95-5323. Parts and Accessories Necessary for Safe Operation; Glazing and Window Construction; Petition for Waiver To Permit Use of Automatic Vehicle Identification Transponder  

  • [Federal Register Volume 60, Number 43 (Monday, March 6, 1995)]
    [Rules and Regulations]
    [Pages 12146-12149]
    From the Federal Register Online via the Government Publishing Office [www.gpo.gov]
    [FR Doc No: 95-5323]
    
    
    
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    DEPARTMENT OF TRANSPORTATION
    Federal Highway Administration
    
    49 CFR Part 393
    
    [FHWA Docket No. MC-94-28]
    
    
    Parts and Accessories Necessary for Safe Operation; Glazing and 
    Window Construction; Petition for Waiver To Permit Use of Automatic 
    Vehicle Identification Transponder
    
    AGENCY: Federal Highway Administration (FHWA), DOT.
    
    ACTION: Grant of petition for waiver.
    
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    SUMMARY: The FHWA is granting a petition from the Commonwealth of 
    Kentucky, lead State for the ADVANTAGE I-75 Program, and Heavy Vehicle 
    Electronic License Plate, Inc., (HELP) requesting a waiver from the 
    requirements of the Federal Motor Carrier Safety Regulations (FMCSRs) 
    to allow mounting of an automatic vehicle identification (AVI) 
    transponder near the upper border at the approximate center of the 
    windshields of commercial motor vehicles.
        The FHWA is granting the waiver to permit the use of the 
    transponders in commercial motor vehicles participating in the 
    ADVANTAGE I-75 operational (``beta'') test and the HELP corridor 
    programs, subject to the conditions imposed in this notice.
    
    EFFECTIVE DATE: April 5, 1995.
    
    FOR FURTHER INFORMATION CONTACT: Ms. Deborah M. Freund, Office of Motor 
    Carrier Standards, (202) 366-2981, or Mr. Charles Medalen, Office of 
    the Chief Counsel, (202) 366-1354, Federal Highway Administration, 
    Department of Transportation, 400 Seventh Street SW., Washington, D.C. 
    20590. Office hours are from 7:45 a.m. to 4:15 p.m., e.t., Monday 
    through Friday, except Federal holidays.
    
    SUPPLEMENTARY INFORMATION:
    
