Tag Archives: NHTSA rulemaking

Public Comment Period Now Open for Proposed Rule for Rear Underride Guards on Trailers

Comments can now be submitted on NHTSA’s proposed rule for rear impact guards and rear impact protection on trailers. The Public Comment period will end on February 16, 2016.

More information on this rule and how to submit comments can be found here: http://www.regulations.gov/#!documentDetail;D=NHTSA_FRDOC_0001-1548

IIHS October 2014 Status Report Article First Page

article can be found at: IIHS Status Report October 2014

It is our hope that public comments on this rule, and the Underride Roundtable planned for May 5, 2016, will result in the best possible protection on the backs of trucks. Please pray for this important process.

https://annaleahmary.com/2015/10/underride-roundtable-save-the-date-may-5-2016/

An Amazing Week in Truck Safety Progress

We had some really good news this week. Progress was made on 2 out of the 3 requests which we made to Secretary Foxx in our original AnnaLeah & Mary Stand Up For Truck Safety Petition (http://www.thepetitionsite.com/957/501/869/stand-up-for-truck-safety/):
  1. On December 7, 2015, NHTSA announced the next step in the Underride Guard rulemaking: https://annaleahmary.com/2015/12/unexpected-events-progress-in-underride-protection/ & https://annaleahmary.com/2015/12/a-moms-knee-jerk-reaction-to-nhtsas-proposed-rule-to-improve-rear-underride-protection/ & http://www.wsbtv.com/videos/news/new-rules-help-keep-you-safer-behind-big-rigs/vDf9Rt/
  2. On December 10, 2015, FMCSA announced that the Final Rule was being released for the Electronic Logging Devices to log trucker hours of service (to help combat driver fatigue): https://annaleahmary.com/2015/12/fmcsa-finally-releases-the-electronic-logging-devices-rule-to-track-trucker-hours/.  http://americansleepandbreathingacademy.com/the-dots-war-on-drowsy-driving/
We want to thank everyone, who signed the ALMSUFTS petition. You helped to make this impact on highway safety. Please continue to support our efforts as we wage battle and move toward a goal of Zero Crash Deaths and Zero Serious Crash Injuries through our Vision Zero Petitionhttp://www.thepetitionsite.com/417/742/234/save-lives-not-dollars-urge-dot-to-adopt-vision-zero-policy/ and Underride Research:  https://www.fortrucksafety.com/
Thank you in memory of Mary & AnnaLeah and countless others,
Jerry and Marianne Karth
Petition Photo Bags at DOT, best
AnnaLeah, Mary at Muskegon
Washington DC 129

A Mom’s Knee-Jerk Reaction to NHTSA’s Proposed Rule to Improve Rear Underride Protection

First of all, let me say that I am grateful for the work which NHTSA has done on this problem and their willingness to address it at this time. Then, I have to admit that I am not an engineer. So it’s a good thing that we don’t have to depend on me to be the one to provide a thorough analysis of the recently released proposed rule for the improvement of tractor trailer rear impact protection standards and all of its technical pros and cons.

But I can provide a summary of the highlights included in the NPRM, along with some of my knee-jerk reactions as a mom of two girls, who perished due to a truck underride crash, and as an advocate for better underride protection.

These are my general reactions. . .

While this proposed rear underride rule is definitely a much-needed improvement to the existing standards, it does not appear to embrace a Vision Zero policy approach which would seek to reduce crash deaths and injuries whenever and however possible.

Many of the trailer manufacturers are already meeting Canadian standards, but IIHS research has shown that this is still not adequate to prevent underride in many crash scenarios–particularly offset crashes. http://www.iihs.org/ externaldata/srdata/docs/ sr4907.pdf

Also, when I look at what NHTSA is predicting in terms of lives saved by this proposed rule–1 out of the 125 annual reported PCI underride crash fatalities–I have to ask, “What about the other 124?!” And our daughters, AnnaLeah and Mary, were not even counted in the 2013 FARS crash data for PCI crash fatalities because our crash was listed as “Passenger Compartment Intrusion Unknown“!!!

IMG_4465IMG_4492

(Note: See our FARS crash report in my Public Comment on the Single Unit Truck rear impact protection ANPRM and a discussion of the problem of underride crash fatality UNDERREPORTING  and how it might impact the count of potential saved lives. . .  http://www.regulations.gov/#!documentDetail;D=NHTSA-2015-0070-0018)

In addition, there are many engineers around the globe who have come up with improved designs for underride protection, and there are many who are even now working on solutions that are stronger than the Canadian standards. They just have not yet been widely implemented or required.

