Category Archives: Safety Advocacy
We The People Must Stand Up To Industry Opposition To Lifesaving Underride Protection Technology
We the People must grab the reins of power to protect vulnerable travelers on our roads. The federal government and the trucking industry are either dragging their feet or deliberately opposing* efforts to get life-saving underride protection technology on all large trucks. It’s up to us to change the course of history.
The STOP Underrides! Bill has already been introduced (on December 12, 2017) by Senator Gillibrand, Senator Rubio, Congressman Cohen, and Congressman DeSaulnier. Now it’s time to let every one of our legislators know that it is not just Lois Durso and Marianne Karth who want this bill passed. The people of this country must speak up and demand that this practical solution be required.
Are you with us?
Watch this compelling video:
Over 57,000 people have signed the STOP Underrides! Petition. We need a strong voice calling for an end to these preventable tragedies. If you have not already done so, please sign this petition: Congress, Act Now To End Deadly Truck Underride!
Spread the word! Share the video and the petition.
Please let us know if you would be willing to put a bumper sticker on your car to raise awareness. If so, email us at stopunderrides@gmail.com.
* Letters from Trucking Industry Associations in Opposition to Underride Technology Mandates (with a response from Senator Gillibrand & a blogpost from a truck driver advocate)
- Truck Trailer Manufacturers Association Letter to NHTSA re: side guards
- OOIDA pens letter to Senate opposing underride guard bill
- Letter from Senator Gillibrand in response to OOIDA
- ATA letter to Commerce TI on Safety and the STOP Underrides Act FINAL 6.1.18
- Ask The Trucker Blog: Unknown facts about underride crashes and prevention
- My knee-jerk reaction to the ATA Letter of Opposition to the STOP Underrides! Bill
It is unfortunate that the regulated industry has such power over how they are regulated. Their decisions and actions are apparently informed by a strong inclination to protect the bottomline rather than by the conscience of individuals within that industry. How frustrating that they do not truly take into account the “honest bottomline” for, if they did, they would know that it would be to their ultimate advantage to make full use of every safety technology available to them.
Here is a FAQ document with answers to frequently asked questions about the STOP Underrides! Bill: FAQ STOP Underrides Bill. I hope that it helps to get us all on the same page and moving more quickly toward effective collaboration to end truck underride tragedies with Win/Win solutions.
After all, this is not about getting the truck industry to get in line — or else. To quote Rose in The Last Jedi: That’s how we’re gonna win. Not fighting what we hate, saving what we love.
Road to Zero Coalition Members Can Sign On Here to the Truck Underride Priority Statement!
A compelling look at Death By Underride from Cool Breeze Studio
Lois Durso & I were privileged to meet with Michael Hawkins (Cool Breeze Studio) last week at his studio in South Carolina to begin work on some underride video productions. Mike just finished this short look at Death By Underride.
In memory of Roya, AnnaLeah & Mary and the countless other victims of underride
With the hope that countless other people will be spared a similar fate
Sign the STOP Underrides! Petition here: Congress, Act Now To End Deadly Truck Underride!
Road to Zero Coalition Released a Truck Underride Priority Statement
We were excited to receive news on June 26 that the Road to Zero Coalition (RTZ) has published a Truck Underride Priority Statement on their website.
The Road to Zero Coalition is working to end preventable deaths on U.S. roadways by 2050. With that goal in mind, the Coalition is developing Safety Priority Statements that most – if not all – Coalition members can support.
- Truck Underride Priority Statement
- Occupant Restraint Priority Statement
- Automated Speed Enforcement Priority Statement
- Alcohol-Impaired Driving Priority Statement
The National Safety Council leads the Road to Zero initiative in partnership with the U.S. Department of Transportation – specifically the National Highway Traffic Safety Administration, the Federal Highway Administration and the Federal Motor Carrier Safety Administration.
A Sign-On form is now available here, so that RTZ Coalition member organizations can add their name. Coalition members (over 675 as of this date) are listed here: RTZ Coalition Members
As of June 26, 2018, the following organizations have already signed on in support of the Truck Underride Priority Statement:
- AAA aaa.org
- Advocates for Highway and Auto Safety saferoads.org
- American Association of Motor Vehicle Administrators aamva.org
- American Association of State Highway and Transportation Officials transportation.org
- Commercial Vehicle Safety Alliance cvsa.org
- Global Automakers globalautomakers.org
- Governors Highway Safety Association ghsa.org
- Institute of Transportation Engineers ite.org
- Insurance Institute for Highway Safety iihs.org
- Intelligent Car Coalition intelligentcarcoalition.org
- International Association of Chiefs of Police theiacp.org
- MADD madd.org
- National Association of City Transportation Officials nacto.org
- National Association of County Engineers naco.org
- National Association of State Emergency Medical Service Officials nasemso.org
- National Safety Council nsc.org
- Vision Zero Network visionzeronetwork.org
- AnnaLeah & Mary for Truck Safety annaleahmary.com
- Stop Underrides In Loving Memory of Roya stopunderrides.org
We are thankful to the RTZ Steering Group for taking the time to discuss and approve this important means of providing a stronger voice for the vulnerable victims of truck underride.
