the information on them, when legible, 
    directed emergency responders to another sign at the end of the car for 
    instructions on how to open emergency exits. The NTSB recommends that 
    all emergency exits be clearly identified, with easily understood 
    operating instructions prominently located on each car's interior for 
    use by passengers and on the exterior for use by emergency responders.
        Based upon its investigation, the NTSB recommends that FRA:
    
        Inspect all commuter rail equipment to determine whether it has: 
    (1) easily accessible interior emergency quick-release mechanisms 
    adjacent to exterior passageway doors; (2) removable windows or kick 
    panels in interior and exterior passageway doors; and (3) 
    prominently displayed retroreflective signage marking all interior 
    and exterior emergency exits. If any commuter equipment lacks one or 
    more or these features, take appropriate emergency measures to 
    ensure corrective action until these measures are incorporated into 
    minimum passenger car safety standards. (Class 1, Urgent Action) (R-
    96-7)
    
    Safety Recommendation R-96-7 at page 3.
        On March 26, 1996, FRA convened a joint meeting of the Passenger 
    Train Emergency Preparedness Working Group and the Passenger Equipment 
    Safety Standards Working Group to discuss the NTSB's recommendations 
    and incorporate the Safety Board's findings, as appropriate, into each 
    working group's rulemaking proceeding.
    
    [[Page 8335]]
    
    Fifty-seven members from 21 different organizations attended the joint 
    meeting. Although some of the recommendations involving structural 
    modifications to rail equipment will be dealt with by the Passenger 
    Equipment Safety Standards Working Group, the remaining NTSB 
    recommendations involving marking, inspection, maintenance, and repair 
    of emergency exits are reflected in proposed Sec. 223.9(d), entitled 
    ``Requirements for new or rebuilt equipment,'' and proposed 
    Sec. 239.17, entitled ``Emergency exits.'' The Section-by-Section 
    Analysis contains a detailed discussion of FRA's proposed requirements, 
    particularly in light of the two recent accidents in New Jersey and 
    Maryland and the NTSB's safety investigations and recommendations.
        In a letter to FRA dated June 24, 1996, Mr. Donald N. Nelson, 
    President of Metro-North and Chairperson of APTA's Commuter Railroad 
    Committee, announced that commuter railroads nationwide are 
    implementing a series of rail passenger safety initiatives building on 
    the safety provisions of FRA's Emergency Order No. 20 and the NTSB's 
    Safety Recommendations R-96-4 through R-96-7. In pertinent part, all 
    commuter rail authorities have committed to early voluntary 
    implementation of the emergency preparedness requirements proposed in 
    this NPRM, including requiring inspection and testing of all emergency 
    window exits as part of routine car maintenance to ensure correct 
    operation and ease of egress, offering emergency responder training for 
    every jurisdiction within each commuter railroad's service area, and 
    educating passengers on the use of emergency exits on commuter trains. 
    The commuter railroads also indicated that each one will ensure the 
    safety of its operation by adopting a comprehensive system safety plan 
    that:
        (a) Defines the overall safety effort, how it is to be implemented 
    and the staff required to maintain it;
        (b) Establishes the safety interface within the railroad, as well 
    as with its key outside agencies;
        (c) Clearly indicates Senior Management support for implementing 
    the safety plan and the railroad's overall commitment to safety;
        (d) Establishes the safety philosophy of the organization and 
    provides the means for implementation;
        (e) Defines the authority and responsibilities of the safety 
    organization and delineates the safety related authority and 
    responsibilities of other departments; and
        (f) Incorporates safety goals and objectives into the overall 
    corporate strategic plan.
    
    APTA's Commuter Railroad Committee letter at pages 1 and 2.
        As part of the ongoing review process within DOT, and subsequent to 
    the Working Group's previous opportunities to review the proposed rule 
    text, FRA implemented changes to the draft regulatory text and 
    preamble. FRA initiated these changes in order to strengthen the rule's 
    requirements and establish more objective criteria for FRA's review of 
    each railroad's emergency preparedness plan. In a letter dated December 
    27, 1996, FRA sent a copy of the revised regulatory text to members of 
    the Working Group, and requested comments on issues that the members 
    wished to see included in the preamble section of the proposal. FRA 
    requested that all comments be submitted to FRA by the close of 
    business on January 8, 1997.
    
    Development of the Passenger Safety Program
    
        As discussed above, this proposed rule is one element of a 
    comprehensive effort to address the safety of rail passenger service. 
    In addition to this rulemaking, FRA is currently addressing related 
    issues in several contexts. Recent actions addressing passenger safety 
    needs have included, for instance, Emergency Order No. 20, which 
    addressed on an interim basis key issues regarding railroad operating 
    rules, inspection of required emergency window exits, and emergency 
    exit signage and marking.
        In the Passenger Equipment Safety Standards Working Group, FRA is 
    examining possible requirements for improved emergency egress features 
    for both retrofit and new construction. Affected railroads have already 
    completed, or will complete by the end of this calendar year, the 
    removal of latches requiring special tools for access to manual 
    releases on powered doors. Separately, FRA is reviewing the totality of 
    emergency egress requirements and the issue of their overall adequacy, 
    including the relocation of manual releases to locations immediately 
    adjacent to end vestibule doors. FRA anticipates that these efforts 
    will be advanced through a collaborative rulemaking process. However, 
    if necessary to ensure prompt action, FRA may propose specific 
    requirements based upon its own staff analysis.
        In the context of improving railroad communications, the Railroad 
    Safety Advisory Committee (RSAC) has established a working group to 
    specifically address communication facilities and procedures, with a 
    strong emphasis on passenger train emergency requirements. FRA expects 
    that that group will report recommendations to the RSAC early in 1997. 
    FRA anticipates that those recommendations will address the issue of 
    whether there should be redundant communications capability on all 
    passenger trains. Although that rulemaking will establish minimum 
    safety requirements with respect to communications equipment, it should 
    be noted that intercity and commuter railroads already make extensive 
    provision for ensuring communication capabilities during emergencies.
        FRA plans a four-phase process to address emergency preparedness. 
    In 1994, FRA distributed the Volpe Report described above and 
    encouraged railroads to examine their existing programs to determine 
    what improvements could be made. This rulemaking represents the second 
    step in this process, formalizing a planning requirement and 
    identifying certain mandatory elements. The third phase will begin as 
    FRA reviews railroad plans to determine that the issues presented by 
    the Volpe Report and the rule have been adequately addressed within the 
    varying contexts of the commuter authority operations. FRA will conduct 
    a detailed review of each plan. Following review and formal approval of 
    written plan submissions, it will also be necessary for FRA to 
    determine how the program is being implemented in the field. FRA will 
    also be interested in determining how this effort is being integrated 
    into the overall system safety planning process that commuter 
    authorities have agreed to undertake.
        FRA is optimistic that this approach will yield positive results, 
    promoting creativity and cross-fertilization of the emergency 
    preparedness planning process through FRA, APTA, and other channels. 
    This give-and-take approach should facilitate standardization of 
    matters involving interface with passengers, while permitting continued 
    adaptation of programs to local needs.
        The fourth phase would involve FRA's review, after having gained at 
    least a full year of actual experience under the standards proposed 
    here, of the implementation and effectiveness of the standards and 
    related voluntary developments. In this phase of activity, FRA would 
    work with interested parties to evaluate whether further rulemaking or 
    other action might be necessary to ensure that, for each program 
    element, standards and practices are sufficiently precise and stringent 
    to achieve the desired improvements in emergency
    
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    preparedness. Further, this review will determine whether experience in 
    working with emergency responders indicates that additional program 
    elements should be addressed.
    
    Section-by-Section Analysis
    
        FRA proposes to amend Part 223 to Title 49, Code of Federal 
    Regulations by adding three new definitions and requiring railroads 
    operating passenger train service to clearly mark emergency windows. 
    FRA also proposes to add Part 239 to Title 49, Code of Federal 
    Regulations specifically devoted to prescribing minimum Federal safety 
    standards concerning the preparation, adoption, and implementation of 
    emergency preparedness plans by railroads connected with the operation 
    of passenger trains.
    
    1. Definitions: Section 223.5
    
        Section 223.5 would be reorganized and definitions of three 
    important terms employed in the proposed passenger train emergency 
    preparedness regulations would be added. The three new defined terms 
    are ``emergency responder,'' ``passenger train service,'' and 
    ``railroad.'' For ease of reference, FRA proposes to define the term 
    ``railroad'' so as to include the statutory (49 U.S.C. 20102) 
    definitions of both ``railroad'' and ``railroad carrier'' and to 
    clarify that those who provide railroad transportation directly or 
    through an operating contractor are railroad carriers. Thus, the term 
    ``railroad'' is clearly intended to include commuter authorities. These 
    terms are intended to have the same meaning as in proposed part 239 of 
    this chapter.
        Of course, the term ``railroad,'' as used by FRA in the context of 
    regulating passenger train emergency preparedness, is not controlled by 
    the definitions of ``rail carrier'' and ``railroad'' set forth in 49 
    U.S.C. 20102 (5) and (6). Likewise, FRA does not intend for its 
    definition of ``railroad'' to have any bearing on how the term is used 
    for purposes of the regulatory activities of the Surface Transportation 
    Board.
    
    2. Requirements for New or Rebuilt Equipment: Section 223.9
    
        In accordance with the requirements of 49 CFR 223.9(c) and 
    223.15(c), all passenger cars must be equipped with at least four 
    emergency windows, which must be designed to permit rapid and easy 
    removal during a crisis situation. Proposed paragraph 223.9(d) requires 
    that all windows intended by a railroad to be used during an emergency 
    situation be properly marked inside and outside, and that the railroad 
    post clear and understandable instructions for their use at the 
    designated locations.
        Paragraph 223.9(d)(1) requires that the emergency windows be 
    conspicuously and legibly marked on the inside of the car with 
    luminescent material. FRA realizes that during an emergency the main 
    power supply to the passenger cars may become inoperative and that 
    crewmembers with portable flashlights may be unavailable. Since lack of 
    clear identification or lighting could make it difficult for passengers 
    to find the emergency exits, the proposed rule requires luminescent 
    material on all emergency windows to assist and speed passenger egress 
    from the train during an emergency. The marking of the emergency 
    windows must be conspicuous enough so that a reasonable person, even 
    while enduring the stress and panic of an emergency evacuation, can 
    determine where the closest and most accessible emergency route out of 
    the car is located. In addition, while this proposed section does not 
    prescribe a particular brand, type, or color of luminescent paint or 
    material that a railroad must use to identify a window exit, FRA 
    expects each railroad to select a material durable enough to withstand 
    the daily effects of passenger traffic, such as the contact that occurs 
    as passengers enter and leave the cars.
        METROLINK, in noting that the last line of paragraph 223.9(d) 
    requires ``each railroad [to] post clear and legible operating 
    instructions at or near such exits,'' stated that it assumes that the 
    referenced instructions relate to the doors rather than the windows.
        Paragraph 223.9(d)(2) requires that the emergency windows intended 
    for emergency access by emergency responders for extrication of 
    passengers be marked with retroreflective material. Since FRA 
    recognizes that not every window will be equipped for emergency access, 
    railroads are required to choose a retroreflective, unique and easily 
    recognizable symbol that will readily attract the attention of 
    emergency responders. The proposed rule does not require a specific 
    size or shape for the symbol, but FRA expects the railroad's emergency 
    preparedness plan developed pursuant to Sec. 239.13 of this chapter to 
    contain a provision detailing emergency responder access (along with 
    passenger car egress), consistent with the evacuation strategy 
    formulated jointly by the passenger train operator and the emergency 
    responder organizations, in accordance with the emergency responder 
    liaison provision set forth in Sec. 239.13(a)(5) of this chapter. Of 
    course, while the proposed rule would not require emergency responders 
    to participate in evacuation planning or strategy with the railroads, 
    the railroads would be required to offer liaison assistance. FRA is 
    working to identify an appropriate marking that might be capable of 
    universal recognition. Although the proposed rule allows a marking that 
    could consist of a symbol or words (such as ``RESCUE ACCESS''), FRA 
    reserves the right to be more prescriptive in the final rule based upon 
    a uniform pattern.
        The proposed rule requires railroads to post clear and 
    understandable instructions at designated locations describing how to 
    operate the emergency windows. This paragraph does not mandate that 
    railroads use specific words or phrases to guide the passengers and 
    emergency responders. Instead, each railroad should evaluate the 
    operational characteristics of its emergency windows, and select key 
    words or diagrams that adequately inform the individuals who must use 
    them. While railroads are encouraged to post comprehensive 
    instructions, FRA also realizes that during an emergency situation 
    every additional moment devoted to reading and understanding access or 
    egress information places lives at risk. In addition, FRA would already 
    expect passengers and emergency responders to be familiar with the 
    location and operation of the railroad's emergency windows as a result 
    of emergency responder liaison activities and passenger awareness 
    programs conducted in accordance with Secs. 239.13 (a)(5) and (a)(7) of 
    this chapter.
    
    3. Appendix B to 49 CFR Part 223
    
        FRA plans to revise Appendix B to 49 CFR Part 223--Schedule of 
    Civil Penalties, to include penalties for violations of the provisions 
    of Sec. 223.9(d) to be included in the final rule. Because such penalty 
    schedules are statements of policy, notice and comment are not required 
    prior to their issuance. See 5 U.S.C. 553(b)(3)(A). Nevertheless, 
    commenters are invited to submit suggestions to FRA describing the 
    types of actions or omissions that would subject a person to the 
    assessment of a civil penalty. Commenters are also invited to recommend 
    what penalties may be appropriate, based upon the relative seriousness 
    of each type of violation.
    
    4. Purpose and Scope: Section 239.1
    
        Section 239.1(a) states that the purpose of this part is to reduce 
    the magnitude of casualties in railroad operations by ensuring that 
    railroads involved in passenger train operations can effectively and 
    efficiently manage emergencies. Subsection (b) states that
    
    [[Page 8337]]
    
    these regulations provide minimum standards for the subjects addressed, 
    and the affected railroads may adopt more stringent requirements, so 
    long as they are not inconsistent with this part. FRA does not in any 
    way intend that the subject matter of 49 CFR Part 239, Passenger Train 
    Emergency Preparedness, be read to impose burdens or requirements on 
    emergency responders who either participate with railroads in emergency 
    simulations involving the operation of passenger train service or 
    respond to actual emergency situations, or on any other person who may 
    be involved with the aftermath of a passenger train emergency not 
    specified in proposed Sec. 239.3 concerning applicability. Accordingly, 
    FRA does not intend to restrict a State from adopting a law, rule, 
    regulation, order, or standard affecting emergency responders.
    
    5. Application: Section 239.3
    
        As a general matter, FRA proposes that this rule apply to all 
    railroads that operate passenger train service on the general railroad 
    system of transportation, provide commuter or other short-haul 
    passenger train service in a metropolitan or suburban area, or host the 
    operations of such passenger train service. A public authority that 
    indirectly provides passenger train service by contracting out the 
    actual operation to another railroad or independent contractor would be 
    regulated by FRA as a railroad under the provisions of the proposed 
    rule. Although the public authority would ultimately be responsible for 
    the development and implementation of an emergency preparedness plan 
    (along with all related recordkeeping requirements), the railroad or 
    other independent contractor that operates the authority's passenger 
    train service would be expected to fulfill all of the responsibilities 
    under this part with respect to emergency preparedness planning, 
    including implementation.
        The proposed rule is structured to apply to intercity and commuter 
    service, not tourist operations. At a later time, FRA may propose 
    application of the rule, or some portion thereof, to tourist, scenic, 
    historic, and excursion railroads. FRA's regulatory authority permits 
    it to tailor the applicability sections of its various regulations so 
    as to expand or contract the populations of railroads covered by a 
    particular set of regulations. FRA has had jurisdiction over all 
    railroads since the Federal Railroad Safety Act of 1970 was enacted.
        In considering the issue of requiring emergency preparedness 
    planning by tourist and historic railroad operators in the context of 
    this rulemaking, FRA has not yet had the opportunity to fully consult 
    with those railroads and their associations to determine appropriate 
    applicability in light of financial, operational, or other factors that 
    may be unique to such railroad operations. After appropriate 
    consultation with the excursion railroad associations takes place, 
    emergency preparedness requirements for these operations may be 
    prescribed by FRA that are different from those affecting other types 
    of passenger train operations. These requirements may be more or less 
    onerous, or simply different in detail, depending in part on the 
    information gathered during FRA's consultation process.
        The Federal Railroad Safety Authorization Act of 1994 instructed 
    FRA to examine the unique circumstances of tourist railroads when 
    establishing safety regulations. The Act, which amended 49 U.S.C. 
    20103, stated that:
    
        In prescribing regulations that pertain to railroad safety that 
    affect tourist, historic, scenic, or excursion railroad carriers, 
    the Secretary of Transportation shall take into consideration any 
    financial, operational, or other factors that may be unique to such 
    railroad carriers. The Secretary shall submit a report to Congress 
    not later than September 30, 1995, on actions taken under this 
    subsection.
    
    Public Law No. 103-440, Sec. 217, 108 Stat. 4619, 4624 (November 2, 
    1994). In addition, section 215 of that Act specifically permits FRA to 
    exempt equipment used by tourist, historic, scenic, and excursion 
    railroads to transport passengers from the initial regulations that 
    must be prescribed by November 2, 1997. 49 U.S.C. 20133(b)(1). In its 
    report to Congress entitled ``Regulatory Actions Affecting Tourist 
    Railroads,'' FRA responded to the direction in the statutory provision 
    and also provided additional information related to tourist railroad 
    safety for consideration of the Congress. FRA will address the 
    emergency preparedness concerns for these unique types of operations at 
    a later date in a separate rulemaking proceeding. To facilitate 
    resolution of this issue, and a significant number of related issues, 
    the Railroad Safety Advisory Committee (RSAC) has established a Tourist 
    and Historic Railroads Working Group. As a matter of cost efficiency, 
    the Working Group may elect to cover emergency preparedness planning 
    for tourist railroads as part of a package of tourist-specific safety 
    proposals during a multi-day consultation on several rulemaking 
    dockets. FRA would then issue a Notice of Proposed Rulemaking 
    addressing issues in several dockets that pertain to these smaller 
    passenger operations.
        In Sec. 239.3(b)(2), FRA proposes that the requirements of this 
    part would not apply to the operation of private passenger train cars, 
    including business or office cars and circus trains. While FRA believes 
    that a private passenger car operation should be held to the same basic 
    level of emergency preparedness planning as other passenger train 
    operations, FRA intends to take into account the financial burden 
    imposed by requiring private passenger car owners and operators to 
    conform to the requirements of this part. Private passenger cars are 
    often hauled by host railroads such as Amtrak and commuter railroads, 
    and these hosts often impose their own safety requirements on the 
    operation of the private passenger cars. Pursuant to this part, the 
    host railroads would already be required to have emergency preparedness 
    plans in place to protect the safety of their own passengers; the 
    private car passengers would presumably benefit from these plans even 
    without the rule directly covering private car owners or operators. In 
    the case of non-revenue passengers, including employees and guests of 
    railroads that are transported in business and office cars, as well as 
    passengers traveling on circus trains, the railroads would provide for 
    their safety in accordance with existing safety operating procedures 
    and protocols relating to normal freight train operations.
    