    Background
    
        On October 12, 1994, the FHWA published a notice in the Federal 
    Register (59 FR 51540) requesting comments on petitions received from 
    the Commonwealth of Kentucky (Kentucky) and HELP. The petitioners are 
    the lead organizations in multi-State partnerships of public and 
    private sector interests conducting a series of operational tests that 
    fall within the Commercial Vehicle Operations (CVO) element of the 
    Intelligent Transportation System (ITS) Program (formerly known as the 
    Intelligent Vehicle-Highway Systems (IVHS) program). The ADVANTAGE I-75 
    and HELP programs were created to allow commercial motor vehicles 
    (CMVs) that are equipped with transponders and that comply with safety 
    and administrative requirements to travel any segment of their 
    respective instrumented highways at mainline speeds with minimal 
    stopping at weight/inspection checkpoints.
        The AVI device proposed for use in both programs is an electronic 
    transponder designed to send and receive signals from a CMV to ports of 
    entry (POEs) and safety inspection sites. The devices would be used to 
    transmit a variety of information, such as the identity of the motor 
    carrier, the gross weight of the vehicle, and the status of the 
    vehicle's registration and fuel tax payments. The transponder measures 
    84 mm (3.3 inches) high by 112 mm (4.4 inches) wide by 38 mm (1.5 
    inches) deep.
        In order to function effectively, the transponder must be able to 
    properly transmit and receive signals from roadside receivers installed 
    at States' ports of entry. The physical location of the transponder is 
    a critical factor in its operation because of the potential for 
    internal and external electronic interference. In addition, the device 
    must be placed in a suitable location to allow drivers to read the 
    instruction displayed on the transponder, i.e., to enter or to bypass 
    the POE. An engineering evaluation performed by one of the ADVANTAGE I-
    75 electronic equipment contractors determined that a location near the 
    center of the upper border of the windshield best allowed the device to 
    meet both of these requirements.
        However, 49 CFR 393.60(c) requires that no motor vehicle be 
    operated with any label, sticker, decalcomania, or other vision-
    reducing matter covering any portion of its windshield or windows at 
    either side of the driver's compartment, except that stickers required 
    by law may be affixed to the bottom of the windshield, provided that no 
    portion of any label, sticker, decalcomania, or other vision-reducing 
    matter may extend upward more than 114 mm (4.5 inches) from the bottom 
    of the windshield. The requirements of Sec. 393.60, particularly the 
    114 mm (4.5 inch) limit specified in Sec. 393.60(c), are independent of 
    the physical dimensions of windshields.
        Section 206(f) of the Motor Carrier Safety Act of 1984 (49 U.S.C. 
    31136(e), formerly 49 U.S.C. app. 2505(f)) authorizes waivers of any 
    regulation issued under the authority of that Act upon a determination 
    that the waiver is consistent with the public interest and the safe 
    operation of commercial motor vehicles.
        The FHWA proposed to grant the waiver on October 12, 1994. The 
    notice described the agency's review of automotive engineering 
    recommended practices, the National Highway Traffic Safety 
    Administration's Federal Motor Vehicle Safety Standards, and recent 
    research concerning drivers' field of view. It also examined current 
    CMV cab designs related to placement of interior mirrors and sunvisors 
    which occupy approximately the same space proposed for the AVI 
    transponder. Based on the information obtained from this review, the 
    FHWA concluded that a transponder mounted at the approximate center of 
    the top of the windshield would be extremely unlikely to create a 
    situation inconsistent with the safe operation of a CMV. This location 
    is well outside the area recommended for windshield wiper sweep under 
    the Society of Automotive Engineers (SAE) Recommended Practice J198 
    (Windshield Wiper Systems--Trucks, Buses, and Multipurpose Vehicles) 
    and the area recommended for windshield defrosting under Recommended 
    Practice J342 (Windshield Defrosting Systems Performance Guidelines--
    Trucks, [[Page 12147]] Buses, and Multi-Purpose Vehicles). The findings 
    of four recent research reports on the subject also suggested that the 
    location of an object, such as a transponder device, near the upper 
    margin of a CMV's windshield is unlikely to have any effect on a 
    driver's ability to observe nearby objects, such as pedestrians.
        In addition, the FHWA believes that the public interest would be 
    furthered by granting this waiver. Drivers whose CMVs are in compliance 
    with registration, safety inspection, and operating requirements and 
    permits may receive a signal from inspection officials to bypass ports 
    of entry or inspection sites. This would have the effect of greatly 
    improving inspection efficiency and effectiveness by enabling officials 
    to focus their resources on vehicles with safety and size and weight 
    infractions.
    
    Discussion of Comments to the Docket
    
        The FHWA received five comments to the notice of petition. 
    Advocates for Highway and Auto Safety (AHAS) opposed the windshield 
    mounting location for the transponder and criticized the prior field 
    activity under the ADVANTAGE I-75 ``alpha'' test. The Department of 
    California Highway Patrol (CHP) supported the general concept of the 
    waiver, but expressed concern with the windshield mounting location due 
    to a potential conflict with its State regulations. The Illinois 
    Department of Transportation, Heavy Vehicle Electronic License Plate 
    (HELP), Inc., and the Commonwealth of Kentucky Transportation Cabinet 
    commented in favor of the waiver.
        The AHAS stated its opposition to ``any action or item of equipment 
    that might obstruct [the] view of CMV drivers,'' and added that ``[a]ny 
    waiver that might pose an impediment to driver vision must be carefully 
    scrutinized to assure that it is consistent with safety.'' ``It is 
    axiomatic,'' it noted, ``that vision plays a central role in the 
    driving task * * *.'' The AHAS believes the design of the transponder 
    is inappropriate, and that the transponder hardware should be separated 
    from the visual indicator provided for the driver.
        The AHAS stated that it ``might support the FHWA's proposal because 
    of the small size of the transponder, and the fact that it will be 
    placed at the top of the windshield and outside the general field of 
    view of the driver.'' However, ``Advocates cannot support the 
    transponder proposal at this time since there are unresolved issues 
    regarding the necessity of placing the device on the windshield.'' The 
    AHAS also asserted that the FHWA provided insufficient technical 
    justification for the windshield mounting location. It dismissed the 
    agency's reasoning as merely rationalizing the ``convenience'' of that 
    location.
        The FHWA disagrees with the AHAS' assertions. The FHWA is required 
    to evaluate the safety, not to regulate the design, of equipment for 
    which a waiver is requested. The design is a product of the 
    petitioners' engineering judgment. ADVANTAGE I-75 and HELP requested a 
    waiver for tests of a device whose design had already been selected. 
    The only issue was whether the placement of the AVI device would reduce 
    motor carrier safety. The FHWA has fully considered that question.
        The FHWA requested, and has received, a copy of engineering notes 
    from Delco Electronics documenting its assessment of alternate 
    transponder mounting locations. A copy of the test report has been 
    placed in the docket.
        Delco Electronics performed two tests of antenna pattern 
    characterization to compare the strength of the signal received at the 
    roadside reader. The first compared mounting locations at the lower-
    right, upper-right, upper-left, and lower-left corners of the driver's 
    side of the windshield. The second compared two alternate locations 
    with the transponder attached to the windshield (upper-right and lower-
    left corners of driver's side) with a third location utilizing a 
    mounting bracket (upper-right corner of driver's side) that held the 
    transponder just off the windshield. In both tests, the location at the 
    upper-right corner of the driver's side of the windshield delivered a 
    superior signal, as measured by relative attenuation in dBm [decibel-
    milliwatts, a measurement of signal power on a logarithmic scale]. The 
    signal from the upper-right driver's side windshield mounting location 
    was as much as 10 dBm stronger compared to other locations and to the 
    bracket-mounted alternative.
        For radio frequency (RF) devices to successfully perform their 
    functions, their transmitted signals must be strong enough to reach 
    their targets. The upper-right driver's side windshield mounting 
    location appears to be the best among the several alternatives that 
    Delco Electronics evaluated. The 10 dBm difference in the signal 
    strength can be a key factor in facilitating the transponder's 
    successful field implementation.
        As ITS matures, it is likely that technical advancements and 
    competition among manufacturers will improve the packaging and reduce 
    the size of transponders and other ITS devices. It is conceivable that 
    future clearance transponders could be mounted in locations other than 
    a CMV's windshield, and indicator lamps added to dashboard 
    instrumentation, as the AHAS recommends in its comments.
        The FHWA believes that the AHAS' comments reflect a 
    misinterpretation of the visibility issue. For example, the AHAS argued 
    that the visible indicator was not necessary because the transponder 
    would be hidden by a sunvisor. There is nothing in the notice that 
    warrants that conclusion. Sunvisors are not always extended. The FHWA 
    made the comparison between the vertical dimension of the transponder 
    and that of sunvisors and sunshades in reference to a driver's useful 
    field of view. The AHAS also questioned other technical issues 
    regarding the transponder's placement without presenting research 
    results comparable to those cited by the FHWA in support of the 
    proposed waiver.
        In addition, the AHAS contended that the FHWA should have followed 
    formal waiver procedures for the ADVANTAGE I-75 Alpha Test, rather than 
    issuing an enforcement moratorium that had the same effect. The FHWA 
    disagrees. The Alpha Test was merely a technical shakedown of AVI 
    transponders on a small number of vehicles (up to 200) to ensure that 
    the equipment would work properly during the operational Beta Test. 
    This kind of fine-tuning could not be done with stationary vehicles. 
    The Alpha Test was closely controlled and monitored by the FHWA's State 
    partners, since the participating States and motor carriers needed to 
    be aware of problems before starting the Beta Test. The FHWA simply 
    allowed ADVANTAGE I-75 to complete this preparatory evaluation. As the 
    agency and the ADVANTAGE I-75 States expected, no visibility problems 
    caused by the transponders were reported.
        The Department of California Highway Patrol (CHP) did not object to 
    the use of the transponder. It did, however, express a concern about 
    the proposed mounting location: ``California law prohibits any object 
    from being installed or affixed on any portion of the windshield except 
    for * * * a 7-inch square in the lower corner of the windshield 
    opposite the driver or in a 5-inch square in the lower corner of the 
    windshield near the driver.'' The CHP provided a copy of the relevant 
    regulation, California Vehicle Code Section 26708.
        California's regulation differs from Sec. 393.60(c). In the fall of 
    1994, the FHWA notified the CHP, as the State's Motor Carrier Safety 
    Assistance Program (MCSAP) grant recipient, that the regulation must be 
    brought into conformance with the FMCSRs. The [[Page 12148]] FHWA is 
    working with California to address this issue, and recommends that the 
    CHP accept the terms of this waiver while efforts are ongoing by the 
    State to seek a legislative change.
        The Illinois Department of Transportation (IDOT) strongly supports 
    the waiver. The IDOT noted that windshield-mounted transponders are 
    also being actively considered for automated toll collection and 
    commercial vehicle [electronic] pre-clearance systems planned by 
    Illinois and other States. The IDOT believes the waiver would not 
    sacrifice truck safety, but would allow the transponders used in the 
    programs to be positioned in vehicles so as to work more effectively.
        HELP, Inc. stated that it is working with Intelligent 
    Transportation Systems technology to provide benefits to both motor 
    carriers and weigh station controllers. HELP emphasizes the importance 
    of the location of the AVI transponder to insure that transmitted 
    signals are received properly. It noted that the proposed ``right 
    center quadrant'' windshield location is similar to the standard 
    location of an inside rear-view mirror, reducing the impact of reduced 
    or obstructed driver views. HELP is also working with the CHP to 
    implement a weigh station bypass service called PRE-PASSTM which 
    requires placement of the AVI transponder in that optimal location. 
    Citing the CHP's comment to this docket, HELP notes that it is working 
    with the CHP to draft legislation which will modify current California 
    law to allow the AVI transponder to be mounted in this location. HELP 
    strongly supports the proposed waiver and requests the FHWA's approval 
    so that State governments and the motor carrier industry can proceed 
    with implementing PRE-PASSTM and gain improvements in 
    transportation productivity and efficiency.
        The Commonwealth of Kentucky Transportation Cabinet (Kentucky), as 
    lead State in the ADVANTAGE I-75 partnership, strongly supports the 
    proposed waiver. Kentucky stated that over 200 trucks operated with the 
    transponders for over a year. Staff from the Transportation Cabinet and 
    the Kentucky Transportation Center rode in the trucks during testing, 
    and also talked with drivers, dispatchers, maintenance personnel, and 
    fleet managers. Kentucky became ``convinced that, when properly 
    mounted, the transponder does not in any way obstruct the driver's view 
    of the roadway. We have not had a single report of an incident or a 
    concern relating to a transponder obstructing a driver's view.'' 
    Kentucky goes on to state that
    