Those who wish to add their voice, but are not RTZ Coalition members, can either join RTZ here: Road to Zero Coalition Membership Form
Or, write their own Letter of Support and Sign the STOP Underrides! Petition here: Congress, Act Now To End Deadly Truck Underride!
If you have lost a loved one in a truck crash, find out if underride was involved. Contact us to find out more.
Many times when people lose a loved one in a truck crash, they are not aware that the outcome of the crash might have been different if there had been adequate and effective underride protection to stop the car from going under the truck.
If you have lost a loved one in a truck crash, find out if underride was involved. We lost AnnaLeah when she was 17 and Mary when she was 13 because of a truck underride crash on May 4, 2013. We are working hard to make sure that this doesn’t happen to anyone else. We hope to have other families join with us to win this battle to end preventable underride tragedies.
Contact us to find out more. Email: marianne@annaleahmary.com
See a few of the thousands upon thousands of underride tragedies at Underride Crash Memorials and on our Interactive Underride Crash Map. To add more information on these stories or to add other underride crashes to this map, send an email to underridemap@gmail.com; use this Interactive Underride Crash Map Crash Location Input Form.
Four Separate School Bus Underride Crashes in the Last Six Months
Don’t I wish this were true: “Mom! Mom! Mrs. Karth got the law passed, Mrs. Karth got the law passed!!!”

44,000+ STOP Underrides! Petition Signatures Posted on the Federal Register
New NHTSA Study: Computer Modeling & Evaluation Of Side Underride Designs
NHTSA has finally released the report from the side underride study which they commissioned Texas A&M to do in 2016-2017. Here is the press release: https://www.nhtsa.gov
The study: Computer Modeling and Evaluation Of Side Underride Protective Device Designs
More later on our analysis of the research.
Knee-jerk reaction: I am glad that they finally proceeded with technical studies on side underride. But countless lives have been lost since 1969 when DOT announced that they intended to extend underride protection on the sides of large trucks after technical studies were completed.
It is high time for someone to act responsibly. Either Senator Thune can respond and move the STOP Underrides Bill forward, or NHTSA can act on its own and do supplemental comprehensive underride rulemaking. Either way, many lives will be saved.
If they refuse to act appropriately, who should bear the blame for continued preventable underride tragedies?
Truck Underride Prevention Doesn’t Fit Mold of Occupant Protection or Public Health Injury Prevention
So why has the underride problem — known about for decades — not been adequately addressed? It does not fit into traditional Public Health injury prevention categories such as driver behavior, air bags, seat belts or car seats. It has fallen between the cracks because it does not properly fit into traditional Occupant Protection classifications.
Underride protective devices are meant to protect the occupants of passenger vehicles, but they are not installed in or on the passenger vehicle. They are (or would be if they were mandated) installed on commercial motor vehicles, but they do not protect the occupants of commercial motor vehicles.
The owners of commercial motor vehicles receive no benefit from underride technology. In fact, it has generally been their perspective that it would cost them far more than the risk that they would avoid, because, if they meet the federal underride standard, then they have no liability for deaths and injuries which occur when cars go under their trucks. So, why would they bother to install this equipment? TRANSPORTATION RESEARCH CIRCULAR E-C117 The Domain of Truck and Bus Safety Research, pp. 133-135
Beyond that, at least some in the industry have made the claim that the manufacturer has no duty to protect non-occupants — that is, occupants of vehicles which collide with the commercial motor vehicle:
The Mieher court made a critical distinction between its holding and other cases where Illinois courts have held that vehicle manufacturers owe a duty to their vehicle’s occupants to manufacture a vehicle in which it is safe to collide. In such cases, the courts have held that a manufacturer can be liable for defects in its vehicle that cause injuries over and above those that would have occurred from the accident but for the defective design. This is commonly referred to as the “enhanced injury,” “second collision” or “crashworthiness” doctrine. In these cases, after the initial impact, occupants of a vehicle sustain enhanced injuries due to alleged defects in the vehicle.
