Petition for Exemption From the Federal Motor Vehicle Theft Prevention Standard; Toyota Motor North America, Inc., 10888-10889 [2019-05445]
Download as PDF
10888
Federal Register / Vol. 84, No. 56 / Friday, March 22, 2019 / Notices
TABLE 3—ANNUAL COSTS FOR RECORD KEEPERS ASSOCIATED WITH TIRES—Continued
[New and retreaded]
FMVSS or regulation
Total yearly cost: ..............................................................
Manufacturers
or retreaders
Number of
molds
Cost per mold
($)
Cost per FMVSS
($)
..............................
..............................
..............................
267,620
TABLE 4—ANNUAL COSTS FOR RECORD KEEPERS ASSOCIATED WITH RIMS
[New and retreaded]
FMVSS
Number of
vehicles
Number of
rims
Cost per
label
Cost per
rim
Yearly cost
110/120 ..................................................
19,000,000
95,000,000
$0.0074
NA
$703,000
Public Comments Invited: You are
asked to comment on any aspect of this
information collection, including (a)
whether the proposed collection of
information is necessary for the
Department’s performance; (b) the
accuracy of the estimated burden; (c)
ways for the Department to enhance the
quality, utility, and clarity of the
information collection; and (d) ways the
burden could be minimized without
reducing the quality of the collected
information. The agency will summarize
and/or include your comments in the
request for OMB’s clearance of this
information collection.
Authority: The Paperwork Reduction Act
of 1995, 44 U.S.C. chapter 35; and delegation
of authority at 49 CFR 1.95 and 501.8.
Raymond R. Posten,
Associate Administrator for Rulemaking.
[FR Doc. 2019–05449 Filed 3–21–19; 8:45 am]
BILLING CODE 4910–59–P
DEPARTMENT OF TRANSPORTATION
National Highway Traffic Safety
Administration
Petition for Exemption From the
Federal Motor Vehicle Theft Prevention
Standard; Toyota Motor North
America, Inc.
National Highway Traffic
Safety Administration (NHTSA)
Department of Transportation (DOT).
ACTION: Grant of petition for exemption.
AGENCY:
This document grants in full
Toyota Motor North America, Inc.’s,
(Toyota) petition for an exemption of
the model year 2020 C–HR vehicle line
from the Federal Motor Vehicle Theft
Prevention Standard (Theft Prevention
Standard). The petition is granted
because the agency has determined that
the antitheft device to be placed on the
line as standard equipment is likely to
be as effective in reducing and deterring
SUMMARY:
VerDate Sep<11>2014
17:37 Mar 21, 2019
Jkt 247001
motor vehicle theft as compliance with
the parts-marking requirements of the
Theft Prevention Standard.
DATES: The exemption granted by this
notice is effective beginning with the
2020 model year (MY).
FOR FURTHER INFORMATION, CONTACT: Ms.
Carlita Ballard, Office of International
Policy, Fuel Economy and Consumer
Programs, NHTSA, West Building,
W43–439, NRM–310, 1200 New Jersey
Avenue SE, Washington, DC 20590. Ms.
Ballard’s phone number is 202–366–
5222. Her fax number is 202–493–2990.
SUPPLEMENTARY INFORMATION: In a
petition dated September 25, 2018,
Toyota requested an exemption from the
parts-marking requirements of the Theft
Prevention Standard for the C–HR
vehicle line beginning with model year
(MY) 2020. The petition requested an
exemption from parts-marking pursuant
to 49 CFR part 543, ‘‘Exemption from
Vehicle Theft Prevention Standard’’,
based on the installation of an antitheft
device as standard equipment for the
entire vehicle line.