It is, undoubtedly, an enormously significant step for NHTSA to acknowledge the need for stronger guards and to propose an improved guard. However, we do not want them to base the final rule merely on what will provide a “cost-effective” solution if, in fact, technology could be utilized which would save additional lives and prevent additional injuries.

One of our big concerns has been the apparently more vulnerable crash scenario when the smaller passenger vehicle hits the rear of the truck at the outer edges of the rear of the trailer. When Jerry and I visited Great Dane’s Research & Design Center in Savannah in June 2014, they pointed out that the company, Manac, which passed the 30% offset crash test had proven to be more vulnerable (although it still withstood the crash) at the 100% overlap test.

I reported on that in a previous blogpost in June 2014: “Great Dane, one of the major trailer manufacturers, observed that they passed all but one of the quasi-static crash tests—the narrow overlap. Great Dane also noted that their guard appeared to perform better on the full overlap test than Manac’s (which was the only company to pass all three tests in 2013). So Great Dane does not want to make a change which will strengthen one section of their guard but weaken another section. That’s understandable.”   https://annaleahmary.com/2014/06/underride-guards-can-we-sit-down-at-the-table-together-and-work-this-out/

NHTSA’s comments in the NPRM indicate that they do not want to compromise safety in the more common crash scenario and so have proposed to concentrate on making that area of the trailer safer and do nothing, at least at this stage in the game, about the other weaker area where crashes are reportedly less common. (See p. 44, ” NHTSA is not convinced that improved protection in the less frequent 30 percent overlap crashes should come at the cost of adequate protection in the more common 50 and 100 percent overlap crashes.”)

I just have to ask, Is it really an Either/Or situation? Are we sure that we cannot reasonably address both problems?

We are hoping and working toward the possibility that the Public Comments which will be submitted, the underride research both underway and proposed, and the Underride Roundtable which will be taking place at the IIHS Vehicle Research Center on May 5, 2016, will help to refine this rule so that it results in the best possible protection.

Here is the complete NPRM document: NPRM-underride.Dec2015

And here is the press release announcing the proposed rule:  https://www.transportation.gov/briefing-room/usdot-issues-nprm-improved-rear-impact-trailers-semitrailers#sthash.j6eu5DN1.dpuf

As I reviewed the NPRM document for rear impact protection on tractor-trailers, I created my own 9-page document by copying and pasting some of the highlights of the proposed rule (page numbers are indicated in case you want to go to the original document for further details). You can read my summary of the proposed rule here:  Highlights of the NPRM Rear Impact Guards, Rear Impact Protection December 2015 document

On December 10, I was interviewed by Atlanta investigative reporter, Jim Strickland:  http://www.wsbtv.com/news/news/local/new-rules-proposed-help-keep-you-safer-behind-big-/npgzd/.

Unexpected Events & Progress in Underride Protection

When we were headed from North Carolina to Texas, on May 4, 2013, and hit by a truck, not only did we lose our two youngest daughters, AnnaLeah (17) and Mary (13), but we lost the joy of celebrating fully with four of our children as they became college graduates in Texas during that month of May.

So, this past weekend, we were looking forward to a more uneventful trip to celebrate one of our sons’ graduation on December 5, 2015, from Concordia University in Austin, Texas. Unexpectedly, it really became a whole lot more.

In fact, we thoroughly enjoyed Levi’s graduation ceremony as he walked across the stage summa cum laude, along with the party afterwards at a Peruvian restaurant where we were able to spend an enjoyable afternoon with his friends.

Texas to North Carolina 2015 023 Texas to North Carolina 2015 062 DSCF6169

On our way back home to North Carolina, we stopped in Arlington to visit with our oldest daughter, Rebekah, and her husband, John. Instead of taking them out to dinner, they took us out to a holiday party hosted by her Tae Kwon Do instructor. There we had the pleasure of meeting with her friends and being there in person as she was presented with an unexpected award for her Indomitable Spirit.

Texas to North Carolina 2015 116 Texas to North Carolina 2015 110

The next day, as we started back toward North Carolina, I found myself going again through many emotions as I realized anew that this trip was the one we were supposed to be taking back home in May 2013 after a week of family celebrations–with AnnaLeah & Mary a part of our festivities and part of the crew returning home. I must admit that the trip was hard–with many memories triggered as we passed by landmarks.

DSCF6259 Exit 128 was where the crash took place 2 hours before ours and 2 miles ahead of our crash at Exit 130. That caused the traffic backup which the truck driver did not notice in time and consequently hit our car pushing us into another truck.DSCF6261

DSCF6264This is where our crash took place–about where that truck is is where we ended up after being dragged under the truck ahead of us.