    6. Preemptive Effect: Section 239.5
    
        Section 239.5 informs the public as to FRA's views regarding the 
    preemptive effect of the proposed rule. While the presence or absence 
    of such a section does not in itself affect the preemptive effect of 
    this part, it informs the public concerning the statutory provision 
    which governs the preemptive effect of these rules. Section 20106 of 
    title 49 of the United States Code provides that all regulations 
    prescribed by the Secretary relating to railroad safety preempt any 
    State law, regulation, or order covering the same subject matter, 
    except a provision necessary to eliminate or reduce an essentially 
    local safety hazard that is not incompatible with a Federal law, 
    regulation, or order and that does not unreasonably burden interstate 
    commerce. With the exception of a provision directed at an essentially 
    local safety hazard, 49 U.S.C. 20106 preempts any State regulatory 
    agency rule covering the same subject matter as these regulations 
    proposed today.
        Of course, the subject matter of these regulations covers only the 
    preparation,
    
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    adoption, and implementation of emergency preparedness plans for 
    passenger train operations. Accordingly, States are in no way preempted 
    from regulating any of the training requirements or other activities of 
    the non-railroad emergency responders who arrive at the scene of an 
    emergency after a railroad's emergency preparedness plan has been 
    activated.
    
    7. Definitions: Section 239.7
    
        This section contains an extensive set of definitions to introduce 
    the regulations. FRA intends these definitions to clarify the meaning 
    of important terms as they are used in the text of the proposed rule. 
    The proposed definitions are carefully worded in an attempt to minimize 
    the potential for misinterpretation of the rule. Several of the 
    definitions introduce new concepts which require further discussion.
        Although the definition of ``crewmember'' is primarily intended to 
    cover persons who either perform on-board functions connected with the 
    movement of a train (e.g., a locomotive engineer, conductor) or provide 
    on-board service (e.g., an Amtrak food service employee or sleeping car 
    attendant), a deadheading employee is covered by the definition as 
    well. Accordingly, such an employee could count as a ``qualified'' 
    employee under Sec. 239.101(a)(2)(iv) for purposes of meeting a 
    railroad's minimum on-board staffing requirements for its emergency 
    preparedness plan. However, during a passenger train emergency 
    situation, off-duty employees would also be expected to assume their 
    appropriate roles under the railroad's emergency preparedness plan and 
    assist the passengers. METROLINK indicated that on some trains it has 
    conductors who perform the function of fare enforcement, and 
    recommended that FRA exclude these individuals from the definition of 
    ``crewmember.'' METROLINK also requested that FRA exclude contract food 
    workers from the definition of ``crewmember.''
        The term ``control center'' envisions not only the traditional 
    railroad concept of a train dispatcher's office, but also railroad 
    offices that are identified as ``control centers'' but only monitor 
    railroad operations, and modern system operations centers such as those 
    of CSX Transportation, Inc., in Jacksonville, Florida and the 
    Burlington Northern Santa Fe Corporation in Ft. Worth, Texas. The term 
    does not include a location on a railroad with responsibility for the 
    security of railroad property, personnel, or passengers.
        It is very likely that control center personnel are located at 
    facilities which are remote from the right-of-way. These facilities 
    should consist of the necessary command, control, and communications 
    equipment to maintain normal train operations, to control electric 
    traction, and to maintain communications throughout the passenger train 
    system. In addition to these functions, the control center should help 
    coordinate responses to emergencies by using equipment such as radio 
    communications systems, direct ``hotline'' telephones, wayside power 
    removal controls, and ventilation controls under the direction of 
    emergency responders, according to the protocols and procedures of the 
    emergency preparedness plan.
        Typical emergency scenarios encompassed by the term ``emergency'' 
    or ``emergency situation'' involving a significant threat to the safety 
    or health of one or more persons requiring immediate action may include 
    one or more of the following: illness or injury; a stalled train in a 
    tunnel or on a bridge; collision with a person, including suicides; 
    collision or derailment; fire; collision or derailment with a fire; 
    collision or derailment with water immersion; severe weather 
    conditions; natural disasters; and security situations (e.g., bombings, 
    bomb threats, hijacking, civil disorders, and other acts of terrorism).
        The term ``qualified,'' as used in the rule, means employees who 
    are trained under an applicable emergency preparedness plan's 
    components and implies no provision or requirement for Federal 
    certification of persons who perform those functions.
        The definition of ``railroad'' is based upon 49 U.S.C. 20102 (1) 
    and (2), and encompasses any person providing railroad transportation 
    directly or indirectly, including a commuter rail authority that 
    provides railroad transportation by contracting out the operation of 
    the railroad to another person, as well as any form of nonhighway 
    ground transportation that runs on rails or electromagnetic guideways, 
    but excludes urban rapid transit not connected to the general system.
        The terms explained here are not exhaustive of the definitions that 
    are proposed for inclusion in Sec. 239.7. This introduction merely 
    provides a sampling of the most important concepts of the proposed 
    rule. Many other terms are defined and explained in the section-by-
    section analysis when analyzing the actual proposed rule text to which 
    they apply.
    
    8. Responsibility for Compliance: Section 239.9
    
        Section 239.9 clarifies FRA's position that the requirements 
    contained in the proposed rules are applicable to any ``person,'' 
    including a contractor, that performs any function required by the 
    proposed rules. Although all sections of the proposed rule address the 
    duties of a railroad, FRA intends that any person who performs any 
    action required by this part on behalf of a railroad is required to 
    perform that action in the same manner as required of a railroad or be 
    subject to FRA enforcement action. For example, if an independent 
    contractor is hired by a railroad to maintain its records of 
    inspection, maintenance, and repair of emergency window and door exits, 
    pursuant to proposed Sec. 239.17, the contractor would be required to 
    perform those duties in the same manner as required by a railroad.
    
    9. Penalties: Section 239.11
    
        Section 239.11 identifies the penalties that FRA may impose upon 
    any person, including a railroad or an independent contractor providing 
    goods or services to a railroad, that violates any requirement of this 
    part. These penalties are authorized by 49 U.S.C. 21301, 21304, and 
    21311, formerly contained in Sec. 209 of the Federal Railroad Safety 
    Act of 1970 (Safety Act) (49 U.S.C. 20101-20117, 20131, 20133-20141, 
    20143, 21301, 21302, 21304, 21311, 24902, and 24905, and Secs. 4(b)(1), 
    (i), and (t) of Public Law 103-272, formerly codified at 45 U.S.C. 421, 
    431 et seq.). The penalty provision parallels penalty provisions 
    included in numerous other regulations issued by FRA under authority of 
    the provisions of law formerly contained in the Safety Act. 
    Essentially, any person who violates any requirement of this part or 
    causes the violation of any such requirement will be subject to a civil 
    penalty of at least $500 and not more than $10,000 per violation. Civil 
    penalties may be assessed against individuals only for willful 
    violations, and where a grossly negligent violation or a pattern of 
    repeated violations creates an imminent hazard of death or injury to 
    persons, or causes death or injury, a penalty not to exceed $20,000 per 
    violation may be assessed. In addition, each day a violation continues 
    will constitute a separate offense. Finally, a person may be subject to 
    criminal penalties for knowingly and willfully falsifying reports 
    required by these regulations. FRA believes that the inclusion of 
    penalty provisions for failure to comply with the regulations is 
    important in
    
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    ensuring that compliance is achieved not only in terms of developing 
    and implementing emergency preparedness plans, but also to better 
    determine if railroads are planning ahead to minimize the consequences 
    of emergencies that could occur.
        The final rule will include a schedule of civil penalties in an 
    Appendix A to 49 CFR Part 239, to be used in connection with this part. 
    Because such penalty schedules are statements of policy, notice and 
    comment are not required prior to their issuance. See 5 U.S.C. 
    553(b)(3)(A). Nevertheless, commenters are invited to submit 
    suggestions to FRA describing the types of actions or omissions under 
    each regulatory section that would subject a person to the assessment 
    of a civil penalty. Commenters are also invited to recommend what 
    penalties may be appropriate, based upon the relative seriousness of 
    each type of violation.
    
    10. Emergency Preparedness Plan: Section 239.101
    
        In drafting the proposed rule, FRA recognized that the operations 
    of each individual passenger train system must be considered in the 
    development and implementation of effective emergency preparedness 
    programs. Factors which should be considered include system sizes and 
    route locations, types of passenger cars and motive power units, types 
    of right-of-way structures and wayside facilities, and numbers of 
    passengers carried, as well as internal railroad organizations and 
    outside emergency response resources. Under the proposed rule, each 
    railroad subject to the regulation is required to establish an 
    emergency preparedness plan designed to safely manage emergencies and 
    minimize subsequent trauma and injury to passengers and on-board 
    railroad personnel. The plan must reflect the railroad's policies, 
    plans, and readiness procedures for addressing emergencies. The 
    railroad is expected to employ its best efforts, under the 
    circumstances of the emergency situation, to execute the provisions of 
    its plan.
        In their development of emergency preparedness plans, FRA 
    encourages railroads to integrate, as practicable, the recommended 
    guidelines contained in the Volpe Report. The report provides a 
    comprehensive degree of specificity. While the proposed rule does not 
    require the special level of detail reflected in the Volpe Report, FRA 
    advocates that railroads voluntarily incorporate such elements and 
    items as appropriate into the development of their own emergency 
    preparedness plans, and exclude recommendations only after judicious 
    consideration.
        While FRA stresses that each railroad should retain latitude in 
    developing an emergency preparedness plan appropriate for its 
    operations, the plan must provide a comprehensive overview, make clear 
    and positive statements to railroad employees, and contain 
    implementation details concerning the roles, responsibilities, and 
    expectations for employee participation. The plan does not have to be 
    one single document with every section applying to every railroad 
    employee and location; instead, the plan may consist of multiple 
    documents, with a separate section of the plan detailing the specific 
    responsibilities for each job category or function. In instances where 
    a freight railroad hosts the operations of a passenger railroad, both 
    railroads would have to address issues of emergency preparedness. 
    However, the rule would require the hosting freight railroad to develop 
    only the applicable portions of an emergency preparedness plan uniquely 
    dealing with the passenger operations not otherwise addressed.
        The majority of passenger train operational difficulties are 
    handled effectively and do not become emergencies. Since in many 
    instances a train crew can immediately take action to resolve a problem 
    and potential emergency without evacuating the train, existing 
    emergency preparedness policies de-emphasize immediate evacuation from 
    trains located between stations unless passengers and crews are in 
    immediate danger. Accordingly, in most situations, after notifying the 
    control center that a problem exists and receiving permission, the 
    train crew will move the train to the nearest station or safe location 
    (e.g., outside a tunnel) before taking further action. If the train 
    crew is unable to resolve the situation, railroad personnel or outside 
    emergency responders may be sent to the emergency scene to provide 
    mechanical aid, alternate transportation, or medical assistance.
        The effectiveness of a railroad's overall response under its 
    emergency preparedness plan will be greatly influenced by the type of 
    emergency with which the train crew is presented (e.g., injury or 
    illness, stalled train, suicide or accidental collision with a person, 
    derailment or collision, smoke or fire, severe weather conditions or 
    natural disasters, and vandalism or sabotage). The response will also 
    be affected by the characteristics and type of train involved and the 
    functional status of electrical and mechanical systems, including 
    lighting, ventilation, and public address systems. In addition, the 
    operational environment (e.g., a train is located in a tunnel, on an 
    elevated structure, or in electrified territory), and the type of 
    right-of-way structure or wayside facility must be addressed, as 
    appropriate, in each railroad's emergency preparedness plan.
        The emergency preparedness plan should establish a chain of command 
    which assigns functions and responsibilities to appropriate passenger 
    railroad operating personnel, while recognizing the authority and 
    responsibilities of emergency responders. Coordination is important to 
    the ability of all parties to respond appropriately to an emergency, 
    regardless of its size and location. Documentation, including 
    applicable portions of the emergency preparedness plan, protocols, and 
    procedures within rulebooks, manuals, and guidelines for control center 
    employees and on-board personnel, provides the basic framework for 
    coordination between all internal parties responding to an emergency. 
    This internal documentation should address at least the following 
    issues:
         Delineation of functions and responsibilities during 
    emergencies for passenger railroad operating personnel, including 
    control center personnel;
         Telephone numbers of railroad personnel and emergency 
    responders who need to be notified;
         Criteria for determining whether an emergency exists and 
    requires assistance from emergency responders;
         Procedures for determining the specific type, location, 
    and severity of the emergency, and thus which response is appropriate;
         Procedures for notifying emergency responders; and
         Procedures and decision-making criteria for transferring 
    incident responsibility from the passenger railroad operator to 
    emergency responders.
        Section 239.101 sets forth the general requirement that railroads 
    shall develop and comply with their own emergency preparedness plans 
    and written procedures to implement their own plans for addressing 
    issues of emergency preparedness, that meet Federal minimum standards. 
    Paragraph 239.101(a) requires all railroads affected by this proposed 
    part to develop and implement written procedures to fulfill each 
    applicable element of this section. Depending on the nature of a 
    railroad's operations, as well as on whether its operations involve a 
    host freight railroad, different elements of this proposed section may 
    be fulfilled by more than one entity. While FRA requires all elements 
    of this section to
    
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    be addressed for each passenger train operation, the rule does not 
    mandate that every element be addressed in each affected entity's 
    emergency preparedness plan. Accordingly, if a passenger train service 
    operator relies on its freight railroad host to notify outside 
    emergency responders after an emergency occurs, FRA would permit the 
    freight railroad's emergency preparedness plan to address this element. 
    Provided that both entities properly coordinate their emergency 
    preparedness plans (and include cross-reference citations to each 
    other's plan), the passenger train service operator's plan could omit 
    this item and still be in compliance with the proposed rule.
        The proposed rule would not require that the public authority and 
    the operating railroad or independent contractor each file a separate 
    emergency preparedness plan with FRA if the operating railroad or 
    independent contractor is the only party performing a function under 
    the regulation. However, each party's responsibility for compliance 
    with this part must be clearly spelled out in the emergency 
    preparedness plan or plans that are filed with FRA for approval 
    covering the entire passenger train service operation. After approval 
    of the plan or plans, FRA may hold the public authority or the other 
    entity or both responsible for compliance with this part.
        FRA proposes to establish the parameters for such a plan and defer 
    to the expertise of each individual railroad to adopt a suitable 
    emergency preparedness plan for its railroad, in accordance with these 
    parameters. As noted previously in the preamble to this proposed rule, 
    the emergency preparedness plan may consist of multiple documents, with 
    a separate document detailing the responsibilities of each category of 
    employee under the railroad's plan. Each railroad is also encouraged to 
    review the suggestions provided in the Volpe Report before developing 
    an emergency preparedness plan in accordance with the requirements set 
    forth in this section. In developing the plan, railroads are reminded 
    that the goal of the proposed rule is to maximize the safety of 
    passengers, railroad personnel, emergency response personnel, property, 
    and the general public which come in contact with the railroad by 
    providing for immediate notification of outside law enforcement 
    officials and emergency responders. Railroads should not instruct their 
    on-board employees to substitute as professional emergency responders 
    and delay notification of appropriate railroad and outside officials.
        Paragraph 239.101(a)(1) sets forth the requirement that the 
    passenger train crewmembers must communicate immediately and 
    effectively with each other, as well as with the control center and the 
    passengers. Typically, in an emergency situation the proposed rule 
    requires an on-board train crewmember to immediately contact the 
    control center via a dependable on-board radio or an alternate means of 
    communication (e.g., wayside railroad telephone, public telephone, 
    private residence telephone, or cellular telephone) to advise 
    appropriate railroad officials of the nature of the emergency and the 
    type of assistance required. After this initial notification to the 
    control center occurs, the passengers must be informed of the emergency 
    and provided directions. As appropriate, all passengers should be 
    accounted for (particularly in sleeping compartments) so as to expedite 
    evacuation, if necessary, and to avoid needless effort to search for 
    ``missing'' persons.
        METROLINK stated that the train crewmember should notify the 
    passengers after consultation with the control center and the control 
    center officer, unless the train must be evacuated immediately. Also, 
    the LIRR recommended that FRA revise paragraph 239.101(a)(1) in the 
    final rule to require an on-board crewmember to remove all occupants of 
    the train from imminent danger as a first step after he or she quickly 
    and accurately assesses the passenger train emergency situation. FRA 
    recognizes that each emergency situation is unique, and may require 
    rapid decisionmaking by on-board crewmembers on how best to ensure the 
    safety of the passengers. Moreover, it is FRA's expectation that 
    railroads will properly train their employees to perform the requisite 
    life-saving functions after an emergency (e.g., relocation of 
    passengers from a smoke-filled car to a safer section of the train or 
    evacuation of the passengers from a derailed car), in conjunction with 
    their responsibilities to assess the nature of the emergency and notify 
    the control center as soon as practicable thereafter. Accordingly, 
    while FRA may conclude in the course of investigating a specific train 
    incident or accident that a particular employee's egregious mishandling 
    of an emergency situation warrants individual enforcement action and/or 
    enforcement action against the railroad, we are reluctant to strictly 
    impose the precise order or manner in which on-board crewmembers must 
    execute their individual responsibilities under the railroad's 
    emergency preparedness plan. However, in the course of drafting the 
    final rule text, FRA may elect to incorporate recommended practices as 
    specific directives to railroads concerning how they must respond to 
    the various types of emergency situations most likely to occur during 
    passenger operations, such as on-board fires, downed electrical power 
    sources, or passenger injuries from a derailment.
        Although the proposed rule does not require a railroad to use a 
    specific means of communication, FRA expects the railroad to select a 
    method that is effective and capable of reaching pertinent railroad 
    control centers and on-board locations in order to comply with the 
    notification requirement of this subsection. FRA further expects that 
    railroads will voluntarily build redundancy into their emergency 
    preparedness plans by outfitting their crewmembers with an immediately 
    available backup means of communication, in the event that primary 
    communications systems are either damaged during the emergency or 
    otherwise rendered inoperative. For example, a cellular telephone could 
    be made available for use by on-board crewmembers to contact the 
    control center in the event the locomotive radio is inoperative. Also, 
    on-board crewmembers could still maintain proper communication with the 
    passengers, in the event that regular or emergency power was 
    unavailable to operate the train's public address system, by using 
    portable megaphones. Commenters are asked to discuss whether the final 
    rule should expand the subsection's language requiring notification to 
    mandate a specific primary means of communication, and/or whether the 
    final rule should also require each affected railroad to equip its 
    passenger trains with a secondary means of communication in the event 
    that the primary means is unavailable. This issue may be resolved in 
    this proceeding or in the context of the forthcoming revision of the 
    Radio Standards and Procedures in 49 CFR Part 220. That rulemaking was 
    tasked to the RSAC on April 1, 1996.
        It is FRA's understanding that many railroads publish an emergency 
    toll-free telephone number in the employee timetable which connects 
    with the control center office. Amtrak also has a nationwide toll-free 
    telephone number which connects the caller to the national Amtrak 
    police desk in Washington, DC, which is manned around the clock. The 
    rule does not require that notification to either the control center or 
    the train passengers occur within a precisely measured number of 
    minutes, rather it uses the
    
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    words ``as soon as practicable'' in order to give railroads maximum 
    flexibility. FRA expects that in the totality of the circumstances of 
    the emergency situation, the train crewmembers will exercise their best 
    judgment using the railroad's own emergency preparedness plan 
    procedures.
        Under current practice, Amtrak's notification of the emergency 
    responders will vary slightly depending on whether or not the passenger 
    train emergency occurs in Amtrak-dispatched territory. In territory 
    where trains are dispatched by Amtrak, either the control center will 
    directly notify the emergency responder or the control center will 
    notify Amtrak police, who will then, as appropriate, notify pertinent 
    emergency responders, state and federal agencies, and Amtrak 
    supervisors. In territory where trains are not dispatched by Amtrak, 
    the host railroad control center will directly notify the appropriate 
    emergency responders, government agencies, and host railroad 
    supervisors. Which emergency responders and agencies are notified 
    depends on the nature of the emergency. Most control centers have 
    emergency telephone numbers already in their computer systems, usually 
    listed alphabetically by city, with hard copy backups.
        FRA is aware that each railroad's operations are somewhat unique, 
    and that the appropriate persons and organizations who must be notified 
    will vary based upon the railroad's individual operating 
    characteristics and the actual type of emergency that occurs. 
    Accordingly, paragraph 239.101(a)(1)(ii) does not specify emergency 
    responder organizations (e.g., fire departments, helicopter rescue 
    groups) or job titles or duties of appropriate railroad officials whom 
    the control center must contact. The subsection also does not specify 
    which control center employees may be designated by the railroad to 
    maintain the list of emergency telephone numbers; METROLINK recommended 
    that FRA require that the railroad designate an employee function or 
    position to be responsible for maintaining current emergency telephone 
    numbers, rather than a particular employee. In addition, the term 
    ``adjacent'' is not defined (e.g., a distance measurement from the 
    passenger train experiencing the emergency to adjacent rail modes) for 
    purposes of determining which other rail modes must be notified. 
    Instead, consistent with the Working Group's recommendation that the 
    proposed rule should provide each affected railroad with flexibility to 
    implement the rule's provisions, this subsection requires that the 
    emergency preparedness plan state how the railroad will achieve the 
    appropriate notifications.
        Paragraph 239.101(a)(2) requires that the emergency preparedness 
    plan provide for initial and periodic training at least once every two 
    years of all railroad employees who have responsibilities under the 
    plan, and that the training address the role of each affected employee. 
    Adequate training is integral to any safety program. This subsection 
    recognizes that the successful implementation of an emergency 
    preparedness plan depends upon the knowledge of the on-board and 
    control center personnel about the system route characteristics, 
    passenger cars and motive power units, and emergency plans, protocols, 
    procedures, and on-board emergency equipment. An employee who has not 
    been trained to react properly during an emergency situation may 
    present a significant risk to railroad personnel and passengers. 
    Employees must receive ``hands-on'' instruction concerning the 
    location, function, and operation of on-board emergency equipment, 
    stressing the following:
         Opening emergency window, roof, and door exits, with an 
    emphasis on operating them during adverse conditions such as when a 
    rail car is overturned;
         Use of emergency tools and fire extinguishers;
         Use of portable lighting when the main power source is 
    unavailable on a passenger train; and
         Use of megaphones and public address systems (if they are 
    provided by the railroad for communication purposes).
        The proposed rule affords the passenger railroad operator a time 
    period of up to two years to provide each session of ``periodic'' 
    training after the operator provides initial training in the emergency 
    preparedness plan's provisions to its employees. The periodic training 
    requirement is intended to inform railroad personnel of changes in 
    procedures and equipment and ensure that their skills remain at a level 
    that enables them to effectively execute their responsibilities under 
    the emergency preparedness plan. In addition, the recurrent training 
    will reinforce segments of the emergency preparedness plan for 
    individuals who have not performed properly.
        FRA concludes that the unique operating characteristics of all the 
    different railroads subject to the proposed rule, as well as the 
    financial costs involved with providing training, would make it 
    impractical to include a calendar year or other more restrictive or 
    specific requirement for periodic training in the proposed rule. 
    Moreover, assuming that FRA elects to specify in the final rule that 
    the upper limit of the term ``periodic'' will remain at two years, 
    anytime the provisions of an emergency preparedness plan are invoked 
    during an actual emergency, we would count that event toward the 
    training requirement for those affected employees.
        FRA is interested in receiving comments from railroads on the costs 
    of implementing the on-board personnel training requirements of the 
    proposed rule. Specifically, FRA wants to determine the extent of the 
    current training that railroads already provide to their on-board 
    employees (including emergency preparedness training) as part of 
    regular operating rules training programs. Comments are requested 
    concerning the estimated dollar amount of the incremental additional 
    costs connected with modifying existing training programs to comply 
    with this proposal. FRA is interested in ascertaining whether the 
    proposed training requirements will add merely de minimis costs to each 
    railroad's existing training program or if compliance would entail 
    moderate or significant additional costs.
        As discussed in the analysis of proposed Sec. 239.103, FRA expects 
    railroads operating passenger train service to conduct emergency 
    simulations to evaluate their overall emergency response capabilities 
    and ensure that emergency preparedness plans, procedures, and equipment 
    address the particular needs of various types of passengers. Emergency 
    simulations can help railroads achieve theses goals through careful 
    selection of the time and location of the simulation and participation 
    by personnel from the railroads, outside emergency responder 
    organizations, and ``volunteer passengers''. In addition to classroom 
    training, simulations provide employees with a practical and realistic 
    understanding of rules, procedures, trains, and right-of-way 
    structures/wayside facilities as they relate to emergency response. FRA 
    expects that the employee training provided in accordance with 
    paragraph 239.101(a)(2) will include instruction on the importance of 
    emergency simulations in achieving successful implementation of the 
    emergency preparedness plan.
        The proposed rule does not require on-board personnel to receive 
    training in first aid or in CPR. Although FRA initially considered 
    including these items as training requirements in the
    
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    proposed rule, or at least mandating that railroads offer employees the 
    opportunity to receive this training, the consensus of the Working 
    Group was that both first aid and CPR training should be excluded from 
    the rule. The Working Group stressed that the goal of the proposed rule 
    is to ensure that emergency responders arrive promptly at the scene of 
    an emergency, not to train on-board personnel to act as emergency 
    responders. The Working Group also stated that even if FRA requires a 
    railroad to offer first aid and CPR training, no railroad can literally 
    force an on-board crewmember to assist an ailing passenger. Further, 
    trains with heavier passenger loadings are likely to have on board one 
    or more medical professionals whose skills will be more extensive, and 
    better practiced, than those of a crewmember whose primary and 
    recurring duties do not include medical emergencies.
        During the Working Group meeting on February 7, 1996, Amtrak stated 
    that it is spending between $2.5 to $3 million by fiscal year 1998 to 
    train the chiefs of on-board service and to provide for at least one 
    employee on every train being trained to administer first aid and 
    perform CPR. Under the Amtrak plan, employees will not be required to 
    use this training, merely to receive it. Despite the extent of Amtrak's 
    commitment to voluntarily providing extensive first aid and CPR 
    training, Amtrak did not want these items required in the final rule. 
    Another member of the Working Group, Metrolink, stated that it has 
    served approximately eight million passengers in three years of 
    operation, and has never had a passenger require CPR. Metrolink also 
    noted that commuter railroads generally operate in populated areas, 
    with professional emergency responders in most cases only minutes away. 
    The LIRR stated that it offers CPR training to newly hired employees 
    and shows a refresher film to employees every five years, but 
    acknowledged that it cannot force employees to administer CPR. The 
    railroad also noted that it would never want the engineer to leave the 
    controls of the locomotive during an emergency. NJTR indicated that its 
    train crews already have many duties to perform during an emergency and 
    that first aid and CPR should be performed by emergency medical 
    services personnel.
        FRA invites commenters to submit their views on whether the final 
    rule should include the issues of first aid and CPR training. If FRA 
    does decide to address these issues, one option would be to mandate 
    that railroads offer their employees first aid and CPR training, 
    without requiring employees to actually use this training during an 
    emergency. Under this scenario, a railroad employee who offered no 
    assistance during an emergency, because he or she feared coming into 
    contact with an injured or ill passenger's bodily fluids, would not 
    violate these regulations. (The experience of the American Red Cross is 
    that volunteers who receive first aid and CPR training, and appropriate 
    equipment, are motivated to provide needed assistance when the time 
    comes.) The second option would be not only to require railroads to 
    train their employees in first aid and CPR, but also to mandate that 
    employees use this training during an emergency.
        The proposed rule also does not require railroads to record the 
    number of passengers riding on their trains at any given time or to 
    record how many people get on and off at each train stop. Although lack 
    of an exact passenger manifest may delay emergency responders in 
    determining when every passenger has been removed from a derailed or 
    disabled train, the frequency with which many passenger trains pick up 
    and discharge passengers would create logistical difficulties for a 
    train operator. A train crew can usually provide a good estimate to 
    emergency responders, so that they can respond with the necessary 
    personnel and equipment. Moreover, it is doubtful that emergency 
    responders would simply trust an exact passenger count provided by a 
    train crew and cease looking for additional survivors of an emergency. 
    Commenters are invited to offer proposals for training on-board 
    crewmembers to track the exact number of passengers present on a train 
    at any given moment, and to include suggestions on cost-efficient 
    technology for achieving this goal.
        The proposed rule also requires appropriate training of control 
    center personnel who affect the implementation of a railroad's 
    emergency response plan. FRA expects the railroad to provide training 
    only for the requisite control center employees designated under the 
    plan to convey the nature and extent of a passenger train's emergency 
    to the emergency responder organizations. Accordingly, FRA does not 
    wish to require training of other control center employees who perform 
    merely incidental functions, e.g., a clerical or other office employee 
    who receives a telephone call from a stalled train.
        The term ``accurately measure'' is used in proposed paragraph 
    239.101(a)(2)(iii) relative to employee qualification in a broad sense 
    to mean that the employee being tested will show to the railroad 
    sufficient understanding of the emergency preparedness plan subject 
    area for which he or she is responsible, and that the employee can 
    perform the duties required under the plan in a safe and effective 
    manner. Proficiency must be demonstrated by successful completion of a 
    written examination, but in addition may be illustrated by an 
    interactive training program using a computer, a practical 
    demonstration of understanding and ability, or an appropriate 
    combination of these in accordance with this section.
        This section permits railroads discretion to design the tests that 
    will be employed (which for most railroads will entail some 
    modification of their existing ``book of rules'' examination to include 
    new subject areas), provided that the design addresses all relevant 
    elements of the emergency preparedness plan. This section does not 
    specify things like the number of questions to be asked or the passing 
    score to be obtained. It does, however, contain the requirement that 
    the test not be conducted with open reference books unless use of such 
    materials is part of a test objective. This section also requires that 
    the test be in writing. In deciding to require a written test, FRA was 
    aware that the test taking skills of some individuals may be deficient 
    and that some persons may have literacy problems. However, FRA believes 
    that minimum reading and comprehension skills are needed to assure 
    proper execution of an emergency preparedness plan.
        Paragraph 239.101(a)(2)(iv) requires that at least one on-board 
    crewmember be qualified under the applicable provisions of the 
    railroad's emergency preparedness plan. For example, a commuter 
    railroad operates with a three-person crew fully trained under the 
    applicable provisions of the railroad's emergency preparedness plan, 
    but includes an engineer trainee in the locomotive cab who is not 
    qualified under the plan's provisions. Since the train already has a 
    fully trained and qualified crew operating the train, the commuter 
    railroad is in full compliance with the proposed rule even though one 
    on-board crewmember is not qualified under the emergency preparedness 
    plan. This paragraph may also apply if, for example, a fully-trained 
    passenger train crew turns over the operation of its train to a freight 
    railroad train crew that is not qualified under the passenger 
    railroad's emergency preparedness plan. Provided that the passenger 
    train is operated by the freight crew with at least one on-board 
    crewmember of the passenger train present who is qualified under the
    
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    passenger railroad's emergency preparedness plan, there would be no 
    violation of the proposed rule. Although the proposed rule requires 
    only one qualified crewmember, FRA anticipates that railroads will 
    voluntarily elect to train most, if not all, on-board crewmembers in 
    emergency response procedures.
        Paragraph 239.101(a)(3) contains the requirement that freight 
    railroads must prepare emergency preparedness plans addressing 
    instances when they host the operations of rail passenger service over 
    their lines. Even though freight railroads may neither provide nor 
    operate rail passenger service themselves, and therefore not be subject 
    to most requirements of the proposed rule, these railroads still have 
    certain significant emergency preparedness responsibilities. The 
    emergency preparedness plans for freight railroads must, at a minimum, 
    include procedures for making emergency responder notifications, and 
    discuss their general capabilities for rendering assistance to the 
    involved passenger railroads during emergency situations. The hosting 
    freight railroads must address any physical and operating 
    characteristics of their rail lines that may affect the safety of these 
    rail passenger operations, e.g., evacuating passengers from a train 
    stalled in a tunnel or on an elevated structure.
        FRA expects a railroad that operates rail passenger service over 
    the line of a freight railroad to review all of the requirements 
    imposed by the proposed rule with the host railroad, and coordinate 
    their respective roles in implementing a coherent response to an 
    emergency situation. While FRA presumes that the freight railroad will 
    bear primary responsibility for ensuring the emergency preparedness of 
    any railroad permitted to operate intercity passenger or commuter 
    trains over its line, the proposed rule does not restrict the host 
    railroad and the operating railroad from assigning responsibility for 
    compliance with this part via a private contractual arrangement. FRA 
    included the coordination requirement to ensure that all railroads 
    involved in a particular rail passenger service operation understand 
    each other's crucial role in planning for emergency preparedness.
        Paragraph 239.101(a)(4)(i) addresses FRA's expectations for 
    compliance with this part from railroads with operations that include 
    tunnels of considerable length, where immediate passenger egress is not 
    feasible. In order to limit the number of structures covered by this 
    proposed paragraph to the longer ones that could be expected to present 
    more impediments to the safe and orderly withdrawal of passengers from 
    a disabled train, tunnels of less than 1,000 feet are excluded. This 
    limitation is reasonable, considering that intercity passenger trains 
    seldom consist of less than four cars and often have many more cars 
    than this, implying a minimum total train length of 400 or more feet. 
    Most likely, a train of this or greater length will have either the 
    head or rear end close to or outside of a tunnel portal should an 
    unplanned stop occur in a tunnel less than 1,000 feet long.
        Over the years, passenger train emergencies have occurred in 
    tunnels where existing emergency procedures and tunnel characteristics, 
    such as lighting and communication capabilities, were determined to be 
    inadequate. In order to better evaluate tunnel safety issues related to 
    emergency preparedness, FRA requested additional information from the 
    railroad industry. The results were summarized in a report entitled 
    ``Tunnel Safety Analysis'' (Tunnel Report), which was published by FRA 
    in February 1990. A copy of the report was also made available to the 
    rail passenger railroads for their information and guidance, and has 
    been placed in the docket for this rulemaking. FRA encourages all 
    railroads required to address tunnel safety in their emergency 
    preparedness plans to consult the Tunnel Report for guidance. FRA is 
    also aware that many State and local jurisdictions already impose site-
    specific regulations to address tunnel safety, and that most railroads 
    with operations involving tunnels have long-standing internal emergency 
    tunnel procedures.
        Paragraph 239.101(a)(4)(ii) proposes that railroads operating on 
    elevated structures, over drawbridges, and in electrified territory, 
    incorporate emergency preparedness procedures into their plans to 
    address these unique physical characteristics. For example, in an 
    emergency in electrified territory, the control center should be 
    responsible for issuing instructions to deenergize the electrical 
    power. Also, the train crew and emergency responders should know how, 
    when, and when not to remove on-board power from the train, including 
    traction power, train-lined (head-end) power to individual cars, and 
    battery source power.
        Paragraph 239.101(a)(4)(iii) recognizes that the emergency 
    preparedness plans of certain freight and passenger railroads will need 
    to address the unique safety concerns posed by adjacent rail modes of 
    transportation. For example, employees of a freight railroad to which 
    this part applies, who have knowledge of or observe an emergency in a 
    common corridor, e.g., fire, derailment, or intrusion by rapid transit 
    rail equipment or vehicles, must be required by the plan to immediately 
    notify the control center with details. The control center must attempt 
    to determine the exact location of the incident, any condition that 
    would affect safe passage by affected trains or road vehicles, and 
    whether hazardous materials are involved, and then initiate appropriate 
    responsive action.
        Many emergencies require response from outside emergency responder 
    organizations in addition to the railroad. Proper coordination of roles 
    between all of the organizations that may respond to an emergency is 
    essential to ensure timely and effective response, since the number of 
    passengers carried and the railroad operating environment may be quite 
    different according to the type of service and routes. Paragraph 
    229.101(a)(5) recognizes that the successful implementation of any 
    emergency preparedness plan depends upon the affected railroads 
    maintaining current working relationships with the emergency responder 
    organizations, so that each party can learn of the full preparedness 
    capabilities that the other can offer during an emergency. In this 
    regard, each railroad's emergency preparedness plan must provide for 
    distribution to emergency responders of railroad equipment diagrams and 
    manuals, right-of-way maps, information on physical characteristics 
    such as tunnels, bridges, and electrified territory, and other related 
    materials. In order to continually reinforce the familiarization of the 
    emergency responder organizations with the railroads' protocols, 
    procedures, operations, and equipment, the proposed rule requires 
    railroads to periodically distribute applicable portions of the plan to 
    emergency responders at least once every three years, even if no 
    changes have been implemented. Further, since the knowledge and ability 
    to carry out procedures and use emergency equipment are essential to 
    the success of emergency response actions, the proposal requires the 
    railroads to promptly notify emergency responders whenever material 
    alterations to the plan occur (e.g., revisions to emergency exit 
    information, pertinent changes in system route characteristics or 
    railroad equipment operated on the system, or updates to names and 
    telephone numbers of relevant contact officials on the railroad).
        FRA wants to ensure that the emergency responders will receive the 
    maximum amount of available
    
