80_FR_75871 80 FR 75639 - Public Transportation Safety Certification Training Program

80 FR 75639 - Public Transportation Safety Certification Training Program

DEPARTMENT OF TRANSPORTATION
Federal Transit Administration

Federal Register Volume 80, Issue 232 (December 3, 2015)

Page Range75639-75656
FR Document2015-30466

The Federal Transit Administration (FTA) seeks public comment on a notice of proposed rulemaking (NPRM) for safety certification training. FTA proposes to adopt the current interim safety certification training provisions as the initial regulatory training requirements for public transportation industry personnel responsible for safety oversight of public transportation systems. The NPRM defines to whom the training requirements apply, describes recordkeeping requirements, provides administrative provisions, and compliance requirements.

Federal Register, Volume 80 Issue 232 (Thursday, December 3, 2015)
[Federal Register Volume 80, Number 232 (Thursday, December 3, 2015)]
[Proposed Rules]
[Pages 75639-75656]
From the Federal Register Online  [www.thefederalregister.org]
[FR Doc No: 2015-30466]


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DEPARTMENT OF TRANSPORTATION

Federal Transit Administration

49 CFR Part 672

[Docket No. FTA-2015-0014]
RIN 2132-AB25


Public Transportation Safety Certification Training Program

AGENCY: Federal Transit Administration (FTA), DOT.

[[Page 75640]]


ACTION: Notice of proposed rulemaking; request for comments.

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SUMMARY: The Federal Transit Administration (FTA) seeks public comment 
on a notice of proposed rulemaking (NPRM) for safety certification 
training. FTA proposes to adopt the current interim safety 
certification training provisions as the initial regulatory training 
requirements for public transportation industry personnel responsible 
for safety oversight of public transportation systems. The NPRM defines 
to whom the training requirements apply, describes recordkeeping 
requirements, provides administrative provisions, and compliance 
requirements.

DATES: Comments must be received by February 1, 2016. FTA will accept 
late-filed comments to the extent practicable.

ADDRESSES: Please submit your comments by only one of the following 
methods:
     Online: Use the Federal eRulemaking portal at http://www.regulations.gov and follow the instructions for submitting 
comments.
     U.S. Mail: Send your comments to the Docket Management 
Facility, U.S. Department of Transportation, 1200 New Jersey Avenue 
SE., W12-140, Washington, DC 20590-0001.
     Hand Delivery or Courier: Go to Room W12-140 on the ground 
floor of the West Building, U.S. Department of Transportation 
headquarters, 1200 New Jersey Avenue SE., between 9 a.m. and 5 p.m. 
Eastern time, Monday through Friday except Federal holidays.
     Telefax: Send your comments to 202-493-2251.
    Instructions: All comments must include the docket number for this 
rulemaking: FTA-2015-0014. Submit two copies of your comments if you 
submit them by mail. For confirmation that FTA received your comments, 
include a self-addressed, stamped postcard. All comments received will 
be posted without change to http://www.regulations.gov, including any 
personal information provided. Please see the Privacy Act heading under 
``Supplementary Information,'' below, for Privacy Act information 
pertinent to any submitted comments or materials, and you may review 
DOT's complete Privacy Act Statement published in the Federal Register 
on April 11, 2000, at 65 FR 19477.
    Docket Access: For access to background documents and comments 
received in the rulemaking docket, go to http://www.regulations.gov or 
to the U.S. Department of Transportation, 1200 New Jersey Avenue SE., 
Room W12-140, Washington, DC 20590 between 9:00 a.m. and 5:00 p.m., 
Monday through Friday except Federal holidays.

FOR FURTHER INFORMATION CONTACT: For program issues, contact Ruth 
Lyons, FTA, Office of Safety and Oversight, 1200 New Jersey Avenue SE., 
Washington, DC 20590 (telephone: 202-366-2233 or email: 
[email protected]). For legal issues, contact Bruce Walker, FTA, 
Office of Chief Counsel, same address, (telephone: 202-366-9109 or 
email: [email protected]). Office hours are Monday through Friday 
from 8 a.m. to 6 p.m. (EST), except Federal holidays.

SUPPLEMENTARY INFORMATION:

I. Executive Summary
II. Advance Notice of Proposed Rulemaking
III. Overview of the Proposed Rule
IV. Interim Program Curriculum and Technical Training Requirements
V. Section-by-Section Analysis
VI. Cost-Benefit Analysis
VII. Regulatory Analyses and Notices

I. Executive Summary

    In the Moving Ahead for Progress in the 21st Century Act (MAP-21; 
Pub. L. 112-141, July 6, 2012), Congress directed FTA to establish a 
comprehensive Public Transportation Safety Program (codified at 49 
U.S.C. 5329), one element of which is the Public Transportation Safety 
Certification Training Program (PTSCTP). The purpose of today's NPRM is 
to carry out the statutory mandate to provide a framework to enhance 
the technical proficiency of those directly responsible for safety 
oversight of public transportation systems.
    This proposed rulemaking would incorporate the curriculum 
promulgated recently for the interim provisions for safety 
certification training (interim program) as the training requirements 
for the PTSCTP. The interim program curriculum and training 
requirements may be found in Section V of the Federal Register notice 
promulgating the interim program at: https://www.federalregister.gov/articles/2015/02/27/2015-03842/interim-safety-certification-training-program-provisions.
    The NPRM provides a regulatory framework for safety certification 
training for personnel who are directly responsible for safety 
oversight of public transportation systems and the State personnel who 
conduct safety audits and examinations of rail transportation systems. 
Besides incorporating the interim program curriculum and training 
requirements, this proposal would: (1) Permit participants to request 
evaluation of non-FTA sponsored safety training for credit towards 
applicable PTSCTP requirements; (2) require designated personnel to 
complete a minimum of one hour of refresher safety training every two 
years as determined by his or her employer; (3) require recipients to 
maintain administrative records and ensure a participant's curriculum 
completion status is updated periodically; and (4) require SSOAs and 
recipients that operate rail fixed guideway systems not regulated by 
the Federal Railroad Administration (FRA) to annually certify 
compliance with the rule as a condition of receiving Chapter 53 
funding.

Legal Authority

    This rulemaking is issued under the authority of 49 U.S.C. 
5329(c)(1) which requires the Secretary of Transportation to prescribe 
a public transportation safety certification training program for 
Federal and State employees, or other designated personnel, who conduct 
safety audits and examinations of public transportation systems, as 
well as employees of public transportation agencies directly 
responsible for safety oversight. The Secretary is authorized to issue 
regulations to carry out the general provisions of this statutory 
requirement pursuant to 49 U.S.C. 5329(f)(7).

Summary of Key Provisions

    Similar to the interim program, the focus of the proposed rule 
would be on enhancing the technical proficiency of safety oversight 
professionals in the rail transit industry. To that end, this proposed 
rule would incorporate the curriculum set forth in Section V of the 
Federal Register notice promulgating the interim program. FTA may 
periodically update the curriculum following a period for public notice 
and comment. This approach is similar to that of the National Transit 
Database (NTD) rule at 49 CFR part 630 in which the Reporting Manuals 
set forth reporting requirements. FTA periodically updates the manuals 
with public notice and an opportunity for stakeholders to comment. FTA 
believes this proposal would provide for a consistent and stable 
curriculum as the public transportation industry acclimates to the 
requirement for safety oversight training.
    The proposed rule would reflect the interim program in that 
mandatory participants would continue to be State Safety Oversight 
Agency (SSOA) personnel and contractors, and designated personnel of 
rail transit agencies not otherwise regulated by another Federal 
agency. Employees or contractors of entities providing safety

[[Page 75641]]

oversight of bus operations would be permitted to participate on a 
voluntary basis. Participants would continue to have three years to 
complete the initial requirements for the PTSCTP. Participation in the 
interim program would be credited towards meeting the initial three-
year PTSCTP completion requirements. The three-year timeframe for new 
participants would commence upon their enrollment in the PTSCTP.
    Another key proposal is the requirement for SSOAs and recipients 
that operate rail fixed guideway systems not regulated by the Federal 
Railroad Administration (FRA) to ensure its designated personnel are 
enrolled in the PTSCTP electronic database maintained by FTA and to 
monitor their participation towards completing applicable training 
requirements. In addition, SSOAs would be required to maintain 
administrative records of the participation of its designated personnel 
in applicable technical training as outlined in the SSOA's FTA-approved 
technical training plan.
    Unlike the interim program, FTA is proposing a process for 
participants to request review of documented training obtained from 
sources other than FTA for credit towards the equivalent PTSCTP 
training. In addition, FTA is proposing that mandatory participants be 
required to undertake at least one hour of refresher training every two 
years on a safety subject determined by his or her employer. The 
timeframe for determining the two-year refresher training period would 
commence following completion of the initial PTSCTP.
    Lastly, each SSOA and recipient that operates a rail fixed guideway 
system not regulated by the FRA would be required to certify compliance 
with the PTSCTP requirements as part of FTA's procedures for annual 
grant certification and assurances. Should FTA determine an SSOA or 
recipient is not in compliance with the PTSCTP, the Administrator would 
have discretion to withhold Chapter 53 funds following notice and an 
opportunity for the recipient to respond.
    With this NPRM, FTA is seeking comment on its proposal to 
incorporate the interim program curriculum and technical training 
requirements as the initial training requirements for the PTSCTP. 
Additionally, FTA seeks comments of its proposed regulatory framework 
for the PTSCTP.

Costs and Benefits

    As discussed in greater detail below, FTA reviewed data from the 
Transportation Safety Institute (TSI), the entity that provides 
substantial safety training to the transit industry, albeit on a 
voluntary basis. Using this data and our familiarity with how SSOAs are 
organized, we developed a maximum and minimum number of personnel, to 
include employees and contractors that would be affected by the PTSCTP. 
Next, using the same data from TSI, we determined the number of rail 
transit personnel that would be affected by the PTSCTP. We also 
reviewed the number of FTA personnel who participate in safety audits 
and examinations and determined the number of FTA personnel that would 
be required to undergo some level of training and certification. In 
developing annual costs for personnel that would attend the PTSCTP, we 
assumed a minimum and maximum case scenario.
    For the minimum case, we assumed that all designated personnel 
under this program already had completed the Transit Safety and 
Security Program (TSSP) Certificate and would require only the safety 
management system (SMS) portion of the coursework described in Section 
IV of this notice. For the maximum case, we assumed that no one subject 
to the NPRM has a TSSP Certificate. In this case, all designated 
personnel would have to take and complete both the TSSP and SMS 
coursework over the allotted 3-year period. Using these assumptions, we 
estimate an approximate maximum cost of $2.6 million per year, of which 
up to 80 percent may be funded with FTA funds.
    To assess the benefits for the PTSCTP, we considered how other 
transportation modes that are in the process of implementing SMS or 
similar systematic approaches to safety have estimated the benefits of 
their programs in reducing incidents, adverse outcomes, and improving 
the industry's safety culture. It is difficult to quantify the effects 
of a positive safety culture as a safety culture will develop over 
time. Characteristics of a positive safety culture include: Actively 
seeking out information on hazards; employee training; information 
exchanges; and understanding that responsibility for safety is shared. 
While the returns on investment in training should be fairly quick, 
establishing, promoting, and increasing safety, even in an industry 
that is very safe, is difficult to predict with any certainty. 
Consistent with other recent rulemakings issued by the Department on 
SMS, we conducted a breakeven analysis. As explained further in Section 
VI, for the State Safety Oversight (SSO) NPRM published in the Federal 
Register on February 27, 2015 at 80 FR 11002, FTA estimated that the 
SSO program revisions realistically would garner a 2 percent reduction 
in costs associated with fatalities and ``serious'' injuries. Based on 
the analysis for the, SSO NPRM, for the benefits to break even with the 
costs to both SSOs and rail transit agencies, the rule only would 
require a 1.23 percent reduction of the accident costs per year, which 
did not include potentially significant unquantified costs related to 
property damage and disruption. The SSO program is reliant on the 
PTSCTP for part of its safety improvements. While the SSO NPRM proposed 
to improve SSO and rail transit agency processes, the PTSCTP improves 
the requisite human capital within the SSO program by improving the 
training and by making mandatory training for those designated 
personnel charged with safety oversight at SSO and rail transit 
agencies.

II. Advance Notice of Proposed Rulemaking

    On October 3, 2013, FTA issued an Advance Notice of Proposed 
Rulemaking (ANPRM) in the Federal Register on all aspects of FTA's 
safety authority, including the training program. (See 78 FR 61251, 
http://www.thefederalregister.org/fdsys/pkg/FR-2013-10-03/pdf/2013-23921.pdf).
    In the ANPRM, FTA noted that there are discrete and different 
skill-sets required for those who perform safety audit and examination 
functions compared to those who are directly responsible for safety 
oversight. For example, at the Federal level, FTA's responsibilities 
include ensuring that SSOA personnel are properly trained and 
adequately resourced to regulate rail transit systems within their 
respective jurisdictions. At the State level, SSOA personnel are 
responsible for direct safety oversight of those rail transit systems 
under their jurisdiction. And on the local level, public transportation 
agency personnel are directly responsible for developing and 
implementing safety oversight within their respective agencies. 
Recognizing this distinction, FTA outlined its vision for the PTSCTP 
which included a wholly new FTA-sponsored training curriculum to 
enhance the technical proficiency of safety oversight professionals in 
the public transportation industry.
    In the ANPRM, FTA noted that pursuant to 49 U.S.C. 5329(c)(2), it 
would promulgate an interim program for safety certification training 
prior to developing a proposed rule for the PTSCTP. On April 30, 2014, 
FTA published a Federal Register notice requesting comment on its 
proposed requirements for the interim program. A

[[Page 75642]]

number of the proposed requirements for the interim program were based 
in part, on recommendations provided by commenters on the ANPRM (see 79 
FR 24363).
    FTA evaluated comments received in response to the proposed interim 
program notice and promulgated the final interim program requirements 
in a Federal Register notice dated February 27, 2015, with an effective 
date of May 28, 2015 (see 80 FR 10619). Since the interim program was 
implemented only recently, FTA has not had sufficient opportunity to 
evaluate the effectiveness of the program, nor assess lessons learned. 
However, to implement the requirement of 49 U.S.C. 5329(c)(1) via a 
regulatory framework, FTA is proposing with this rule that the 
curriculum for the PTSCTP remain the same as that of the interim 
program.
    Some comments on the ANPRM were outside the scope of the questions 
posed and, therefore, are not addressed in this notice. However, many 
of the comments and recommendations were instructive for developing 
both the interim program and this NPRM. What follows is a discussion of 
relevant ANPRM comments, development of the interim program 
requirements, and the regulatory framework proposed for the PTSCTP.
    Question 48. In the ANPRM, FTA proposed organizing the training 
around a series of competencies and basic skills that Federal, State, 
and public transit agency safety oversight personnel need to perform 
their respective responsibilities. To that end, FTA proposed a wholly 
new FTA-sponsored safety training curriculum, provided a list of 
competencies and technical capabilities supported by the curriculum, 
and sought comment regarding what other safety-related competency areas 
or training outcomes should be identified for the PTSCTP.
    Thirty commenters responded directly to the question or provided 
comments relative to the issue. A few commenters indicated that the FTA 
list sufficiently covered all safety-related competency areas. Several 
commenters identified safety-related competency areas for inclusion in 
the PTSCTP, such as: Incident investigation, emergency response, 
fundamental safety management concepts and processes, methods for the 
identification, assessment and evaluation of hazards, safety assurance 
methods, measurement and evaluation of safety management processes and 
mitigation strategies, National Incident Management System (NIMS) 
training, and Occupational Safety & Health Administration (OSHA) 
standards.
    Some commenters suggested that FTA focus on developing a safety 
program that recognizes the six key functions of bus safety identified 
in the 2003 Memorandum of Understanding (MOU) signed by FTA and the 
Federal Motor Carrier Safety Administration (FMSCA). Those functions 
include management, operations and maintenance, human resources, safety 
activities, security activities, and emergency/all hazards management. 
A few commenters stated that FTA should develop clear and workable 
guidelines for safety certification training and accommodate the 
differing needs of small, medium and large agencies in those 
requirements.
    Three commenters indicated that the PTSCTP called for in MAP-21 
only applies to the SSO program and does not require specific training 
requirements for State Department of Transportation (State DOT) staff 
involved in managing federal funds. Two commenters stated that defining 
training outcomes and competency areas is not an appropriate role for 
FTA and should be left up to the determination of a transit agency and 
based on the scope, scale and complexity of fixed facilities, systems 
and operating environment. Commenters also suggested the following:
     Since a culture of safety already exists in rural transit, 
FTA should consider flexible, scalable approaches that use training 
programs that have a proven track record for driver training, vehicle 
maintenance, and drug and alcohol compliance;
     there needs to be a concerted effort to drill down on 
safety concerns that cause the greatest risk in cost and life and focus 
on improving those areas;
     the FTA Safety Certification Program requirement should 
allow FRA-regulated properties the flexibility to comply with FRA 
safety training regulations without requiring additional, redundant 
training and certification requirements.
    FTA response: As discussed further in Section IV of this notice, 
FTA is undertaking this proposed rulemaking in accordance with the 
authority granted under 49 U.S.C. 5329(c)(1). FTA recognizes that one 
size will not fit all; therefore, the curriculum proposed for the 
PTSCTP is designed to be scalable and flexible, especially for State 
DOTs and the bus transit industry.
    In response to the commenters who provided a list of safety-related 
competency areas for consideration, FTA notes that many of those 
competency areas are included in the current curriculum for the TSSP, 
which is a requirement for the interim program and a proposed 
requirement for the PTSCTP. However, FTA does not believe the initial 
requirements for the PTSCTP should include NIMS or OSHA training 
standards because a primary objective of the initial requirements is to 
promote a common framework for developing SMS principles across the 
industry.
    The curriculum proposed for the PTSCTP would include a risk-based 
approach for analyzing and mitigating safety risks. It also would 
leverage existing FTA-sponsored training for all recipients including 
State DOTs, and both rural and urban bus transit providers. 
Accordingly, FTA concurs with the commenters who indicated that bus 
safety training should include the six key functions of bus safety as 
identified in the FTA/FMCSA MOU signed in 2003. FTA proposes to 
continue offering the Bus Safety program and other bus safety-related 
course offerings as a voluntary component of the PTSCTP.
    FTA also concurs with the commenters who indicated that personnel 
who may be subject to both FRA and FTA training requirements should not 
be subject to redundant training. Accordingly, the PTSCTP would not 
apply to personnel of rail transit agencies subject to the jurisdiction 
of the Federal Railroad Administration (e.g., commuter railroads).
    FTA agrees that State DOT personnel involved in managing federal 
funds that are passed on to subrecipients are not likely to be charged 
with safety oversight responsibilities. But the State DOT is 
responsible for ensuring that subrecipients adhere to all applicable 
Federal requirements. We emphasize that this rule does not propose 
mandatory training requirements for State DOT personnel who perform 
safety oversight roles for non-rail public transportation systems.
    Question 49. FTA next asked whether all of the competencies listed 
in the ANPRM are necessary for personnel with safety oversight 
responsibilities.
    Twenty-nine commenters responded directly to the question or 
provided comments related to the issue. Several commenters agreed that 
the competencies identified in the ANPRM are necessary to craft a 
comprehensive safety training program that addresses the various 
hazards and threats faced by public transportation systems. A couple of 
these commenters added that the current FTA-sponsored training is not 
sufficient and transit agencies will need more than the current 
training programs