IMG_4464

That night, as we decided to call it a day and stop for the night in Tuscaloosa, Alabama, I saw a sign for the University of Alabama and I knew that Birmingham was just down the road apiece. I thought, hey, that’s where Dean Sicking is!  We had only talked with Dean on the phone and corresponded with him via email about his proposed Underride Research Project.

Dean Sicking’s Underride Research Project Proposal: Development of Trailer Underride Preventive Measures

So, the next morning, before eating breakfast, I emailed Dean and his Research Assistant, Kevin Schrum, and said we were going to be driving through Birmingham and to give me a call if we could meet. A bit later, first Dean called to say he was going to be in a meeting that morning but he thought Kevin would be available. Then Kevin called and said that he would love to meet with us. We then had a very good meeting with Kevin and even recorded a few minutes of him talking about his passion for research and his confidence that much improvement could be made.

Kevin shared how he–like his mentor Dean Sicking–believes that the underride problem is not insurmountable and is hopeful that, with adequate backing, they could develop a step-by-step solution which could be adopted by the industry to ultimately reduce underride deaths to zero.

We were also able to talk about some ways in which they might be able to help us seek additional funding to back the research.

LOGO AnnaLeah & Mary for Truck Safety https://www.fortrucksafety.com/

After such an eventful trip, I did not have much memory or battery left on my camera, but I was able to capture some of Kevin’s passion and ideas on this video:

As if all of this were not enough, shortly after we got back on the road, I discovered that I had missed a call from Mark Rosekind, the Administrator of NHTSA, who wanted to give me a heads up that they were releasing a NPRM (Notice of Proposed Rule Making) proposing that the requirements for rear underride guards on tractor trailers be improved!

We have been awaiting this news ever since the initial Advance Notice of Proposed Rule Making (ANPRM) was announced in July 2014 following our delivery of  over 11,000 petition signatures requesting this on May 5, 2014. So this was unexpected excitement to add to our trip.

Not being at my computer hampered the following hours as I attempted to find out as much as I could. A summary of the proposed rule is that it will upgrade the requirements to match the Canadian standards (requiring them to withstand a crash at 35 mph rather than 30 mph), which many U.S. companies are already doing.

However, after a very cursory review of the 108 pages, as far as I can tell it does not address the problem with current standards failing in offset crashes (when the smaller vehicle does not hit dead center at the back of the truck). And the NPRM anticipates 1 saved life out of the 125 reported PCI underride crash fatalities on average annually. (Our crash is not reported as a PCI crash fatality but rather is listed in the federal crash data as “Passenger Compartment Intrusion Unknown“!)  What about the other 124?

Shortly after finding out this news, I also got a phone call from Jeff Plungis, a Bloomberg News reporter who had interviewed me last year extensively on the underride issue (http://www.bloomberg.com/news/2014-12-16/dead-girls-mom-says-100-truck-fix-may-have-saved-them.html). He asked me what my reaction was to the NPRM and later in the day published this article:  http://www.bloomberg.com/news/articles/2015-12-07/stronger-truck-guards-proposed-by-u-s-to-cut-rear-impact-deaths.

Here is the press release from NHTSA on the rear underride NPRM:  “A key component of DOT’s safety mission is ensuring that trucking, an essential element in our transportation system, operates not just efficiently, but safely,” U.S. Transportation Secretary Anthony Foxx said. “Today’s proposal is another important step in that effort.” – See more at: https://www.transportation.gov/briefing-room/usdot-issues-nprm-improved-rear-impact-trailers-semitrailers#sthash.j6eu5DN1.dpuf

And here is the NPRM itselfNPRM-underride.Dec2015

Take a moment to read Administrator Mark Rosekind’s thoughts on this important development in truck safety:

“Although the responsibility for both of these measures [this NPRM along with the ANPRM on Single Unit Trucks] lands on truck owners, that’s a function of vehicle design more than crash causality. We’ve also taken a number of steps over the years to prevent crashes resulting from driver behaviors, such as drunk driving, speeding, and distracted driving. And, we’re accelerating the spread of crash avoidance technologies such as automatic emergency braking and lane departure warning for passenger vehicles sold in the US.

But, when we have a cost-effective solution that can reduce the risk of death or injury to passenger vehicle occupants in the event of a crash into the rear of a trailer or semitrailer, our commitment to safety obligates us to propose it. Which is why today we’re proposing this enhancement of current rear impact guard standards.”  https://www.transportation.gov/fastlane/nhtsa-proposes-new-rear-impact-guard-standards

All in all, it was quite an eventful–albeit SAFE–trip!