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    information about a railroad's operations in advance of an emergency, 
    and hopes that emergency responders will voluntarily study the material 
    distributed and participate in emergency simulations. However, the 
    proposed rule would only require that affected railroads make the 
    operations information available to emergency responders, and that the 
    responders merely be invited to participate in emergency simulations. 
    FRA has no authority to penalize an emergency responder organization if 
    it chooses to ignore the distributed information or refuses to attend 
    simulations with the railroad. Likewise, the proposed rule would not 
    hold a railroad accountable for an emergency responder organization's 
    unwillingness to enter into a liaison relationship, provided that the 
    railroad made the liaison opportunities known and available to the 
    responders.
        In its comments on the revised regulatory text, METROLINK 
    questioned the meaning in paragraph 239.101(a)(5)(ii) of the phrase 
    ``maintaining an awareness of each emergency responders' capability.'' 
    METROLINK noted that its operations include 33 different fire 
    districts, over 50 ambulance companies, and 45 police agencies, and 
    contended that maintaining this type of awareness is not a railroad 
    function. METROLINK also stressed that the proposed rule does not 
    require emergency responders to notify each affected railroad when 
    their capabilities change, and stated that it is the responsibility of 
    the emergency responders to establish mutual aid with other local 
    agencies when emergency situations exceed their capabilities. In 
    addition, METROLINK indicated that it lacks the technical capacity to 
    know or understand when a significant change may occur in an emergency 
    responder's response capability.
        FRA is aware of the great number of jurisdictions that intercity 
    trains operate through, and that it is neither simple nor inexpensive 
    for passenger train operators to provide material and familiarization 
    to every outside emergency response organization within all individual 
    communities along each route. Some commuter train operators have 
    developed booklets and videotapes to illustrate equipment and describe 
    entry and evacuation procedures for its trains and certain right-of-way 
    facilities. However, Amtrak stated at the Working Group meetings that 
    because it operates through thousands of jurisdictions with thousands 
    of potential emergency responder organizations located throughout the 
    United States, it would have difficulty complying with this paragraph.
        While FRA considers the establishment of liaison relationships 
    between railroads involved with rail passenger operations and emergency 
    responders crucial to achieving the goals of the proposed rule, the 
    agency is also fully aware of the unique circumstances of Amtrak's 
    operations. Commenters are invited to suggest either how Amtrak can 
    best comply with the emergency responder liaison requirement as set 
    forth in the proposed rule, or whether the final rule should establish 
    a different standard for railroads that operate in territories with 
    large numbers of potential emergency responders to contact. Any 
    commenter proposing two or more sets of standards should also suggest 
    what numerical or mileage criteria should be used to distinguish the 
    railroads, and state how these differing standards would still ensure 
    adequate levels of safety and emergency preparedness.
        Paragraph 239.101(a)(6) states that each railroad's emergency 
    preparedness plan shall indicate the types of on-board emergency 
    equipment and the location on each passenger car. Although the proposed 
    rule requires a minimum of only one fire extinguisher and one pry bar 
    per passenger car, and one flashlight per on-board crewmember, FRA 
    would strongly encourage each railroad to voluntarily supplement this 
    list of on-board emergency equipment. Further, FRA recognizes that 
    there may be special local interests that might need to be 
    accommodated, particularly in cases of public authorities operating 
    passenger train service within only one territory. While national 
    uniformity to the extent practicable of laws, regulations, and orders 
    related to railroad safety is important, FRA does not wish to decrease 
    the level of emergency preparedness already in place on a passenger 
    railroad.
        FRA must determine whether the final rule should specifically 
    address special circumstances that may exist in local jurisdictions 
    throughout the country on a categorical basis, which are currently 
    subject to more stringent requirements than the minimum quantities of 
    on-board emergency equipment set forth in the proposed rule. 
    Accordingly, FRA invites comments on what types and quantities of on-
    board emergency equipment railroads are currently required to carry 
    pursuant to laws in the local jurisdictions in which they operate. FRA 
    also invites comments on the reasons for these more stringent 
    requirements. Depending on the comments received, FRA may adopt the 
    minimums set forth in the text of the proposed rule or decide to 
    broaden the coverage and requirements of Sec. 239.101(a)(6) by 
    specifying additional types and/or quantities of on-board emergency 
    equipment that some or all railroads must carry on each passenger car.
        This paragraph does not require railroads to instruct their 
    passengers about either the location or use of the on-board emergency 
    equipment. As stated, FRA is committed to crafting a final rule that 
    avoids micromanagement of the provisions of a railroad's emergency 
    preparedness plan. FRA recognizes that passengers might benefit from 
    receiving routine instructions about the location and operation of on-
    board emergency equipment during each train trip, in the event that the 
    crewmembers are injured or otherwise unable to access the equipment 
    before the outside emergency responders arrive. However, FRA is also 
    aware from its consultations with the Working Group that pilferage of 
    on-board emergency equipment is a serious problem on many passenger 
    railroads, and that specifically focusing the attention of passengers 
    on where the equipment is located would only exacerbate the problem. 
    Clearly, the equipment can only help both crewmembers and passengers 
    during an emergency if it is available for proper use. Also, members of 
    the Working Group stressed that regular riders on intercity or commuter 
    operations are probably already familiar with the on-board emergency 
    equipment by virtue of their frequent presence on the train, and would 
    not benefit from any additional required information.
        Since the rulemaking on rail passenger equipment safety standards 
    is still ongoing, FRA is unable to state whether railroads will be 
    required to install permanent or auxiliary emergency lighting on their 
    rail cars. However, whatever requirements eventually appear in a new 
    set of regulations at 49 CFR Part 238, paragraph 239.101(a)(6)(ii) 
    states that auxiliary portable lighting must be available for 
    assistance in an emergency and should be routinely maintained and 
    replaced as necessary. The proposed rule does not require that every 
    rail passenger car have such lighting, but the train itself must carry 
    enough portable lighting capable of fostering passenger evacuation. In 
    its comments on paragraph 239.101(a)(6)(ii) of the revised regulatory 
    text, METROLINK stated that FRA needs to define the phrase ``auxiliary 
    portable lighting must be accessible,'' and questioned whether a 
    flashlight is an acceptable form of
    
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    such lighting. FRA intends for a handheld flashlight, such as a 
    flashlight with a ``D'' cell, to be one of the means of satisfying the 
    auxiliary portable lighting requirement.
        Finally, paragraph 239.101(a)(7) requires railroads to make 
    passengers aware of emergency procedures to follow before an emergency 
    situation develops, thus enabling them to respond properly during the 
    emergency. All passenger awareness efforts must emphasize that 
    passengers must follow the directions of the train crew during an 
    emergency. If passengers are on a disabled train, but are not injured 
    or facing imminent danger, they could safely await the arrival of 
    trained emergency responders with appropriate evacuation equipment. 
    However, in a serious emergency involving smoke or fire, passengers may 
    have to evacuate the train before emergency responders arrive. Thus, 
    operators of rail passenger service should take steps to increase 
    passenger awareness about basic evacuation procedures. Since passengers 
    could inadvertently jeopardize their own safety, it is appropriate for 
    them to take the initiative only if the crewmembers are incapacitated.
        Passenger railroads must educate passengers about their role in 
    cooperating in emergencies by conspicuously and legibly posting 
    emergency instructions inside each passenger car, and by utilizing at 
    least one of the additional methods designated in this paragraph to 
    provide safety awareness information. These methods include 
    distributing pamphlets, posting information in stations on signs or on 
    video monitors, and the review of procedures by crewmembers via public 
    address announcements. All brochures and signage must emphasize that 
    passengers must follow the directions of the train crew during an 
    emergency.
        Although paragraph 239.101(a)(7)(ii)(A) permits a railroad to 
    fulfill the secondary passenger education requirement of the proposed 
    rule by making on-board announcements, the proposed language does not 
    specify the frequency with which these announcements must be made 
    during a train run. While FRA believes that, with regard to intercity 
    service, announcements are appropriate after at least each major 
    passenger pick-up point, commenters are invited to suggest ways of 
    providing safety information to all new riders without becoming 
    repetitious to the remaining passengers. In addition, while the 
    proposed rule requires railroads to utilize only one additional method 
    to disseminate safety awareness information to passengers, FRA 
    encourages railroads to employ as many of the options as possible based 
    on operating and budgetary considerations.
        The information in the various sources of passenger safety 
    awareness information must be consistent in content and sufficient for 
    first-time users of the railroad, but not so overwhelming as to arouse 
    undue concern. All information must be printed or spoken in English, 
    but railroads serving large non-English speaking communities should 
    consider providing information in other languages as well. Materials 
    for persons who are visually impaired should be printed in large type 
    format and in braille. Finally, for persons with other types of 
    disabilities, appropriate passenger awareness materials should provide 
    information about evacuation policies and procedures and other 
    emergency actions, to the extent practicable.
        Passenger awareness education should include information that may 
    permit passengers to accomplish the following:
         Recognize and immediately report potential emergencies to 
    crewmembers;
         Recognize hazards;
         Recognize and know how and when to operate appropriate 
    emergency-related features and equipment, such as fire extinguishers, 
    train doors, and emergency exits; and
         Recognize the potential special needs of fellow passengers 
    during an emergency, such as children, the elderly, and disabled 
    persons.
        Paragraph 239.101(a)(7)(iii) requires railroads to perform surveys 
    of their passengers in order to learn how successful the passenger 
    awareness program activities have been in apprising passengers of the 
    procedures that must be followed during an emergency. In addition to 
    verifying that passengers can locate and operate the emergency window 
    and door exits in the event of an evacuation, the surveys must 
    determine that passengers know where the safety information is posted 
    in the car and that during an emergency they must follow the directions 
    of the train crew.
        Although the railroad is required to maintain records of the 
    information obtained from its passenger surveys, the proposal does not 
    mandate that railroads ask passengers to complete written 
    questionnaires. Instead of handing out questionnaire surveys at station 
    stops and hoping that passengers will voluntarily elect to either 
    provide responses in narrative form or fill in answers to multiple 
    choice questions, the railroad could direct its employees to wait at 
    either station stops or onboard trains and orally read the questions to 
    selected members of the traveling public who voluntarily agree to 
    participate. The oral responses would then be recorded by the railroad 
    in writing on records that would be maintained at the system 
    headquarters for the railroad and at the division headquarters for each 
    division where the surveys were conducted (i.e., the records 
    availability must be division specific). The records can consist of 
    multiple documents, and may contain separate sections covering 
    locations of the safety information on the cars and knowledge of the 
    safety procedures to follow in an emergency. Additionally, railroads 
    must make these survey records available to duly authorized FRA 
    representatives for inspection and copying (e.g., photocopying or 
    handwritten notetaking) during normal business hours.
        The proposal specifies that a railroad must survey a representative 
    sample of passengers at least once during each calendar year to 
    determine the effectiveness of its passenger awareness activities. FRA 
    is not proposing a methodology for conducting this sampling, nor is it 
    requiring that the surveys be distributed at every station stop or 
    along particular major lines. FRA is confident that each railroad will 
    use due dilgence in surveying a statistically significant cross section 
    of its customer population in order to periodically update and improve 
    its passenger safety awareness information and amend its emergency 
    preparedness plan, as appropriate. Although FRA is proposing that 
    railroads conduct the surveys at least annually, we expect that after 
    the initial education effort takes place in the first year that the 
    rule is in effect the ridership awareness level will reach a percentage 
    in the range of between 60 to 75 percent. If this increased awareness 
    level occurs, as reflected in a high rate of correct survey responses, 
    FRA believes that the requirement could be modified to permit railroads 
    to conduct the surveys at least once every three years. FRA seeks 
    public comment on both whether the final rule should permit railroads 
    to conduct surveys less frequently than annually, and if so, on what 
    would be an appropriate minimum percentage of public awareness that 
    must be reached before less frequent surveying would be justified.
        Since the issue of passenger surveys was not fully developed with 
    the Working Group during the drafting of this proposal, FRA looks 
    forward to working with the members of the
    
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    Working Group during the final rule phase to develop the most effective 
    means of verifying that the passenger awareness program activities will 
    achieve their objectives. In this regard, FRA seeks comments on whether 
    the survey process anticipated by this proposal can be a reliable 
    measure of the effectiveness of the passenger information programs or 
    whether there are more efficient or less expensive means than surveys 
    to determine the success of these programs, such as focus groups or 
    unstructured meetings and discussions with members of the traveling 
    public. Commenters from railroads are urged to discuss what sampling 
    techniques they currently use when they conduct customer satisfaction 
    surveys in order to assist them in improving passenger comfort, 
    determining if railroad employees are providing proper customer 
    service, and planning timetable schedules.
        Since proposed paragraph 239.101(a)(7)(ii) requires railroads to 
    utilize an additional method of providing safety information without 
    specifying how frequently the information must be provided, commenters 
    are encouraged to address this issue by indicating whether each 
    railroad should be allowed to study the results of the passenger 
    surveys in order to determine the effectiveness and proper timing of 
    passenger safety awareness program activities appropriate for its 
    operation. Accordingly, instead of specifying a fixed maximum time 
    interval between utilization of the additional forms of program 
    activity, FRA could elect to require that railroads determine the 
    optimal frequency that best serves their passengers. In addition, it is 
    expected that as the traveling public grows more accustomed to reading 
    and understanding the emergency instructions posted inside all 
    passenger cars on bulkhead signs, seatback decals, or seat cards the 
    need for redundant reminders (e.g., on-board announcements, ticket 
    envelope safety information, or public service announcements), 
    especially at frequent time intervals, will greatly diminish. Moreover, 
    depending on the additional method selected, different time intervals 
    may be appropriate. For example, while it may be suitable for a 
    railroad to distribute safety awareness information on a seat drop 
    every three months, the railroad may conclude that it should arrange 
    for public service announcements on a weekly basis. Commenters 
    recommending inclusion of fixed timeframes for providing passengers 
    with additional methods of safety awareness information are urged, if 
    possible, to provide scientific or sociological data and/or cost 
    estimates to support their suggested time intervals.
    
    11. Passenger Train Emergency Simulations: Section 239.103
    
        Section 239.103 recognizes that one of the most effective training 
    techniques is a simulation of specific emergency scenarios. Simulations 
    may vary from a small-scale drill or tabletop exercise for just one 
    train crew or control center operator, to a full-scale emergency 
    exercise involving several levels of railroad management that includes 
    the voluntary participation of fire departments, ambulance and 
    emergency medical service units, local police, sheriff and state police 
    organizations, local emergency auxiliary groups, and state and federal 
    regulatory agencies. While simulations are primarily designed to 
    demonstrate that railroad employees can quickly and efficiently manage 
    an emergency situation to ensure that emergency responders arrive 
    quickly, simulations are also intended to determine whether train crews 
    are properly trained to get passengers out of an imperiled train.
        The tabletop exercise is the simplest to stage, as it involves only 
    a meeting room and knowledgeable managers and employees from the 
    passenger train operator and the appropriate responding organizations 
    who voluntarily participate. For an imaginary emergency, the actions to 
    be taken by the appropriate personnel are described; the time, 
    equipment, and personnel necessary are estimated; and potential 
    problems are predicted. Conflicts of functional areas, lack of 
    equipment, procedural weaknesses or omissions, communication 
    difficulties, and confusing terminology are among the problems which 
    can be identified.
        Passenger train operators can drill their train crews, other on-
    board personnel, supervisors, and control center operators on emergency 
    operating procedures by posing a hypothetical emergency for employees 
    to resolve without dispatching emergency responders to the scene. A 
    drill could also involve the voluntary participation of personnel of a 
    particular response organization, e.g., a fire department. The same 
    type of problems as indicated for the tabletop exercise can be 
    identified, and the actual response capabilities of personnel in terms 
    of their knowledge of procedures and equipment can be evaluated.
        Full-scale emergency exercises require weeks of carefully organized 
    plans involving all participating organizations and will involve the 
    expenditure of funds for both the training and actual full-scale 
    exercise. Recording or videotaping the scenes and conversations in key 
    areas of the exercise itself will serve as valuable classroom training 
    for later years. A full-scale exercise is the total application of the 
    resources of the passenger railroad operator and the voluntarily 
    participating emergency response organizations. Such an exercise can 
    reveal the degree of familiarity of both the passenger train system and 
    emergency response organization personnel with train operations, the 
    physical layout of trains, right-of-way structures and wayside 
    facilities, emergency exits, and emergency equipment. Thus, 
    shortcomings in the emergency preparedness plan and specific response 
    protocols and procedures, as well as equipment, can be identified and 
    corrected.
        FRA is seriously evaluating whether tabletop exercises should be 
    afforded the same weight in the final rule as full-scale simulations 
    for purposes of demonstrating the readiness of a railroad to 
    successfully react to a passenger train emergency, and we are 
    considering requiring that each railroad conduct a minimum number of 
    its simulations as full-scale exercises. In this regard, FRA is 
    skeptical as to whether a tabletop exercise can equal the 
    comprehensiveness of a full-scale exercise and be a highly effective 
    means of determining whether a railroad is adequately prepared for the 
    likely variety of emergency scenarios that could occur on its lines, as 
    well as an important training tool for the train crews, control center 
    employees, and members of the emergency responder community who elect 
    to participate. In considering whether to strengthen the emergency 
    simulation requirement, FRA is aware that realistic full-scale 
    simulations that enable all participants to practice using the on-board 
    emergency equipment and emergency exits, and encourage the emergency 
    responders to become personally familiar with passenger equipment and 
    applicable railroad operations, could prove invaluable in helping 
    railroads and the emergency responder community to manage real 
    emergencies in ways that tabletop exercises cannot. However, FRA is 
    also aware that the financial and logistical costs of conducting full-
    scale simulations are undoubtedly higher, including the need to close 
    railroad tracks during the hours of the simulation, opportunity costs 
    for the railroads due to lost use of the passenger equipment that is 
    employed
    
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    in the simulations, unavailability of firefighting and rescue equipment 
    for other emergencies while the simulations are being conducted, and 
    salary costs for many or all of the simulation participants.
        In order to best determine whether the final rule should require 
    full-scale emergency simulations in conjunction with tabletop 
    exercises, or perhaps in place of such exercises, FRA must carefully 
    weigh the expected costs and potential benefits of all available 
    options. FRA therefore seeks public comment on the perceived 
    effectiveness of both full-scale emergency simulations and tabletop 
    exercises, including a discussion of whether tabletop exercises can 
    achieve the equivalent level of emergency preparedness as full-scale 
    simulations. FRA is particularly interested in receiving comments from 
    the emergency responder community, especially from those members who 
    have participated in either emergency simulations or actual emergency 
    situations with railroads.
        To achieve a maximum level of effectiveness, drills and exercises 
    should reinforce classroom training in emergency response and passenger 
    evacuation for the passenger train operator personnel and the emergency 
    response units who voluntarily participate. Procedures should also be 
    included to teach personnel to identify the emergency and distinguish 
    its unique demands, and to follow through with the appropriate 
    responses. In addition, the drills and exercises should be planned to 
    minimize hazards which could create an actual emergency or cause 
    injuries and to provide a mechanism for simultaneous testing and 
    reinforcement of emergency operating procedures for specific types of 
    emergencies and evacuation procedures. Moreover, the drills and 
    exercises should test the communication capabilities and coordination 
    of the passenger operator with the emergency responders, as well as the 
    operability and effectiveness of emergency equipment.
        Paragraph (b) requires each railroad that provides commuter or 
    other short-haul passenger train service to conduct an emergency 
    simulation at least once during every two calendar year on all major 
    lines, and include at least 50 percent of the major lines in the total 
    number of simulations held during any given calendar year. Since FRA 
    has determined that a train crew on a commuter or other short-haul 
    operation will usually operate a train along the same line for an 
    extended period of time, and that emergency responder organization 
    personnel tend to be line-specific in terms of their familiarity with a 
    railroad's operations, it is crucial that each affected railroad 
    provide adequate opportunities along all of its major lines for its 
    employees and the responder community to obtain emergency simulation 
    training. While FRA anticipates that each commuter or short-haul 
    railroad will conduct emergency simulations as frequently as possible 
    on its entire system, the proposal applies only to operations over 
    major lines so that the railroad can best reach the most heavily 
    traveled portions of its system while conserving limited resources. In 
    this regard, FRA recognizes that emergency responder organizations tend 
    to be densely located along the major lines of commuter and short-haul 
    railroad operations.
        FRA seeks public comment on whether the final rule should require a 
    different timetable for accomplishing emergency simulations along each 
    major route and/or require a greater total number of emergency 
    simulations during any given calendar year. In this regard, since 
    emergency simulations are such an important means for a railroad to 
    measure its degree of emergency preparedness, FRA is considering 
    strengthening the final rule to require that each railroad conduct a 
    sufficient number of emergency simulations so that each major line will 
    be included at least once during every calendar year, instead of only 
    once during every two calendar years.
        Although the proposal sets forth a requirement for each commuter 
    and short-haul railroad to perform emergency simulations on all of its 
    major lines, FRA does not expect the railroad to require all employees 
    along those lines who are trained under the emergency preparedness plan 
    to attend the simulations, nor do we expect the railroad to invite all 
    potential emergency responders along those lines to participate. While 
    FRA hopes that over the long term all railroad employees involved in 
    the operation of passenger train service, as well as the applicable 
    members of the emergency responder community, will have the opportunity 
    to participate in this valuable training exercise and enhance their 
    individual emergency preparedness skills, the simulations are also 
    intended to identify shortcomings in each railroad's emergency 
    preparedness plan and specific response protocols and procedures. The 
    railroad must discuss the identified weaknesses and overall 
    effectiveness of the emergency preparedness plan with the simulation 
    participants at the debriefing and critique session held under proposed 
    Sec. 239.105, and then initiate any appropriate improvements and/or 
    amendments to the plan. As part of this review process, FRA expects the 
    railroad to revise its training program and liaison relationships with 
    the emergency responder community, in accordance with proposed 
    Sec. 239.101. Accordingly, while the proposed rule does not mandate 
    that affected railroads conduct numerous simulations all along the 
    major lines so as to include every possible participant, FRA concludes 
    that the lessons learned from the required debriefing and critique 
    sessions will have far reaching benefits.
        In order to ensure that each affected railroad evaluates its 
    overall emergency response capabilities through careful selection of 
    the appropriate scenarios and locations on each of its main lines for 
    the emergency simulations, the proposal requires each railroad to 
    organize simulations that will adequately test the performance of the 
    railroad's program under the variety of emergency situations that could 
    reasonably be expected to occur on the operation. For example, a 
    railroad operating in territory that includes underground tunnels will 
    need to conduct simulations to test the railroad's ability to ensure 
    employee and passenger safety during an emergency situation occurring 
    in this unique environment. Adequate lighting and sources of air in 
    tunnels and underwater tubes are critical for successful passenger 
    evacuation during emergencies. Further, emergency responders depend on 
    sufficient lighting for visibility during fire suppression and rescue 
    operations. If the railroad intends to evacuate passengers by using 
    cross passages and/or fire doors leading to the opposite track area, or 
    a separate center passageway between the adjacent track areas, the 
    simulation should include practice in the requisite evacuation 
    protocols and procedures.
        In the case of a railroad providing intercity passenger service 
    involving a number of lines operated over long distances, such as the 
    coast-to-coast service provided by Amtrak, the need for the railroad to 
    carefully plan its simulations and concurrently examine the 
    effectiveness of its emergency preparedness plan under a variety of 
    scenarios becomes crucial. Many of Amtrak's lines run for hundreds of 
    miles through remote locations that could include risks from tunnel 
    mishaps, natural disasters (e.g., fires, floods, and earthquakes), 
    hazardous material leaks, and/or acts of terrorism. Further, because of 
    the length of time required to travel these lines, the same train will 
    be operated by more than one crew and may involve operation over
    
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    the line of a freight railroad. Since Amtrak's lines traverse numerous 
    populated communities throughout the United States, an emergency 
    situation could require the assistance of any number of potentially 
    thousands of emergency responders from these locations.
        While FRA is not proposing at this time to require operators of 
    intercity service to conduct additional emergency simulations along its 
    lines in order to reach a greater proportion of employees and members 
    of the emergency response community (equivalent to the number required 
    on the major lines of railroads that provide commuter or other short-
    haul service), we do expect such railroads to plan simulations that 
    sufficiently test the elements of their emergency preparedness plan 
    under the variety of circumstances that could occur in intercity 
    service. Although FRA recognizes that the length and diversity of 
    Amtrak's operations limit the potential benefits from resources spent 
    on conducting emergency simulations, the proposed rule requires Amtrak 
    to conduct at least two full-scale or tabletop exercises per year on 
    each of its business units. However, FRA is considering imposing more 
    rigorous requirements in the final rule on operators of intercity 
    service such as Amtrak in order to ensure the requisite level of 
    emergency preparedness. By considering each of the emergency scenarios 
    that could possibly occur on the different segments of the railroad 
    (e.g., simulations of a derailment at a remote location where emergency 
    responder assistance is not immediately available, an on-board fire 
    inside a tunnel or on a bridge, a derailment involving a freight train 
    carrying a hazardous materials spill, etc.), Amtrak can carefully 
    design a program to fulfill its overall emergency response needs. While 
    we recognize that the term ``business unit'' represents the current 
    organizational structure of Amtrak in 1997, and have therefore 
    incorporated that concept into the proposed rule, FRA expects to craft 
    a term for inclusion in the final rule that has broader applicability.
        While the proposal requires railroads that provide intercity 
    passenger train service to conduct two emergency simulations on each 
    business unit or other major organizational element during each 
    calendar year, FRA seeks public comment on whether this number should 
    be increased in the final rule. Commenters, especially those 
    representing members of the emergency response community, are 
    encouraged to discuss how their recommended minimum number of required 
    emergency simulations can best achieve the rule's emergency 
    preparedness objectives in a cost beneficial manner that does not 
    compromise rail safety. In recommending an optimal minimum number of 
    emergency simulations, commenters are specifically urged to opine on 
    how a passenger railroad as diverse as Amtrak, which operates coast-to-
    coast service under a wide variety of operating conditions through the 
    jurisdictions of numerous emergency responders, can best achieve the 
    emergency preparedness goals of this section throughout its entire 
    system without expending a disproportionate amount of its limited 
    resources.
    
    12. Debriefing and Critique: Section 239.105
    
        Section 239.105 recognizes the value of conducting a formal 
    evaluation process after the occurrence of either an actual emergency 
    situation or an emergency simulation such as a full-scale or tabletop 
    exercise to determine what lessons can be learned. To increase the 
    effectiveness of the evaluation of an emergency simulation, railroad 
    personnel should be designated as evaluators to provide a perspective 
    on how well the emergency preparedness plan and procedures were carried 
    out. Although not required by the proposed rule, railroads are also 
    encouraged to invite outside emergency response organizations and other 
    outside observers to participate as evaluators. Evaluators should be 
    given copies of the railroad's emergency preparedness plan before the 
    simulation is conducted, and a preliminary meeting should be held to 
    familiarize the evaluators with the drill or exercise and assign 
    functional areas of concern for evaluation (e.g., communications, 
    evacuation times). Depending on the elaborateness of the simulation, 
    evaluators may also choose to use video cameras to record the sequence 
    of events, actions of personnel, and use of emergency equipment.
        The purpose of a debriefing and critique session is to review with 
    railroad personnel the reports of evaluators, present comments or 
    observations from other persons, and to assess the need for any 
    remedial action, either to correct deficiencies or to generally improve 
    the effectiveness of the emergency operations and procedures. Persons 
    responsible for conducting the sessions should be instructed by the 
    railroad to ask questions that will test emergency preparedness 
    procedures, assess training, and evaluate equipment. After a 
    simulation, these persons should debrief all participants (including 
    simulated victims, if any) who can offer valuable insights and thus 
    help the railroad to revise its procedures. The debriefing session 
    should help to determine what emergency preparedness or response 
    procedures could not be used because of the special circumstances of 
    either the train or the passengers, and whether coordination between 
    the railroad and the emergency responders requires improvement.
        The above method of conducting post-simulation debriefing and 
    critique sessions should also be used by railroads to evaluate 
    reactions to actual emergencies. Weaknesses in emergency preparedness 
    procedures and equipment and areas for improving training should be 
    identified, and the railroad shall amend its emergency preparedness 
    plan in accordance with proposed Sec. 239.201. All persons involved 
    should be debriefed.
        Although the term ``emergency or emergency situation'' is defined 
    in proposed Sec. 239.7 to include a collision with a person, including 
    suicides, FRA does expect a railroad to conduct a debriefing and 
    critique session after every grade crossing accident. While the 
    railroad would still be expected to invoke its emergency preparedness 
    plan in the event of a grade crossing accident, the goal of this 
    proposed rule is to ensure that railroads effectively and efficiently 
    manage passenger train emergencies. Accordingly, FRA does not intend 
    for the debriefing and critique requirements of this section to apply 
    when an emergency situation involves only a motorist or pedestrian who 
    has been injured or killed, and does affect the passengers onboard the 
    train. In addition, a railroad cannot count its activation of the 
    emergency preparedness plan under these circumstances for purposes of 
    satisfying the emergency simulation requirements of Sec. 239.103. While 
    a significant derailment with one or more injured passengers or a fire 
    on a passenger train would undoubtedly involve significant threats to 
    passenger safety, and therefore require a debriefing and critique 
    session, the proposed rule leaves open the question of what other types 
    of emergency situations would trigger the requirements of this section. 
    Since the threshold issue of what constitutes a ``significant threat'' 
    to the safety or health of one or more persons requiring immediate 
    action has not been fully determined by either FRA or the Working 
    Group, FRA is seeking public comment on what sorts of situations to 
    include in the final rule under the definition of ``emergency'' or 
    ``emergency situation'' set forth in proposed Sec. 239.7.
    
    [[Page 8349]]
    
        The proposed rule does not require railroads to use a prescribed 
    FRA form or other specific document at the debriefing and critique 
    sessions, nor does the proposed rule set forth specific questions that 
    railroads must ask after a simulation or actual emergency.
        However, as a result of whatever means the railroad selects to 
    ascertain the effectiveness of its emergency preparedness plan, 
    paragraph (b) requires the railroad to determine the functional 
    capabilities of the on-board communications equipment, the timeliness 
    of the required emergency notifications, and the overall efficiency of 
    the emergency responders and the emergency egress of the passengers.
        In order to achieve the goals of this proposed section, and to 
    comply with the debriefing and critique recordkeeping requirement of 
    paragraph (c), evaluators should be provided with critique sheets, to 
    be collected and used in the debriefing and critique sessions conducted 
    by the railroads. At a minimum, whatever documentation the railroad 
    selects to comply with paragraph (c) should contain the date(s) and 
    location(s) of the simulation and the debriefing and critique session, 
    and should include the names of all participants. Under the proposed 
    rule, the critique sheets, or equivalent records, would then be 
    maintained by the railroad at its system and applicable division 
    headquarters, and be made available for FRA inspection and copying 
    during normal business hours.
        FRA invites comments on whether the final rule should specify 
    additional types of issues that must be addressed by railroads at 
    debriefing and critique sessions (in addition to the five issues 
    required to be addressed in proposed paragraph (b)), or whether each 
    railroad should retain some flexibility to develop it own approach to 
    conducting these sessions. In this regard, FRA encourages comments on 
    the relative value of the final rule requiring discussion and 
    documentation of any or all of the following questions:
         Did on-board personnel try to initiate a radio call 
    immediately?
         How long did it take for on-board personnel to reach and 
    inform the control center of the emergency situation?
         What was the method of notification to the control center? 
    Was the method an on-board radio or a wayside radio (if equipped)?
         Was there adequate radio communication equipment? Was it 
    used properly? Did it work properly?
         Did on-board personnel know the proper emergency telephone 
    number to call from the wayside telephone?
         Did on-board personnel identify him/herself to the control 
    center by name and location?
         Did on-board personnel report the number (approximate or 
    actual, as appropriate) and status of the passengers?
         Did on-board personnel make audible, appropriate 
    announcements to passengers? How many minutes elapsed after the 
    simulation or emergency began before the first announcement was made?
         Did on-board personnel properly operate the fire 
    extinguishers?
         Did on-board personnel request deenergization of the third 
    rail or catenary power?
         Did on-board personnel request the halting of train 
    movements?
         How long did it take for the first emergency response unit 
    to arrive at the emergency scene?
         How long did it take to completely evacuate the train or 
    right-of-way structure or wayside facility and/or extinguish a fire 
    (real or simulated)?
        In its comments on the revised regulatory text, METROLINK stated 
    that if a commuter railroad performs a tabletop exercise or simulation 
    it cannot follow the criteria for a debriefing and critique session set 
    forth in this section. Specifically, METROLINK contends that during 
    field drill and tabletop exercise simulations the railroads usually do 
    not involve real passengers and do not notify the emergency responders 
    via the normal means of communication. Moreover, the emergency 
    responders do not respond with lights and sirens as they would under 
    real emergency conditions.
    
    13. Emergency Exits: Section 239.107
    
        In the course of normal passenger train operations, persons enter 
    and exit passenger cars at a station platform through doors on the side 
    of the train. However, when a disabled train cannot be moved to the 
    nearest station, alternative evacuation methods must be employed. 
    Emergency access to and egress from a passenger car may be achieved 
    through outside doors, end doors, and windows. In some emergencies, 
    such as when a fire is confined to a single passenger car, persons may 
    be moved through the end door(s) to an adjacent car. In other 
    emergencies, transfer of all the passengers from the disabled train may 
    be required.
        Not all passenger cars have vestibule side doors on both ends, and 
    in some equipment, operation of these doors has required considerable 
    effort, including hand tools. If a power loss occurs, crewmembers may 
    be unable to open either or both of the car vestibule side doors from 
    the normal key control station in the car. If side-door emergency 
    controls permit opening of only one sliding door, it could prove 
    difficult to move certain individuals through it. Also, if the 
    vestibule side doors cannot be opened immediately from either the 
    inside or the outside, persons may panic and could be injured as others 
    attempt to leave the car.
        Commuter railroads have agreed to FRA's request that arrangements 
    requiring hand tools (coins and pencils) be retrofitted. Two railroads 
    with significant numbers of affected cars are already completing this 
    work, and this issue will be separately addressed in the forthcoming 
    NPRM on Passenger Equipment Safety Standards. The Passenger Equipment 
    Safety Standards Working Group will be evaluating other improvements in 
    door design and operation. Paragraph 239.107(a) requires that all doors 
    intended by a railroad to be used during an emergency situation be 
    properly marked inside and outside, and that the railroad post clear 
    and understandable instructions for their use at the designated 
    locations.
        Paragraph 239.107(a)(1) requires that the emergency egress exits be 
    conspicuously and legibly marked on the inside of the car with 
    luminescent material or be properly lighted. FRA realizes that during 
    an emergency the main power supply to the passenger cars may become 
    inoperative and that crewmembers with portable flashlights may be 
    unavailable. Since lack of clear identification or lighting could make 
    it difficult for passengers to find the emergency door exits, the 
    proposed rule requires luminescent material on all emergency egress 
    door exits (or secondary auxiliary lighting near these exits) to assist 
    and speed passenger egress from the train during an emergency. The 
    marking of the emergency door exits must be conspicuous enough so that 
    a reasonable person, even while enduring the stress and panic of an 
    emergency evacuation, can determine where the closest and most 
    accessible emergency route out of the car is located. In addition, 
    while this proposed section does not prescribe a particular brand, 
    type, or color of luminescent paint or material that a railroad must 
    use to identify an exit, FRA expects each railroad to select a material 
    durable enough to withstand the daily effects of passenger traffic, 
    such as the contact that occurs as passengers enter and leave the cars.
        Paragraph 239.107(a)(2) requires that the emergency door exits 
    intended for emergency access by emergency
    