[[Page 75643]]

in order to successfully comply with new safety requirements.
    Two commenters indicated that the competencies identified were 
unnecessary. One of the commenters stated the current program is overly 
broad and beyond the capacity of many small operators. The other 
commenter recommended that FTA utilize safety training offered through 
the American Public Transportation Association (APTA). Another 
commenter indicated that training should cover the four SMS principles 
and strategies for controlling risk. Several commenters indicated that 
the competencies required for a small, rural, bus-only agency are far 
different than those required in a large, urban, multi-modal agency. 
They noted that agencies with fewer risk factors should be allowed to 
work within standards appropriate to their risk profile. A few 
commenters stated they do not see a need for the rules to prescribe 
specific training requirements for State DOT staff involved in managing 
federal funds that are passed on to subrecipients. Other commenters 
suggested the following:
     Advanced SMS Principles for Rail Transit can probably be 
combined with Level 100 SMS Principles for Rail Transit, and Level 300 
SMS Risk Control Strategies can probably be combined with Level 201 
Advanced SMS Risk Management;
     public transportation agencies should determine which 
competencies are necessary for the scope, scale and complexity of their 
fixed facilities, systems and operating environments;
     many transit safety professionals already have the 
majority of the specific competencies listed. Emphasis may be placed on 
specific SMS areas where gaps exist based on the transit agency's 
safety risk analysis.
    FTA response. A similar question was posed in the Federal Register 
notice for the interim program dated April 30, 2014. Commenters to both 
notices indicated that the existing FTA-sponsored training already 
includes many of the competencies FTA identified as necessary to 
implement a safety certification training program. Consequently, FTA 
reviewed the TSI curriculum and concurs that the courses for the TSSP 
Certificate sufficiently cover many of the competency areas that FTA 
identified; therefore, FTA will leverage the curriculum for the TSSP 
program instead of developing a wholly new curriculum for the PTSCTP.
    As suggested by commenters however, FTA agrees that the existing 
TSSP curriculum should be revised to better reflect SMS principles. 
Accordingly, as noted in Section IV, the TSSP curriculum is being 
updated and FTA is proposing additional courses for the PTSCTP that 
focus on SMS principles. This approach aligns with FTA's adoption of 
the SMS framework to enhance safety while effectively leveraging a 
curriculum and training model familiar to the industry. FTA believes 
its approach to the interim program and the proposed implementation of 
the PTSCTP adequately addresses commenter's concerns regarding costs, 
scalability and flexibility for the transit industry.
    Question 50. In the ANPRM, FTA did not propose a timeframe for 
safety oversight personnel to complete the safety certification 
training requirements. However, the following question was posed to 
obtain the industry's perspective on the issue: Should personnel be 
required to obtain certification prior to starting a position, or 
should they be given a specific timeframe to obtain safety 
certification after starting a position?
    Forty-seven commenters responded directly to the question or 
provided comments relative to the question. Forty commenters indicated 
they do not believe personnel should be required to obtain 
certification prior to starting a position, and a new hire should be 
given a period of time to obtain necessary certifications. Many of the 
commenters noted that it would be more effective to attend required 
safety certification training concurrently with on-the-job training. 
Otherwise, it would limit the pool of qualified candidates for safety 
positions if personnel were required to obtain certification prior to 
starting a position. Commenters also noted that agencies should have 
the flexibility to customize training to address their unique safety 
concerns, size, and management structure. Further, commenters noted 
that currently it is difficult to recruit and hire safety 
professionals; therefore, requiring certification prior to starting a 
position would only increase the difficulty.
    A few commenters stated that personnel should be required to obtain 
all safety certification prior to starting a position because lack of 
appropriate training could potentially put the public at risk. One 
commenter stated that both options should be available depending on the 
position occupied. For instance, at the director level and higher, an 
individual should have experience with the principles of SMS and 
program development. At lower levels, a certain amount of on-the-job 
training could be incorporated in an individual's development plan.
    One commenter indicated that it would be costly to require a person 
to complete the training before a recipient could hire that person. 
Another commenter stated that both approaches have problems. The 
commenter noted that if an agency hires inexperienced people with no 
training and provides the training once aboard, the agency will have 
trained but inexperienced people. On the other hand, an employee needs 
to learn the details of the transit business which cannot be taught 
entirely in the classroom. The commenter noted that if a state agency 
hires only those that have the requisite training, the agency will have 
people with the minimum qualifications to do the job but may still 
require considerable on-the-job training in order to prepare them to 
actually perform the requirements of a regulator.
    Lastly, a commenter stated that since there are no current 
certification requirements for bus transit, time to obtain the 
certification would be appropriate. The commenter also stated that 
personnel performing any specific function or task in a rail system 
should be certified before being allowed to independently perform in 
that capacity.
    FTA response. The objective of safety certification training is to 
enhance the technical proficiency of those responsible for safety 
oversight of public transportation systems. FTA recognizes that in 
order for any proposed regulatory requirements to be implemented 
practically, issues of resource allocation and availability must be 
considered. To that end, FTA concurs with those commenters who 
indicated that it could be overly burdensome to limit the pool of 
available applicants to only those that have completed the proposed 
training requirements. For this reason, the interim program provides 
designated personnel three years from the date of the recipient's 
initial designation to complete the interim program requirements. FTA 
is proposing the same three-year timeframe to complete the initial 
PTSCTP requirements. FTA believes this approach adequately balances 
concerns with personnel training requirements and the recipient's 
resource management requirements.
    Question 51. In the ANPRM, FTA did not propose a specific timeframe 
for how often safety oversight personnel should be required to undergo 
refresher training requirements. However, we did ask the following 
question to obtain the public's perspective on the needed frequency: 
How often should personnel be required to receive refresher training?

[[Page 75644]]

    Forty-seven commenters responded directly to the question or 
provided comments relative to the issue. Several commenters indicated 
that personnel should be required to receive refresher training either 
every two or three years. Some commenters recommended refresher 
training every three to five years. A few commenters thought refresher 
training should be conducted annually. Two commenters stated that 
depending on the number of courses required and the length of the 
training curriculum, refresher training should occur somewhere between 
every one to five years.
    A few commenters indicated that personnel should receive refresher 
training on an as-needed basis to keep them up-to-date on new safety 
standards and changes to existing safety standards. Some commenters 
suggested that the primary concern should be the quality, not the 
quantity or frequency of refresher training. In addition, commenters 
suggested the following:
     Frequency of training should be left to the discretion of 
the recipient;
     FTA should regularly convene those responsible for public 
transportation safety oversight at the Federal, State, and agency level 
to discuss safety critical risks. These discussions should focus on 
trends in public transportation safety risks, safety risk management 
practices and risk control strategies;
     the frequency of refresher training should be based on 
several factors, including, but not limited to the scope of job 
functions, frequency of application of the functions, and experience 
with the specific function for which the individual is responsible;
     frequency of refresher training is dependent on the 
employee's position and safety responsibilities;
     the question is premature and cannot be addressed until 
the final requirements are adopted and the number of professionals 
requiring training can be assessed;
     training standards and timing should evolve as the 
requirements are adopted and implemented. Overlaying refresher training 
requirements on an already strained training system would further slow 
training of new safety professionals.
    FTA response. FTA is taking a comprehensive approach as it 
considers the safety training requirements proposed here, as well as 
those that will be proposed in other rules to implement the Public 
Transportation Safety Program authorized by 49 U.S.C. 5329. FTA 
recognizes that proposed training and refresher requirements should 
align and support the objectives of the SMS framework adopted by FTA. 
To that end, proposed training requirements will be driven by safety 
data in conjunction with safety trend analysis. FTA will periodically 
review safety data and trends which may indicate a need for FTA to 
revise refresher training requirements. However, any revisions will be 
subject to notice and comment prior to becoming effective.
    FTA agrees with the commenters who indicated that refresher 
training should occur every two years following the initial three-year 
timeframe for completing safety certification training requirements. 
Since any refresher training should be relevant to a recipient's 
specific circumstances, the recipient will be in the best position to 
determine the subject matter and timeframe that should be allotted for 
refresher training. However, FTA believes that at minimum, one hour of 
refresher training every two years should be required. The minimum 
requirement of one hour of biannual refresher training strikes an 
appropriate balance that reinforces safety oversight training while 
recognizing that each recipient can best determine refresher training 
that is appropriate for its safety oversight personnel.
    Questions 52 and 53. In the ANPRM, FTA posed a series of questions 
to assist with identifying the universe of potential personnel that may 
be subject to the PTSCPT requirements. Question 52 sought to identify 
which transit agency positions are directly responsible for safety 
oversight. Question 53 sought to identify specific operations personnel 
who are directly responsible for safety, their duties, and the training 
they receive. The questions, as phrased in the ANPRM, did not clearly 
reflect this functional distinction; however, responses from many of 
the commenters indicated an awareness of the distinction. The point is 
noted here because both the interim program and this NPRM would apply 
only to transit personnel with direct safety oversight responsibilities 
(emphasis added) as distinguished from operations personnel who are 
responsible for safety (oversight omitted). FTA's proposed approach to 
the training requirements for operations personnel who are responsible 
for safety will be included in the NPRM for the Public Transportation 
Agency Safety Plan to be issued pursuant to 49 U.S.C. 5329(d).
    Twenty-eight commenters responded to the question of which transit 
agency positions are directly responsible for safety oversight. Several 
commenters listed various transit agency positions as being directly 
responsible for safety oversight including: The entire System Safety 
Department and the divisions under it; agency leadership, operations 
managers, supervisors, and safety staff; the Director of Safety, the 
Risk Management Department and various safety departments and trainers 
that are contractor specific; Safety Managers; Bus and Rail Managers; 
the responsible Executive; Safety Operations Manager; and Safety 
Administrators (Bus, Rail).
    Some commenters noted that in their organizations every employee 
has a responsibility for safety. A number of the commenters also noted 
that overall authority and responsibility was vested in a number of 
individuals, including the General Manager/Transit Director, Chief 
Operating Officer/Operations Manager, Facilities Managers, Maintenance 
Manager, and the Chief Safety Officer and staff. A few commenters 
stated that FTA already has a process for identifying safety-sensitive 
personnel subject to its Drug and Alcohol Testing program requirements 
and recommended that FTA adopt a similar process to identify those 
subject to the safety rules. Two commenters noted that this decision 
should be at the discretion of the transit agency as some agencies, 
because of size, may have a person serving as the safety person in 
addition to other duties. Two other commenters stated that it varies 
depending on the size of the agency and the position should be 
identified by the transit agency General Manager.
    With regard to the series of questions about operations personnel, 
thirty-one commenters responded. Many of the comments were similar to 
responses to the question above; however, a number of commenters 
specifically addressed operations personnel. These commenters 
identified widely varied and diverse operations positions that are 
directly responsible for safety oversight to include: Operations 
Supervisors, Department Managers/Supervisors, Safety Department 
personnel/Safety Managers/Director of Safety, Safety/Training Officer, 
all supervisory and management personnel, Chief Operating Officer, 
Operations Managers, Maintenance Directors, and Transportation Safety 
Specialist.
    Comments regarding the duties of operations positions were just as 
varied and diverse. Duty descriptions included, but were not limited 
to, contract management, research, development, implementation and 
maintenance of programs and procedures, policy development, 
observations, inspections, audits, investigations and liaison. One 
commenter stated that Bus and Rail Transit Operations Supervisors are

[[Page 75645]]

directly responsible for overseeing the operational safety of the 
agency by conducting efficiency tests, rules compliance line rides, 
post-accident line rides, accident investigations, verifying compliance 
with Roadway Worker Protection (RWP) requirements, and investigating 
reported hazards. Commenters noted that the Operations Supervisors are 
trained in all of the above either by internal staff or by attending 
courses offered by TSI.
    One commenter stated that all operations managers and supervisors 
are directly responsible for safety oversight and their duties vary, 
but include development, implementation, training and enforcement of 
policies/procedures; inspection and observation; hazard management; 
tool box safety meetings; and assuring compliance with all local, state 
and federal regulations governing the safe operation of vehicles.
    Responses to the question of training received by operations 
personnel also varied but TSI and OSHA training were mentioned most 
frequently. A number of commenters indicated that they have received 
training such as university level safety training courses, fundamentals 
of bus collision investigation, fatigue and sleep apnea awareness for 
transit employees, transit industrial safety management, and transit 
rail incident investigation.
    FTA response. The responses to both questions clearly indicate the 
universe of transit agency personnel responsible for safety oversight, 
and operations personnel responsible for safety vary among transit 
agencies. As discussed further in Section V of this notice, FTA 
believes that each recipient, with guidance from FTA, is better 
situated to determine which of its personnel are directly responsible 
for safety oversight. As noted earlier, training requirements for 
operations personnel will be addressed in the rulemaking for the Public 
Transportation Agency Safety Plan.
    Question 54. FTA asked whether members of a transit agency board of 
directors or other equivalent entity currently receive any type of 
safety or risk management training; if so, what does the training 
cover?
    Thirty commenters responded, with twenty-three stating that their 
Boards or the equivalent do not receive safety/risk management 
training. In general, several commenters noted that Boards should not 
be required to receive this type of training. A few commenters 
indicated that Boards receive some type of training, ranging from 
informal or familiarization training to training provided by insurance 
companies or executive staff.
    One commenter stated that the Board's involvement with safety/risk 
issues is at a policy level while two other commenters indicated that 
the General Manager is responsible for ensuring that board members, or 
their equivalents, understand the safety culture of the agency. Two 
commenters stated that the Board receives informal safety training. One 
of these commenters noted that this training is a part of their service 
on a Subcommittee for Safety and another responded that the Board is 
instructed on the definitions related to safety reporting and how to 
interpret safety data to improve their understanding of the monthly 
safety data presented to them.
    One commenter responded that when members first come onto the Board 
they are provided familiarization training on FTA safety requirements 
under 49 CFR part 659. Another commenter noted that board members might 
receive this training through an agency's insurance company. Another 
noted that their agency is currently writing a new safety plan that 
incorporates SMS principles; since the Board of Directors will be 
required to review and approve the plan they will receive a 
presentation that will explain SMS principles and processes, including 
risk management.
    FTA response. The information provided by the commenters to this 
question will be reviewed as FTA considers appropriate methods to 
increase SMS awareness for the Board of Directors or those with 
equivalent executive oversight functions.
    Question 55. FTA asked questions about the availability of industry 
training specifically for personnel with transit safety oversight 
responsibility; the effectiveness and accessibility of such training; 
and what other types of training oversight personnel need but that may 
not be readily available to them.
    Twenty-nine commenters responded to this question. Several 
commenters listed the various training that safety oversight personnel 
currently receive, with the common thread being federally-sponsored 
training programs offered by the National Transit Institute (NTI), the 
National Transportation Safety Board, the National Safety Council, TSI, 
and OSHA. Some commenters responded that most of their training was 
developed and/or provided in-house or through on-the-job training. A 
few commenters noted the availability of the following training for bus 
small urban and rural operators: Community Transportation Association 
of America's Certified Safety and Security Officer Training Program and 
FTA's Bus Safety Program Orientation Seminar. One commenter noted that 
Colorado has a robust program offering two full-day safety-related 
training sessions at their spring and fall transit conferences. Two 
commenters mentioned classes conducted by local safety personnel such 
as police, fire, sheriffs, emergency management organizations, and the 
risk manager.
    Commenters noted that the effectiveness of the training is 
evaluated using the following methods: Internal safety audits; facility 
safety inspections; on the job evaluations by departmental managers, 
the General Manager, insurance pool staff, or State DOT staff; ride 
checks; efficiency tests; and SSO triennial audits. In addition, one 
commenter noted that regulatory audits and written tests are used to 
measure training effectiveness.
    Comments on the types of training that oversight personnel need but 
is not readily available included SMS training, risk assessment 
training, reactive training programs that address changes to strategic 
safety philosophy, and tactical issue-specific initiatives. A few 
commenters recommended that FTA develop this training specifically for 
the public transportation industry.
    FTA response. The comments indicate the availability of an array of 
relevant safety training for safety oversight professionals. As noted 
in Section V of this notice, the comments support FTA's proposal to 
develop a process to evaluate safety training obtained from other 
competent organizations for credit towards PTSCTP requirements.

III. Overview of the Proposed Rule

    FTA considered the recommendations submitted by commenters on the 
ANPRM while developing both the interim program and this proposed rule. 
Many of those recommendations are reflected in the requirements 
proposed for this rule.
    To implement this rule, FTA proposes to leverage the interim 
program training requirements as the foundation for the PTSCTP. FTA 
recognizes that the interim program was implemented only recently; 
therefore, a reasonable period of time should pass to allow FTA to 
assess its effectiveness before proposing new or additional 
requirements. The interim program curriculum and technical training 
requirements are republished in Section IV of this notice for clarity. 
FTA invites public comment on its proposed implementation of the PTSCTP 
as noted herein.
    As with the interim program, FTA proposes the initial focus of the 
PTSCTP will be on enhancing the technical proficiency of safety 
oversight professionals in the rail transit industry.

[[Page 75646]]

In addition, public transportation safety is a priority for all public 
transit providers; therefore, safety oversight professionals of other 
modes of public transportation are encouraged to participate 
voluntarily. The initial mandatory PTSCTP requirements would provide 
SMS training for Federal and SSOA personnel and their contractor 
support, as well as rail transit agency personnel who are directly 
responsible for safety oversight of rail transit systems. Safety 
oversight personnel of recipients such as State DOTs and bus transit 
providers would continue as voluntary participants. FTA believes this 
initial approach of mandatory training for SSOAs and rail transit 
agencies, and voluntary training for bus only systems, allows for 
optimum utilization of Federal and local resources while providing 
flexibility to revise the training requirements as appropriate. 
However, FTA notes that pursuant to 49 U.S.C. 5329(c)(1), it has 
discretion to promulgate mandatory training requirements for all public 
transportation systems--not just rail.
    In response to commenters who recommended that the PTSCTP program 
requirements be flexible and scalable and take into consideration the 
varying needs and sizes of different public transit agencies, FTA notes 
that the PTSCTP's mandatory training would apply only to SSOAs and rail 
transit agencies with minimum training requirements necessary to 
enhance technical proficiency. State DOT and bus transit personnel 
would be voluntary participants. Further, FTA recognizes the value of 
leveraging its published safety toolkits, best practices guides, and 
providing technical assistance as the PTSCTP is implemented. Therefore, 
before FTA would propose new training requirements, existing FTA-
sponsored training would be reviewed for applicability and scalability 
relative to the diverse universe of public transit providers.
    FTA also proposes flexibility with regard to how personnel would be 
identified as participants for the PTSCTP. FTA agrees with commenters 
who indicated the recipient should have discretion to identify which of 
its personnel perform safety oversight functions. Comments to the ANPRM 
indicated that position titles and functions in the public 
transportation industry are not universal. In general, it would be 
impractical for FTA to identify the specific positions or titles of 
those directly responsible for safety oversight or those who conduct 
audits and examinations. Therefore, the proposed rule includes 
definitions for the terms ``directly responsible for safety 
oversight,'' ``safety audits,'' and ``safety examinations'' in order to 
assist public transit agencies with identifying personnel who will need 
to complete the training.
    FTA is proposing flexibility with developing the curriculum for the 
PTSCTP. Specifically, FTA would use a process similar to that used to 
identify National Transit Database (NTD) reporting requirements under 
49 CFR part 630. To illustrate, FTA periodically publishes revisions to 
the NTD Reporting Manuals (defined in part 630 as reference documents) 
following notice and comment. For the PTSCTP, FTA would issue and 
update the training requirements for the PTSCTP in a similar manner. 
After FTA issues a final PTSCTP rule, FTA would periodically review the 
training requirements to determine if any modifications should be made 
to improve the effectiveness of the program. If warranted, revised 
requirements would be published in the Federal Register for notice and 
comment before taking effect. The requirements then would be made 
available via the FTA Web site as the reference document noted in 
sections 672.5, 672.11 and 672.13 of the proposed regulatory text. The 
flexibility of this process would align with FTA's periodic review of 
safety data and trends to determine if the reference document warrants 
revisions. FTA believes this proposed approach provides the public 
transportation industry with predictable training requirements yet 
allows flexibility to respond to emerging safety trends within a 
reasonable timeframe.
    The proposed PTSCTP is also flexible with regard to its 
application. FTA is not proposing that a recipient only can hire 
personnel that have completed the initial training requirements. As 
suggested by a number of commenters, FTA proposes that personnel would 
have three years from the date the recipient identifies him or her as 
designated personnel to complete the initial requirements. FTA believes 
this measured approach promotes the legislative intent of enhancing the 
technical proficiency of safety oversight personnel while recognizing 
the recipient's need to prudently manage its human capital and 
resources.
    Additionally, FTA agrees with commenters who indicated that 
refresher training should occur every two years following the initial 
three-year timeframe for completing safety certification training 
requirements. Topics for refresher training would be at the discretion 
of the SSOA or rail transit agency, but would likely align with the 
training requirements to be proposed for the Public Transportation 
Agency Safety Plan. Refresher training would likely place greater 
emphasis on advanced areas or topics that often lead to accidents, 
injuries, or non-compliance. This process would allow both FTA and the 
public transportation industry to analyze safety data and identify 
risks before recommending risk mitigation strategies. FTA believes a 
two-year refresher cycle following the initial three-year training 
period reasonably permits designated personnel to train on relevant 
safety issues while not significantly impacting operations.
    Although each SSOA and rail transit agency would have discretion 
with regard to the subject matter for refresher training, the proposed 
rule would require designated personnel to participate in at least one 
hour of refresher training. FTA emphasizes that this proposal would 
provide the SSOAs and rail transit agencies with discretion to require 
more than one hour of refresher training based on the specific safety 
oversight training needs of the SSOA or rail transit agency.
    FTA also agrees with those ANPRM commenters who indicated that FTA 
should recognize relevant safety training and certification that 
designated personnel already have obtained. To that end, FTA is 
proposing to allow designated personnel to have their previous training 
evaluated by FTA to determine if the training competencies are 
equivalent to the competencies of the curriculum proposed for the 
PTSCTP. FTA would have the discretion to determine whether specific 
PTSCTP training requirements should be waived for the designated 
personnel.
    FTA believes the regulatory construct described above balances 
flexibility and scalability for recipients while achieving the 
objective of enhancing the technical proficiency of public 
transportation personnel. FTA invites public comment on the flexible 
and scalable approach proposed to implement the PTSCTP.

IV. Interim Program Curriculum and Technical Training Requirements

    FTA is providing the following requirements of the interim program 
here to assist stakeholders with understanding the curriculum and 
requirements proposed for this rule. As stated previously, FTA adopted 
these requirements through a notice and comment process and is not 
seeking comments on the requirements themselves. FTA believes the 
curriculum and technical training requirements developed for the 
interim

[[Page 75647]]

program provide a sufficient baseline for enhancing the technical 
competency of those directly responsible for safety oversight. However, 
since these requirements only became effective in May of this year, FTA 
is interested in receiving comments on the effectiveness of the 
curriculum and technical training requirements noted herein.
    For purposes of consistency, FTA has changed ``covered personnel'' 
to ``designated personnel'' as that is the term proposed for use in the 
rule. All other text is the same as that published in the February 27, 
2015, Federal Register notice (80 FR 10619), available at http://www.thefederalregister.org/fdsys/pkg/FR-2015-02-27/pdf/2015-03842.pdf.

A. Required Curriculum Over a Three-Year Period

     FTA/SSOA personnel and contractor support, and rail 
transit agency personnel with direct responsibility for safety 
oversight of rail transit systems not subject to FRA regulation:

[cir] One (1) hour course on SMS Awareness--e-learning delivery (all 
required participants)
[cir] Two (2) hour course on Safety Assurance--e-learning delivery (all 
required participants)
[cir] Two (2) hour SMS Gap course (e-learning for existing TSSP 
Certificate holders)
[cir] SMS Principles for Rail Transit (2 days--all required 
participants)
[cir] SMS Principles for SSO Programs (2 days--FTA/SSOA/contractor 
support personnel only)
[cir] Revised TSSP with SMS Principles Integration (not required of 
current TSSP Certificate holders--17.5 days for all other designated 
personnel)
[cir] Rail System Safety
[cir] Effectively Managing Transit Emergencies
[cir] Transit System Security
[cir] Rail Incident Investigation

     FTA/SSOA/contractor support personnel (technical training 
component):
    Each SSOA shall develop a technical training plan for designated 
personnel and contractor support personnel who perform safety audits 
and examinations. The SSOA will submit its proposed technical training 
plan to FTA for review and evaluation as part of the SSOA certification 
program in accordance with 49 U.S.C. 5329(e)(7). This review and 
approval process will support the consultation required between FTA and 
SSOAs regarding the staffing and qualification of the SSOAs' employees 
and other designated personnel in accordance with 49 U.S.C. 
5329(e)(3)(D).
    Recognizing that each rail fixed guideway public transportation 
system has unique characteristics, each SSOA will identify the tasks 
related to inspections, examinations, and audits, and all activities 
requiring sign-off, which must be performed by the SSOA to carry out 
its safety oversight requirements, and identify the skills and 
knowledge necessary to perform each task at that system. At a minimum, 
the technical training plan will describe the process for receiving 
technical training from the rail transit agencies in the following 
competency areas appropriate to the specific rail fixed guideway 
system(s) for which safety audits and examinations are conducted:

 Agency organizational structure
 System Safety Program Plan and Security Program Plan
 Knowledge of agency:
    [cir] Territory and revenue service schedules
    [cir] Current bulletins, general orders, and other associated 
directives that ensure safe operations
    [cir] Operations and maintenance rule books
    [cir] Safety rules
    [cir] Standard Operating Procedures
    [cir] Roadway Worker Protection
    [cir] Employee Hours of Service and Fatigue Management program
    [cir] Employee Observation and Testing Program (Efficiency Testing)
    [cir] Employee training and certification requirements
    [cir] Vehicle inspection and maintenance programs, schedules and 
records
    [cir] Track inspection and maintenance programs, schedules and 
records
    [cir] Tunnels, bridges, and other structures inspection and 
maintenance programs, schedules and records
    [cir] Traction power (substation, overhead catenary system, and 
third rail), load dispatching, inspection and maintenance programs, 
schedules and records
    [cir] Signal and train control inspection and maintenance programs, 
schedules and records

    The SSOA will determine the length of time for the technical 
training based on the skill level of the designated personnel relative 
to the applicable rail transit agency(s). FTA will provide a template 
on its Web site to assist the SSOA with preparing and monitoring its 
technical training plan and will provide technical assistance as 
requested. Each SSOA technical training plan that is submitted to FTA 
for review will:
    [cir] Require designated personnel to successfully:
    [ssquf] Complete training that covers the skills and knowledge the 
designated personnel will need to effectively perform his or her tasks.
    [ssquf] Pass a written and/or oral examination covering the skills 
and knowledge required for the designated personnel to effectively 
perform his or her tasks.
    [ssquf] Demonstrate hands-on capability to perform his or her tasks 
to the satisfaction of the appropriate SSOA supervisor or designated 
instructor.
    [cir] Establish equivalencies or written and oral examinations to 
allow designated personnel to demonstrate that they possess the skill 
and qualification required to perform their tasks.
    [cir] Require biennial refresher training to maintain technical 
skills and abilities which includes classroom and hands-on training, as 
well as testing. Observation and evaluation of actual performance of 
duties may be used to meet the hands-on portion of this requirement, 
provided that such testing is documented.
    [cir] Require that training records be maintained to demonstrate 
the current qualification status of designated personnel assigned to 
carry out the oversight program. Records may be maintained either 
electronically or in writing and must be provided to FTA upon request.
    [cir] Records must include the following information concerning 
each designated personnel:
    [ssquf] Name;
    [ssquf] The title and date each training course was completed and 
the proficiency test score(s) where applicable;
    [ssquf] The content of each training course successfully completed;
    [ssquf] A description of the designated personnel's hands-on 
performance applying the skills and knowledge required to perform the 
tasks that the employee will be responsible for performing and the 
factual basis supporting the determination;
    [ssquf] The tasks the designated personnel is deemed qualified to 
perform; and
    [ssquf] Provide the date that the designated personnel's status as 
qualified to perform the tasks expires, and the date in which biennial 
refresher training is due.
    [cir] Ensure the qualification of contractors performing oversight 
activities. SSOAs may use demonstrations, previous training and 
education, and written and oral examinations to determine if 
contractors possess the skill and qualification required to perform 
their tasks.
    [cir] Periodically assess the effectiveness of the technical 
training. One method of

[[Page 75648]]

validation and assessment could be through the use of efficiency tests 
or periodic review of employee performance.

B. Voluntary Curriculum

 Bus transit system personnel with direct safety oversight 
responsibility and State DOTs overseeing safety programs for 
subrecipients
    [cir] FTA-sponsored Bus Safety Programs
    [cir] One (1) hour course on SMS Awareness--e-learning delivery
    [cir] SMS for Bus Operations
    [cir] TSSP Certificate (Bus)

V. Section-by-Section Analysis

    This section explains the requirements proposed to implement the 
Public Transportation Safety Certification Training Program in 
accordance with 49 U.S.C. 5329(c)(1).

Section 672.1 Purpose

    This part proposes to implement 49 U.S.C. 5329(c)(1) by 
establishing a uniform curriculum of safety certification training to 
enhance the technical proficiency of individuals who are directly 
responsible for safety oversight of public transportation systems not 
subject to the safety oversight requirements of another Federal agency. 
This part would not preempt a State from implementing its own safety 
certification training requirements for public transportation systems 
subject to its jurisdiction.

Section 672.3 Scope and Applicability

    In general, the proposed rule would apply to all recipients of 
Federal public transportation funding under Chapter 53 of Title 49 of 
the United States Code. However, the mandatory requirements would apply 
specifically to SSOA personnel and their contractor support who conduct 
safety audits and examinations. In addition, the mandatory requirements 
would apply to rail transit agency personnel who are directly 
responsible for safety oversight of rail transit systems that are not 
subject to the requirements of FRA. All other recipients of Chapter 53 
funding would have discretion to participate voluntarily in the 
training requirements proposed for the PTSCTP.

Section 672.5 Definitions

    This section would set forth the definitions of some key terms for 
the proposed rule. Although this would be a new rule, many of the terms 
used for this section will carry the same or similar meaning as the 
terms are used in other documents issued by FTA. Specifically, they are 
``Administrator,'' ``Contractor,'' ``FTA,'' ``Recipient,'' ``Public 
Transportation Agency,'' ``Rail Fixed Guideway System,'' ``State,'' and 
``State Safety Oversight Agency.''
    In addition, there are some new terms proposed for this rulemaking 
with definitions that are consistent with the common sense use as they 
appear in the proposed rule text. They are: ``Designated Personnel,'' 
``Directly Responsible for Safety Oversight,'' ``Reference Documents,'' 
``Safety Audits,'' and ``Safety Examinations.''

Section 672.11 Designated Personnel Who Conduct Safety Audits and 
Examinations

    With paragraph (a) of this section, FTA is proposing that the State 
entity authorized by the Governor to perform public transportation 
safety oversight functions should identify its personnel who conduct 
safety audits and examinations of the public transportation systems for 
mandatory participation in training requirements of this part. In 
general, those identified would be SSOA personnel and the contractor 
support whose functions include on-site safety audits and examinations 
of rail public transportation systems. This section also would apply to 
the managers and supervisors who have direct authority over such 
personnel. FTA is proposing this approach because each SSOA is better 
situated to determine which of its personnel and contractors perform 
safety audit and examination functions as those terms are proposed in 
the Definitions section for this rule.
    Paragraph (b) proposes that personnel designated by the SSOA would 
have three years to complete the applicable training noted in the 
Reference Document as the term is defined in proposed section 672.5. To 
implement this rule, the interim program training requirements listed 
in Section IV of this notice would be listed in the Reference Document. 
Paragraph (b) also would require the SSOA to ensure that designated 
personnel complete at least one-hour of refresher training every two 
years after the initial three-year period above. The SSOA would have 
discretion to determine the subject area and time for such training. 
Paragraph (c) would identify the FTA web address for locating the 
current version of the safety certification training requirements.

Section 672.13 Designated Personnel of Public Transportation Agencies

    This section would require a recipient to identify its employees 
whose job function is ``directly responsible for safety oversight'' of 
the public transportation system. FTA understands that the unique 
organizational framework of public transit systems does not reasonably 
allow for uniform designation of the same position or function as being 
``directly responsible for safety oversight.'' FTA believes each 
transit agency is better situated to determine which of its personnel 
should be designated for participation in the PTSCTP, whether mandatory 
or voluntary.
    Paragraph (a) would require each recipient that operates a rail 
transit system not subject to FRA requirements to identify its 
designated personnel for mandatory participation in the PTSCTP. 
Paragraph (b) would allow recipients of other modes of public 
transportation with personnel who are directly responsible for safety 
oversight to participate voluntarily. In general, these recipients 
would be State DOTs, transit agencies with both bus and rail transit 
systems, as well as bus only systems. These recipients would have 
discretion to scale their training requirements based on their safety 
risks, as well as guidance issued by FTA. FTA would continue to provide 
technical assistance for training through its Safety Training and 
Resource Web site which can be located at: https://safety.fta.dot.gov/.
    Paragraph (c) would provide mandatory participants up to three 
years from the time of his or her initial designation to complete the 
initial training requirements. The recipient would then ensure that 
each mandatory participant completes at least one-hour of refresher 
training every two years thereafter. However, the recipient may require 
additional time for such training. As noted in paragraph (d), the FTA 
web address for locating the current version of the safety 
certification training requirements is identified.

627.15 Evaluation of Prior Certification and Training

    FTA recognizes the existence of other competent organizations that 
provide relevant safety training and certification for public 
transportation safety professionals. Therefore, paragraph (a) of this 
section would allow a participant to request that FTA review other non-
FTA sponsored safety training the participant has completed for the 
purpose of receiving credit toward equivalent elements of PTSCTP 
training requirements.
    Paragraph (b) would require the participant to provide official 
documentation from the organization that conducted the training for 
which credit is being requested. The documentation should indicate the 
date(s) and subject matter of the completed training. In addition, the

[[Page 75649]]

participant would be required to provide a narrative summary of the 
training objectives and the competencies obtained through that 
training.
    In accordance with paragraph (c), FTA would evaluate the submission 
to determine if the previously completed safety training conforms to 
the training objectives and competencies of the FTA curriculum. If 
approved, FTA would provide the participant credit for the previous 
training and waive completion of the equivalent element of the PTSCTP 
requirement. However, the waiver would not exempt a participant from 
having to comply with any applicable refresher training or technical 
training requirements.