Under 49 CFR part 543.5(a), a
manufacturer may petition NHTSA to
grant an exemption for one vehicle line
per model year. In its petition, Toyota
provided a detailed description and
diagram of the identity, design, and
location of the components of the
antitheft device for the C–HR vehicle
line. Toyota stated its MY 2020 C–HR
vehicle line will be installed with an
engine immobilizer device as standard
equipment. Toyota also stated it will
offer two entry/start systems on its C–
HR vehicle line. Specifically, Toyota
stated the C–HR vehicle line will be
offered with a ‘‘smart entry and start’’
system or a ‘‘transponder key and start’’
system. Key components of the ‘‘smart
entry and start’’ system on the C–HR
vehicle line will include, a certification
engine control unit (ECU), engine
switch, steering lock ECU, security
indicator, door control receiver,
electrical key, ID code box, and an
PO 00000
Frm 00119
Fmt 4703
Sfmt 4703
engine control module (ECM). Key
components of the ‘‘transponder key
and start’’ system on the C–HR vehicle
line will include, a transponder key
ECU assembly, transponder key coil,
security indicator, ignition key and an
ECM. Toyota stated there will also be
position switches installed on the
vehicle to protect the hood and doors
from unauthorized tampering/opening.
Toyota further explained that locking
the doors can be accomplished through
use of a key, wireless switch, or its
smart entry system, and unauthorized
tampering with the hood or door
without using one of these methods will
cause the position switches to trigger its
antitheft device to operate. Toyota will
not incorporate an audible and visual
alarm system on its vehicle line.
Toyota’s submission is considered a
complete petition as required by 49 CFR
543.7 in that it meets the general
requirements contained in § 543.5 and
the specific content requirements of
§ 543.6.
In addressing the specific content
requirements of § 543.6, Toyota
provided information on the reliability
and durability of its proposed device.
To ensure reliability and durability of
the device, Toyota conducted tests
based on its own specified standards.
Toyota provided a detailed list of the
tests conducted (i.e., high and low
temperature operation, strength, impact,
vibration, electro-magnetic interference,
etc.). Toyota stated it believes its device
is reliable and durable because it
complied with its own specific design
standards, and the antitheft device is
installed on other vehicle lines for
which the agency has granted a partsmarking exemption. As an additional
measure of reliability and durability,
Toyota stated its vehicle key cylinders
are covered with casting cases to
prevent the key cylinder from easily
being broken. Toyota further explained
there are approximately 10,000
combinations for inner cut keys, which
E:\FR\FM\22MRN1.SGM
22MRN1
Federal Register / Vol. 84, No. 56 / Friday, March 22, 2019 / Notices
makes it difficult to unlock the doors
without using a valid key because the
key cylinders would spin out and cause
the locks to not operate.
Toyota stated its ‘‘smart entry and
start’’ system is activated when the
engine switch is pushed from the ‘‘ON’’
ignition status to any other status. The
certification ECU then performs the
calculation for the immobilizer and the
immobilizer signals the ECM to activate
the device. Toyota also stated key
verification is performed after the driver
pushes the engine switch. Specifically,
after the driver pushes the engine
switch, the certification ECU and
steering lock ECU receive confirmation
of a valid key, and the certification ECU
allows the ECM to start the engine.
Toyota stated the ‘‘transponder key and
start’’ system is activated when the
ignition key is turned from the ‘‘ON’’
position to some other status and the
key is removed allowing the
immobilizer to activate and signal the
ECM. Toyota also stated in both
systems, a security indicator is installed
notifying users and others inside and
outside the vehicle with the status of the
immobilizer. Toyota further explained
the security indicator flashes
continuously when the immobilizer is
activated, and turns off when it is
deactivated. Toyota stated that the
proposed antitheft device has also been
installed as standard equipment on its
C–HR vehicle line beginning with its
MY 2018 vehicles. The theft rate for the
MY 2018 C–HR vehicle line is not
available. However, Toyota compared
its proposed device to other devices
NHTSA has determined to be as
effective in reducing and deterring
motor vehicle theft as would
compliance with the parts-marking
requirements. Toyota compared its
proposed device to that which has been
installed on the Nissan Altima and
granted a parts-marking exemption from
49 CFR part 541 by the agency
beginning with its MY 2000 vehicles.
Toyota also referenced the NHTSA theft
rate data published for several years
before and after the Nissan Altima was
equipped with a standard immobilizer
device. Specifically, Toyota stated the
publication showed the average theft
rate for the Nissan Altima dropped to
3.0 per 1,000 cars produced between
MY’s 2000–2006 compared to 5.3 per
1,000 cars produced between MY’s
1996–1999. This represents
approximately a 43% decrease in the
theft rate for the Nissan Altima vehicle
line installed with an immobilizer
VerDate Sep<11>2014
17:37 Mar 21, 2019
Jkt 247001
between MY’s 2000–2006 as compared
to the Nissan Altima vehicle line
without an immobilizer between MY’s
1996–1999. The theft rates for the
Nissan Altima vehicle line using an
average of three model years’ data
(2012–2014) are 2.4207, 1.7598 and
2.1212 respectively, all well below the
median theft rate of 3.5826. Therefore,
Toyota has concluded the antitheft
device proposed for its C–HR vehicle
line is no less effective than those
devices on the lines for which NHTSA
has already granted full exemption from
the parts-marking requirements. Toyota
stated it believes that installing the
immobilizer device as standard
equipment reduces the theft rate for the
C–HR vehicle line and expects it to
experience comparable effectiveness
and ultimately be more effective than
parts-marking labels.
Based on the supporting evidence
submitted by Toyota on its device, the
agency believes the antitheft device for
the C–HR vehicle line is likely to be as
effective in reducing and deterring
motor vehicle theft as compliance with
the parts-marking requirements of the
Theft Prevention Standard (49 CFR 541).
The agency concludes the device will
provide four of the five types of
performance listed in § 543.6(a)(3):
Promoting activation; preventing defeat
or circumvention of the device by
unauthorized persons; preventing
operation of the vehicle by
unauthorized entrants; and ensuring the
reliability and durability of the device.
Pursuant to 49 U.S.C. 33106 and 49
CFR 543.7 (b), the agency grants a
petition for exemption from the partsmarking requirements of Part 541, either
in whole or in part, if it determines that,
based upon substantial evidence, the
standard equipment antitheft device is
likely to be as effective in reducing and
deterring motor vehicle theft as
compliance with the parts-marking
requirements of Part 541. The agency
finds Toyota has provided adequate
reasons for its belief the antitheft device
for the C–HR vehicle line is likely to be
as effective in reducing and deterring
motor vehicle theft as compliance with
the parts-marking requirements of the
Theft Prevention Standard (49 CFR part
541). This conclusion is based on the
information Toyota provided about its
device.
The agency notes that 49 CFR part
541, Appendix A–1, identifies those
lines that are exempted from the Theft
Prevention Standard for a given model
year. 49 CFR part 543.7(f) contains
PO 00000
Frm 00120
Fmt 4703
Sfmt 4703
10889
publication requirements incident to the
disposition of all Part 543 petitions.
Advanced listing, including the release
of future product nameplates, the
beginning model year for which the
petition is granted and a general
description of the antitheft device is
necessary in order to notify law
enforcement agencies of new vehicle
lines exempted from the parts-marking
requirements of the Theft Prevention
Standard.
If Toyota decides not to use the
exemption for this line, it should
formally notify the agency. If such a
decision is made, the line must be fully
marked according to the requirements
under 49 CFR parts 541.5 and 541.6
(marking of major component parts and
replacement parts).
NHTSA notes if Toyota wishes in the
future to modify the device on which
this exemption is based, the company
may have to submit a petition to modify
the exemption. Part 543.7(d) states that
a Part 543 exemption applies only to
vehicles that belong to a line exempted
under this part and equipped with the
antitheft device on which the line’s
exemption is based. Further, Part
543.10(c)(2) provides for the submission
of petitions ‘‘to modify an exemption to
permit the use of an antitheft device
similar to but differing from the one
specified in that exemption.’’
The agency wishes to minimize the
administrative burden that Part
543.10(c)(2) could place on exempted
vehicle manufacturers and itself. The
agency did not intend in drafting Part
543 to require the submission of a
modification petition for every change
to the components or design of an
antitheft device. The significance of
many such changes could be de
minimis. Therefore, NHTSA suggests if
the manufacturer contemplates making
any changes, the effects of which might
be characterized as de minimis, it
should consult the agency before
preparing and submitting a petition to
modify.
For the foregoing reasons, the agency
hereby grants in full Toyota’s petition
for exemption for the model year 2020
C–HR vehicle line from the partsmarking requirements of 49 CFR part
541.
Issued in Washington, DC, under authority
delegated in 49 CFR part 1.95 and 501.8.
Raymond R. Posten,
Associate Administrator for Rulemaking.
[FR Doc. 2019–05445 Filed 3–21–19; 8:45 am]
BILLING CODE 4910–59–P
E:\FR\FM\22MRN1.SGM
22MRN1
Agencies
[Federal Register Volume 84, Number 56 (Friday, March 22, 2019)]
[Notices]
[Pages 10888-10889]
From the Federal Register Online via the Government Publishing Office [www.gpo.gov]
[FR Doc No: 2019-05445]
-----------------------------------------------------------------------
DEPARTMENT OF TRANSPORTATION
National Highway Traffic Safety Administration
Petition for Exemption From the Federal Motor Vehicle Theft
Prevention Standard; Toyota Motor North America, Inc.
AGENCY: National Highway Traffic Safety Administration (NHTSA)
Department of Transportation (DOT).
ACTION: Grant of petition for exemption.
-----------------------------------------------------------------------
SUMMARY: This document grants in full Toyota Motor North America,
Inc.'s, (Toyota) petition for an exemption of the model year 2020 C-HR
vehicle line from the Federal Motor Vehicle Theft Prevention Standard
(Theft Prevention Standard). The petition is granted because the agency
has determined that the antitheft device to be placed on the line as
standard equipment is likely to be as effective in reducing and
deterring motor vehicle theft as compliance with the parts-marking
requirements of the Theft Prevention Standard.
DATES: The exemption granted by this notice is effective beginning with
the 2020 model year (MY).
FOR FURTHER INFORMATION, CONTACT: Ms. Carlita Ballard, Office of
International Policy, Fuel Economy and Consumer Programs, NHTSA, West
Building, W43-439, NRM-310, 1200 New Jersey Avenue SE, Washington, DC
20590. Ms. Ballard's phone number is 202-366-5222. Her fax number is
202-493-2990.
SUPPLEMENTARY INFORMATION: In a petition dated September 25, 2018,
Toyota requested an exemption from the parts-marking requirements of
the Theft Prevention Standard for the C-HR vehicle line beginning with
model year (MY) 2020. The petition requested an exemption from parts-
marking pursuant to 49 CFR part 543, ``Exemption from Vehicle Theft
Prevention Standard'', based on the installation of an antitheft device
as standard equipment for the entire vehicle line.
Under 49 CFR part 543.5(a), a manufacturer may petition NHTSA to
grant an exemption for one vehicle line per model year. In its
petition, Toyota provided a detailed description and diagram of the
identity, design, and location of the components of the antitheft
device for the C-HR vehicle line. Toyota stated its MY 2020 C-HR
vehicle line will be installed with an engine immobilizer device as
standard equipment. Toyota also stated it will offer two entry/start
systems on its C-HR vehicle line. Specifically, Toyota stated the C-HR
vehicle line will be offered with a ``smart entry and start'' system or
a ``transponder key and start'' system. Key components of the ``smart
entry and start'' system on the C-HR vehicle line will include, a
certification engine control unit (ECU), engine switch, steering lock
ECU, security indicator, door control receiver, electrical key, ID code
box, and an engine control module (ECM). Key components of the
``transponder key and start'' system on the C-HR vehicle line will
include, a transponder key ECU assembly, transponder key coil, security
indicator, ignition key and an ECM. Toyota stated there will also be
position switches installed on the vehicle to protect the hood and
doors from unauthorized tampering/opening. Toyota further explained
that locking the doors can be accomplished through use of a key,
wireless switch, or its smart entry system, and unauthorized tampering
with the hood or door without using one of these methods will cause the
position switches to trigger its antitheft device to operate. Toyota
will not incorporate an audible and visual alarm system on its vehicle
line.
Toyota's submission is considered a complete petition as required
by 49 CFR 543.7 in that it meets the general requirements contained in
Sec. 543.5 and the specific content requirements of Sec. 543.6.
In addressing the specific content requirements of Sec. 543.6,
Toyota provided information on the reliability and durability of its
proposed device. To ensure reliability and durability of the device,
Toyota conducted tests based on its own specified standards. Toyota
provided a detailed list of the tests conducted (i.e., high and low
temperature operation, strength, impact, vibration, electro-magnetic
interference, etc.). Toyota stated it believes its device is reliable
and durable because it complied with its own specific design standards,
and the antitheft device is installed on other vehicle lines for which
the agency has granted a parts-marking exemption. As an additional
measure of reliability and durability, Toyota stated its vehicle key
cylinders are covered with casting cases to prevent the key cylinder
from easily being broken. Toyota further explained there are
approximately 10,000 combinations for inner cut keys, which
[[Page 10889]]
makes it difficult to unlock the doors without using a valid key
because the key cylinders would spin out and cause the locks to not
operate.
Toyota stated its ``smart entry and start'' system is activated
when the engine switch is pushed from the ``ON'' ignition status to any
other status. The certification ECU then performs the calculation for
the immobilizer and the immobilizer signals the ECM to activate the
device. Toyota also stated key verification is performed after the
driver pushes the engine switch. Specifically, after the driver pushes
the engine switch, the certification ECU and steering lock ECU receive
confirmation of a valid key, and the certification ECU allows the ECM
to start the engine. Toyota stated the ``transponder key and start''
system is activated when the ignition key is turned from the ``ON''
position to some other status and the key is removed allowing the
immobilizer to activate and signal the ECM. Toyota also stated in both
systems, a security indicator is installed notifying users and others
inside and outside the vehicle with the status of the immobilizer.
Toyota further explained the security indicator flashes continuously
when the immobilizer is activated, and turns off when it is
deactivated. Toyota stated that the proposed antitheft device has also
been installed as standard equipment on its C-HR vehicle line beginning
with its MY 2018 vehicles. The theft rate for the MY 2018 C-HR vehicle
line is not available. However, Toyota compared its proposed device to
other devices NHTSA has determined to be as effective in reducing and
deterring motor vehicle theft as would compliance with the parts-
marking requirements. Toyota compared its proposed device to that which
has been installed on the Nissan Altima and granted a parts-marking
exemption from 49 CFR part 541 by the agency beginning with its MY 2000
vehicles. Toyota also referenced the NHTSA theft rate data published
for several years before and after the Nissan Altima was equipped with
a standard immobilizer device. Specifically, Toyota stated the
publication showed the average theft rate for the Nissan Altima dropped
to 3.0 per 1,000 cars produced between MY's 2000-2006 compared to 5.3
per 1,000 cars produced between MY's 1996-1999. This represents
approximately a 43% decrease in the theft rate for the Nissan Altima
vehicle line installed with an immobilizer between MY's 2000-2006 as
compared to the Nissan Altima vehicle line without an immobilizer
between MY's 1996-1999. The theft rates for the Nissan Altima vehicle
line using an average of three model years' data (2012-2014) are
2.4207, 1.7598 and 2.1212 respectively, all well below the median theft
rate of 3.5826. Therefore, Toyota has concluded the antitheft device
proposed for its C-HR vehicle line is no less effective than those
devices on the lines for which NHTSA has already granted full exemption
from the parts-marking requirements. Toyota stated it believes that
installing the immobilizer device as standard equipment reduces the
theft rate for the C-HR vehicle line and expects it to experience
comparable effectiveness and ultimately be more effective than parts-
marking labels.
Based on the supporting evidence submitted by Toyota on its device,
the agency believes the antitheft device for the C-HR vehicle line is
likely to be as effective in reducing and deterring motor vehicle theft
as compliance with the parts-marking requirements of the Theft
Prevention Standard (49 CFR 541). The agency concludes the device will
provide four of the five types of performance listed in Sec.
543.6(a)(3): Promoting activation; preventing defeat or circumvention
of the device by unauthorized persons; preventing operation of the
vehicle by unauthorized entrants; and ensuring the reliability and
durability of the device.
Pursuant to 49 U.S.C. 33106 and 49 CFR 543.7 (b), the agency grants
a petition for exemption from the parts-marking requirements of Part
541, either in whole or in part, if it determines that, based upon
substantial evidence, the standard equipment antitheft device is likely
to be as effective in reducing and deterring motor vehicle theft as
compliance with the parts-marking requirements of Part 541. The agency
finds Toyota has provided adequate reasons for its belief the antitheft
device for the C-HR vehicle line is likely to be as effective in
reducing and deterring motor vehicle theft as compliance with the
parts-marking requirements of the Theft Prevention Standard (49 CFR
part 541). This conclusion is based on the information Toyota provided
about its device.
The agency notes that 49 CFR part 541, Appendix A-1, identifies
those lines that are exempted from the Theft Prevention Standard for a
given model year. 49 CFR part 543.7(f) contains publication
requirements incident to the disposition of all Part 543 petitions.
Advanced listing, including the release of future product nameplates,
the beginning model year for which the petition is granted and a
general description of the antitheft device is necessary in order to
notify law enforcement agencies of new vehicle lines exempted from the
parts-marking requirements of the Theft Prevention Standard.
If Toyota decides not to use the exemption for this line, it should
formally notify the agency. If such a decision is made, the line must
be fully marked according to the requirements under 49 CFR parts 541.5
and 541.6 (marking of major component parts and replacement parts).
NHTSA notes if Toyota wishes in the future to modify the device on
which this exemption is based, the company may have to submit a
petition to modify the exemption. Part 543.7(d) states that a Part 543
exemption applies only to vehicles that belong to a line exempted under
this part and equipped with the antitheft device on which the line's
exemption is based. Further, Part 543.10(c)(2) provides for the
submission of petitions ``to modify an exemption to permit the use of
an antitheft device similar to but differing from the one specified in
that exemption.''
The agency wishes to minimize the administrative burden that Part
543.10(c)(2) could place on exempted vehicle manufacturers and itself.
The agency did not intend in drafting Part 543 to require the
submission of a modification petition for every change to the
components or design of an antitheft device. The significance of many
such changes could be de minimis. Therefore, NHTSA suggests if the
manufacturer contemplates making any changes, the effects of which
might be characterized as de minimis, it should consult the agency
before preparing and submitting a petition to modify.
For the foregoing reasons, the agency hereby grants in full
Toyota's petition for exemption for the model year 2020 C-HR vehicle
line from the parts-marking requirements of 49 CFR part 541.
Issued in Washington, DC, under authority delegated in 49 CFR
part 1.95 and 501.8.
Raymond R. Posten,
Associate Administrator for Rulemaking.
[FR Doc. 2019-05445 Filed 3-21-19; 8:45 am]
BILLING CODE 4910-59-P