 

 

Mechanical Engineering Student Makes a Good Case for Preventing Underride Crash Fatalities

Here is another good case for improvement in truck underride regulation and manufacture–this time from a mechanical engineering student:  http://www.regulations.gov/#!documentDetail;D=NHTSA-2015-0070-0078

It’s all good so be sure and read it, but here are some excerpts:

“Let us consider the future instead of the present for just a moment. A scary revelation is that passenger vehicles used by the commuting public are being designed to be smaller, lighter and built of lightweight composite materials. This engineering is done to improve fuel economy, handling, suspension, and improving the drivers experience. The key is to strive for an increase in safety at the same time. On the polar opposite side of the spectrum, the trucking industry has been trying to increase the size and maximum load of their CMVs to increase revenue for a number of years.

I believe the trucking industry should follow in the footsteps of Emilio Lopez, UPS’ Global Fleet Safety Manager, who was recently quoted in an article by Truckinginfo as saying, “It’s hard to put a ROI (return of investment) on saving someone’s life.” After reviewing recent studies on underride, researching previous studies, looking over police scene photographs and sketches, it can be noted that primarily, rear underride accidents occur at night where the driver of a small passenger vehicle cannot perceive a stopped vehicle.

My biggest issue with the NHTSA ANPRM Docket No.: NHTSA-2015-0070 is the following quote, “Among the 122 fatalities examined in this review, 49 (40 percent) were exceedingly severe crashes that were not survivable.” What if we stop believing traffic fatalities are inevitable and start believing that every traffic fatality is preventable? It may be a rather colossal way of thinking. Innovation can be accomplished by thinking big and starting small. Small steps are what eventually climbs the mountain. Introduce increased regulations on SUT in which the rear guard is stronger than FMVSS Nos. 223 and 224, potentially CMVSS No. 223 compliant guards. Use these regulations to collect real-world data from the increased structural rigidity to determine if the problem lies in the fact that the FMVSS Nos. 223 and 224 guards are not strong enough to begin with.”

Trip North May 2015 031We Rescue Jesus Saves 018

Sign & share Vision Zero Petition: http://www.thepetitionsite.com/417/742/234/save-lives-not-dollars-urge-dot-to-adopt-vision-zero-policy/

See how AnnaLeah & Mary for Truck Safety is raising money for underride research and planning an Underride Roundtable at IIHS on May 5, 2016:  https://www.fortrucksafety.com/ and https://annaleahmary.com/2015/10/underride-roundtable-save-the-date-may-5-2016/

 

Powerful & Informative Case Made for Underride Guard Improvement by Trucker/Attorney

Even if you think that you know all there is to know about truck underride, you’ll want to read the comments by this truck driver/truck crash attorney. He provides an in-depth understanding of how underride occurs and the horrific results.

With the extended Public Comment period coming to a close for Rear Underride Protection on Single Unit Trucks, there are some additional comments just posted on The Federal Register at regulations.gov.  http://www.regulations.gov/#!docketDetail;dct=FR+PR+N+O+SR;rpp=10;po=0;D=NHTSA-2015-0070

Of particular note is a very informative and powerful comment recently posted by Andy Young, a husband, father, truck owner, Class A CDL driver, truck accident attorney and a trial attorney: http://www.regulations.gov/#!documentDetail;D=NHTSA-2015-0070-0075 . The remainder of this post contains his public comment on that website:

“I bring a unique and varied perspective to the very issue under consideration. Not only does my background and experience provide me with credibility to make the within comments, but I have also researched issues regarding rear underride guards, lateral protection devices, and front override prevention. My research has even taken me overseas to see how other countries are handling some of the very issues raised in the comments submitted by original equipment manufacturers and by those who are part of the commercial trucking industry. Due to both my practical experience and research, I comment as a proponent in favor of the advance notice of proposed rulemaking (ANPRM).

Underride Crashes = The Eight Figure Jury Verdict

“The automotive industry spends millions, if not billions, in research and development. This research and development is specific to improving a vehicle’s safety features (energy absorbing bumpers, crumple zones, air bags, seat belts, etc.) all designed to keep the vehicle occupants safe. The engineering behind these safety features can mean the difference between a minor injury and a tragic fatality. No matter how safe the car may actually be, the safety features are only effective if there is good structural interaction (crash compatibility) between collision partners. This means there is a geometrical match up of the crush structure of both the striking vehicle and the vehicle being struck.

“A two vehicle collision involving a single-unit, commercial motor vehicle (CMV) and a light passenger vehicle frequently results in a mismatch of structural components at the first point of impact. The crash incompatibility is in large part due to the height of the CMV. This often results in an “underride” collision. The lower profile passenger vehicle physically goes underneath the higher profile CMV. The first point of impact is beyond the hood and into the glass windshield. The second point of impact then literally becomes the heads, faces, and chest of the lower profile vehicle’s occupants.

“Air bags do not deploy because the lower profile vehicle’s bumpers and air bag sensors are not triggered. Energy absorbing bumpers and crumple zones, all designed to keep the passenger compartment intact, become irrelevant. The load path from the crash results in energy that does not initially strike the intended engineered crush structure of the passenger vehicle. With no air bag and the vehicle traveling underneath the opposing vehicle, the occupant compartment is pierced resulting in a passenger compartment intrusion.

Thereafter, the seat belts restraining the occupants fail to prevent catastrophic injury or deadly consequences as the energy from the collision is absorbed directly by the human body. The car’s occupants then suffer the most horrific crash consequences: death by blunt trauma; decapitation; open skull fractures; traumatic brain injuries; degloving of the face; spinal cord injuries; paraplegia; or quadriplegia.

“The truck driver then suffers with a career-ending criminal vehicular homicide and/or criminal vehicular assault charges. At the very least, the truck driver suffers the psychological trauma associated with being an integral part of such a horrific crash. The truck company then likely encounters a civil lawsuit. The fatalities and catastrophic injuries associated with underride crashes typically produce seven figure to eight figure verdicts, all exceeding minimum insurance requirements. Smaller truck companies are saddled with paying the judgments in excess of insurance coverage. These companies then must sell assets and/or end up filing for bankruptcy.

“Everyone loses in an underride truck crash, the truck company and truck driver included. The typical argument that energy absorbing underride guards would increase weight and costs associated with that increase, simply do not equal the costs associated with the potential of a seven to eight figure jury verdict. My question to those in opposition to this measure is: if you are concerned about saving weight, then why not the same level of concern for saving lives?

Underride Lawsuit Example

“Underride crashes resulting in these devastating injuries and fatal results can even occur at lower speeds. A verdict was recently achieved in an underride collision involving a dump truck and a Honda sedan (Kiara E. Torres and Joshua Rojas vs. Concrete Designs, Inc., et al., Cuyahoga County, Case No. CV 12 795422 & 795474). The first point of impact was the windshield and “A Pillar” of the Honda’s front passenger side coming into contact with the back left corner of the dump truck’s cargo bed. The Honda’s front bumper and hood traveled underneath the dump truck’s steel cargo bed without damage. The geometrical mismatch of the collisions’ two partners caused the corner of the dump truck cargo bed to cut through the Honda’s windshield and into the skull of the right front seat passenger. This young man miraculously survived, but suffered an open skull fracture, a traumatic brain injury, and substantial physical limitations – all requiring a prohibitively expensive life care plan. Unfortunately, the Honda had three other passengers and this young man was not the only one exposed to the passenger compartment intrusion.

“The passenger compartment intrusion continued along the right side length of the Honda. The right backseat passenger succumbed to the load forces and also suffered a traumatic brain injury. Intriguingly and not atypical of collisions piercing into the passenger compartment, the two occupants on the left side of the Honda (the driver and the passenger behind the driver) walked away from the accident with minor injuries. The dump truck driver was also uninjured. Frequently, occupants not effected by the passenger compartment intrusion (particularly at lower speeds) can suffer no injury at all while those effected by the PCI can end up with injuries that result in substantial verdicts. The Jury returned a verdict in favor of the front seat passenger in the amount of $34,600,000.00 and the back seat right passenger in the amount of $7,800,000.00. 100% of the fault was apportioned against the dump truck driver. The total verdict for this underride crash was $42,400,000.00.

Over 62 Years Since Rear Underride Guard Requirement Update On SUTs

“The first standard for rear underride guards on CMVs was issued in 1953 by the Bureau of Motor Carriers. On June 29, 1967, national attention was brought to the issue of rear underride guard protection and vehicle crash compatibility when Jayne Mansfield, American actress, was killed as a front seat passenger in a 1966 Buick Electra. In spite of the 1953 rear guard requirement, this Buick hit the back of a tractor-trailer resulting in beyond the windshield passenger compartment intrusion. Three adults and three children were involved in the crash. The three adults seated in the front seat, Jayne Mansfield, her companion Attorney Sam Brody, and the car driver, Ronald B. Harrison were all killed. The actress’ three children (eight-year-old Mickey, six-year-old Zoltan, and three-year-old Marie) all survived and were claimed to have been in the back seat of the car. Early media reports wrongly believed Ms. Mansfield to have been decapitated.

“In 1969 and 1977, the NHTSA proposed an advance notice of rule making. Both regulatory attempts failed. Forty-five years after the 1953 rule requiring rear underride guards, the NHTSA promulgated an updated rear underride guard standard that became effective in 1998. The new mandate was for combination tractor-trailers only. They did not include single unit trucks (SUTs). The new rule required the following: rear guard ground clearance to be no more than 22 inches; rear wheel setbacks of no more than 12 inches from the cargo bed; and strength testing requirements. To date, the NHTSA has not updated rear underride guard requirements for SUTs. It is hoped that this ANPRM will succeed to regulatory mandate.

“In a letter dated April 3, 2014, the National Transportation Safety Board (NTSB) urged the NHTSA to take action regarding underride guards. The NTSB letter asked for a number of items regarding rear and side underride protections systems all “designed to prevent accidents and save lives” (Hersman, Deborah A.P., Chair, National Transportation Safety Board, Safety Recommendations, H-14-001 through -007, letter to The Honorable David J. Friedman, Acting Administrator, National Highway Transportation Safety Administration, page 14). On July 10, 2014, the NHTSA granted a petition for rule making submitted by Ms. Marianne Karth and the Truck Safety Coalition requesting the agency improve the safety of rear underride guards on trailers and SUTs (DOT, NHTSA, “Grant of Petition for Rulemaking; 49 CFR Part 571 FMVSS, Rear Impact Guards; Rear Impact Protection”). The Petitioners also made a request to improve side underride guards and front override protection.

Comments Against Need To Be Met With Skepticism

“Industry equipment manufacturers state that rear guards cannot be placed on various construction related vehicles. These statements need to be met with skepticism. Many European CMVs already have rear-underride guard protection on trucks, like dump trucks or box trucks with lift gates. Please see the following photographs I took while I attended the Commercial Vehicle Show in Birmingham, England this past April, 2014.

Note: The Public Comment can be accessed here to see the indicated photos.  http://www.regulations.gov/#!documentDetail;D=NHTSA-2015-0070-0075

“As evidenced by the photographs above, the U.S. lags behind other developed nations in providing meaningful rear impact protection. The photos above are just two examples of numerous applications allowing for rear impact protection and a lift gate or dump application. The argument that many SUTs need to have “good off-road mobility at construction sites” or “hitch connections” and therefore cannot have rear impact protection is likewise out-of-date thinking. Below, please see photographs from one vendor at the Commercial Motor Vehicle Show in Birmingham, England.

“While it is not readily apparent by these photographs, the vendor demonstrated how the rear impact protection guard can be adjusted up and down, as needed. Technology exists that debunk the argument that the rear impact guard would interfere with the work that the truck must perform.

Conclusion

“In this magnificent country of ours it is difficult to accept the fact that as a nation we are decades behind protecting our motorists from underride and/or override crash scenarios. The NHTSA has been slow to meaningfully regulate underride guard protection. As such, local governments, such as the City of Boston are passing ordinances requiring lateral protection devices on SUTs. Even the University of Washington announced that it is installing side guards on its campus fleet of SUTs. I implore the NHTSA to seriously consider meaningful passage of the pending proposal. We need to make sure that our citizens have the same protection as those in other nations. Sixty-two years is too long to wait to pass regulatory requirements that afford rear impact protection and other safety devices on single unit trucks.

“If you have any questions, I can be reached at 216-789-4832. My email is andytatransport@gmail.com. My Twitter account is @SafeDriveHome”

Note: Additional information can be gained by an article on underride by the same author: http://www.nphm.com/wp-content/uploads/2014/10/Piercing-The-Passenger-Compartment1.pdf?fd9d09 .

See my Public Comment as a firsthand example of the horrific, fatal injuries which too often occur in underride crashes: Marianne Karth – Comment  http://www.regulations.gov/#!documentDetail;D=NHTSA-2015-0070-0018

Underride Research Meme

Learn how AnnaLeah & Mary for Truck Safety is raising $ for Underride Research–a timely and life-saving effort:  https://www.fortrucksafety.com/

Our Vision Zero Petition seeks to bring about practical solutions to the problem of motor vehicle crash fatalities & injuries: http://www.thepetitionsite.com/417/742/234/save-lives-not-dollars-urge-dot-to-adopt-vision-zero-policy/

Additional Public Comments on Underride Protection for Single Unit Trucks

Here is the complete list of comments:  http://www.regulations.gov/#!docketBrowser;rpp=25;po=0;dct=PS;D=NHTSA-2015-0070

Here are the most recent comments added to the ANPRM for Underride Protection of Single Unit Trucks after the Public Comment Period was extended for 30 days until November 5, 2015.