Section 672.21 Records

    An essential requirement of any training program is the maintenance 
of adequate records to document that the training was completed. To 
that end, as noted in paragraph (a), FTA proposes to maintain an 
electronic record of each PTSCTP participant. The electronic record 
would be created when the participant registers online for the program 
at: https://safety.fta.dot.gov/.
    FTA would maintain and administer the online database; however, 
paragraph (b) would require that each recipient be responsible for 
ensuring that its designated personnel are properly registered and 
completing the curriculum for their position (e.g., safety oversight 
function, or conducting safety audits and examinations). The database 
would allow participants to update his or her status as training 
requirements are completed.
    Paragraph (c) would require each SSOA develop a technical training 
plan based on applicable requirements identified in the technical 
training component of Section IV of this notice. Each SSOA would 
maintain training records that document the technical training 
undertaken by its designated personnel and contractors who conduct 
audits and examinations of rail transit systems under its jurisdiction. 
This documentation would be retained by the SSOA for at least five 
years from the date the record is created. This documentation process 
would assist the SSOA in complying with the requirements of 49 U.S.C. 
5329(e)(3)(E), as it would provide supporting documents that show 
designated SSOA personnel and contractor support are have received 
training to perform requisite safety oversight functions. As with the 
interim program, FTA would provide templates and guidance to assist the 
SSOA with this process.
    With regard to contractors that provide audit and examination 
services to SSOAs, the SSOA would be responsible for ensuring that any 
contractor it engages to perform a safety oversight function is 
qualified to perform the service as contracted. Therefore, it is 
reasonable for the SSOA, working with its contractor, to maintain 
training records of those providing contract services.

Section 672.23 Availability of Records

    With this section, FTA is proposing requirements for the 
safekeeping and limited release of information maintained in accordance 
with the proposed requirements of this part. Paragraph (a) would 
require that information maintained in applicable training records not 
be released without the consent of the participant for whom the record 
is maintained, except in those limited instances as prescribed by law 
or as indicated in paragraphs (b), (c) and (d).
    Paragraph (b) would allow a participant to receive a copy of his or 
her training records without cost to the participant. To assist with 
safety oversight activities, paragraph (c) would require a recipient to 
provide appropriate Federal and SSOA personnel access to all of the 
recipient's facilities where required training is conducted. In 
addition, the recipient would be required to grant access to all 
training records required to be maintained by this part to appropriate 
Department of Transportation personnel and appropriate State officials 
who are responsible for safety oversight of public transportation 
systems. Paragraph (d) would require a recipient to provide information 
regarding a participant's training when requested by the National 
Transportation Safety Board when such request is made as part of an 
accident investigation.

Section 672.31 Requirement To Certify Compliance

    Recipients are required to annually certify their compliance with 
Federal grant requirements as a condition for receiving funding. 
Paragraph (a) would require recipients for whom the training 
requirements are mandatory to self-certify compliance with this part 
through the annual FTA certification and assurances. Paragraph (b) 
would require the recipient to identify the person(s) within its 
organization authorized to certify the status of the recipient's 
compliance.

Section 672.33 Compliance as a Condition of Financial Assistance

    This section would define actions available to the Administrator if 
a recipient for whom the training requirements are mandatory does not 
comply with the requirements of this part. Paragraph (a) would indicate 
that the Administrator has discretion to withhold Federal public 
transportation funds should the Administrator find that a recipient is 
not complying with the requirements of this part. Paragraph (b) would 
provide the recipient with written notice of the Administrator's 
decision and the factual basis for the Administrator's finding of 
noncompliance. Paragraph (c) would provide the recipient an opportunity 
to respond to the Administrator within 30 days of receiving written 
notice of the finding of noncompliance. Paragraph (d) provides actions 
the Administrator may undertake at his or her discretion.

VI. Cost-Benefit Analysis

    Section 5329(h) of title 49, United States Code requires FTA to 
``take into consideration the costs and benefits of each action the 
Secretary proposes to take'' under section 5329. To assess the costs 
for the PTSCTP, we first reviewed data from the Transportation Safety 
Institute (TSI). Using this data and our familiarity with how SSOAs are 
organized, we developed a maximum and minimum number of personnel, to 
include employees and contractors that would be affected by the PTSCTP. 
Next, using the same data from TSI, we determined the number of rail 
transit personnel that would be affected by the PTSCTP. We also 
reviewed the number of FTA personnel who participate in safety audits 
and examinations and determined the number of FTA personnel that would 
be required to undergo the some level of training and certification. In 
developing annual costs for personnel that would attend the PTSCTP, we 
assumed a minimum and maximum case scenario.
    For the minimum case, we assumed that all designated personnel 
under this program had already completed the TSSP Certificate Program 
and would require only the SMS portion of the coursework described in 
Section IV of this notice. This assumption is supported given the 
popularity of the TSSP Certificate Program within the industry. This 
assumption is supported further by the level of voluntary participation 
by transit industry personnel obtained from current graduation/
attendance data at TSI. For the maximum case, we assume that no one 
subject to the NPRM has a TSSP

[[Page 75650]]

Certificate. In this case, all designated personnel would have to take 
and complete both the TSSP and SMS coursework over the allotted 3-year 
period. The table below shows the estimated counts used in our 
analysis.
    To simplify the analysis, we assumed that the total designated 
personnel under this NPRM would undertake one-third of the total 
coursework each year. While affected employees will have three years to 
complete the coursework--it would be unreasonable to expect an employee 
to be away from a duty station for training purposes for over four 
consecutive weeks. As noted in the comments received on the ANPRM, many 
commenters suggested that we harness the existing voluntary training 
offered by TSI and build upon that base.

   Estimated Universe of Potential SSOA, Rail Transit Agency, and FTA
                                Personnel
------------------------------------------------------------------------
                                              Minimum         Maximum
------------------------------------------------------------------------
SSOA Personnel..........................              70             120
Rail Transit Agency Personnel...........             200             340
FTA Personnel...........................              40              40
                                         -------------------------------
    Total...............................             310             500
------------------------------------------------------------------------

    Next, we determined the training, by course, that would be required 
of each person within the scope of the PTSCTP. The TSSP Certificate 
Program consists of four courses.\1\ The Table below lists the courses 
and duration.
---------------------------------------------------------------------------

    \1\ The TSSP Certificate Program has two tracks, one for rail 
and one for bus-based transport. Since the PTSCTP is optional for 
bus-based transit we do not address those costs or benefits in the 
instant analysis.

                        TSSP Coursework Required
                   [Completed within a 3-year period]
------------------------------------------------------------------------
                      TSSP courses                             Days
------------------------------------------------------------------------
Rail Safety.............................................             4.5
Rail Incident Investigation.............................             4.5
Rail Security...........................................             4.5
Managing Emergencies....................................               4
                                                         ---------------
  Total.................................................            17.5
------------------------------------------------------------------------

    The SMS Coursework consists of two courses and three online 
training sessions. While SSO personnel will be required to take 5.125 
days of total training, rail transit agency personnel will not be 
required to take the two-day SMS Principles Course. However, we assume 
here that all rail transit agency personnel will take all 5.125 days. 
This approach is conservative and potentially over counts the total 
costs by about $65-110,000.00 per year but does not complicate this 
analysis. The Table below lists the courses and duration.

              SMS Coursework--In-Class and Online Required
                   [Completed within a 3-year period]
------------------------------------------------------------------------
                       SMS courses                             Days
------------------------------------------------------------------------
SMS Awareness...........................................           0.125
Safety Assurance........................................            0.25
SMS Gap.................................................            0.25
SMS Principles Rail Transit.............................             2.5
SMS Principles SSO Programs.............................               2
                                                         ---------------
  Total.................................................           5.125
------------------------------------------------------------------------

    Using the 2013 Bureau of Labor Statistics (BLS) average wage rate 
of $40.84 for those taking training under this program, we developed 
the following Lower Bound and Upper Bound costs for attendance as 
depicted in the table below.

           Costs for Attendance of SSOA, Rail Transit Agency, and FTA Personnel Within a 3-Year Period
----------------------------------------------------------------------------------------------------------------
                                                     Number of                     Training time    Attendance
                                                     personnel      Hourly rate       (days)           costs
----------------------------------------------------------------------------------------------------------------
Lower Bound Mandatory Costs/Yr..................             310          $40.84           5.125     $172,467.32
Upper Bound Mandatory Costs/Yr..................             500           40.84          22.625    1,234,470.68
----------------------------------------------------------------------------------------------------------------

    Next, we developed costs associated with developing, managing, and 
administering the coursework for the PTSCTP. First, we reviewed the 
course catalog for TSI and determined the percentage of courses 
required by the PTSCTP of the total courses offered--a little more than 
one-fourth (six courses plus three online courses out of 21 total 
courses or about 28 percent) of the total course offerings would be 
required of the combined TSSP/SMS training under this NPRM. 
Furthermore, of the total days of coursework offered by TSI, 30 percent 
were attributable to the TSSP/SMS coursework. To be conservative, we 
used 30 percent for weighting for unattributable costs and allocated 
full costs where we were able to identify cost resulting from the TSSP 
and/or SMS training components. Using data from FTA's budget for TSI, 
the cost for the administration of courses, contract costs, and costs 
for the development of new coursework we developed the program costs. 
We factored no facility costs as regional transit agencies or FTA 
Regional Offices host courses. Hence, we also do not account for travel 
costs because courses are hosted locally--travel for those attending 
would be included within normal commuting parameters. Lastly, there is 
no cost associated with taking the coursework for public agency 
employees. Using this information, we developed the costs presented in 
the following table.

        TSI Program Costs Associated With TSSP and SMS Coursework
------------------------------------------------------------------------
 
------------------------------------------------------------------------
Federal Salaries and Benefits *.........................        $210,212
Contract Services.......................................         368,000
Equipment, Supplies, Space, Other *.....................          58,260
Travel (Other than Course Delivery) *...................          13,800
Course Delivery.........................................         462,866

[[Page 75651]]

 
Indirect at 19%.........................................         211,496
Est. Materials Fee Recovery *...........................          97,570
                                                         ---------------
  Total Program.........................................       1,422,204
------------------------------------------------------------------------
* Weighted Cost Allocation.

    Using the costs presented above, the table below presents the total 
annual costs for the PTSCTP. We note here again that we have been very 
conservative in aggregating costs, so in fact the aggregate cost 
estimates are greater than we expect to be the case. We have not 
removed costs for rail transit agency personnel that do not have to 
take the SMS SSO Principles course. We have assumed in the Maximum 
scenario, in an overabundance of caution, that everyone has not taken 
the TSSP Certificate coursework, which is a weak assumption given the 
level of voluntary participation and popularity of the program. 
Moreover, we have used a weighting that over estimates unattributable 
costs given the level of presence in the TSI course load. While we 
present data for both a Maximum Cost and Minimum Cost scenarios, the 
actual experience for costs should be closer to the Minimum scenario 
than to the Maximum scenario.

                          Total Costs for the PTSCTP Over a 3-Year Certification Period
----------------------------------------------------------------------------------------------------------------
                                                                    Attendance
                                                                       costs         TSI costs      Total costs
----------------------------------------------------------------------------------------------------------------
Aggregate Costs MIN.............................................        $172,467      $1,422,204      $1,594,671
Aggregate Costs MAX.............................................       1,234,471       1,422,204       2,656,674
----------------------------------------------------------------------------------------------------------------

    As the interim provisions only have been in effect for a short 
time, we were unable to generate any estimate of their benefits. Thus, 
to assess the benefits for the PTSCTP, we considered how other 
transportation modes that are in the process of implementing SMS or 
similar systematic approaches to safety have estimated the benefits of 
their programs in reducing incidents, adverse outcomes, and improving 
training programs. For example, although no two programs are identical, 
the Federal Railroad Administration (FRA) in its final rule 
implementing its Training Standards issued November 7, 2014 at 79 FR 
66460, http://www.thefederalregister.org/fdsys/pkg/FR-2012-02-07/html/2012-2148.htm, 
provided evidence that training programs for the railroad industry 
would yield a breakeven point with a 7 percent reduction in human 
factor-caused accidents. Moreover, FRA in its proposed rules to 
implement its System Safety Program (SSP) (see 80 FR 10950) and its 
Risk Reduction Program (RRP) (see 77 FR 55372) provided anecdotal 
evidence that both programs could lead to meaningful reductions in 
serious crashes, and conducted breakeven analyses that found that a 
less than 1 percent reduction in the incidents and accidents under 
consideration would lead to a cost-neutral SSP rule and an 
approximately 2 percent reduction for the RRP rule. Additionally, the 
Federal Aviation Administration estimated that its SMS program could 
yield a 20 percent reduction in crashes.
    Enhancements brought about by SMS have also supported 
transportation and oversight agencies in mitigating the impacts of 
those events that do occur. For the SSO program NPRM issued February 
27, 2015, at 80 FR 11002-30, FTA considered what percentage of 
potential safety benefits that rule would need to achieve in order to 
achieve a ``break even'' point with the costs based on two different 
estimates of the potential benefit pool. (FTA noted, therein, that the 
analysis was not intended to be a full analysis of the potential 
benefits of SMS for transit safety--rather it was intended to provide 
some quantified estimate of the potential benefits of the changes to 
the SSO program proposed in that rule). FTA also noted that the 
analysis may understate the potential benefits because of the lack of 
data on some non-injury related costs associated with many incidents, 
particularly regarding property damage and travel delays. For the SSO 
NPRM, FTA estimated that the SSO program revisions would realistically 
garner a 2 percent reduction in costs associated with fatalities and 
``serious'' injuries. FTA performed analyzed the potential safety 
benefits of the SSO NPRM by reviewing the rail transit incidents 
specifically identified by the NTSB as related to inadequate safety 
oversight programs. Of the 19 major rail transit accidents the NTSB has 
investigated (or preliminarily investigated) since 2004, five had 
probable causes that included inadequate safety oversight on the part 
of the rail transit agency or FTA. Based on the analysis for the SSO 
NPRM, for the benefits to breakeven with the costs to both SSOs and 
rail transit agencies, the rule would only require a 1.23 percent 
reduction of the accidents costs per year, which did not include 
potentially significant unquantified costs related to property damage 
and disruption.
    At base, the SSO NPRM increases the frequency and/or 
comprehensiveness of activities that are already performed, such as 
reviews, inspections, field observations, investigations, safety 
studies, data analysis activities, and hazard management. The SSO NPRM 
focuses its efforts on process improvements to achieve its benefits.
    The SSO program is reliant on the PTSCTP for part of its safety 
improvements. While the SSO NPRM proposed to improve SSO and rail 
transit agencies processes, the PTSCTP improves the requisite human 
capital within the SSO program by improving the training and by making 
mandatory training for those designated personnel charged with safety 
oversight at SSO and rail transit agencies.
    We were very confident that a 2 percent reduction, which is in line 
with FRA estimates, could be achieved with the SSO NPRM--in fact, our 
calculations showed the breakeven point to be a reduction of 1.23 
percent. This leaves about .77 percent or nearly $14.3 million in 
benefits that have been unallocated. FTA believes that training for 
those charged with safety oversight at SSO and rail transit agencies is 
an imperative to achieve estimated reductions in incidents and 
accidents. To this end, we calculated the breakeven point for the 
PTSCTP. The breakeven point for the maximum case of $2.6 million in 
annual costs is 0.14 percent and .09 percent for the minimum case of 
$1.6 million in annual costs. This level of reduction in fatalities and 
serious injuries is likely to be extremely conservative and we are 
highly confident that it is easily attainable when complemented with 
the changes proposed in the SSO NPRM.
    As an alternative and to cross-check the benefits of training, we 
reviewed literature on returns derived from investments in training and 
training programs. Bartel conducts a panel study that analyzed large 
firms, studies that

[[Page 75652]]

focused on one or two firms, and company sponsored studies.\2\ Bartel 
finds that employer's return on investments in training may well be 
greater than was previously believed. We partially reproduce the table 
below from Bartel.
---------------------------------------------------------------------------

    \2\ Bartel, Ann P. ``Measuring the Employer's Return on 
Investments in Training: Evidence from the Literature'' Online: 
https://www0.gsb.columbia.edu/faculty/abartel/papers/measuring_employer.pdf.

                                 Econometric Analysis of Large Samples of Firms
----------------------------------------------------------------------------------------------------------------
                                                                         Performance
             Author                 Response rate      Sample size         measure               Findings
----------------------------------------------------------------------------------------------------------------
Bishop.........................  75%...............            2594  Productivity......  ROI on 100 hours of new
                                                                                          hire training ranged
                                                                                          from 11% to 38%.
Bartel.........................  6.5%..............             155  Value-Added.......  Implementation of
                                                                                          formal training raised
                                                                                          productivity by 6% per
                                                                                          year.
Holzer et al...................  32%...............             157  Scrap Rate........  Doubling of worker
                                                                                          training reduced scrap
                                                                                          rate by 7%, using
                                                                                          fixed-effects model.
Black and Lynch................  72%...............             617  Net Sales.........  Percentage of formal
                                                                                          training that occurs
                                                                                          off the job has
                                                                                          significant effect in
                                                                                          cross section but no
                                                                                          effect on the
                                                                                          establishment-specific
                                                                                          residual.
Tan and Batra..................  Random Sample.....       300-56000  Value-Added.......  Predicted training has
                                                                                          positive effect on
                                                                                          value-added; effects
                                                                                          range from 2.8% to 71%
                                                                                          per year.
Huselid........................  28%...............             968  Tobin's q and Rate  High-performance
                                                                      of Return on        practices had
                                                                      Capital.            significant effect in
                                                                                          cross section that
                                                                                          disappeared in fixed-
                                                                                          effects model.
----------------------------------------------------------------------------------------------------------------
Source: Bartel PP. 506.

    While these results from Bartel's study are not transportation or 
even transit related, it still gives a clear picture of the benefits 
that firms across industries have experienced when they have invested 
in training. We also reviewed a study by Almedia and Carneiro on firm-
provided training, in which they estimate the rate of return for firms 
that invest in human capital (training).\3\ Conducting a panel study of 
firms with detailed data on training, they estimate that firms that do 
not provide training yield a negative 7 percent return while those that 
provide training accomplish a 24 percent return. They conclude that 
training is ``a good investment for many firms and the economy, 
possibly yielding higher returns than either investments in physical 
capital or investments in schooling.'' \4\
---------------------------------------------------------------------------

    \3\ Almeida, Rita and Pedro Carneiro. ``Costs, Benefits and the 
Intenal Rate of Return to Firm Provided Training'' Online: http://siteresources.worldbank.org/DEC/Resources/AlmeidaCarneiroUpdatedWP3851.pdf.
    \4\ Ibid.
---------------------------------------------------------------------------

    The literature generally shows that returns on investment for 
training are positive and usually greater than is typically thought. 
This comports with the conservative assumptions that we have made and 
use to assess the PTSCTP program.

Qualitative Factors

    While the TSSP Certificate Program has been available for some 
time, it had been an optional certification that some SSOA, rail, and 
bus safety oversight personnel sought out of self-initiative. With the 
delineation of a mandatory pool of safety oversight employees, FTA 
hopes to unify and harmonize the provision of safety-related activities 
across SSOAs and rail transit agencies. In this way, this pool of 
employees will gain knowledge to identify and control hazards with the 
ultimate goal of decreasing incidents. Additionally, FTA expects that 
the codification of the PTSCTP will help promote a safety culture 
within the transit industry. This safety culture should help instill a 
transit agency-wide appreciation for shared goals, shared beliefs, best 
practices, and positive and vigilant attitudes towards safety.
    We are unsure how to quantify the effects of a positive safety 
culture as a safety culture will develop over time. Characteristics of 
a positive safety culture include: Actively seeking out information on 
hazards; employee training; information exchanges; and understanding 
that responsibility for safety is shared. While the returns on 
investment in training should be fairly quick, establishing, promoting, 
and increasing safety in an industry that is already very safe, is 
difficult to predict with any certainty.

VII. Regulatory Analyses and Notices

    All comments received on or before the close of business on the 
comment closing date will be considered and will be available for 
examination in the docket at the above address. Comments received after 
the comment closing date will be filed in the docket and will be 
considered to the extent practicable. In addition, FTA may continue to 
file relevant information in the docket as it becomes available after 
the comment period closing date, and interested persons should continue 
to examine the docket for new material. A final rule may be published 
at any time after close of the comment period.

Executive Order 12866 (Regulatory Planning and Review), Executive Order 
13563 (Improving Regulation and Regulatory Review), and DOT Regulatory 
Policies and Procedures

    Executive Orders 12866 and 13563 direct Federal agencies to assess 
all costs and benefits of available regulatory alternatives and, if 
regulation is necessary, to select regulatory approaches that maximize 
net benefits--including potential economic, environmental, public 
health and safety effects, distributive impacts, and equity. Executive 
Order 13563 emphasizes the importance of quantifying both costs and 
benefits, reducing costs, harmonizing rules, and promoting flexibility.
    FTA has determined this rulemaking is not a significant regulatory 
action within the meaning of Executive Order 12866, Executive Order 
13563, and the U.S. Department of Transportation's regulatory policies 
and procedures (DOT Order 2100.5 dated May 22, 1980, 44 FR 11034, Feb. 
26, 1979). FTA has determined that this rulemaking is not

[[Page 75653]]

economically significant. The proposals set forth in this NPRM will not 
result in an effect on the economy of $100 million or more. The 
proposals set forth in the NPRM will not adversely affect the economy, 
interfere with actions taken or planned by other agencies, or generally 
alter the budgetary impact of any entitlements, grants, user fees, or 
loan programs.

Regulatory Flexibility Act and Executive Order 13272

    This proposed rule was developed in accordance with Executive Order 
13272 (Proper Consideration of Small Entities in Agency rulemaking) and 
DOT's policies and procedures to promote compliance with the Regulatory 
Flexibility Act (5 U.S.C. 601 et seq.) which requires an agency to 
review regulations to assess the impact on small entities. In 
compliance with the Regulatory Flexibility Act, FTA has evaluated the 
likely effects of the proposals set forth in this NPRM on small 
entities.
    As noted in the cost benefit analysis for this rule, FTA developed 
a maximum and minimum number of employees of recipients that would be 
affected by the PTSCTP. FTA believes that approximately 70 to 120 SSOA 
personnel and contractors would be subject to the mandatory PTSCTP 
training requirements while approximately 340 personnel of rail transit 
agencies would be mandatory participants. Further, FTA believes that 
approximately 2,000 personnel may be voluntary participants. Section 
5329(e)(6) permits recipients of rural and urbanized area formula funds 
to use Federal funds to cover up to 80 percent of the PTSCTP costs. 
Additionally, FTA believes many of the PTSCPT participants will be 
eligible to receive credit for prior safety training which will further 
reduce the cost and impact associated with this proposed rulemaking. 
For these reasons, FTA certifies that this action will not have a 
significant economic effect on a substantial number of small entities.

Unfunded Mandates

    This proposed rulemaking would not impose unfunded mandates as 
defined by the Unfunded Mandates Reform Act of 1995 (Pub. L. 104-4, 
March 22, 1995, 109 Stat. 48). The cost of training to comply with this 
NPRM would be an eligible expenditure of Federal financial assistance 
provided to recipients under 49 U.S.C. Chapter 53. This proposed rule 
will not result in the expenditure by State, local, and tribal 
governments, in the aggregate, or by the private sector, of $143.1 
million or more in any one year (2 U.S.C. 1532).

Executive Order 13132 (Federalism)

    This proposed rulemaking has been analyzed in accordance with the 
principles and criteria established by Executive Order 13132, and FTA 
has determined that the proposed action would not have sufficient 
Federalism implications to warrant the preparation of a Federalism 
assessment. FTA has also concluded that this proposed action would not 
preempt any State law or State regulation or affect the States' 
abilities to discharge traditional State governmental functions.

Executive Order 12372 (Intergovernmental Review)

    The regulations effectuating Executive Order 12372 regarding 
intergovernmental consultation on Federal programs and activities apply 
to this proposed rulemaking.

Paperwork Reduction Act

    In compliance with the Paperwork Reduction Act of 1995 (44 U.S.C. 
3501 et seq.; ``PRA'') and the OMB regulation at 5 CFR 1320.8(d), FTA 
is seeking approval from OMB for the Information Collection Request 
abstracted below. In order to comply with the requirements proposed to 
implement the PTSCTP in accordance with 49 U.S.C. 5329(c)(1), this NPRM 
would require recipients to provide information to FTA regarding the 
participation of their respective designated personnel as abstracted 
below. Designated personnel would provide enrollment information, 
periodically update compliance with PTSCTP training requirements, and 
where applicable, submit supporting documentation of prior training for 
credit towards PTSCTP training requirements. All recipients of 
mandatory PTSCTP requirements would annually certify compliance with 
the PTSCTP requirements. Additionally, SSOAs would be required to 
develop annual technical training plans for FTA approval. The plans 
would support the SSOA requirement to demonstrate that applicable SSOA 
personnel are qualified to perform safety audits and examinations.
    The information collection would be different for each type of 
recipient (Federal government personnel, Federal contractors, SSOAs and 
their contractors, and rail transit agencies). Therefore, the paperwork 
burden would vary. For example, the burden on SSOAs would be 
proportionate to the number of rail transit agencies within that State, 
and the size and complexity of those rail transit systems. This would 
affect the number of personnel designated for participation. FTA 
proposes to bear the cost associated with the development and 
maintenance of the Web site. FTA is seeking comment on whether the 
information collected will have practical utility; whether its 
estimation of the burden of the proposed information collection is 
accurate; whether the burden can be minimized through the use of 
automated collection techniques or other forms of information 
technology; and for ways in which the quality, utility, and clarity of 
the information can be enhanced.
    Type of Review: OMB Clearance. New information collection request.
    Respondents: Currently there are 30 States with 60 rail fixed 
guideway public transportation systems in engineering, construction, 
and operations. The PRA estimate is based on participation in the 
PTSCTP by a total of 30 States and 60 rail transit agencies. In 
addition, we estimate participation by 35-45 SSOA contractors and 
approximately 30 Federal personnel and contractors.
    Frequency: Information will be collected through the Web site on an 
ongoing basis throughout the year. Participants must complete training 
requirements within 3 years and refresher training every 2 years. 
Certification of compliance will be required annually.
    Estimated Total Annual Burden Hours: In the first year of the 
program, we estimate a total burden of between 5,209 (minimum) and 
5,909 (maximum) hours, depending on how many individuals are required 
to participate. Annually, each SSOA would devote between 88-91 hours to 
information collection activities including the development and 
submission of training plans to FTA. SSOA contractors would devote 
approximately 140-180 hours to information collection activities. These 
activities would have a combined total of 2,780-2,920 hours, depending 
on how many individuals are required to participate. The mandatory 
participants affected by 49 U.S.C. 5329(c)(1) and today's rulemaking 
include 60 rail fixed guideway public transportation systems which 
would spend an estimated annual total of between 2,060 (minimum) and 
2,620 (maximum) hours on information collection activities in the first 
year, or approximately 34-44 hours each. Finally, FTA is expected to 
expend approximately 249 hours in furtherance of the PTSCTP in the 
first year, and Federal contractors will spend an estimated four (4) 
hours each, for a combined total of approximately 369 hours in the 
first year.

[[Page 75654]]

    Additional documentation detailing FTA's Paperwork Reduction Act 
Information Collection Request, including FTA's Justification 
Statement, will be posted in the docket for this rulemaking. OMB is 
required to make a decision concerning the collection of information 
requirements contained in this proposed rule within 60 days after 
receiving the information collection request submission from FTA. FTA 
will summarize and respond to any comments on the proposed information 
collection request from OMB and the public in the preamble to the final 
rule.

National Environmental Policy Act

    The National Environmental Policy Act of 1969 (42 U.S.C. 4321, et 
seq.) requires Federal agencies to analyze the potential environmental 
effects of their proposed actions in the form of a categorical 
exclusion, environmental assessment, or environmental impact statement. 
This proposed rulemaking is categorically excluded under FTA's 
environmental impact procedure at 23 CFR 771.118(c)(4), pertaining to 
planning and administrative activities that do not involve or lead 
directly to construction, such as the promulgation of rules, 
regulations, and directives. FTA has determined that no unusual 
circumstances exist in this instance, and that a categorical exclusion 
is appropriate for this rulemaking.

Executive Order 12630 (Taking of Private Property)

    This rulemaking will not affect a taking of private property or 
otherwise have taking implications under Executive Order 12630.

Executive Order 12898 (Federal Actions To Address Environmental Justice 
in Minority Populations and Low-Income Populations)

    Executive Order 12898 directs every Federal agency to make 
environmental justice part of its mission by identifying and addressing 
the effects of all programs, policies, and activities on minority 
populations and low-income populations. The USDOT environmental justice 
initiatives accomplish this goal by involving the potentially affected 
public in developing transportation projects that fit harmoniously 
within their communities without compromising safety or mobility. 
Additionally, FTA has issued a program circular addressing 
environmental justice in public transportation, C 4703.1, Environmental 
Justice Policy Guidance for Federal Transit Administration Recipients. 
This circular provides a framework for FTA grantees as they integrate 
principles of environmental justice into their transit decision-making 
processes. The Circular includes recommendations for State Departments 
of Transportation, Metropolitan Planning Organizations, and public 
transportation systems on (1) How to fully engage environmental justice 
populations in the transportation decision-making process; (2) How to 
determine whether environmental justice populations would be subjected 
to disproportionately high and adverse human health or environmental 
effects of a public transportation project, policy, or activity; and 
(3) How to avoid, minimize, or mitigate these effects.

Executive Order 12988 (Civil Justice Reform)

    This action meets the applicable standards in sections 3(a) and 
3(b)(2) of Executive Order 12988 to minimize litigation, eliminate 
ambiguity, and reduce burden.

Executive Order 13045 (Protection of Children)

    FTA has analyzed this proposed rulemaking under Executive Order 
13045. FTA certifies that this proposed rule will not cause an 
environmental risk to health or safety that may disproportionately 
affect children.

Executive Order 13175 (Tribal Consultation)

    FTA has analyzed this proposed rulemaking under Executive Order 
13175 and finds that the action will not have substantial direct 
effects on one or more Indian tribes; will not impose substantial 
direct compliance costs on Indian tribal governments; will not preempt 
tribal laws; and will not impose any new consultation requirements on 
Indian tribal governments. Therefore, a tribal summary impact statement 
is not required.

Executive Order 13211 (Energy Effects)

    FTA has analyzed this proposed rulemaking under Executive Order 
13211 and has determined that this action is not a significant energy 
action under the Executive Order, given that the action is not likely 
to have a significant adverse effect on the supply, distribution, or 
use of energy. Therefore, a Statement of Energy Effects is not 
required.

Privacy Act

    Anyone is able to search the electronic form of all comments 
received into any of FTA's dockets by the name of the individual 
submitting the comment or signing the comment if submitted on behalf of 
an association, business, labor union, or any other entity. You may 
review USDOT's complete Privacy Act Statement published in the Federal 
Register on April 11, 2000, at 65 FR 19477-8.

Statutory/Legal Authority for This Rulemaking

    This rulemaking is issued under the authority of the Moving Ahead 
for Progress in the 21st Century Act (MAP-21; Pub. L. 112-141), and the 
statutory provision codified at 49 U.S.C. 5329(c)(1), which requires 
the Secretary of Transportation to prescribe a public transportation 
safety certification training program for Federal and State employees, 
or other designated personnel, who conduct safety audits and 
examinations of public transportation systems and employees of public 
transportation agencies directly responsible for safety oversight. The 
Secretary is authorized to issue regulations to carry out the general 
provisions of this statutory requirement pursuant to 49 U.S.C. 
5329(f)(7).

Regulation Identification Number

    A regulation identification number (RIN) is assigned to each 
regulatory action listed in the Unified Agenda of Federal Regulations. 
The Regulatory Information Service Center publishes the Unified Agenda 
in April and October of each year. The RIN set forth in the heading of 
this document can be used to cross-reference this action with the 
Unified Agenda.

List of Subjects in 49 CFR Part 672

    Transportation, Mass transportation, Safety, Reporting and 
recordkeeping requirements.

    Issued in Washington, DC, under the authority delegated at 49 
CFR 1.91.
Therese McMillan,
Acting Administrator.

    For the reasons stated in the preamble, and under the authority of 
49 U.S.C. 5329(c), 5329(f), and the delegation of authority at 49 CFR 
1.91, the Federal Transit Administration proposes to amend chapter VI 
of Title 49, Code of Federal Regulations, by adding part 672 to read as 
follows:

PART 672--PUBLIC TRANSPORTATION SAFETY CERTIFICATION TRAINING 
PROGRAM

Subpart A--General Provisions
Sec.
672.1 Purpose.
672.3 Scope and applicability.
672.5 Definitions.
Subpart B--Training Requirements
672.11 Designated personnel who conduct safety audits and 
examinations.

[[Page 75655]]

672.13 Designated personnel of public transportation agencies.
672.15 Evaluation of prior certification and training.
Subpart C--Administrative Requirements
672.21 Records.
672.23 Availability of records.
Subpart D--Compliance and Certification Requirements
672.31 Requirement to certify compliance.
672.33 Compliance as a condition of financial assistance.

    Authority: 49 U.S.C. 5329(c), 49 U.S.C. 5329(f), 49 CFR 1.91.

Subpart A--General Provisions


Sec.  672.1  Purpose.

    (a) This part implements a uniform safety certification training 
curriculum and requirements that will enhance the technical proficiency 
of individuals who are directly responsible for safety oversight of 
public transportation agencies not subject to the safety oversight 
requirements of another Federal agency.
    (b) This part does not preempt any safety certification training 
requirements required by a State for public transportation agencies 
within its jurisdiction.


Sec.  672.3  Scope and applicability.

    (a) In general, this part applies to all recipients of Federal 
financial assistance under 49 U.S.C. Chapter 53.
    (b) The mandatory requirements of this part will apply only to 
State Safety Oversight Agency personnel and contractor support, and 
designated personnel of recipients that operate rail fixed guideway 
systems that are not subject to the requirements of the Federal 
Railroad Administration.
    (c) Other FTA recipients may participate voluntarily in accordance 
with this part.


Sec.  672.5  Definitions.

    As used in this part:
    Administrator means the Federal Transit Administrator or the 
Administrator's designee.
    Contractor means an entity that performs tasks on behalf of FTA or 
a State Safety Oversight Agency through contract or other agreement.
    Designated personnel means:
    (1) Employees identified by a recipient whose job function requires 
them to be directly responsible for safety oversight of public 
transportation provided by the agency; or
    (2) Employees and contractors of a State Safety Oversight Agency 
whose job function requires them to conduct safety audits and 
examinations of the public transportation systems subject to the 
jurisdiction of the agency.
    Directly responsible for safety oversight means a public 
transportation agency designated personnel whose job function includes 
the development, implementation and review of the recipient's safety 
plan.
    FTA means the Federal Transit Administration, an agency within the 
United States Department of Transportation.
    Public transportation agency means an entity that provides public 
transportation as defined in 49 U.S.C. 5302 and that has one or more 
modes of service not subject to the safety oversight requirements of 
another Federal agency.
    Rail fixed guideway public transportation system means any fixed 
guideway system that uses rail, is operated for public transportation, 
is within the jurisdiction of a State, and is not subject to the 
jurisdiction of the Federal Railroad Administration, or any such system 
in engineering or construction. Rail fixed guideway public 
transportation systems include but are not limited to rapid rail, heavy 
rail, light rail, monorail, trolley, inclined plane, funicular, and 
automated guideway.
    Recipient means an entity, including a State or local governmental 
authority that receives Federal funds pursuant to 49 U.S.C. Chapter 53.
    Reference Document means the current edition of the Public 
Transportation Safety Certification Training Program training 
requirements and curriculum. The curriculum and training requirements 
are subject to periodic revision through a notice-and-comment process. 
Recipients are responsible for using the current edition of the 
Reference Document.
    Safety audit means an examination of a recipient's safety records 
and related materials.
    Safety examination means a process for gathering facts or 
information, or an analysis of facts or information previously 
collected.
    State means a State of the United States, the District of Columbia, 
Puerto Rico, the Northern Mariana Islands, Guam, American Samoa, and 
the Virgin Islands.
    State Safety Oversight Agency (SSOA) means an agency established by 
a State that meets the requirements and performs the functions 
specified by 49 U.S.C. 5329(e) and the regulations set forth in 49 CFR 
part 659.

Subpart B--Training Requirements


Sec.  672.11  Designated personnel who conduct safety audits and 
examinations.

    (a) Each State Safety Oversight Agency (SSOA) shall designate its 
personnel and contractors who conduct safety audits and examinations of 
public transportation systems, including the managers and supervisors 
of such personnel, and ensure such designated personnel comply with the 
applicable training requirements in the current Reference Document.
    (b) Designated personnel and contractors shall complete applicable 
training requirements of this part within three (3) years of their 
initial designation. Thereafter, refresher training shall be completed 
every two (2) years. The SSOA will determine refresher training 
requirements which shall include at a minimum, one (1) hour of safety 
oversight training.
    (c) Copies. Copies of the current Reference Document are available 
from the FTA Web site located at https://safety.fta.dot.gov.


Sec.  672.13  Designated personnel of public transportation agencies.

    (a) Each recipient that operates a rail fixed guideway public 
transportation system not subject to the safety oversight of another 
Federal agency shall designate its personnel who are directly 
responsible for safety oversight and ensure that they comply with the 
applicable training requirements as set forth in the current Reference 
Document.
    (b) Each recipient that operates a bus or other public 
transportation system not subject to the safety oversight of another 
Federal agency may designate its personnel who are directly responsible 
for safety oversight. Such personnel may participate in the applicable 
training requirements as set forth in the current Reference Document.
    (c) Personnel designated under paragraph (a) of this section shall 
complete applicable training requirements of this part within three (3) 
years of their initial designation. Thereafter, refresher training 
shall be completed every two (2) years. The recipient will determine 
refresher training requirements which will include at a minimum, one 
(1) hour of safety oversight training.
    (d) Copies. Copies of the current Reference Document are available 
from the FTA Web site located at https://safety.fta.dot.gov.

[[Page 75656]]

Sec.  672.15  Evaluation of prior certification and training.

    (a) Designated personnel subject to this part may request that FTA 
evaluate safety training or certification previously obtained from 
another entity to determine if the training satisfies an applicable 
training requirement of this part.
    (b) Designated personnel must provide FTA with an official 
transcript or certificate of the training, a description of the 
curriculum and competencies obtained, and a brief statement detailing 
how the training or certification satisfies the applicable requirement 
of this part.
    (c) FTA will evaluate the submission and determine if any of the 
applicable training requirements of this part will be credited for 
waiver. If a waiver is granted, designated personnel are responsible 
for completing all other applicable requirements of this part.

Subpart C--Administrative Requirements


Sec.  672.21  Records.

    (a) General requirement. FTA will maintain an electronic database 
for designated personnel to register and enroll in the Public 
Transportation Safety Certification Training Program at https://safety.fta.dot.gov.
    (b) General requirement. Each recipient shall ensure that its 
designated personnel are enrolled in the PTSCTP via the electronic 
database. Designated personnel shall update their training profile as 
the applicable training requirements of this part are completed.
    (c) SSOA Requirement. Each SSOA will maintain a record of the 
technical training completed by its designated personnel and 
contractors in accordance with the technical training requirements of 
this part. Such records shall be maintained by the SSOA for at least 
five (5) years from the date the record is created. Each record shall 
include the following information at minimum:
    (1) The name of the designated personnel or contractor;
    (2) The title of the training, the date the training was completed 
and the proficiency test score(s), where applicable;
    (3) The content of each training course or curriculum successfully 
completed and an indication of whether the participant passed or failed 
any associated tests;
    (4) The tasks the participant is deemed qualified to perform; and
    (5) The date the designated personnel's status as qualified to 
perform the task(s) expires, and the date in which biennial refresher 
training is due.


Sec.  672.23  Availability of records.

    (a) Except as required by law, or expressly authorized or required 
by this part, a recipient may not release information pertaining to 
designated personnel that is required to be maintained by this part 
without the written consent of the designated personnel.
    (b) Designated personnel are entitled, upon written request, to 
obtain copies of any records pertaining to his or her training that is 
required to be maintained by this part. The recipient shall promptly 
provide the records requested by designated personnel and access shall 
not be contingent upon the recipient's receipt of payment for the 
production of such records.
    (c) A recipient shall permit access to all facilities utilized and 
records compiled in accordance with the requirements of this part to 
the Secretary of Transportation, the Federal Transit Administration, or 
any State agency with jurisdiction for public transportation safety 
oversight authority over the recipient.
    (d) When requested by the National Transportation Safety Board as 
part of an accident investigation, a recipient shall disclose 
information related to the training of designated personnel.

Subpart D--Compliance and Certification Requirements


Sec.  672.31  Requirement to certify compliance.

    (a) A recipient of FTA financial assistance described in Sec.  
672.3(b) of this part shall annually certify compliance with this part 
in accordance with FTA's procedures for annual grant certification and 
assurances.
    (b) A certification must be authorized by the recipient's governing 
board or other authorizing official, and must be signed by a party 
specifically authorized to do so.


Sec.  672.33  Compliance as a condition of financial assistance.

    (a) General requirement. A recipient may not be eligible for 
Federal financial assistance under 49 U.S.C. Chapter 53, in whole or in 
part, if the Administrator determines the recipient has failed to 
comply with the requirements of this part.
    (b) Notice. If the Administrator determines that Federal financial 
assistance should be withheld, the Administrator will issue a notice of 
violation and the amount proposed to be withheld at least ninety (90) 
days prior to the date from when the funds will be withheld. The notice 
must contain--
    (1) A statement of the legal authority for issuance;
    (2) A statement of the regulatory provision(s) the recipient is 
believed to have violated;
    (3) A statement of the factual allegations upon which the notice of 
violation is based; and
    (4) A statement of the remedial action sought to correct the 
violation.
    (c) Reply. Within thirty (30) days of service of a notice of 
violation, a recipient may file a written reply with the Administrator. 
Upon written request, the Administrator may extend the time for filing 
for good cause shown. The reply must be in writing, and signed by the 
Accountable Executive or equivalent entity. A written response may 
include an explanation for the alleged violation, provide relevant 
information or materials in response to the alleged violation or in 
mitigation thereof, or recommend alternative means of compliance for 
consideration by the Administrator.
    (d) Decision. Within thirty (30) days of receipt of a reply from a 
recipient, the Administrator will issue a written reply to the 
recipient. The Administrator may consider the recipient's response, 
pursuant to paragraph (c) of this section, in determining whether to 
dismiss the notice of violation in whole or in part. If the notice of 
violation is not dismissed, the Administrator may undertake any other 
enforcement action he or she deems appropriate, including withholding 
funds as stated in the notice of violation.

[FR Doc. 2015-30466 Filed 12-2-15; 8:45 am]
 BILLING CODE P



                                                                                                                                                                                                     75639

                                               Proposed Rules                                                                                                Federal Register
                                                                                                                                                             Vol. 80, No. 232

                                                                                                                                                             Thursday, December 3, 2015



                                               This section of the FEDERAL REGISTER                       Instructions: All submissions received             types of floor coverings have
                                               contains notices to the public of the proposed          must include the agency name and                      pronounced differences in slip
                                               issuance of rules and regulations. The                  docket number for this proposed                       resistance, many flooring materials will
                                               purpose of these notices is to give interested          rulemaking. All comments received may                 be inappropriate for specific uses.
                                               persons an opportunity to participate in the            be posted without change, including                   Petitioner states that the primary focus
                                               rule making prior to the adoption of the final
                                                                                                       any personal identifiers, contact                     of the petition is to protect the elderly,
                                               rules.
                                                                                                       information, or other personal                        a population petitioner believes to be
                                                                                                       information provided, to: http://                     most vulnerable to the risk of slip and
                                               CONSUMER PRODUCT SAFETY                                 www.regulations.gov. Do not submit                    fall events. As an example, petitioner
                                               COMMISSION                                              confidential business information, trade              cites that in 2014, more than 23,000
                                                                                                       secret information, or other sensitive or             elderly Americans died as a result of
                                               16 CFR Part 1408                                        protected information that you do not                 accidental falls. Furthermore, petitioner
                                                                                                       want to be available to the public. If                notes that the CDC stated that in 2013,
                                               [Docket No. CPSC–2015–0033]
                                                                                                       furnished at all, such information                    the direct medical costs of older adult
                                               Petition for Labeling Requirements                      should be submitted in writing.                       falls was approximately $34 billion.
                                                                                                          Docket: For access to the docket to                   Petitioner states that slip resistance
                                               Regarding Slip Resistance of Floor
                                                                                                       read background documents or                          labeling would be analogous to the
                                               Coverings; Request for Comments
                                                                                                       comments received, go to: http://                     requirements for labeling nutritional
                                               AGENCY: Consumer Product Safety                         www.regulations.gov, and insert the                   content in food, noting that labeling
                                               Commission.                                             docket number, CPSC–2015–0033, into                   regarding flooring slip resistance would
                                               ACTION: Notice of petition for                          the ‘‘Search’’ box, and follow the                    allow consumers to make more
                                               rulemaking.                                             prompts. A copy of the petition is                    informed decisions when selecting a
                                                                                                       available at http://www.regulations.gov               flooring product, enabling elderly
                                               SUMMARY:   The United States Consumer                   under Docket No. CPSC–2015–0033,                      consumers to select flooring that offers
                                               Product Safety Commission (‘‘CPSC’’ or                  Supporting and Related Materials.                     higher slip resistance, potentially
                                               ‘‘Commission’’) received a petition                     FOR FURTHER INFORMATION CONTACT:                      reducing the risk of accidental slip and
                                               requesting that the Commission initiate                 Todd Stevenson, Office of the Secretary,              fall events.
                                               rulemaking under the Consumer                           U.S. Consumer Product Safety                             By this notice, the Commission seeks
                                               Product Safety Act (‘‘CPSA’’) to require                Commission, Room 820, 4330 East West                  comments concerning this petition.
                                               that manufacturers of floor coverings,                  Highway, Bethesda, MD 20814;                          Interested parties may obtain a copy of
                                               floor coverings with coatings, and                      telephone (301) 504–6833.                             the petition by writing or calling the
                                               treated floor coverings label their                     SUPPLEMENTARY INFORMATION: The                        Office of the Secretary, U.S. Consumer
                                               products’ slip resistance in accordance                 Commission received a petition                        Product Safety Commission, Room 820,
                                               with the applicable American National                   requesting that manufacturers of floor                4330 East West Highway, Bethesda, MD
                                               Standards Institute (‘‘ANSI’’) standard.                coverings, floor coverings with coatings,             20814; telephone (301) 504–7923. A
                                               The Commission invites written                          and treated floor coverings (herein                   copy of the petition is also available for
                                               comments concerning the petition.                       abbreviated as ‘‘floor coverings’’) be                viewing under ‘‘Supporting and Related
                                               DATES: The Office of the Secretary must                 required to label their products to                   Materials’’ in www.regulations.gov,
                                               receive comments on the petition by                     provide point-of-sale information                     under Docket No. CPSC–2015–0033.
                                               February 1, 2016.                                       regarding such products’ degree of slip
                                                                                                                                                               Dated: November 25, 2015.
                                               ADDRESSES: You may submit comments,                     resistance, in accordance with the
                                                                                                       labeling requirements of ANSI B101.5–                 Todd A. Stevenson,
                                               identified by Docket No. CPSC–2015–
                                                                                                       2014.1 Specifically, petitioner requests a            Secretary, U.S. Consumer Product Safety
                                               0033, by any of the following methods:                                                                        Commission.
                                                  Electronic Submissions: Submit                       rule that would require a label
                                                                                                       indicating the slip resistance (also                  [FR Doc. 2015–30440 Filed 12–2–15; 8:45 am]
                                               electronic comments to the Federal
                                               eRulemaking Portal at: http://                          known as ‘‘coefficient of friction’’ or               BILLING CODE 6355–01–P

                                               www.regulations.gov. Follow the                         ‘‘COF’’) for floor coverings based on
                                               instructions for submitting comments.                   tests described in ANSI B101.1 and
                                               The Commission does not accept                          B101.3. The required label would                      DEPARTMENT OF TRANSPORTATION
                                               comments submitted by electronic mail                   provide a graphic of a traction scale and
                                               (email), except through                                 indicate the COF value for the product.               Federal Transit Administration
                                               www.regulations.gov. The Commission                        The petition was filed by the National
                                               encourages you to submit electronic                     Floor Safety Institute. Petitioner notes              49 CFR Part 672
                                               comments by using the Federal                           that manufacturers of floor coverings
                                                                                                       currently are not required to provide                 [Docket No. FTA–2015–0014]
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                                               eRulemaking Portal, as described above.
                                                  Written Submissions: Submit written                  consumers with information relating to
                                               submissions by mail/hand delivery/                      slip resistance of their products.                    RIN 2132–AB25
                                               courier to: Office of the Secretary,                    Petitioner asserts that because different
                                                                                                                                                             Public Transportation Safety
                                               Consumer Product Safety Commission,                       1 The                                               Certification Training Program
                                                                                                                petition does not apply to floor coatings,
                                               Room 820, 4330 East West Highway,                       such as waxes, that are sold separately or to
                                               Bethesda, MD 20814; telephone (301)                     coverings such as carpets, rugs, mats, runners or     AGENCY: Federal Transit Administration
                                               504–7923.                                               artificial turf.                                      (FTA), DOT.


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                                               75640                Federal Register / Vol. 80, No. 232 / Thursday, December 3, 2015 / Proposed Rules

                                               ACTION: Notice of proposed rulemaking;                  New Jersey Avenue SE., Room W12–                      evaluation of non-FTA sponsored safety
                                               request for comments.                                   140, Washington, DC 20590 between                     training for credit towards applicable
                                                                                                       9:00 a.m. and 5:00 p.m., Monday                       PTSCTP requirements; (2) require
                                               SUMMARY:    The Federal Transit                         through Friday except Federal holidays.               designated personnel to complete a
                                               Administration (FTA) seeks public                       FOR FURTHER INFORMATION CONTACT: For                  minimum of one hour of refresher safety
                                               comment on a notice of proposed                         program issues, contact Ruth Lyons,                   training every two years as determined
                                               rulemaking (NPRM) for safety                            FTA, Office of Safety and Oversight,                  by his or her employer; (3) require
                                               certification training. FTA proposes to                 1200 New Jersey Avenue SE.,                           recipients to maintain administrative
                                               adopt the current interim safety                        Washington, DC 20590 (telephone: 202–                 records and ensure a participant’s
                                               certification training provisions as the                366–2233 or email: Ruth.Lyons@                        curriculum completion status is
                                               initial regulatory training requirements                dot.gov). For legal issues, contact Bruce             updated periodically; and (4) require
                                               for public transportation industry                      Walker, FTA, Office of Chief Counsel,                 SSOAs and recipients that operate rail
                                               personnel responsible for safety                        same address, (telephone: 202–366–                    fixed guideway systems not regulated by
                                               oversight of public transportation                      9109 or email: Bruce.Walker@dot.gov).                 the Federal Railroad Administration
                                               systems. The NPRM defines to whom                       Office hours are Monday through Friday                (FRA) to annually certify compliance
                                               the training requirements apply,                        from 8 a.m. to 6 p.m. (EST), except                   with the rule as a condition of receiving
                                               describes recordkeeping requirements,                   Federal holidays.                                     Chapter 53 funding.
                                               provides administrative provisions, and                 SUPPLEMENTARY INFORMATION:
                                               compliance requirements.                                                                                      Legal Authority
                                                                                                       I. Executive Summary                                     This rulemaking is issued under the
                                               DATES: Comments must be received by
                                                                                                       II. Advance Notice of Proposed Rulemaking             authority of 49 U.S.C. 5329(c)(1) which
                                               February 1, 2016. FTA will accept late-                 III. Overview of the Proposed Rule
                                               filed comments to the extent                            IV. Interim Program Curriculum and
                                                                                                                                                             requires the Secretary of Transportation
                                               practicable.                                                  Technical Training Requirements                 to prescribe a public transportation
                                                                                                       V. Section-by-Section Analysis                        safety certification training program for
                                               ADDRESSES:   Please submit your                         VI. Cost-Benefit Analysis                             Federal and State employees, or other
                                               comments by only one of the following                   VII. Regulatory Analyses and Notices                  designated personnel, who conduct
                                               methods:                                                                                                      safety audits and examinations of public
                                                  • Online: Use the Federal                            I. Executive Summary
                                                                                                                                                             transportation systems, as well as
                                               eRulemaking portal at http://                              In the Moving Ahead for Progress in                employees of public transportation
                                               www.regulations.gov and follow the                      the 21st Century Act (MAP–21; Pub. L.                 agencies directly responsible for safety
                                               instructions for submitting comments.                   112–141, July 6, 2012), Congress                      oversight. The Secretary is authorized to
                                                  • U.S. Mail: Send your comments to                   directed FTA to establish a                           issue regulations to carry out the general
                                               the Docket Management Facility, U.S.                    comprehensive Public Transportation                   provisions of this statutory requirement
                                               Department of Transportation, 1200                      Safety Program (codified at 49 U.S.C.                 pursuant to 49 U.S.C. 5329(f)(7).
                                               New Jersey Avenue SE., W12–140,                         5329), one element of which is the
                                               Washington, DC 20590–0001.                              Public Transportation Safety                          Summary of Key Provisions
                                                  • Hand Delivery or Courier: Go to                    Certification Training Program                           Similar to the interim program, the
                                               Room W12–140 on the ground floor of                     (PTSCTP). The purpose of today’s                      focus of the proposed rule would be on
                                               the West Building, U.S. Department of                   NPRM is to carry out the statutory                    enhancing the technical proficiency of
                                               Transportation headquarters, 1200 New                   mandate to provide a framework to                     safety oversight professionals in the rail
                                               Jersey Avenue SE., between 9 a.m. and                   enhance the technical proficiency of                  transit industry. To that end, this
                                               5 p.m. Eastern time, Monday through                     those directly responsible for safety                 proposed rule would incorporate the
                                               Friday except Federal holidays.                         oversight of public transportation                    curriculum set forth in Section V of the
                                                  • Telefax: Send your comments to                     systems.                                              Federal Register notice promulgating
                                               202–493–2251.                                              This proposed rulemaking would                     the interim program. FTA may
                                                  Instructions: All comments must                      incorporate the curriculum promulgated                periodically update the curriculum
                                               include the docket number for this                      recently for the interim provisions for               following a period for public notice and
                                               rulemaking: FTA–2015–0014. Submit                       safety certification training (interim                comment. This approach is similar to
                                               two copies of your comments if you                      program) as the training requirements                 that of the National Transit Database
                                               submit them by mail. For confirmation                   for the PTSCTP. The interim program                   (NTD) rule at 49 CFR part 630 in which
                                               that FTA received your comments,                        curriculum and training requirements                  the Reporting Manuals set forth
                                               include a self-addressed, stamped                       may be found in Section V of the                      reporting requirements. FTA
                                               postcard. All comments received will be                 Federal Register notice promulgating                  periodically updates the manuals with
                                               posted without change to http://                        the interim program at: https://                      public notice and an opportunity for
                                               www.regulations.gov, including any                      www.federalregister.gov/articles/2015/                stakeholders to comment. FTA believes
                                               personal information provided. Please                   02/27/2015-03842/interim-safety-                      this proposal would provide for a
                                               see the Privacy Act heading under                       certification-training-program-                       consistent and stable curriculum as the
                                               ‘‘Supplementary Information,’’ below,                   provisions.                                           public transportation industry
                                               for Privacy Act information pertinent to                   The NPRM provides a regulatory                     acclimates to the requirement for safety
                                               any submitted comments or materials,                    framework for safety certification                    oversight training.
                                               and you may review DOT’s complete                       training for personnel who are directly                  The proposed rule would reflect the
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                                               Privacy Act Statement published in the                  responsible for safety oversight of public            interim program in that mandatory
                                               Federal Register on April 11, 2000, at                  transportation systems and the State                  participants would continue to be State
                                               65 FR 19477.                                            personnel who conduct safety audits                   Safety Oversight Agency (SSOA)
                                                  Docket Access: For access to                         and examinations of rail transportation               personnel and contractors, and
                                               background documents and comments                       systems. Besides incorporating the                    designated personnel of rail transit
                                               received in the rulemaking docket, go to                interim program curriculum and                        agencies not otherwise regulated by
                                               http://www.regulations.gov or to the                    training requirements, this proposal                  another Federal agency. Employees or
                                               U.S. Department of Transportation, 1200                 would: (1) Permit participants to request             contractors of entities providing safety


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                                                                    Federal Register / Vol. 80, No. 232 / Thursday, December 3, 2015 / Proposed Rules                                           75641

                                               oversight of bus operations would be                    training to the transit industry, albeit on           would garner a 2 percent reduction in
                                               permitted to participate on a voluntary                 a voluntary basis. Using this data and                costs associated with fatalities and
                                               basis. Participants would continue to                   our familiarity with how SSOAs are                    ‘‘serious’’ injuries. Based on the analysis
                                               have three years to complete the initial                organized, we developed a maximum                     for the, SSO NPRM, for the benefits to
                                               requirements for the PTSCTP.                            and minimum number of personnel, to                   break even with the costs to both SSOs
                                               Participation in the interim program                    include employees and contractors that                and rail transit agencies, the rule only
                                               would be credited towards meeting the                   would be affected by the PTSCTP. Next,                would require a 1.23 percent reduction
                                               initial three-year PTSCTP completion                    using the same data from TSI, we                      of the accident costs per year, which did
                                               requirements. The three-year timeframe                  determined the number of rail transit                 not include potentially significant
                                               for new participants would commence                     personnel that would be affected by the               unquantified costs related to property
                                               upon their enrollment in the PTSCTP.                    PTSCTP. We also reviewed the number                   damage and disruption. The SSO
                                                  Another key proposal is the                          of FTA personnel who participate in                   program is reliant on the PTSCTP for
                                               requirement for SSOAs and recipients                    safety audits and examinations and                    part of its safety improvements. While
                                               that operate rail fixed guideway systems                determined the number of FTA                          the SSO NPRM proposed to improve
                                               not regulated by the Federal Railroad                   personnel that would be required to                   SSO and rail transit agency processes,
                                               Administration (FRA) to ensure its                      undergo some level of training and                    the PTSCTP improves the requisite
                                               designated personnel are enrolled in the                certification. In developing annual costs             human capital within the SSO program
                                               PTSCTP electronic database maintained                   for personnel that would attend the                   by improving the training and by
                                               by FTA and to monitor their                             PTSCTP, we assumed a minimum and                      making mandatory training for those
                                               participation towards completing                        maximum case scenario.                                designated personnel charged with
                                               applicable training requirements. In                       For the minimum case, we assumed                   safety oversight at SSO and rail transit
                                               addition, SSOAs would be required to                    that all designated personnel under this              agencies.
                                               maintain administrative records of the                  program already had completed the
                                               participation of its designated personnel               Transit Safety and Security Program                   II. Advance Notice of Proposed
                                               in applicable technical training as                     (TSSP) Certificate and would require                  Rulemaking
                                               outlined in the SSOA’s FTA-approved                     only the safety management system                        On October 3, 2013, FTA issued an
                                               technical training plan.                                (SMS) portion of the coursework                       Advance Notice of Proposed
                                                  Unlike the interim program, FTA is                   described in Section IV of this notice.               Rulemaking (ANPRM) in the Federal
                                               proposing a process for participants to                 For the maximum case, we assumed that                 Register on all aspects of FTA’s safety
                                               request review of documented training                   no one subject to the NPRM has a TSSP                 authority, including the training
                                               obtained from sources other than FTA                    Certificate. In this case, all designated             program. (See 78 FR 61251, http://
                                               for credit towards the equivalent                       personnel would have to take and                      www.gpo.gov/fdsys/pkg/FR-2013-10-03/
                                               PTSCTP training. In addition, FTA is                    complete both the TSSP and SMS                        pdf/2013-23921.pdf).
                                               proposing that mandatory participants                   coursework over the allotted 3-year                      In the ANPRM, FTA noted that there
                                               be required to undertake at least one                   period. Using these assumptions, we                   are discrete and different skill-sets
                                               hour of refresher training every two                    estimate an approximate maximum cost                  required for those who perform safety
                                               years on a safety subject determined by                 of $2.6 million per year, of which up to              audit and examination functions
                                               his or her employer. The timeframe for                  80 percent may be funded with FTA                     compared to those who are directly
                                               determining the two-year refresher                      funds.                                                responsible for safety oversight. For
                                               training period would commence                             To assess the benefits for the PTSCTP,             example, at the Federal level, FTA’s
                                               following completion of the initial                     we considered how other transportation                responsibilities include ensuring that
                                               PTSCTP.                                                 modes that are in the process of                      SSOA personnel are properly trained
                                                  Lastly, each SSOA and recipient that                 implementing SMS or similar                           and adequately resourced to regulate
                                               operates a rail fixed guideway system                   systematic approaches to safety have                  rail transit systems within their
                                               not regulated by the FRA would be                       estimated the benefits of their programs              respective jurisdictions. At the State
                                               required to certify compliance with the                 in reducing incidents, adverse                        level, SSOA personnel are responsible
                                               PTSCTP requirements as part of FTA’s                    outcomes, and improving the industry’s                for direct safety oversight of those rail
                                               procedures for annual grant certification               safety culture. It is difficult to quantify           transit systems under their jurisdiction.
                                               and assurances. Should FTA determine                    the effects of a positive safety culture as           And on the local level, public
                                               an SSOA or recipient is not in                          a safety culture will develop over time.              transportation agency personnel are
                                               compliance with the PTSCTP, the                         Characteristics of a positive safety                  directly responsible for developing and
                                               Administrator would have discretion to                  culture include: Actively seeking out                 implementing safety oversight within
                                               withhold Chapter 53 funds following                     information on hazards; employee                      their respective agencies. Recognizing
                                               notice and an opportunity for the                       training; information exchanges; and                  this distinction, FTA outlined its vision
                                               recipient to respond.                                   understanding that responsibility for                 for the PTSCTP which included a
                                                  With this NPRM, FTA is seeking                       safety is shared. While the returns on                wholly new FTA-sponsored training
                                               comment on its proposal to incorporate                  investment in training should be fairly               curriculum to enhance the technical
                                               the interim program curriculum and                      quick, establishing, promoting, and                   proficiency of safety oversight
                                               technical training requirements as the                  increasing safety, even in an industry                professionals in the public
                                               initial training requirements for the                   that is very safe, is difficult to predict            transportation industry.
                                               PTSCTP. Additionally, FTA seeks                         with any certainty. Consistent with                      In the ANPRM, FTA noted that
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                                               comments of its proposed regulatory                     other recent rulemakings issued by the                pursuant to 49 U.S.C. 5329(c)(2), it
                                               framework for the PTSCTP.                               Department on SMS, we conducted a                     would promulgate an interim program
                                                                                                       breakeven analysis. As explained                      for safety certification training prior to
                                               Costs and Benefits                                      further in Section VI, for the State Safety           developing a proposed rule for the
                                                 As discussed in greater detail below,                 Oversight (SSO) NPRM published in the                 PTSCTP. On April 30, 2014, FTA
                                               FTA reviewed data from the                              Federal Register on February 27, 2015                 published a Federal Register notice
                                               Transportation Safety Institute (TSI), the              at 80 FR 11002, FTA estimated that the                requesting comment on its proposed
                                               entity that provides substantial safety                 SSO program revisions realistically                   requirements for the interim program. A


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                                               75642                Federal Register / Vol. 80, No. 232 / Thursday, December 3, 2015 / Proposed Rules

                                               number of the proposed requirements                        Some commenters suggested that FTA                 is a requirement for the interim program
                                               for the interim program were based in                   focus on developing a safety program                  and a proposed requirement for the
                                               part, on recommendations provided by                    that recognizes the six key functions of              PTSCTP. However, FTA does not
                                               commenters on the ANPRM (see 79 FR                      bus safety identified in the 2003                     believe the initial requirements for the
                                               24363).                                                 Memorandum of Understanding (MOU)                     PTSCTP should include NIMS or OSHA
                                                  FTA evaluated comments received in                   signed by FTA and the Federal Motor                   training standards because a primary
                                               response to the proposed interim                        Carrier Safety Administration (FMSCA).                objective of the initial requirements is to
                                               program notice and promulgated the                      Those functions include management,                   promote a common framework for
                                               final interim program requirements in a                 operations and maintenance, human                     developing SMS principles across the
                                               Federal Register notice dated February                  resources, safety activities, security                industry.
                                               27, 2015, with an effective date of May                 activities, and emergency/all hazards                    The curriculum proposed for the
                                               28, 2015 (see 80 FR 10619). Since the                   management. A few commenters stated                   PTSCTP would include a risk-based
                                               interim program was implemented only                    that FTA should develop clear and                     approach for analyzing and mitigating
                                               recently, FTA has not had sufficient                    workable guidelines for safety                        safety risks. It also would leverage
                                               opportunity to evaluate the effectiveness               certification training and accommodate                existing FTA-sponsored training for all
                                               of the program, nor assess lessons                      the differing needs of small, medium                  recipients including State DOTs, and
                                               learned. However, to implement the                      and large agencies in those                           both rural and urban bus transit
                                               requirement of 49 U.S.C. 5329(c)(1) via                 requirements.                                         providers. Accordingly, FTA concurs
                                               a regulatory framework, FTA is                             Three commenters indicated that the                with the commenters who indicated that
                                               proposing with this rule that the                       PTSCTP called for in MAP–21 only                      bus safety training should include the
                                               curriculum for the PTSCTP remain the                    applies to the SSO program and does                   six key functions of bus safety as
                                               same as that of the interim program.                    not require specific training                         identified in the FTA/FMCSA MOU
                                                  Some comments on the ANPRM were                      requirements for State Department of                  signed in 2003. FTA proposes to
                                               outside the scope of the questions posed                Transportation (State DOT) staff                      continue offering the Bus Safety
                                               and, therefore, are not addressed in this               involved in managing federal funds.                   program and other bus safety-related
                                               notice. However, many of the comments                   Two commenters stated that defining                   course offerings as a voluntary
                                               and recommendations were instructive                    training outcomes and competency                      component of the PTSCTP.
                                               for developing both the interim program                 areas is not an appropriate role for FTA                 FTA also concurs with the
                                               and this NPRM. What follows is a                        and should be left up to the                          commenters who indicated that
                                               discussion of relevant ANPRM                            determination of a transit agency and                 personnel who may be subject to both
                                               comments, development of the interim                    based on the scope, scale and                         FRA and FTA training requirements
                                               program requirements, and the                           complexity of fixed facilities, systems
                                                                                                                                                             should not be subject to redundant
                                               regulatory framework proposed for the                   and operating environment.
                                                                                                                                                             training. Accordingly, the PTSCTP
                                               PTSCTP.                                                 Commenters also suggested the
                                                  Question 48. In the ANPRM, FTA                                                                             would not apply to personnel of rail
                                                                                                       following:
                                               proposed organizing the training around                    • Since a culture of safety already                transit agencies subject to the
                                               a series of competencies and basic skills               exists in rural transit, FTA should                   jurisdiction of the Federal Railroad
                                               that Federal, State, and public transit                 consider flexible, scalable approaches                Administration (e.g., commuter
                                               agency safety oversight personnel need                  that use training programs that have a                railroads).
                                               to perform their respective                             proven track record for driver training,                 FTA agrees that State DOT personnel
                                               responsibilities. To that end, FTA                      vehicle maintenance, and drug and                     involved in managing federal funds that
                                               proposed a wholly new FTA-sponsored                     alcohol compliance;                                   are passed on to subrecipients are not
                                               safety training curriculum, provided a                     • there needs to be a concerted effort             likely to be charged with safety
                                               list of competencies and technical                      to drill down on safety concerns that                 oversight responsibilities. But the State
                                               capabilities supported by the                           cause the greatest risk in cost and life              DOT is responsible for ensuring that
                                               curriculum, and sought comment                          and focus on improving those areas;                   subrecipients adhere to all applicable
                                               regarding what other safety-related                        • the FTA Safety Certification                     Federal requirements. We emphasize
                                               competency areas or training outcomes                   Program requirement should allow FRA-                 that this rule does not propose
                                               should be identified for the PTSCTP.                    regulated properties the flexibility to               mandatory training requirements for
                                                  Thirty commenters responded                          comply with FRA safety training                       State DOT personnel who perform
                                               directly to the question or provided                    regulations without requiring                         safety oversight roles for non-rail public
                                               comments relative to the issue. A few                   additional, redundant training and                    transportation systems.
                                               commenters indicated that the FTA list                  certification requirements.                              Question 49. FTA next asked whether
                                               sufficiently covered all safety-related                    FTA response: As discussed further in              all of the competencies listed in the
                                               competency areas. Several commenters                    Section IV of this notice, FTA is                     ANPRM are necessary for personnel
                                               identified safety-related competency                    undertaking this proposed rulemaking                  with safety oversight responsibilities.
                                               areas for inclusion in the PTSCTP, such                 in accordance with the authority                         Twenty-nine commenters responded
                                               as: Incident investigation, emergency                   granted under 49 U.S.C. 5329(c)(1). FTA               directly to the question or provided
                                               response, fundamental safety                            recognizes that one size will not fit all;            comments related to the issue. Several
                                               management concepts and processes,                      therefore, the curriculum proposed for                commenters agreed that the
                                               methods for the identification,                         the PTSCTP is designed to be scalable                 competencies identified in the ANPRM
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                                               assessment and evaluation of hazards,                   and flexible, especially for State DOTs               are necessary to craft a comprehensive
                                               safety assurance methods, measurement                   and the bus transit industry.                         safety training program that addresses
                                               and evaluation of safety management                        In response to the commenters who                  the various hazards and threats faced by
                                               processes and mitigation strategies,                    provided a list of safety-related                     public transportation systems. A couple
                                               National Incident Management System                     competency areas for consideration,                   of these commenters added that the
                                               (NIMS) training, and Occupational                       FTA notes that many of those                          current FTA-sponsored training is not
                                               Safety & Health Administration (OSHA)                   competency areas are included in the                  sufficient and transit agencies will need
                                               standards.                                              current curriculum for the TSSP, which                more than the current training programs


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                                                                    Federal Register / Vol. 80, No. 232 / Thursday, December 3, 2015 / Proposed Rules                                          75643