        Safety is a vital element of the ADVANTAGE I-75 project. The 
    project is supported by Motor Carrier Enforcement Personnel in each 
    of the participating states and province. We would not support any 
    practice that we believed would compromise the safety of travelers 
    on our nation's highways. Our support of the proposed waiver is 
    based upon our conviction that the transponder does not obstruct the 
    driver's vision or in any other way create a safety hazard. We 
    invite those with strong concerns to visit one of our ADVANTAGE I-75 
    sites and to climb into the cab of a transponder-equipped truck.
    
    Conditions of the Waiver
    
        The conditions of the waiver proposed in the October 12, 1994, 
    notice have been modified somewhat for the reasons set forth below.
        As an alternative to complying with the wiring requirements of 49 
    CFR 393.27 and 393.33, the petitioners may, if they choose, comply with 
    SAE Recommended Practice (RP) J1292, Automobile, Truck, Truck-Tractor, 
    Trailer, and Motor Coach Wiring. The guidelines contained in RP J1292 
    provide more comprehensive guidance and are equivalent to, and slightly 
    more stringent than, Secs. 393.27 and 393.33 of the FMCSRs. The RP 
    covers 3 areas. It cross-references the same RPs incorporated by 
    reference in Sec. 393.27 (Wiring Specifications) for battery cable (SAE 
    RP J1127) and for low-tension primary cable (SAE RP J1128). It cross-
    references SAE RP J163, Low-tension wiring and cable terminals and 
    splice clips, which is indirectly referenced in Sec. 393.33, Wiring 
    [and] installation. The RP also requires wiring overload protective 
    devices, fuses, or circuit breakers in this type of low-current 
    application. While this last item is a slight change, the agency notes 
    that the transponder's installation manual requires the power wire to 
    be connected to the fused side of battery power, and states that a one-
    amp in-line fuse may be added for additional protection.
        The duration and termination of the waiver discussed in Conditions 
    III and VI have been changed so that the waiver shall remain in effect 
    unless revoked by the FHWA. The grantees will be required to report the 
    number of participating motor carriers and the number of transponder-
    equipped CMVs. Removing the time limit on the waiver will enable the 
    grantees to continue operating their programs, provided the reports 
    submitted indicate that the transponders are not affecting the safe 
    operation of CMVs.
        Condition VII now requires that the project reports be submitted 
    within two years of the effective date of the waiver. A review after 
    two years will enable the petitioners and the FHWA to assess a 
    significant amount of data.
        Condition IV has been modified to recognize the potential for the 
    existence of nonconforming State or local laws or regulations that may 
    not have been brought to the FHWA's attention.
        Condition V of the October proposal would have limited the number 
    of CMVs eligible for the waiver to 30,000. This restriction has been 
    eliminated. Although that figure was a reasonable estimate of the 
    number of participating vehicles, it would have required the 
    petitioners to request adjustments to the ceiling, possibly more than 
    once, if additional motor carriers wished to join the test program. 
    Because the agency's review of the engineering standards and research 
    on field of view discussed above indicated that use of the transponder 
    would be very unlikely to create an unsafe operating situation, the 
    FHWA has decided not to impose a numerical limit on the number of 
    vehicles included in the program. However, both ADVANTAGE I-75 and HELP 
    will be required to submit information on accidents involving the 
    vehicles equipped with transponders, in accordance with Condition III.
    