In Larsen v. General Motors Corp., 391 F.2d 497 (8th Cir. 1968), the court held that injury-producing impacts are “foreseeable” and, therefore, a manufacturer has a duty to design its vehicle to avoid subjecting its user to an unreasonable risk of harm. The Mieher court, however, refused to expand the “foreseeability” rule set forth in Larsen to find that a vehicle manufacturer owes a duty to non-occupants of its vehicle. The Mieher court explained that the foreseeability rule was not “intended to bring within the ambit of the defendant’s duty every consequence which might possibly occur.” The Mieher court logically explained that “in retrospect almost nothing is entirely unforeseeable” and, therefore, vehicle manufacturers do not have a duty to design vehicles to prevent injuries to non-occupants who collide with their vehicles. Thus, following Mieher, a plaintiff could bring a claim for enhanced injuries against the manufacturer of the vehicle in which he was riding, but could not bring a claim against the manufacturer of the vehicle with which his vehicle collided. Illinois vehicle manufacturers have no duty to protect non-occupants who collide with their vehicles
See where that leads. . . no liability. No responsibility for protection of the vulnerable motoring public who is daily at risk of underride upon collision with commercial motor vehicles due to the geometric mismatch between truck and car bumpers.
The problem has, in fact, been studied by the NHTSA, as described in that same article,
In fact, in looking at the history of the federal regulations, there is evidence that rear underride guards may not even decrease the risk of injury to occupants of vehicles that collide with the rear of tractors and trailers. The NHTSA began to study the rear underride issue in an attempt to improve underride protection for passenger car occupants as far back as 1967. 32 Fed. Reg. 14278 (10/14/67); see also NHTSA Docket No. 1-11. In 1971, however, the NHTSA abandoned its initial efforts after reviewing accident data and evaluating costs. It determined that the benefit from underride guards was not commensurate with the cost of implementing a standard. In fact, subsequent studies showed that rigid underride guards increased deceleration forces on the colliding vehicle and actually increased the risk of injury to occupants. See, e.g., 46 Fed. Reg. 2136, 2138 (1/8/81). As a result, the NHTSA began to perform testing in an effort to identify a guard that would absorb a sufficient amount of energy during impact without increasing deceleration forces. The NHTSA, however, estimated that only between four and fifteen lives per year would be saved even with this new type of guard. Illinois vehicle manufacturers have no duty to protect non-occupants who collide with their vehicles
Two problems which I have with that are:
- It is well known that underride has been under-reported and thus under-counted — perhaps it is actually involved in 50% of truck/car fatalities rather than the FARS reported 4% according to this study. And consider that only one of my two daughters is listed as an underride fatality in the 2013 FARS data. Thus, the cost/life saved will always seem to be higher than it actually would be. In addition to that, technology has been developed to prevent more underride events than what NHTSA has previously considered possible; that will also change the cost/benefit analysis.
- I’d like to see the sources for the studies referred to here: subsequent studies showed that rigid underride guards increased deceleration forces on the colliding vehicle and actually increased the risk of injury to occupants. And I would like to know how those studies would be interpreted now given the change in passenger vehicle crashworthiness since those studies were completed (including crumple zones and airbags). What might we gain were public health injury prevention professionals to take an interest in this dilemma? Certainly crash testing has produced data from studying the impact on crash dummies.
Along that line, check out this very enlightening 2010 article by Safety Research & Strategies, Inc.: Are Rear Underride Guards Overrated?
Also, read this discussion of the deceleration forces controversy: Urgent Underride Discussion of Deceleration Forces/High Speeds. Don’t Dawdle.
My conclusion, therefore, is that Underride Protection has not previously been categorized as a Public Health Injury Prevention or Occupant Protection issue. Traffic Safety professionals have apparently turned a blind eye to the problem (whether out of ignorance or helplessness, I don’t know) and left it to the trucking industry to deal with. The bottomline is that: No one has been able to effectively stick up for the occupants of passenger vehicles who are at risk of going underneath large trucks and experiencing life-threatening injuries — despite the fact that promising technology has been and continues to be suggested.
It is high past time for underride to get the attention it deserves. Certainly underride victims themselves, for the most part, are not still around to speak up. Had our car rear-ended a truck in the normal fashion, I would be one of those victims myself — rather than my daughters AnnaLeah & Mary — and so I would not be here to uncover and expose the facts.
Perhaps we need a Public Health professional to be appointed as National Traffic Safety Ombudsman — someone who has a visible role and can serve as a vigilant voice to advocate for vulnerable victims of vehicle violence, in this case the very violent Death By Underride. Let this person serve on the Committee On Underride Protection which the STOP Underrides! Act of 2017 mandates be established in order to facilitate effective collaboration to solve the underride problem.
Just ask those who have already lost a loved one because of misconceptions or outright resistance. I’m sure they might tell you, “Please don’t dawdle. Preventing underride is an urgent matter!”
Other posts on Public Health & Underride: