Passenger vehicle emergency exits – Carriers can’t escape the requirements
The Commercial Vehicle Safety Association (CVSA) Passenger Carrier Committee met in May 2022 regarding the inspection criteria for emergency exits, mainly focusing on mini-bus conversions. Still, their work can apply to all buses.
Minibuses converted for use in party buses and other charter services usually have manufacturer-installed seats removed and replaced with seating along the sides. However, the newly installed seatbacks or window coverings can block emergency exit handles and exit markings, creating a hazardous situation for passengers and potential liability.
Modified vehicles and all other passenger-carrying commercial motor vehicles (CMVs) must meet the emergency exit regulations, which are checked primarily during destination and terminal inspections. Carriers can also minimize risk by adopting the Committee’s inspection best practices.
Meeting regulatory minimums
The emergency exit regulations are in the Federal Motor Carrier Safety Regulations (FMCSRs) in Section 393.62 with references to the appropriate Federal Motor Vehicle Safety Standards (FMVSS) based on the vehicle manufacture date.
The following areas are crucial to passenger vehicle exit compliance:
Converted vehicles: Before using converted vehicles in commerce, the emergency exits must be marked and legible from the adjacent seats and aisle. No window covering or any part of a modification can block exit markings or release levers and operating instructions.
Push-out windows: Push-out windows must be releasable by operating no more than two mechanisms and allow manual release by a single occupant per 393.62(d)(2). The mechanism must not require force greater than specified based on the release motion type.
Exit markings: Section 393.62(e) requires that each emergency exit be marked with the appropriate label and operating instructions as follows:
“The emergency exits and doors on all buses (including school buses used in interstate commerce for non-school bus operations) must be marked “Emergency Exit” or “Emergency Door” followed by concise operating instructions describing each motion necessary to unlatch or open the exit located within 152 mm (6 inches) of the release mechanism.”
Emergency exit inspections: The push-out windows, emergency doors, and emergency door marking lights must be inspected at least every 90 days per 396.3(a)(2). Inspection records must be retained for at least one year or six months after the vehicle is no longer under carrier control.
Preparing for CVSA inspections
CVSA published bulletin 2022-04 – Passenger Carrier Vehicle Emergency Exit inspection covering:
- Emergency exit inspection procedures for all size passenger-carrying CMVs, including converted vehicles.
- Functional requirements for emergency exits.
The bulletin can be found at the following URL:
https://roar-assets-auto.rbl.ms/documents/48942/2022-04-Inspection-Bulletin.pdf
Driver inspection best practices
The Committee recommended adding emergency exits to the pre-trip inspection and stressed the following points:
- Ensure drivers know how to operate each emergency exit type, including roof hatches.
- Train drivers on how to inspect exit conditions (open and close), and markings.
- Require a walk-through inspection of exits by the driver after dropping off groups.
- Repairs or corrections should be made before the vehicle leaves for the next trip.
- Ensure each vehicle has a supply of appropriate markings onboard to replace any missing or damaged markings that may occur during trips.
Keys to remember
Passenger carriers must ensure people can safely exit a vehicle in an emergency. Meet or exceed regulations by continuously training drivers to reinforce the regulations, company policies, and the importance of emergency exit inspections.