Not sure how this is going to prevent people from driving into the rear of a truck… Maybe more money should be spent on educating drivers when they get their…
View Comment

Submitter Name: Anonymous
Posted: 10/08/2015
ID: NHTSA-2015-0070-0061
I am not apposed to putting on reflective tape on the side rails or boxes of straight trucks, but as for the rear guard what is going to be the rule for…
View Comment

Submitter Name: Johnson, Paul
Posted: 10/08/2015
ID: NHTSA-2015-0070-0059
As a long-time transportation industry professional, it is my opinion that CMVs should not be exempt from “bumper height” or any other safety regulations. The…
View Comment

Submitter Name: Gislason, John
Posted: 10/08/2015
ID: NHTSA-2015-0070-0060
Re: Conspicuity Rules. When the rules for class 8 vehicles were implemented, I operated a private fleet operating, primarily, east of the Mississippi river…
View Comment

Submitter Name: Schafer, Robert
Posted: 10/08/2015
ID: NHTSA-2015-0070-0058
September 21, 2015 Docket Management Facility, M-30 U.S. Department of Transportation West Building Ground Floor, Room W12-140 1200 New Jersey Avenue SE…
View Comment

Submitter Name: Kearney, Brendan
Posted: 09/28/2015
ID: NHTSA-2015-0070-0054

 

Rear Impact Guards for Single Unit Trucks: Public Comment Period Reopened for 30 days

NHTSA has re-opened the Public Comments period on the Advanced Notice of Proposed Rulemaking for Underride Protection on Single Unit Trucks. For 30 days until 11/5/2015.

So, if you have not yet made a Public Comment on this important issue, you now have an opportunity to do so.

https://www.federalregister.gov/articles/2015/10/06/2015-25377/federal-motor-vehicle-safety-standards-rear-impact-protection-lamps-reflective-devices-and

“This document reopens the comment period for a July 23, 2015 advance notice of proposed rulemaking (ANPRM) that NHTSA issued in response to a petition for rulemaking from Ms. Marianne Karth and the Truck Safety Coalition relating to rear impact (underride) guards. The original comment period closed September 21, 2015. The agency is reopening the comment period for 30 days.”

Reopening of Comment Period

NHTSA is reopening the comment period for the ANPRM for 30 days. (2) NHTSA believes that a 30 day period is sufficient and balances the interests of encouraging public participation in the rulemaking process with the desire to not unnecessarily delay key decisions by NHTSA about the rulemaking and attainment of the potential societal benefits associated with a final rule.

Accordingly, the public comment closing dates for DOT Docket No. NHTSA-2015-0070 (RIN 2127-AL57) is reopened for 30 days as indicated in theDATESsection of this document. NHTSA notes that the 30 day period is in addition to the time that has passed since the original September 21 comment closing date until today. Thus, all in all, more than 30 days has been provided. It is further noted that the agency will consider late comments to the extent possible.

Authority

49 U.S.C. 322, 30111, 30115, 30117 and 30166; delegation of authority at 49 CFR 1.95.

Raymond R. Posten,
Associate Administrator for Rulemaking.
[FR Doc. 2015-25377 Filed 10-5-15; 8:45 am]
BILLING CODE 4910-59-P

Footnotes

(1) As noted in the ANPRM (80 FR at 43664), in the near future NHTSA will be issuing a notice of proposed rulemaking on improving the standards’ performance requirements for guards on all vehicles subject to the standards.”

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Comments on the Federal Register can be seen here: http://www.regulations.gov/#!docketDetail;dct=FR+PR+N+O+SR;rpp=10;po=0;D=NHTSA-2015-0070

You can also see the Public Comments on these posts: https://annaleahmary.com/tag/suts/

 

What would a DOT Vision Zero policy look like in actual implementation?

In our petition, we have asked for a paradigm shift in how truck underride guards are regulated. This means that, instead of using a force-based design rule, DOT would require performance-based standards. In other words, when a manufacturer designs an underride protection system for a truck, they would have to crash test it and prove that it could actually withstand a crash.

And we want that to be true for higher speeds than currently required and for impact all along the back of the truck–not just at the center but also at the edges (where the guards currently fail in the majority of crashes). And then, we also want side guards to be a requirement.