    I. Location of the Transponder
    
        The transponder shall be mounted at or near the top center of the 
    windshield, outside the area swept by the CMV's windshield wipers, or, 
    at a minimum, outside the driver's sight lines to the road and highway 
    signs or signals.
    
    II. Compliance With Wiring Requirements of the FMCSRs
    
        The installation of the transponder shall be required to comply 
    with either (a) 49 CFR 393.27, Wiring specification, and 49 CFR 393.33, 
    Wiring [and] installation, or (b) with SAE Recommended Practice J1292, 
    Automobile, Truck, Truck-Tractor, Trailer, and Motor Coach Wiring.
    
    III. Duration of Waiver; Accident and Incident Monitoring
    
        The waiver for HELP and ADVANTAGE I-75 is effective beginning April 
    5, 1995. The waiver shall remain in effect indefinitely, unless revoked 
    by the FHWA.
        Motor carriers participating in ADVANTAGE I-75 and HELP shall 
    provide the FHWA with information on accidents (as defined in 49 CFR 
    390.5) involving the vehicles equipped with the transponders. Accident 
    reports shall be submitted every 6 months, and shall contain the 
    information listed below: [[Page 12149]] 
        1. A copy of all accident reports prepared and required by State or 
    other governmental entities or insurers.
        2. Interview information with the driver and occupants of the CMV 
    involved. The information shall specifically indicate whether the 
    driver of the transponder-equipped vehicle believed that the presence 
    of the transponder was a factor in the accident. The interview shall be 
    conducted by a motor carrier employee responsible for supervising the 
    driver of the transponder-equipped vehicle.
    
    IV. State and Local Laws
    
        This waiver applies to all participating vehicles operating in 
    interstate commerce. Although incompatible State laws or regulations 
    perhaps cannot be changed to coincide with the start of the waiver 
    period, the FHWA strongly encourages State and local authorities with 
    safety regulations that would prohibit the use of the proposed 
    transponders to accept the terms and conditions of this waiver.
    
    V. Vehicles To Be Equipped With Transponders
    
        The names and USDOT numbers of the motor carriers participating in 
    the ADVANTAGE I-75 and HELP programs, as well as the number of 
    transponder-equipped CMVs operated by each carrier, shall be provided 
    to the FHWA. Motor carriers not participating in these programs may not 
    equip straight trucks, tractors, or motor coaches with the transponders 
    discussed in this waiver.
    
    VI. Termination of Waiver
    
        The FHWA may terminate this waiver at any time without prior 
    warning if it determines that continued use of the transponders 
    decreases the operational safety of the vehicles on which they are 
    installed. Upon receipt of a notice of termination, motor carriers 
    participating in the ADVANTAGE I-75 and HELP projects must immediately 
    remove the transponders from their vehicles.
    
    VII. Report
    
        ADVANTAGE I-75 and HELP shall provide separate reports describing 
    the transponder's installation and use within two years after the 
    effective date of the waiver. The reports shall include information 
    obtained from the drivers on the device's effect on visibility through 
    the windshield.
        The FHWA has fully considered the information presented in the 
    request for waiver, engineering and other technical material reviewed 
    concerning requirements for visibility from vehicles, and the comments 
    received. The FHWA hereby concludes that the waiver is consistent with 
    the public interest and the safe operation of commercial motor 
    vehicles. Accordingly, the FHWA hereby grants the Commonwealth of 
    Kentucky and Heavy Vehicle Electronic License Plate, Inc., their 
    petition for a waiver from the requirements of 49 CFR 393.60(c).
    
        Authority: 49 U.S.C. 31136, 31502; 49 CFR 1.48.
    
        Issued on: February 21, 1995.
    Rodney E. Slater,
    Federal Highway Administrator.
    [FR Doc. 95-5323 Filed 3-3-95; 8:45 am]
    BILLING CODE 4910-22-P
    
    

Document Information

Effective Date:
4/5/1995
Published:
03/06/1995
Department:
Federal Highway Administration
Entry Type:
Rule
Action:
Grant of petition for waiver.
Document Number:
95-5323
Dates:
April 5, 1995.
Pages:
12146-12149 (4 pages)
Docket Numbers:
FHWA Docket No. MC-94-28
PDF File:
95-5323.pdf
CFR: (1)
49 CFR 393