    [[Page 8350]]
    
    responders for extrication of passengers be marked with retroreflective 
    material, so that the emergency responders can easily distinguish them 
    from the nonaccessible doors simply by shining their flashlights or 
    other portable lighting on the marking or symbol selected by the 
    railroad. Again, while this proposed section does not prescribe that a 
    railroad use a particular brand, type, or color of retroreflective 
    material to identify an access location, FRA expects each railroad to 
    select a material durable enough to withstand the daily effects of 
    weather and passenger contact, and capable of resisting, to the extent 
    possible, the effects of heat and fire. If all doors are equally 
    operable from the exterior, no designation would be useful, nor would 
    any be required. In a separate rulemaking, FRA's Passenger Equipment 
    Safety Standards Working Group (FRA Docket No. PCSS-1) will address 
    appropriate requirements for periodic maintenance and replacement of 
    the emergency door exit markings.
        The proposed rule requires railroads to post clear and 
    understandable instructions at designated locations describing how to 
    operate the emergency door exits. This section does not mandate that 
    railroads use specific words or phrases to guide the passengers and 
    emergency responders. Instead, each railroad should evaluate the 
    operational characteristics of its emergency door exits, and select key 
    words or diagrams that adequately inform the individuals who must use 
    them. While railroads are encouraged to post comprehensive 
    instructions, FRA also realizes that during an emergency situation 
    every additional moment devoted to reading and understanding access or 
    egress information places lives at risk. In addition, FRA would already 
    expect passengers and emergency responders to be familiar with the 
    location and operation of the railroad's emergency door exits as a 
    result of emergency responder liaison activities and passenger 
    awareness programs conducted in accordance with proposed Sec. 239.101 
    (a)(5) and (a)(7).
        Paragraph (b) requires each railroad operating passenger train 
    service to properly consider the nature and characteristics of its 
    operations and passenger equipment to plan for routine and scheduled 
    inspection, maintenance, and repair of all windows and door exits 
    intended for either emergency egress or rescue access by emergency 
    responders. In the case of emergency window exits, the inspection, 
    maintenance, and repair activities should be performed consistent with 
    the requirements of part 223 of this chapter. While the proposed rule 
    does not require railroads to perform these tasks in accordance with a 
    specific timetable or methodology, except with respect to the periodic 
    sampling requirement for emergency window exits discussed below, FRA 
    expects each railroad to develop and implement procedures for achieving 
    the goals of this paragraph. Visual inspections must be performed 
    periodically to verify that no emergency exit has a broken release 
    mechanism or other overt sign that would render it unable to function 
    in an emergency. Maintenance, including lubrication or scheduled 
    replacement of depreciated parts or mechanisms, must be performed in 
    accordance with standard industry practice and/or manufacturer 
    recommendations. All emergency exits that are found during the course 
    of an inspection or maintenance cycle to be broken, disabled, or 
    otherwise incapable of performing their intended safety function must 
    be repaired before the railroad may return the car to passenger 
    service.
        Carrying forward requirements currently contained in FRA's 
    Emergency Order No. 20, the proposed rule also requires each railroad 
    to periodically test a representative sample of emergency window exits 
    on its passenger cars to verify their proper operation. The sampling of 
    these emergency window exits must be conducted in conformity with 
    either of two commonly recognized alternate methods, which will provide 
    a degree of uniformity industry wide. Both methods require sampling 
    meeting a 95-percent confidence level that all emergency window exits 
    operate properly (i.e., the methods do not accept a defect rate of 5 
    percent). Rather than require railroads to test all window exits on a 
    specific type or series of car if one car has a defective window exit, 
    the proposed rule permits the railroads to use commonly accepted 
    sampling techniques to determine how many additional windows to test. 
    In general, these principles require that the greater the percentage of 
    windows exits that a railroad finds defective, the greater the 
    percentage of windows that the railroad will have to test. 
    Specifically, sampling must be conducted to meet a 95-percent 
    confidence level that no defective units remain in the universe and be 
    in accord with either Military Standard MIL-STD-105(D) Sampling for 
    Attributes or American National Standards Institute ANSI-ASQC Z1.4-1993 
    Sampling Procedures for Inspections by Attributes. Defective units must 
    be repaired before the passenger car is returned to service.
        The proposal specifies that a railroad must test a representative 
    sample of emergency window exits on its cars at least once during every 
    180 days to verify their proper operation. However commenters are 
    encouraged to address this issue by indicating whether the sampling 
    should occur on an annual basis, or on a less frequent basis. 
    Commenters are also urged, if possible, to provide scientific data and/
    or cost estimates to support their suggested sampling interval.
        The inspection, maintenance, and repair records concerning 
    emergency window and door exits must be retained at the system 
    headquarters for the railroad and at the division headquarters for each 
    division where the inspections, maintenance, or repairs are performed 
    (i.e., the records availability must be division specific). The records 
    can consist of multiple documents, and may contain separate sections 
    covering inspection, maintenance, and repair or separate sections 
    covering different types of passenger equipment. Additionally, 
    railroads must make these inspection, maintenance, and repair records 
    available to duly authorized FRA representatives for inspection and 
    copying (e.g., photocopying or handwritten notetaking) during normal 
    business hours.
        METROLINK commented that in order to avoid the unnecessary burden 
    of maintaining duplicate records, the rule should require railroads to 
    store all of the maintenance records for the emergency window and door 
    exits at the site of the inspections. In METROLINK's case, that site 
    would be the applicable division headquarters, which is no more than 15 
    miles from its system headquarters. METROLINK also noted that paragraph 
    239.107(c) does not indicate for how long the inspection records must 
    be retained, and recommended that since the current rule calls for 
    major service inspections to be retained for 180 days (or until the 
    next inspection is performed) the final rule should establish a similar 
    timeframe.
    
    14. Emergency Preparedness Plan; Filing and Approval: Section 239.201
    
        Section 239.201 specifies the process for review and approval of 
    each railroad's emergency preparedness plan by FRA. The intent of the 
    review and approval is to be constructive, rather than restrictive. It 
    is anticipated that the railroads will develop and implement varied 
    plans based upon the special circumstances involving their individual 
    operations. Under the proposal, FRA would also require that the 
    railroad summarize its internal discussions and deliberative processes
    
    [[Page 8351]]
    
    to explain how the railroad's unique and individual operating 
    characteristics determined how each issue was finally addressed in the 
    emergency preparedness plan. Specifically, FRA expects the railroad to 
    include a review of the analysis that led to each element of the 
    emergency preparedness plan it submits to FRA for approval, including a 
    consideration of the expected monetary costs and anticipated safety 
    benefits associated with each section of the plan.
        In its comments, METROLINK stated that the term ``analysis'' in the 
    phrase ``shall include a summary of the railroad's analysis supporting 
    each plan element and describing how each condition on the railroad's 
    property is addressed in the plan'' is vague and lacking in direction. 
    METROLINK then asked whether FRA expects to receive a cost benefit 
    analysis, systems approach, or safety value analysis. In addition, 
    METROLINK questioned whether the term ``condition on the railroad's 
    property'' concerns elements of the plan such as earthquakes, wind, and 
    power outages.
        FRA will conduct a review of each plan so that there can be an open 
    discussion of the plan's provisions from which all concerned parties 
    can benefit. However, in order to ensure compliance with minimum plan 
    requirements FRA will review each plan in detail prior to approval and 
    implementation. FRA expects to involve members of the Passenger Train 
    Emergency Preparedness Working Group in developing benchmark criteria 
    for plan approvals to simplify plan development and approval. It is 
    anticipated that this criteria will address program elements that 
    include the following:
         Specific course content for training programs of on-board 
    personnel, control center personnel, and other key employees;
         Minimum requirements for emergency exercises, including 
    frequency and content of drills with emergency responders and 
    simulations to determine rapidity of emergency evacuations under 
    varying scenarios;
         Specific means for providing emergency safety information 
    to passengers, similar to on-board briefings provided in commercial 
    aviation;
         Detailed requirements for tunnel safety, including 
    lighting and equipment; and
         Additional attention to emergency equipment, by 
    prescribing types and numbers of various kinds of equipment that may be 
    useful under varying operating scenarios.
        FRA will also review all plan amendments prior to their going into 
    effect. FRA requests comment on whether there are any categories of 
    plan amendments that should be permitted to go into effect immediately, 
    prior to review and approval, because they constitute improvements for 
    which implementation delay should be avoided.
        All persons, such as contractors, who perform any action on behalf 
    of a railroad will be required to conform to the emergency preparedness 
    plans in effect on the railroads upon which they are working. Persons 
    whose employees are working under a railroad's approved emergency 
    preparedness plan need not submit a separate plan to FRA for review and 
    approval. For example, if a railroad hires an outside independent 
    contractor to conduct an emergency simulation pursuant to 49 CFR 
    239.103, the contractor must perform this task in accordance with the 
    railroad's plan. However, if a freight railroad train crew operates a 
    passenger train for a commuter rail authority, the freight railroad 
    must coordinate the applicable portions of its emergency preparedness 
    plan with the corresponding portions of the commuter rail authority's, 
    unless an assignment of responsibility for compliance is made under 49 
    CFR 239.101(a)(3).
        The proposed rule does not specifically call for the involvement of 
    railroad employees or their representatives in the process of designing 
    or reviewing the emergency preparedness plan, because the 
    responsibility for having a plan that conforms with this rule lies with 
    the employer. However, it should be noted that the success of an 
    emergency preparedness plan will require the willing cooperation of all 
    persons whose duties or personal safety are affected by the plan.
    
    15. Retention of Emergency Preparedness Plan: Section 239.203
    
        The emergency preparedness plan and all subsequent amendments must 
    be retained at the system headquarters for the railroad and at the 
    division headquarters for each division where the plan is in effect 
    (i.e., the records availability must be division specific). The 
    emergency preparedness plan may consist of multiple documents or 
    booklets and may contain separate sections covering the varying job 
    functions and plan responsibilities of on-board and control center 
    personnel. Additionally, railroads must make their emergency 
    preparedness plan records available to duly authorized FRA 
    representatives for inspection and copying (e.g., photocopying or 
    handwritten notetaking) during normal business hours.
    
    16. Operational (efficiency) tests: Section 239.301
    
        Section 239.301 contains the requirement that railroads monitor the 
    routine performance of employees who have individual responsibilities 
    under the emergency preparedness plan to verify that the employee can 
    perform the duties required under the plan in a safe and effective 
    manner. It permits the railroad to test proficiency by requiring the 
    employee to complete a written or oral examination, an interactive 
    training program using a computer, a practical demonstration of 
    understanding and ability, or an appropriate combination of these in 
    accordance with this section. This testing can also involve check rides 
    and control center visits, along with unannounced, covert observation 
    of the employees.
        This section requires a railroad to keep a record of the date, 
    time, place, and result of each operational (efficiency) test that was 
    performed in accordance with its emergency preparedness plan. Each 
    record must identify the railroad officer administering the test of 
    each employee. Accordingly, by identifying the specific data points 
    that each record must provide, this section will promote the 
    examination of relevant information from captured data sources, 
    enabling FRA to better determine the effectiveness of a railroad's 
    emergency preparedness plan. Written or electronic records must be kept 
    of these operational (efficiency) tests for one calendar year after the 
    end of the year in which the test was conducted, available for 
    inspection and copying by FRA during normal business hours.
    
    17. Electronic recordkeeping: Section 239.303
    
        Section 239.303 authorizes railroads to retain their operational 
    (efficiency) test records by electronic recordkeeping, subject to the 
    conditions set forth in that provision. This provision provides an 
    alternative for railroads retaining certain information, as required in 
    proposed Sec. 239.301. FRA realizes that requiring railroads to retain 
    the information in paper form would impose additional administrative 
    and storage costs, and that computer storage of these documents would 
    also enable railroads to immediately update any amendments to their 
    operational testing programs.
        Each participating railroad must have the essential components of a 
    computer system, i.e., a desktop computer and either a facsimile 
    machine or a printer connected to retrieve and produce
    
    [[Page 8352]]
    
    records for immediate review. The material retrieved in hard copy form 
    must contain relevant information organized in usable format to render 
    the data completely understandable. The documents must be made 
    available for FRA inspection during normal business hours, which FRA 
    interprets as the times and days of the week when railroads conduct 
    their regular business transactions. Nevertheless, FRA reserves the 
    right to review and examine the documents prepared in accordance with 
    the Passenger Train Emergency Preparedness regulations at any 
    reasonable time if situations warrant.
        Additionally, each railroad must provide adequate security measures 
    to limit employee access to its electronic data processing system and 
    must prescribe who can create, modify, or delete data from the 
    database. Although FRA does not identify the management position 
    capable of instituting changes in the database, each railroad must 
    indicate the source authorized to make such changes. Each railroad must 
    also designate who will be authorized to authenticate the hard copies 
    produced from the electronic format. In short, each railroad electing 
    to electronically retain its records must ensure the integrity of the 
    information and prevent possible tampering of data, enabling FRA to 
    fully execute its enforcement responsibilities.
    
    Regulatory Impact
    
    Executive Order 12866 and DOT Regulatory Policies and Procedures
        This proposed rule has been evaluated in accordance with existing 
    policies and procedures. Due to the intense public interest in the 
    subject matter of the proposed rule, the proposed rule is considered to 
    be significant under both Executive Order 12866 and DOT policies and 
    procedures (44 FR 11034; February 26, 1979). FRA has prepared and 
    placed in the docket a regulatory analysis addressing the economic 
    impact of the proposed rule. It may be inspected and photocopied at the 
    Office of Chief Counsel, FRA, Seventh Floor, 1120 Vermont Avenue, N.W., 
    in Washington, D.C. Photocopies may also be obtained by submitting a 
    written request to the FRA Docket Clerk at Office of Chief Counsel, 
    Federal Railroad Administration, 400 Seventh Street, S.W., Washington, 
    D.C. 20590.
        As part of the benefit-cost analysis, FRA has assessed quantitative 
    measurements of costs and benefits expected from the adoption of the 
    proposed rule. The Net Present Value (NPV) of the total 20-year costs 
    which the industry is expected to incur is $4.285 million. Following is 
    a breakdown of the costs by requirement.
    
    ------------------------------------------------------------------------
                 Section                    Requirement            Cost     
    ------------------------------------------------------------------------
    239.101, 201, 203...............  Emergency Preparedness        $105,754
                                       Plan (EPP).                          
                                      Control Center                     957
                                       Notification.                        
                                      On-board Personnel                   0
                                       Training.                            
                                      Control Center                  55,520
                                       Personnel Training.                  
                                      Joint Operations......          16,562
                                      Parallel Operations...           1,297
                                      Emergency Responder                   
                                       Liaison                              
                                      --Provide EPP to                12,741
                                       Responders.                          
                                      --Awareness of                  56,928
                                       Responder                            
                                       Capabilities.                        
                                      On-board Emergency                    
                                       Equipment                            
                                      --One Fire                     147,801
                                       Extinguisher/Car.                    
                                      --One Pry Bar/Car.....          92,066
                                      --Instruction on Pry           242,868
                                       Bar Use.                             
                                      Passenger Safety                      
                                       Awareness                            
                                      --Permanent On-board            65,611
                                       Procedures.                          
                                      --Periodic                           0
                                       Reinforcement.                       
                                      --Annual Customer               26,616
                                       Surveys.                             
    239.103, 105....................  Passenger Train                969,140
                                       Emergency Simulations.               
    239.107.........................  Emergency Exits                       
                                      --Marking--Interior...         450,525
                                      --Marking--Exterior...       1,347,505
                                      --Inspection and               327,948
                                       Recordkeeping.                       
    239.301.........................  Operational Efficiency         590,441
                                       Tests.                               
                                                             ---------------
        Total.......................  ......................       4,510,280
    ------------------------------------------------------------------------
    
        Each year there are passenger train accidents which result in one 
    or more fatalities. In the last ten years there have been about seven 
    passenger train accidents which resulted in a significant loss of life. 
    FRA does not know how many commuter or intercity train accidents will 
    occur in the future. Although the passenger rail industry has a very 
    high level of safety, the potential for injuries and loss of life in 
    certain emergency situations is very high. FRA believes that the 
    proposed rule represents a cost-effective approach to providing a 
    reasonable level of protection against known threats to human life, and 
    that if only two fatalities were to be avoided over a twenty-year 
    period then the rule would be cost beneficial. Accordingly, while FRA 
    cannot predict with confidence the likelihood of particular accident 
    circumstances in which particular rule elements will be useful, FRA 
    believes that it is reasonable to expect that the measures called for 
    in this proposal would prevent or mitigate the severity of injuries 
    greater in value than the costs of developing and implementing 
    emergency preparedness plans.
        Monetary benefit levels associated with several of the proposed 
    requirements are not estimated due to lack of data. FRA would greatly 
    appreciate receiving information and comments regarding the benefits 
    that would result from complying with the distinct requirements 
    proposed. It should be noted that FRA expects total benefits to exceed 
    total costs for the proposed rule, and that the rule's provisions are 
    necessary components of FRA's overall initiatives for passenger train 
    emergency preparedness.
        Included within the $4,510,280 total cost figure are proposed 
    requirements for equipping each passenger car with a pry bar, marking 
    and inspecting emergency exits, and providing passengers with emergency 
    situation procedures that will ensure that each
    
    [[Page 8353]]
    
    passenger is able to escape from a life threatening situation on his or 
    her own initiative. The NPV of the twenty-year cost associated with the 
    requirements aimed at ensuring that in a life threatening situation 
    passengers trapped in a car would be afforded enough opportunity to 
    escape safely is $1.2 million.
    
    ------------------------------------------------------------------------
                 Section                    Requirement            Cost     
    ------------------------------------------------------------------------
    239.101.........................  Pry Bars                              
                                      --One Pry Bar per Car.        $ 92,066
                                      --Instruction on Pry           242,868
                                       Bar Use.                             
                                      Passenger Safety                      
                                       Awareness                            
                                      --Permanent Car                 65,611
                                       Procedures.                          
                                      --Periodic                           0
                                       Reinforcement.                       
                                      Annual Customer                 26,616
                                       Surveys.                             
    239.107.........................  Marking Emergency              450,525
                                       Exits--Interior.                     
                                      Inspection of                  327,948
                                       Emergency Exits.                     
                                                             ---------------
        Total.......................  ......................       1,193,820
    ------------------------------------------------------------------------
    
    These costs would be justified if the next passenger train emergency 
    situation is handled in such a way that loss of life is contained.
        As previously noted, FRA is allowing 60 days for comments and 
    invites public comment on the issue of regulatory impact. FRA seeks 
    comment and/or data to help identify or quantify other factors that may 
    affect the benefits or costs of the proposal, including alternatives 
    that were not explored by the Working Group and any costs or benefits 
    associated with such alternatives.
    
    Regulatory Flexibility Act
    
        The Regulatory Flexibility Act of 1980 (5 U.S.C. 601 et seq.) 
    requires an assessment of the impacts of proposed rules on small 
    entities. This proposed rule affects intercity and commuter passenger 
    railroads. Commuter railroads are part of larger transit organizations 
    that receive Federal funds. The American Public Transit Association 
    (APTA) represents the interests of commuter railroads in regulatory 
    matters. Further, the proposed standards were developed by FRA in 
    consultation with a Working Group that included Amtrak, individual 
    commuter railroads, and APTA.
        Entities impacted by the proposed rule are governmental 
    jurisdictions or transit authorities, none of which are small for 
    purposes of the United States Small Business Administration (i.e., no 
    entity operates in a locality with a population of under 50,000 
    people). Smaller commuter railroads will not be affected 
    disproportionately. The level of costs incurred by each organization 
    should vary in proportion to the organization's size. For instance, 
    railroads with fewer employees and fewer passenger cars will have lower 
    costs associated with both employee efficiency testing and emergency 
    exit inspections.
        Smaller passenger rail operations such as tourist, scenic, 
    excursion, and historic railroads are excepted from the proposed rule. 
    The proposed rule does not affect small entities.
        A joint FRA/industry working group formed by the RSAC is currently 
    developing recommendations regarding the applicability of FRA 
    regulations, including this one, to tourist, scenic, historic, and 
    excursion railroads. After appropriate consultation with the excursion 
    railroad associations takes place, emergency preparedness requirements 
    for these operations may be proposed by FRA that are different from 
    those affecting other types of passenger train operations. These 
    requirements may be more or less onerous, or simply different in 
    detail, depending in part on the information gathered during FRA's 
    consultation process.
    
    Paperwork Reduction Act
    
        The proposed rule contains information collection requirements. FRA 
    has submitted these information collection requirements to the Office 
    of Management and Budget (OMB) for review and approval in accordance 
    with the Paperwork Reduction Act of 1995 (44 U.S.C. 3507(d) et seq.). 
    FRA has endeavored to keep the burden associated with this proposal as 
    simple and minimal as possible. The proposed sections that contain the 
    new and/or revised information collection requirements and the 
    estimated time to fulfill each requirement are as follows:
    
    ----------------------------------------------------------------------------------------------------------------
                                     Respondent       Total annual     Average time    Total annual    Total annual 
             CFR section              universe         responses       per response    burden hours     burden cost 
    ----------------------------------------------------------------------------------------------------------------
    223..9d/ 239.107:                                                                                               
        A. Emergency egress.....  17 RRs..........  1,300 new        4 minutes......             621         $18,630
                                                     decals.                                                        
                                                    4,575 replace    7 minutes......  ..............  ..............
                                                     decals.                                                        
                                                    1,300 new        ...............  ..............  ..............
                                                     decals.                                                        
        B. Emergency exits......  17 RRs..........  6,320 new        4 minutes......             824          24,720
                                                     decals.                                                        
                                                    ...............  7 minutes......  ..............  ..............
    239.107(b)..................  17 RRs..........  1,800 tests....  20 minutes (18              600          18,000
                                                                      minutes to                                    
                                                                      perform test                                  
                                                                      and 2 minutes                                 
                                                                      for                                           
                                                                      recordkeeping).                               
    239.101/239.201.............  17 RRs..........  17 plans.......  158 hours......           2,685          90,168
                                  17 RRs..........  17 amendments..  1.6 hours......              27             756
    239.101 (1)(i)..............  17 RRs..........  N/A............  Usual and                   N/A             N/A
                                                                      customary                                     
                                                                      procedure--No                                 
                                                                      new paperwork.                                
    239.101 (1)(ii).............  17 RRs..........  N/A............  Usual and                   N/A             N/A
                                                                      customary                                     
                                                                      procedure--No                                 
                                                                      new paperwork.                                
    239.101 (1)(ii).............  5 RRs...........  5 updates of     1 hour.........               5             140
                                                     records.                                                       
    239.101 (a)(3)..............  33 RRs..........  33 negotiations  16 hours.......             528          19,800
    239.101 (a)(7)(ii)..........  5 RRs...........  1,300 passenger  5 minutes per               108           2,808
                                                     cars.            bulkhead card.                                
    
    [[Page 8354]]
    
                                                                                                                    
                                                    5 safety         1 hour per RR                 5             190
                                                     messages.        to develop                                    
                                                                      safety message.                               
    239.105.....................  17 RRs..........  66 records.....  30 minutes per               33             924
                                                                      record.                                       
    239.301/ 239.303............  17 RRs..........  11,600 tests...  8 minutes per             1,547          58,786
                                                                      test.                                         
    239.101 (a)(5)..............  16 RRs..........  16 reponses to   2 hours........              32             896
                                                     distribute                                                     
                                                     info to                                                        
                                                     emergency                                                      
                                                     responders.                                                    
                                  1 RR (Amtrak)...  1 response to    100 hours......             100           2,800
                                                     distribute                                                     
                                                     info to                                                        
                                                     emergency                                                      
                                                     responders.                                                    
                                  16 RRs..........  16 updates of    30 minutes per                8             224
                                                     emergency        updated.                                      
                                                     responder                                                      
                                                     records.                                                       
                                  1RR (Amtrak)....  1 update of      5 hours........               5             140
                                                     emergency                                                      
                                                     responder                                                      
                                                     records.                                                       
    ----------------------------------------------------------------------------------------------------------------
    
        All estimates include the time for reviewing instructions; 
    searching existing data sources; gathering or maintaining the needed 
    data; and reviewing the information. Pursuant to 44 U.S.C. 
    3506(c)(2)(B), FRA solicits comments concerning: whether these 
    information collection requirements are necessary for the proper 
    performance of the functions of FRA, including whether the information 
    has practical utility; the accuracy of FRA's estimates of the burden of 
    the information collection requirements; the quality, utility, and 
    clarity of the information to be collected; and whether the burden of 
    collection of information on those who are to respond, including 
    through the use of automated collection techniques or other forms of 
    information technology, may be minimized. For information or a copy of 
    the paperwork package submitted to OMB, please contact Ms. Gloria 
    Swanson at 202-632-3318.
        Organizations and individuals desiring to submit comments on the 
    collection of information requirements should submit their views in 
    writing to the Office of Management and Budget, Attention: Desk Officer 
    for the Federal Railroad Administration, Office and Information and 
    Regulatory Affairs, New Executive Office Building, 726 Jackson Place, 
    N.W., Washington, D.C. 20503, and should also send a copy of their 
    comments to Ms. Gloria D. Swanson, Federal Railroad Administration, 
    RRS-21.1, 400 Seventh Street, S.W., Washington D.C. 20590. Copies of 
    any such comments should also be submitted to the docket of this 
    rulemaking at the mailing address for the Docket Clerk provided above.
        OMB is required to make a decision concerning the collection of 
    information requirements contained in this NPRM between 30 and 60 days 
    after publication of this document in the Federal Register. Therefore, 
    a comment to OMB is best assured of having its full effect if OMB 
    receives it within 30 days of publication. The final rule will respond 
    to any OMB or public comments on the information collection 
    requirements contained in this proposal.
        FRA is not authorized to impose a penalty on persons for violating 
    information collection requirements which do not display a current OMB 
    control number, if required. FRA intends to obtain current OMB control 
    numbers for any new information collection requirements resulting from 
    this rulemaking action prior to the effective date of a final rule. The 
    OMB control number, when assigned, will be announced in the Federal 
    Register.
    
    Environmental Impact
    
        FRA has evaluated these proposed regulations in accordance with its 
    procedures for ensuring full consideration of the environmental impact 
    of FRA actions, as required by the National Environmental Policy Act 
    (42 U.S.C. 4321 et seq.), and related directives. This notice meets the 
    criteria that establish this as a non-major action for environmental 
    purposes.
    
    Federalism Implications
    
        This proposed rule has been analyzed in accordance with the 
    principles and criteria contained in Executive Order 12612, and it has 
    been determined that the proposed rule does not have sufficient 
    federalism implications to warrant the preparation of a Federalism 
    Assessment. The fundamental policy decision providing that Federal 
    regulations should govern aspects of service provided by municipal and 
    public benefit corporations (or agencies) of State governments is 
    embodied in the statute quoted above. FRA has made every effort to 
    provide reasonable flexibility to State-level decision making and has 
    included commuter authorities as full partners in development of this 
    proposed rule.
    
    List of Subjects
    
    49 CFR Part 223
    
        Railroad safety, Glazing standards.
    
    49 CFR Part 239
    
        Railroad safety, Passenger train emergency preparedness.
    
    Request for Public Comments
    
        FRA proposes to amend part 223 and adopt a new part 239 of Title 
    49, Code of Federal Regulations, as set forth below. FRA solicits 
    comments on all aspects of the proposed rule whether through written 
    submissions, or participation in the public hearing, or both. FRA may 
    make changes in the final rule based on comments received in response 
    to this notice.
    
    The Proposed Rule
    
        In consideration of the foregoing, FRA proposes to amend chapter II 
    of Title 49, Code of Federal Regulations as follows:
    
    PART 223--[AMENDED]
    
        1. The authority citation for part 223 is revised to read as 
    follows:
    
        Authority: 49 U.S.C. 20102-20103, 20105-20114, 20133, 20701, 
    21301-21302, and 21304; Sec. 215, Pub. L. No. 103-440, 108 Stat. 
    4623-4624 (49 U.S.C. 20133); and 49 CFR 1.49(c), (g), (m).
    
        2. By revising Sec. 223.5 to read as follows:
    
    
    Sec. 223.5  Definitions.
    
        As used in this part--
        Caboose means a car in a freight train intended to provide 
    transportation for crewmembers.
        Certified glazing means a glazing material that has been certified 
    by the manufacturer as having met the testing requirements set forth in 
    Appendix A of this part and that has been installed in such a manner 
    that it will perform its intended function.
        Designated service means exclusive operation of a locomotive under 
    the following conditions:
    
    [[Page 8355]]
    
        (1) The locomotive is not used as an independent unit or the 
    controlling unit is a consist of locomotives except when moving for the 
    purpose of servicing or repair within a single yard area;
        (2) The locomotive is not occupied by operating or deadhead crews 
    outside a single yard area; and
        (3) The locomotive is stenciled ``Designated Service--DO NOT 
    OCCUPY''.
        Emergency opening window means that segment of a side facing 
    glazing location which has been designed to permit rapid and easy 
    removal during a crisis situation.
        Emergency responder means a qualified member of a police or fire 
    department, or other organization involved with public safety, who 
    responds to a passenger train emergency.
        End facing glazing location means any location where a line 
    perpendicular to the plane of the glazing material makes a horizontal 
    angle of 50 degrees or less with the centerline of the locomotive, 
    caboose or passenger car. Any location which, due to curvature of the 
    glazing material, can meet the criteria for either a front facing 
    location or a side facing location shall be considered a front facing 
    location.
        Locomotive means a self-propelled unit of equipment designed 
    primarily for moving other equipment. It does not include self-
    propelled passenger cars.
        Locomotive cab means that portion of the superstructure designed to 
    be occupied by the crew while operating the locomotive.
        Passenger car means a unit of rolling equipment intended to provide 
    transportation for members of the general public and includes self-
    propelled cars designed to carry baggage, mail, express and passengers.
        Passenger train service means the transportation of persons (other 
    than employees, contractors, or persons riding equipment to observe or 
    monitor railroad operations) in intercity passenger service, commuter 
    or other short-haul service.
        Railroad means:
        (1) Any form of non-highway ground transportation that runs on 
    rails or electromagnetic guideways, including:
        (i) Commuter or other short-haul rail passenger service in a 
    metropolitan or suburban area and commuter railroad service that was 
    operated by the Consolidated Rail Corporation on January 1, 1979, and
        (ii) High speed ground transportation systems that connect 
    metropolitan areas, without regard to whether those systems use new 
    technologies not associated with traditional railroads, but does not 
    include rapid transit operations in an urban area that are not 
    connected to the general railroad system of transportation and
        (2) A person that provides railroad transportation, whether 
    directly or by contracting out operation of the railroad to another 
    person.
        Rebuilt locomotive, caboose or passenger car means a locomotive, 
    caboose or passenger car that has undergone overhaul which has been 
    identified by the railroad as a capital expense under Surface 
    Transportation Board accounting standards.
        Side facing glazing location means any location where a line 
    perpendicular to the plane of the glazing material makes an angle of 
    more than 50 degrees with the centerline of the locomotive, caboose or 
    passenger car.
        Windshield means the combination of individual units of glazing 
    material of the locomotive, passenger car, or caboose that are 
    positioned in an end facing glazing location.
        Yard is a system of auxiliary tracks used exclusively for the 
    classification of passenger or freight cars according to commodity or 
    destination; assembling of cars for train movement; storage of cars; or 
    repair of equipment.
        Yard caboose means a caboose that is used exclusively in a single 
    yard area.
        Yard locomotive means a locomotive that is operated only to perform 
    switching functions within a single yard area.
        3. In Sec. 223.9, paragraph (d) is added to read as follows:
    
    
    Sec. 223.9  Requirements for new or rebuilt equipment.
    
    * * * * *
        (d) Marking. Each railroad providing passenger train service shall 
    ensure that:
        (1) All emergency windows are conspicuously and legibly marked with 
    luminescent material on the inside of each car to facilitate passenger 
    egress. Each railroad shall post clear and legible operating 
    instructions at or near such exits.
        (2) All windows intended for emergency access by emergency 
    responders for extrication of passengers are marked with a 
    retroreflective, unique, and easily recognizable symbol or other clear 
    marking. Each railroad shall post clear and understandable window 
    access instructions either at each window or at the car ends.
        4. Part 239 is added to read as follows:
    
    PART 239--PASSENGER TRAIN EMERGENCY PREPAREDNESS
    
    Subpart A--General
    
    Sec.
    239.1  Purpose and scope.
    239.3  Application.
    239.5  Preemptive effect.
    239.7  Definitions.
    239.9  Responsibility for compliance.
    239.11  Penalties.
    
    Subpart B--Specific Requirements
    
    239.101  Emergency preparedness plan.
    239.103  Passenger train emergency simulations.
    239.105  Debriefing and critique.
    239.107  Emergency exits.
    
    Subpart C--Review, Approval, and Retention of Emergency Preparedness 
    Plans
    
    239.201  Emergency preparedness plan; filing and approval.
    239.203  Retention of emergency preparedness plan.
    
    Subpart D--Operational (Efficiency) Tests; Inspection of Records and 
    Recordkeeping
    
    239.301  Operational (efficiency) tests.
    239.303  Electronic recordkeeping.
    
    Appendix A to Part 239--Schedule of Civil Penalties (Reserved)
    
        Authority: 49 U.S.C. 20102-20103, 20105-20114, 20133, 21301, 
    21304, and 21311; Sec. 215, Pub. L. No. 103-440, 108 Stat. 4623-4624 
    (49 U.S.C. 20133); and 49 CFR 1.49 (c), (g), (m).
    
    Subpart A--General
    
    
    Sec. 239.1   Purpose and scope.
    
        (a) The purpose of this part is to reduce the magnitude and 
    severity of casualties in railroad operations by ensuring that 
    railroads involved in passenger train operations can effectively and 
    efficiently manage passenger train emergencies.
        (b) This part prescribes minimum Federal safety standards for the 
    preparation, adoption, and implementation of emergency preparedness 
    plans by railroads connected with the operation of passenger trains, 
    and requires each affected railroad to instruct its employees on the 
    plan's provisions. This part does not restrict railroads from adopting 
    and enforcing additional or more stringent requirements not 
    inconsistent with this part.
    
    
    Sec. 239.3   Application.
    
        (a) Except as provided in paragraph (b), this part applies to all:
        (1) Railroads that operate intercity or commuter passenger train 
    service on standard gage track which is part of the general railroad 
    system of transportation;
    
    [[Page 8356]]
    
        (2) Railroads that provide commuter or other short-haul rail 
    passenger train service in a metropolitan or suburban area [as 
    described by 49 U.S.C. 20102(1)], including public authorities 
    operating passenger train service; and
        (3) Freight railroads hosting the operation of passenger train 
    service described in paragraph (a)(1) or (a)(2) of this section.
        (b) This part does not apply to:
        (1) Rapid transit operations in an urban area that are not 
    connected with the general railroad system of transportation;
        (2) Operation of private cars, including business/office cars and 
    circus trains; or
        (3) Tourist, scenic, historic, or excursion operations, whether on 
    or off the general railroad system.
    
    
    Sec. 239.5   Preemptive effect.
    
        Under 49 U.S.C. 20106 [formerly Sec. 205 of the Federal Railroad 
    Safety Act of 1970 (45 U.S.C. 434)], issuance of these regulations 
    preempts any State law, rule, regulation, order, or standard covering 
    the same subject matter, except a provision necessary to eliminate or 
    reduce an essentially local safety hazard, that is not incompatible 
    with Federal law or regulation and does not unreasonably burden 
    interstate commerce.
    
    
    Sec. 239.7   Definitions.
    
        As used in this part--
        Adjacent rail modes of transportation includes other railroads, 
    trolleys, light rail, and heavy transit.
        Crewmember means a person, other than a passenger, who performs 
    either:
        (1) On-board functions connected with the movement of the train or
        (2) On-board service.
        Control center means a central location on a railroad with 
    responsibility for directing the safe movement of trains.
        Division headquarters means the location designated by the railroad 
    where a high-level operating manager (e.g., a superintendent, division 
    manager, or equivalent), who has jurisdiction over a portion of the 
    railroad, has an office.
        Emergency or emergency situation means an unexpected event related 
    to the operation of passenger train service involving a significant 
    threat to the safety or health of one or more persons requiring 
    immediate action.
        Emergency preparedness plan means one or more documents focusing on 
    preparedness and response in dealing with a passenger train emergency.
        Emergency responder means a qualified member of a police or fire 
    department, or other organization involved with public safety, who 
    responds to a passenger train emergency.
        Emergency window means that segment of a side facing glazing 
    location which has been designed to permit rapid and easy removal in an 
    emergency situation.
        Joint operations means rail operations conducted by more than one 
    railroad on the same track regardless of whether such operations are 
    the result of:
        (1) Contractual arrangements between the railroads;
        (2) Order of a governmental agency or a court of law; or
        (3) Any other legally binding directive.
        Passenger train service means the transportation of persons (other 
    than employees, contractors, or persons riding equipment to observe or 
    monitor railroad operations) by railroad in intercity passenger 
    service, commuter, or other short-haul passenger service.
        Private car means a rail passenger car used to transport non-
    revenue passengers on an occasional contractual basis, and includes 
    business/office cars and circus trains.
        Qualified means a status attained by an employee who has 
    successfully completed any required training for, has demonstrated 
    proficiency in, and has been authorized by the employer to perform the 
    duties of a particular position or function.
        Railroad means:
        (1) Any form of non-highway ground transportation that runs on 
    rails or electromagnetic guideways, including:
        (i) Commuter or other short-haul rail passenger service in a 
    metropolitan or suburban area and commuter railroad service that was 
    operated by the Consolidated Rail Corporation on January 1, 1979, and
        (ii) High speed ground transportation systems that connect 
    metropolitan areas, without regard to whether those systems use new 
    technologies not associated with traditional railroads, but does not 
    include rapid transit operations in an urban area that are not 
    connected to the general railroad system of transportation and
        (2) A person that provides railroad transportation, whether 
    directly or by contracting out operation of the railroad to another 
    person.
        Railroad officer means any supervisory employee of a railroad.
        System headquarters means the location designated by the railroad 
    as the general office for the railroad system.
    
    
    Sec. 239.9   Responsibility for compliance.
    
        Although the requirements of this part are stated in terms of the 
    duty of a railroad, when any person, including a contractor for a 
    railroad, performs any function required by this part, that person 
    (whether or not a railroad) is required to perform that function in 
    accordance with this part.
    
    
    Sec. 239.11   Penalties.
    
        Any person who violates any requirement of this part or causes the 
    violation of any such requirement is subject to a civil penalty of at 
    least $500 and not more than $10,000 per violation, except that: 
    Penalties may be assessed against individuals only for willful 
    violations, and, where a grossly negligent violation or a pattern of 
    repeated violations has created an imminent hazard of death or injury 
    to persons, or has caused death or injury, a penalty not to exceed 
    $20,000 per violation may be assessed. Each day a violation continues 
    shall constitute a separate offense. A person may also be subject to 
    the criminal penalties provided for in 49 U.S.C. 21311 (formerly 
    codified in 45 U.S.C. 438(e)) for knowingly and willfully falsifying 
    reports required by this part. Appendix A contains a schedule of civil 
    penalty amounts used in connection with this part.
    
    Subpart B--Specific Requirements
    
    
    Sec. 239.101   Emergency preparedness plan.
    
        (a) Each railroad to which this part applies shall adopt and comply 
    with written emergency preparedness plan procedures for implementing 
    each plan element, including those listed below.
        (1) Communication. (i) Initial and on-board notification. An on-
    board crewmember shall quickly and accurately assess the passenger 
    train emergency situation and then notify the control center as soon as 
    practicable by the quickest available means. The train crewmember shall 
    then inform the passengers about the nature of the emergency and 
    indicate what corrective countermeasures are in progress.
        (ii) Notifications by control center. The control center shall 
    promptly notify outside emergency responders, adjacent rail modes of 
    transportation, and appropriate railroad officials that a passenger 
    train emergency has occurred. Each railroad shall designate an employee 
    responsible for maintaining current emergency telephone numbers for use 
    in making such notifications.
        (2) Employee training and qualification. (i) On-board personnel. 
    The railroad's emergency preparedness plan shall address individual 
    employee
    
    [[Page 8357]]
    
    responsibilities, and provide for initial and periodic training at 
    least once every two years on the applicable plan provisions, 
    including, as a minimum:
    
    (A) Rail equipment familiarization;
    (B) Situational awareness;
    (C) Passenger evacuation;
    (D) Coordination of functions; and
    (E) ``Hands-on'' instruction concerning the location, function, and 
    operation of on-board emergency equipment.
    
        (ii) Control center personnel. The railroad's emergency 
    preparedness plan shall require initial and periodic training at least 
    once every two years of responsible control center personnel on 
    appropriate courses of action for each potential emergency situation.
        (iii) Testing of on-board and control center personnel. A railroad 
    shall have procedures for testing a person being evaluated for 
    qualification under the emergency preparedness plan. The testing 
    methods selected by the railroad shall be:
        (A) Designed to accurately measure an individual employee's 
    knowledge of his or her responsibilities under the plan;
        (B) Objective in nature;
        (C) Administered in written form; and
        (D) Conducted without reference to open reference books or other 
    materials except to the degree the person is being tested on his or her 
    ability to use such reference books or materials.
        (iv) On-board staffing. Each passenger train shall have a minimum 
    of one on-board crewmember who is qualified under the applicable 
    emergency preparedness plan's provisions.
        (3) Joint operations. (i) Each freight railroad hosting passenger 
    train service shall have an emergency preparedness plan addressing its 
    specific responsibilities consistent with this part.
        (ii) Each railroad that operates passenger train service over the 
    line of a freight railroad shall coordinate the applicable portions of 
    its emergency preparedness plan with the corresponding portions of the 
    freight railroad's emergency preparedness plan, to ensure that an 
    optimum level of preparedness is achieved. Nothing in this paragraph 
    shall restrict the ability of the railroads to provide for an 
    appropriate assignment of responsibility for compliance with this part 
    among those railroads through a joint operating agreement or other 
    binding contract. However, the assignor shall not be relieved of 
    responsibility for compliance with this part.
        (4) Special circumstances. (i) Tunnels. When applicable, the 
    railroad's emergency preparedness plan shall reflect readiness 
    procedures designed to ensure passenger safety in an emergency 
    situation occurring in a tunnel of 1,000 feet or more in length. The 
    railroad's emergency preparedness plan shall address, as a minimum, 
    availability of emergency lighting, access to emergency evacuation 
    exits, benchwall readiness, ladders for detraining, effective radio or 
    other communication between on-board crewmembers and the control 
    center, and options for assistance from other trains.
        (ii) Other operating considerations. When applicable, the 
    railroad's emergency preparedness plan shall address passenger train 
    emergency procedures involving operations on elevated structures, 
    including drawbridges, and in electrified territory.
        (iii) Parallel operations. When applicable, the railroad's 
    emergency preparedness plan shall provide for coordination of emergency 
    efforts where adjacent rail modes of transportation run parallel to 
    either the passenger railroad or freight railroad hosting passenger 
    operations.
        (5) Liaison with emergency responders. Each railroad to which this 
    part applies shall establish and maintain a working relationship with 
    the on-line emergency responders by, as a minimum:
        (i) Distributing applicable portions of its current emergency 
    preparedness plan at least once every three years, or whenever the 
    railroad materially changes its plan in a manner that could reasonably 
    be expected to affect the railroad's interface with the on-line 
    emergency responders, whichever occurs earlier, including documentation 
    concerning the railroad's equipment and the physical characteristics of 
    its line, necessary maps, and the names and telephone numbers of 
    relevant railroad officers to contact;
        (ii) Maintaining an awareness of each emergency responders' 
    capabilities; and
        (iii) Inviting emergency responders to participate in emergency 
    simulations, including tabletop exercises.
        (6) On-board emergency equipment. (i) General. Each railroad's 
    emergency preparedness plan shall designate the types of on-board 
    emergency equipment and indicate their location(s) on each passenger 
    car. This equipment shall include, at a minimum:
    
        (A) One fire extinguisher per passenger car;
        (B) One pry bar per passenger car; and
        (C) One flashlight per on-board crewmember.
    
        (ii) On-board emergency lighting. Consistent with the requirements 
    of 49 CFR Part 238, auxiliary portable lighting must be accessible.
        (iii) Maintenance. Each railroad's emergency preparedness plan 
    shall provide for scheduled maintenance and replacement of on-board 
    emergency equipment and lighting.
        (7) Passenger safety information. (i) General. Each railroad's 
    emergency preparedness plan shall provide for passenger awareness of 
    emergency procedures, to enable passengers to respond properly during 
    an emergency.
        (ii) Passenger awareness program activities. Each railroad shall 
    conspicuously and legibly post emergency instructions inside all 
    passenger cars (e.g., on car bulkhead signs, seatback decals, or seat 
    cards) and shall utilize one or more of the following additional 
    methods to provide safety awareness information:
    
    (A) On-board announcements;
    (B) Laminated wallet cards;
    (C) Ticket envelopes;
    (D) Timetables;
    (E) Station signs or video monitors;
    (F) Public service announcements; or
    (G) Seat drops.
    
        (iii) Passenger surveys. Each railroad shall survey representative 
    samples of passengers at least once during each calendar year to 
    determine the effectiveness of its passenger awareness program 
    activities, and shall improve its program, as appropriate, in 
    accordance with the information developed.
        (A) The survey shall be designed to examine passenger awareness of 
    the location(s) on the passenger car of the available safety 
    information and verify passenger knowledge of the safety procedures to 
    be followed in the event of an emergency.
        (B) The railroad shall inform each surveyed passenger that 
    completion of the survey is strictly voluntary.
        (C) Each railroad shall maintain records of its passenger surveys 
    at its system headquarters and applicable division headquarters. These 
    records shall be made available to representatives of FRA for 
    inspection and copying during normal business hours.
        (b) [Reserved]
    
    
    Sec. 239.103  Passenger train emergency simulations.
    
        (a) General. Each railroad operating passenger train service shall 
    conduct emergency simulations, either full-scale or tabletop exercises, 
    in order to determine its capability to execute the emergency 
    preparedness plan under the variety of scenarios that could reasonably 
    be expected to occur on its operation, and ensure coordination with all 
    emergency responders who voluntarily agree to participate in the 
    emergency simulations.
    
    [[Page 8358]]
    
        (b) Frequency of the emergency simulations. Each railroad that 
    provides commuter or other short-haul passenger train service shall 
    conduct a sufficient number of emergency simulations so that each major 
    line will be included at least once during every two calendar years and 
    the number of simulations performed during any given calendar year will 
    include at least 50 percent of the total number of major lines. Each 
    railroad that provides intercity passenger train service shall conduct 
    at least two emergency simulations during each calendar year for each 
    business unit or other major organizational element.
        (c) Definition. As used in this section, in the case of a railroad 
    that provides commuter or other short-haul passenger train service, 
    major line includes each principal route and its branches.
        (d) Actual emergency situations. Provided that a railroad conducts 
    a debriefing and critique session meeting the requirements of 
    Sec. 239.105 of this subpart, a railroad may count the activation of 
    its emergency preparedness plan during an actual emergency situation 
    toward the minimum number of simulations required under this section. 
    However, a railroad may substitute the activation of its emergency 
    preparedness plan to satisfy no more than 50 percent of the total 
    number of simulations required under this section.
    
    
    Sec. 239.105  Debriefing and critique.
    
        (a) General. Each railroad operating passenger train service shall 
    conduct a debriefing and critique session after each passenger train 
    emergency situation or simulation to determine the effectiveness of its 
    emergency preparedness plan, and shall improve and/or amend its plan, 
    as appropriate, in accordance with the information developed.
        (b) Purpose of debriefing and critique information. The debriefing 
    and critique session shall be designed to determine, at a minimum:
        (1) Whether the on-board communications equipment functioned 
    properly;
        (2) The elapsed time between the occurrence of the emergency 
    situation or simulation and notification to the emergency responders 
    involved;
        (3) Whether the control center promptly initiated the required 
    notifications;
        (4) How quickly and effectively the emergency responders responded 
    after notification; and
        (5) The efficiency of passenger egress from the car through the 
    emergency exits.
        (c) Records. Each railroad shall maintain records of its debriefing 
    and critique sessions at its system headquarters and applicable 
    division headquarters. These records shall be made available to 
    representatives of FRA for inspection and copying during normal 
    business hours.
    
    
    Sec. 239.107  Emergency exits.
    
        (a) Marking. Each railroad operating passenger train service shall 
    ensure that each of the following occur.
        (1) All door exits intended for emergency egress are either lighted 
    or conspicuously and legibly marked with luminescent material on the 
    inside of the car. Each railroad shall post clear and understandable 
    instructions at or near such exits.
        (2) All door exits intended for emergency access by emergency 
    responders for extrication of passengers are marked with 
    retroreflective material. Each railroad shall post clear and 
    understandable instructions at each such door.
        (b) Inspection, maintenance, and repair. Consistent with the 
    requirements of part 223 of this chapter, each railroad operating 
    passenger train service shall provide for scheduled inspection, 
    maintenance, and repair of emergency window and door exits. Each 
    railroad shall test a representative sample of emergency window exits 
    on its cars at least once every 180 days to verify their proper 
    operation, and shall repair a defective unit before returning the car 
    to service.
        (c) Records. Each railroad operating passenger service shall 
    maintain records of its inspection, maintenance, and repair of 
    emergency window and door exits at its system headquarters and 
    applicable division headquarters. These records shall be made available 
    to representatives of FRA for inspection and copying during normal 
    business hours.
    
    Subpart C--Review, Approval, and Retention of Emergency 
    Preparedness Plans
    
    
    Sec. 239.201  Emergency preparedness plan; filing and approval.
    
        (a) Filing. Each railroad to which this part applies shall file one 
    copy of its emergency preparedness plan with the Associate 
    Administrator for Safety, Federal Railroad Administration, 400 Seventh 
    Street, S.W., Washington, D.C. 20590, not more than 180 days after (the 
    effective date of the final rule), or not less than 90 days prior to 
    commencing passenger operations, whichever is later. The emergency 
    preparedness plan shall include the name, title, address, and telephone 
    number of the primary person to be contacted with regard to review of 
    the plan, and shall include a summary of the railroad's analysis 
    supporting each plan element and describing how each condition on the 
    railroad's property is addressed in the plan. Each subsequent amendment 
    to a railroad's emergency preparedness plan shall be filed with FRA not 
    less than 60 days prior to the proposed effective date.
        (b) Approval. (1) Within 180 days of receipt of each initial plan, 
    and within 60 days in the case of a railroad commencing or hosting 
    passenger operations after the initial deadline for plan submissions, 
    FRA will conduct a formal review of the emergency preparedness plan. 
    FRA will then notify the primary railroad contact person of the results 
    of the review, whether the emergency preparedness plan has been 
    approved by FRA, and if not approved, the specific points in which the 
    plan is deficient. If an emergency preparedness plan is not approved by 
    FRA, the railroad shall amend its plan to correct all deficiencies (and 
    provide FRA with a corrected copy) not later than 30 days following 
    receipt of FRA's written notice that the plan was not approved.
        (2) FRA will review each proposed plan amendment within 45 days of 
    receipt. FRA will then notify the primary railroad contact person of 
    the results of the review, whether the proposed amendment has been 
    approved by FRA, and if not approved, the specific points in which the 
    proposed amendment is deficient. The railroad shall correct any 
    deficiencies and file the corrected amendment prior to implementing the 
    amendment.
        (3) Following initial approval of a plan or amendment, FRA may 
    reopen consideration of the plan or amendment for cause stated.
    
    
    Sec. 239.203  Retention of emergency preparedness plan.
    
        Each railroad to which this part applies shall retain one copy of 
    its emergency preparedness plan and one copy of each subsequent 
    amendment to its emergency preparedness plan at its system and division 
    headquarters, and shall make such records available to representatives 
    of FRA for inspection and copying during normal business hours.
    
    Subpart D--Operational (Efficiency) Tests; Inspection of Records 
    and Recordkeeping
    
    
    Sec. 239.301  Operational (efficiency) tests.
    
        (a) Each railroad to which this part applies shall periodically 
    conduct operational (efficiency) tests of its on-
    
    [[Page 8359]]
    
     board and control center employees to determine the extent of 
    compliance with its emergency preparedness plan.
        (b) Each railroad to which this part applies shall maintain a 
    record of the date, time, place, and result of each operational 
    (efficiency) test that was performed in accordance with paragraph (a) 
    of this section. Each record shall specify the name of the railroad 
    officer who administered the test and the name of each employee tested. 
    The conduct of the test shall be documented in writing and the 
    documentation shall contain sufficient information to identify the 
    relevant facts relied on for evaluation purposes.
        (c) These records shall be retained at the system headquarters of 
    the railroad and at the division headquarters for each division where 
    the tests are conducted for one calendar year after the end of the 
    calendar year to which they relate. These records shall be made 
    available to representatives of FRA for inspection and copying during 
    normal business hours.
    
    
    Sec. 239.303  Electronic recordkeeping.
    
        (a) Each railroad to which this part applies is authorized to 
    retain by electronic recordkeeping the information prescribed in 
    Sec. 239.301, provided that all of the following conditions are met:
        (1) The railroad adequately limits and controls accessibility to 
    such information retained in its database system and identifies those 
    individuals who have such access;
        (2) The railroad has a terminal at the system headquarters and at 
    each division headquarters;
        (3) Each such terminal has a desk-top computer (i.e., monitor, 
    central processing unit, and keyboard) and either a facsimile machine 
    or a printer connected to the computer to retrieve and produce 
    information in a usable format for immediate review by FRA 
    representatives;
        (4) The railroad has a designated representative who is authorized 
    to authenticate retrieved information from the electronic system as 
    true and accurate copies of the electronically kept records; and
        (5) The railroad provides representatives of FRA with immediate 
    access to these records for inspection and copying during normal 
    business hours and provides printouts of such records upon request.
        (b) [Reserved]
    
    Appendix A to Part 239--Schedule of Civil Penalties [Reserved]
    
        Issued in Washington, D.C., on February 19, 1997.
    Jolene M. Molitoris,
    Federal Railroad Administrator.
    [FR Doc. 97-4489 Filed 2-21-97; 8:45 am]
    BILLING CODE 4910-06-P
    
    
    

Document Information

Published:
02/24/1997
Department:
Federal Railroad Administration
Entry Type:
Proposed Rule
Action:
Notice of proposed rulemaking.
Document Number:
97-4489
Dates:
(1) Written comments: Written comments must be received on or before April 25, 1997. Comments received after that date will be considered by FRA and the Passenger Train Emergency Preparedness Working Group in preparing the final rule to the extent possible without incurring additional expense or delay. The docket will remain open until the Working Group proceedings are concluded. Requests for formal extension of the comment period must be made by April 10, 1997.
Pages:
8330-8359 (30 pages)
Docket Numbers:
FRA Docket No. PTEP-1, Notice No. 1
RINs:
2130-AA96: Rail Passenger Service: Emergency Preparedness
RIN Links:
https://www.federalregister.gov/regulations/2130-AA96/rail-passenger-service-emergency-preparedness
PDF File:
97-4489.pdf
CFR: (16)
49 CFR 223.5
49 CFR 223.9
49 CFR 239.1
49 CFR 239.3
49 CFR 239.5
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