A Vision Zero rulemaking policy would mean that Saved Lives would win out over dollars in decisionmaking. In contrast, look at what DOT decided about underride guards in  1974:

  • 1974 US Secretary of Transportation says deaths in cars that underride trucks would have to quadruple before underride protection would be considered cost beneficial.  (History of federal rulemaking on underride guards:  https://annaleahmary.com/underride-guards/ )

In fact, there have been many engineers over the years who have insisted that the guards were weak and ineffective and that stronger guards could be designed. Here are four examples of Vision Zero principles being applied by engineers who are currently hoping to design and/or promote more effective underride protection which would actually save lives:

  1. George Rechnitzer & Raphael Grzebieta, engineers in Australia with whom we have been in contact, have proposed performance-based standards and have done extensive underride research:  NHTSA-Docket-Submission-Grzebieta&Rechnitzer 20 Sept 2015 (or in the Federal Register Public Comments on underride protection for single unit trucks: http://www.regulations.gov/#!documentDetail;D=NHTSA-2015-0070-0021)
  2. Dean Sicking, an engineer at the University of Alabama, who designed NASCAR’s SAFER Barrier to save lives and is confident that he could apply those principles to underride protection. Here is the research proposal which he has given to us and for which we are raising money so that he can do it!  Development of Trailer Underride Preventive Measures
  3. Aaron Kiefer, a forensic engineer/crash reconstructionist, who has been motivated by the tragic, preventable crash deaths which he witnesses in his work, to design an innovative underride protection system which combines side & rear guard components. We have met him and were able to go see a prototype of his invention on a semi-trailer.  http://www.regulations.gov/#!documentDetail;D=NHTSA-2015-0070-0013
  4. IIHS has researched and petitioned for improved underride protection for many years: http://www.iihs.org/externaldata/srdata/docs/sr4907.pdf

For further information about Vision Zero, see these additional posts:  https://annaleahmary.com/tag/vision-zero/

 

Catch the Vision: Sign our Vision Zero Petition  http://www.thepetitionsite.com/417/742/234/save-lives-not-dollars-urge-dot-to-adopt-vision-zero-policy/

Petition screenshot 021

 

A Quest for the Best/Support Underride Research: Donate Now  https://www.fortrucksafety.com/

Underride Research Meme

Urge DOT to Adopt a Vision Zero Policy: Save Lives Not Dollars

On average, 40,000 people die each year in crashes.  Currently, the Department of Transportation makes highway safety rules based upon how much safety measures will cost. We are hoping to change that and promote a Vision Zero safety strategy model with goals of Zero Deaths, Zero Injuries, Zero Fear of Traffic.

MV-TRAFFIC-FATALITIES(1899-2009)

One of the biggest challenges to making change is the cost/benefit analysis. On the one side there are lives to be saved and on the other side there are companies working to make money. The trick is to try and meet everyone’s needs. The solution has to be effective in saving lives while still being affordable for companies so that they can make the changes necessary without a lot of struggle.

The problem comes in when human life and health get the short end of the stick. The result is that many safety measures are stopped because they would cost more to implement than the “worth” of the “small” number of human lives which would be saved. That’s just not right.

After losing two daughters in a truck underride crash on May 4, 2013, our family made a positive impact one year later by taking over 11,000 signatures on our AnnaLeah & Mary Stand Up For Truck Safety Care2 Petition to DOT in Washington, DC. And we have set up a non-profit to promote highway safety research and federal regulations to protect motorists, pedestrians, & cyclists.

Sign our new petition to let DOT Secretary Anthony Foxx know that we want him to:

1. Change rulemaking policy to move away from an economic-rationalist cost/benefit model and adopt a more humanistic, rational Vision Zero safety strategy model. “Vision Zero states that the loss of human life and health is unacceptable and therefore the road transport system should be designed in a way that such events do not occur.” http://tinyurl.com/9uhzyux

2. Apply Vision Zero principles by requiring crash test-based performance standards for truck underride guards rather than force-based design standards along with success at higher speeds—to include rear (both centered and offset) and side guards for both Single Unit Trucks and trailers.

3. Apply Vision Zero principles by requiring NHTSA to initiate rulemaking to require forward collision avoidance and mitigation braking (F-CAM) systems on all new large trucks and buses with a gross vehicle weight rating of 10,000 lbs. or more.

Please sign & share this petition in memory of AnnaLeah & Mary
and make the roads safer for us all:   http://www.thepetitionsite.com/417/742/234/save-lives-not-dollars-urge-dot-to-adopt-vision-zero-policy/

For more information: https://www.fortrucksafety.com/