                                               in order to successfully comply with                    TSSP curriculum is being updated and                     One commenter indicated that it
                                               new safety requirements.                                FTA is proposing additional courses for               would be costly to require a person to
                                                  Two commenters indicated that the                    the PTSCTP that focus on SMS                          complete the training before a recipient
                                               competencies identified were                            principles. This approach aligns with                 could hire that person. Another
                                               unnecessary. One of the commenters                      FTA’s adoption of the SMS framework                   commenter stated that both approaches
                                               stated the current program is overly                    to enhance safety while effectively                   have problems. The commenter noted
                                               broad and beyond the capacity of many                   leveraging a curriculum and training                  that if an agency hires inexperienced
                                               small operators. The other commenter                    model familiar to the industry. FTA                   people with no training and provides
                                               recommended that FTA utilize safety                     believes its approach to the interim                  the training once aboard, the agency
                                               training offered through the American                   program and the proposed                              will have trained but inexperienced
                                               Public Transportation Association                       implementation of the PTSCTP                          people. On the other hand, an employee
                                               (APTA). Another commenter indicated                     adequately addresses commenter’s                      needs to learn the details of the transit
                                               that training should cover the four SMS                 concerns regarding costs, scalability and             business which cannot be taught
                                               principles and strategies for controlling               flexibility for the transit industry.                 entirely in the classroom. The
                                               risk. Several commenters indicated that                    Question 50. In the ANPRM, FTA did                 commenter noted that if a state agency
                                               the competencies required for a small,                  not propose a timeframe for safety                    hires only those that have the requisite
                                               rural, bus-only agency are far different                oversight personnel to complete the                   training, the agency will have people
                                               than those required in a large, urban,                  safety certification training                         with the minimum qualifications to do
                                               multi-modal agency. They noted that                     requirements. However, the following                  the job but may still require
                                               agencies with fewer risk factors should                 question was posed to obtain the                      considerable on-the-job training in order
                                               be allowed to work within standards                     industry’s perspective on the issue:                  to prepare them to actually perform the
                                               appropriate to their risk profile. A few                Should personnel be required to obtain                requirements of a regulator.
                                               commenters stated they do not see a                     certification prior to starting a position,              Lastly, a commenter stated that since
                                               need for the rules to prescribe specific                or should they be given a specific                    there are no current certification
                                               training requirements for State DOT                     timeframe to obtain safety certification              requirements for bus transit, time to
                                               staff involved in managing federal funds                after starting a position?                            obtain the certification would be
                                               that are passed on to subrecipients.                                                                          appropriate. The commenter also stated
                                                                                                          Forty-seven commenters responded
                                               Other commenters suggested the                                                                                that personnel performing any specific
                                                                                                       directly to the question or provided
                                               following:                                                                                                    function or task in a rail system should
                                                  • Advanced SMS Principles for Rail                   comments relative to the question. Forty
                                                                                                       commenters indicated they do not                      be certified before being allowed to
                                               Transit can probably be combined with
                                                                                                       believe personnel should be required to               independently perform in that capacity.
                                               Level 100 SMS Principles for Rail
                                               Transit, and Level 300 SMS Risk                         obtain certification prior to starting a                 FTA response. The objective of safety
                                               Control Strategies can probably be                      position, and a new hire should be                    certification training is to enhance the
                                               combined with Level 201 Advanced                        given a period of time to obtain                      technical proficiency of those
                                               SMS Risk Management;                                    necessary certifications. Many of the                 responsible for safety oversight of public
                                                  • public transportation agencies                     commenters noted that it would be more                transportation systems. FTA recognizes
                                               should determine which competencies                     effective to attend required safety                   that in order for any proposed
                                               are necessary for the scope, scale and                  certification training concurrently with              regulatory requirements to be
                                               complexity of their fixed facilities,                   on-the-job training. Otherwise, it would              implemented practically, issues of
                                               systems and operating environments;                     limit the pool of qualified candidates for            resource allocation and availability
                                                  • many transit safety professionals                  safety positions if personnel were                    must be considered. To that end, FTA
                                               already have the majority of the specific               required to obtain certification prior to             concurs with those commenters who
                                               competencies listed. Emphasis may be                    starting a position. Commenters also                  indicated that it could be overly
                                               placed on specific SMS areas where                      noted that agencies should have the                   burdensome to limit the pool of
                                               gaps exist based on the transit agency’s                flexibility to customize training to                  available applicants to only those that
                                               safety risk analysis.                                   address their unique safety concerns,                 have completed the proposed training
                                                  FTA response. A similar question was                 size, and management structure.                       requirements. For this reason, the
                                               posed in the Federal Register notice for                Further, commenters noted that                        interim program provides designated
                                               the interim program dated April 30,                     currently it is difficult to recruit and              personnel three years from the date of
                                               2014. Commenters to both notices                        hire safety professionals; therefore,                 the recipient’s initial designation to
                                               indicated that the existing FTA-                        requiring certification prior to starting a           complete the interim program
                                               sponsored training already includes                     position would only increase the                      requirements. FTA is proposing the
                                               many of the competencies FTA                            difficulty.                                           same three-year timeframe to complete
                                               identified as necessary to implement a                     A few commenters stated that                       the initial PTSCTP requirements. FTA
                                               safety certification training program.                  personnel should be required to obtain                believes this approach adequately
                                               Consequently, FTA reviewed the TSI                      all safety certification prior to starting a          balances concerns with personnel
                                               curriculum and concurs that the courses                 position because lack of appropriate                  training requirements and the
                                               for the TSSP Certificate sufficiently                   training could potentially put the public             recipient’s resource management
                                               cover many of the competency areas                      at risk. One commenter stated that both               requirements.
                                               that FTA identified; therefore, FTA will                options should be available depending                    Question 51. In the ANPRM, FTA did
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                                               leverage the curriculum for the TSSP                    on the position occupied. For instance,               not propose a specific timeframe for
                                               program instead of developing a wholly                  at the director level and higher, an                  how often safety oversight personnel
                                               new curriculum for the PTSCTP.                          individual should have experience with                should be required to undergo refresher
                                                  As suggested by commenters                           the principles of SMS and program                     training requirements. However, we did
                                               however, FTA agrees that the existing                   development. At lower levels, a certain               ask the following question to obtain the
                                               TSSP curriculum should be revised to                    amount of on-the-job training could be                public’s perspective on the needed
                                               better reflect SMS principles.                          incorporated in an individual’s                       frequency: How often should personnel
                                               Accordingly, as noted in Section IV, the                development plan.                                     be required to receive refresher training?


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                                               75644                Federal Register / Vol. 80, No. 232 / Thursday, December 3, 2015 / Proposed Rules

                                                  Forty-seven commenters responded                     framework adopted by FTA. To that                     oversight including: The entire System
                                               directly to the question or provided                    end, proposed training requirements                   Safety Department and the divisions
                                               comments relative to the issue. Several                 will be driven by safety data in                      under it; agency leadership, operations
                                               commenters indicated that personnel                     conjunction with safety trend analysis.               managers, supervisors, and safety staff;
                                               should be required to receive refresher                 FTA will periodically review safety data              the Director of Safety, the Risk
                                               training either every two or three years.               and trends which may indicate a need                  Management Department and various
                                               Some commenters recommended                             for FTA to revise refresher training                  safety departments and trainers that are
                                               refresher training every three to five                  requirements. However, any revisions                  contractor specific; Safety Managers;
                                               years. A few commenters thought                         will be subject to notice and comment                 Bus and Rail Managers; the responsible
                                               refresher training should be conducted                  prior to becoming effective.                          Executive; Safety Operations Manager;
                                               annually. Two commenters stated that                       FTA agrees with the commenters who                 and Safety Administrators (Bus, Rail).
                                               depending on the number of courses                      indicated that refresher training should                 Some commenters noted that in their
                                               required and the length of the training                 occur every two years following the                   organizations every employee has a
                                               curriculum, refresher training should                   initial three-year timeframe for                      responsibility for safety. A number of
                                               occur somewhere between every one to                    completing safety certification training              the commenters also noted that overall
                                               five years.                                             requirements. Since any refresher                     authority and responsibility was vested
                                                  A few commenters indicated that                      training should be relevant to a                      in a number of individuals, including
                                               personnel should receive refresher                      recipient’s specific circumstances, the               the General Manager/Transit Director,
                                               training on an as-needed basis to keep                  recipient will be in the best position to             Chief Operating Officer/Operations
                                               them up-to-date on new safety standards                 determine the subject matter and                      Manager, Facilities Managers,
                                               and changes to existing safety standards.               timeframe that should be allotted for                 Maintenance Manager, and the Chief
                                               Some commenters suggested that the                      refresher training. However, FTA                      Safety Officer and staff. A few
                                               primary concern should be the quality,                  believes that at minimum, one hour of                 commenters stated that FTA already has
                                               not the quantity or frequency of                        refresher training every two years                    a process for identifying safety-sensitive
                                               refresher training. In addition,                        should be required. The minimum                       personnel subject to its Drug and
                                               commenters suggested the following:                     requirement of one hour of biannual                   Alcohol Testing program requirements
                                                  • Frequency of training should be left               refresher training strikes an appropriate             and recommended that FTA adopt a
                                               to the discretion of the recipient;                     balance that reinforces safety oversight              similar process to identify those subject
                                                  • FTA should regularly convene                       training while recognizing that each                  to the safety rules. Two commenters
                                               those responsible for public                            recipient can best determine refresher                noted that this decision should be at the
                                               transportation safety oversight at the                  training that is appropriate for its safety           discretion of the transit agency as some
                                               Federal, State, and agency level to                     oversight personnel.                                  agencies, because of size, may have a
                                               discuss safety critical risks. These                       Questions 52 and 53. In the ANPRM,                 person serving as the safety person in
                                               discussions should focus on trends in                   FTA posed a series of questions to assist             addition to other duties. Two other
                                               public transportation safety risks, safety              with identifying the universe of                      commenters stated that it varies
                                               risk management practices and risk                      potential personnel that may be subject               depending on the size of the agency and
                                               control strategies;                                     to the PTSCPT requirements. Question                  the position should be identified by the
                                                  • the frequency of refresher training                52 sought to identify which transit                   transit agency General Manager.
                                               should be based on several factors,                     agency positions are directly                            With regard to the series of questions
                                               including, but not limited to the scope                 responsible for safety oversight.                     about operations personnel, thirty-one
                                               of job functions, frequency of                          Question 53 sought to identify specific               commenters responded. Many of the
                                               application of the functions, and                       operations personnel who are directly                 comments were similar to responses to
                                               experience with the specific function for               responsible for safety, their duties, and             the question above; however, a number
                                               which the individual is responsible;                    the training they receive. The questions,             of commenters specifically addressed
                                                  • frequency of refresher training is                 as phrased in the ANPRM, did not                      operations personnel. These
                                               dependent on the employee’s position                    clearly reflect this functional                       commenters identified widely varied
                                               and safety responsibilities;                            distinction; however, responses from                  and diverse operations positions that are
                                                  • the question is premature and                      many of the commenters indicated an                   directly responsible for safety oversight
                                               cannot be addressed until the final                     awareness of the distinction. The point               to include: Operations Supervisors,
                                               requirements are adopted and the                        is noted here because both the interim                Department Managers/Supervisors,
                                               number of professionals requiring                       program and this NPRM would apply                     Safety Department personnel/Safety
                                               training can be assessed;                               only to transit personnel with direct                 Managers/Director of Safety, Safety/
                                                  • training standards and timing                      safety oversight responsibilities                     Training Officer, all supervisory and
                                               should evolve as the requirements are                   (emphasis added) as distinguished from                management personnel, Chief Operating
                                               adopted and implemented. Overlaying                     operations personnel who are                          Officer, Operations Managers,
                                               refresher training requirements on an                   responsible for safety (oversight                     Maintenance Directors, and
                                               already strained training system would                  omitted). FTA’s proposed approach to                  Transportation Safety Specialist.
                                               further slow training of new safety                     the training requirements for operations                 Comments regarding the duties of
                                               professionals.                                          personnel who are responsible for safety              operations positions were just as varied
                                                  FTA response. FTA is taking a                        will be included in the NPRM for the                  and diverse. Duty descriptions
                                               comprehensive approach as it considers                  Public Transportation Agency Safety                   included, but were not limited to,
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                                               the safety training requirements                        Plan to be issued pursuant to 49 U.S.C.               contract management, research,
                                               proposed here, as well as those that will               5329(d).                                              development, implementation and
                                               be proposed in other rules to implement                    Twenty-eight commenters responded                  maintenance of programs and
                                               the Public Transportation Safety                        to the question of which transit agency               procedures, policy development,
                                               Program authorized by 49 U.S.C. 5329.                   positions are directly responsible for                observations, inspections, audits,
                                               FTA recognizes that proposed training                   safety oversight. Several commenters                  investigations and liaison. One
                                               and refresher requirements should align                 listed various transit agency positions as            commenter stated that Bus and Rail
                                               and support the objectives of the SMS                   being directly responsible for safety                 Transit Operations Supervisors are


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                                                                    Federal Register / Vol. 80, No. 232 / Thursday, December 3, 2015 / Proposed Rules                                           75645

                                               directly responsible for overseeing the                    One commenter stated that the                      Seminar. One commenter noted that
                                               operational safety of the agency by                     Board’s involvement with safety/risk                  Colorado has a robust program offering
                                               conducting efficiency tests, rules                      issues is at a policy level while two                 two full-day safety-related training
                                               compliance line rides, post-accident                    other commenters indicated that the                   sessions at their spring and fall transit
                                               line rides, accident investigations,                    General Manager is responsible for                    conferences. Two commenters
                                               verifying compliance with Roadway                       ensuring that board members, or their                 mentioned classes conducted by local
                                               Worker Protection (RWP) requirements,                   equivalents, understand the safety                    safety personnel such as police, fire,
                                               and investigating reported hazards.                     culture of the agency. Two commenters                 sheriffs, emergency management
                                               Commenters noted that the Operations                    stated that the Board receives informal               organizations, and the risk manager.
                                               Supervisors are trained in all of the                   safety training. One of these                            Commenters noted that the
                                               above either by internal staff or by                    commenters noted that this training is a              effectiveness of the training is evaluated
                                               attending courses offered by TSI.                       part of their service on a Subcommittee               using the following methods: Internal
                                                  One commenter stated that all                        for Safety and another responded that                 safety audits; facility safety inspections;
                                               operations managers and supervisors are                 the Board is instructed on the                        on the job evaluations by departmental
                                               directly responsible for safety oversight               definitions related to safety reporting               managers, the General Manager,
                                               and their duties vary, but include                      and how to interpret safety data to                   insurance pool staff, or State DOT staff;
                                               development, implementation, training                   improve their understanding of the                    ride checks; efficiency tests; and SSO
                                               and enforcement of policies/procedures;                 monthly safety data presented to them.                triennial audits. In addition, one
                                               inspection and observation; hazard                         One commenter responded that when                  commenter noted that regulatory audits
                                               management; tool box safety meetings;                   members first come onto the Board they                and written tests are used to measure
                                               and assuring compliance with all local,                 are provided familiarization training on              training effectiveness.
                                               state and federal regulations governing                 FTA safety requirements under 49 CFR                     Comments on the types of training
                                               the safe operation of vehicles.                         part 659. Another commenter noted that                that oversight personnel need but is not
                                                  Responses to the question of training                board members might receive this                      readily available included SMS training,
                                               received by operations personnel also                   training through an agency’s insurance                risk assessment training, reactive
                                               varied but TSI and OSHA training were                   company. Another noted that their                     training programs that address changes
                                               mentioned most frequently. A number                     agency is currently writing a new safety              to strategic safety philosophy, and
                                               of commenters indicated that they have                  plan that incorporates SMS principles;                tactical issue-specific initiatives. A few
                                               received training such as university                    since the Board of Directors will be                  commenters recommended that FTA
                                               level safety training courses,                          required to review and approve the plan               develop this training specifically for the
                                               fundamentals of bus collision                           they will receive a presentation that will            public transportation industry.
                                               investigation, fatigue and sleep apnea                  explain SMS principles and processes,                    FTA response. The comments indicate
                                               awareness for transit employees, transit                including risk management.                            the availability of an array of relevant
                                               industrial safety management, and                          FTA response. The information                      safety training for safety oversight
                                               transit rail incident investigation.                    provided by the commenters to this                    professionals. As noted in Section V of
                                                  FTA response. The responses to both                  question will be reviewed as FTA                      this notice, the comments support
                                               questions clearly indicate the universe                 considers appropriate methods to                      FTA’s proposal to develop a process to
                                               of transit agency personnel responsible                 increase SMS awareness for the Board of               evaluate safety training obtained from
                                               for safety oversight, and operations                    Directors or those with equivalent                    other competent organizations for credit
                                               personnel responsible for safety vary                   executive oversight functions.                        towards PTSCTP requirements.
                                               among transit agencies. As discussed                       Question 55. FTA asked questions
                                               further in Section V of this notice, FTA                about the availability of industry                    III. Overview of the Proposed Rule
                                               believes that each recipient, with                      training specifically for personnel with                 FTA considered the recommendations
                                               guidance from FTA, is better situated to                transit safety oversight responsibility;              submitted by commenters on the
                                               determine which of its personnel are                    the effectiveness and accessibility of                ANPRM while developing both the
                                               directly responsible for safety oversight.              such training; and what other types of                interim program and this proposed rule.
                                               As noted earlier, training requirements                 training oversight personnel need but                 Many of those recommendations are
                                               for operations personnel will be                        that may not be readily available to                  reflected in the requirements proposed
                                               addressed in the rulemaking for the                     them.                                                 for this rule.
                                               Public Transportation Agency Safety                        Twenty-nine commenters responded                      To implement this rule, FTA proposes
                                               Plan.                                                   to this question. Several commenters                  to leverage the interim program training
                                                  Question 54. FTA asked whether                       listed the various training that safety               requirements as the foundation for the
                                               members of a transit agency board of                    oversight personnel currently receive,                PTSCTP. FTA recognizes that the
                                               directors or other equivalent entity                    with the common thread being                          interim program was implemented only
                                               currently receive any type of safety or                 federally-sponsored training programs                 recently; therefore, a reasonable period
                                               risk management training; if so, what                   offered by the National Transit Institute             of time should pass to allow FTA to
                                               does the training cover?                                (NTI), the National Transportation                    assess its effectiveness before proposing
                                                  Thirty commenters responded, with                    Safety Board, the National Safety                     new or additional requirements. The
                                               twenty-three stating that their Boards or               Council, TSI, and OSHA. Some                          interim program curriculum and
                                               the equivalent do not receive safety/risk               commenters responded that most of                     technical training requirements are
                                               management training. In general, several                their training was developed and/or                   republished in Section IV of this notice
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                                               commenters noted that Boards should                     provided in-house or through on-the-job               for clarity. FTA invites public comment
                                               not be required to receive this type of                 training. A few commenters noted the                  on its proposed implementation of the
                                               training. A few commenters indicated                    availability of the following training for            PTSCTP as noted herein.
                                               that Boards receive some type of                        bus small urban and rural operators:                     As with the interim program, FTA
                                               training, ranging from informal or                      Community Transportation Association                  proposes the initial focus of the PTSCTP
                                               familiarization training to training                    of America’s Certified Safety and                     will be on enhancing the technical
                                               provided by insurance companies or                      Security Officer Training Program and                 proficiency of safety oversight
                                               executive staff.                                        FTA’s Bus Safety Program Orientation                  professionals in the rail transit industry.


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                                               75646                Federal Register / Vol. 80, No. 232 / Thursday, December 3, 2015 / Proposed Rules

                                               In addition, public transportation safety               the terms ‘‘directly responsible for safety           agency, but would likely align with the
                                               is a priority for all public transit                    oversight,’’ ‘‘safety audits,’’ and ‘‘safety          training requirements to be proposed for
                                               providers; therefore, safety oversight                  examinations’’ in order to assist public              the Public Transportation Agency Safety
                                               professionals of other modes of public                  transit agencies with identifying                     Plan. Refresher training would likely
                                               transportation are encouraged to                        personnel who will need to complete                   place greater emphasis on advanced
                                               participate voluntarily. The initial                    the training.                                         areas or topics that often lead to
                                               mandatory PTSCTP requirements                              FTA is proposing flexibility with                  accidents, injuries, or non-compliance.
                                               would provide SMS training for Federal                  developing the curriculum for the                     This process would allow both FTA and
                                               and SSOA personnel and their                            PTSCTP. Specifically, FTA would use a                 the public transportation industry to
                                               contractor support, as well as rail transit             process similar to that used to identify              analyze safety data and identify risks
                                               agency personnel who are directly                       National Transit Database (NTD)                       before recommending risk mitigation
                                               responsible for safety oversight of rail                reporting requirements under 49 CFR                   strategies. FTA believes a two-year
                                               transit systems. Safety oversight                       part 630. To illustrate, FTA periodically             refresher cycle following the initial
                                               personnel of recipients such as State                   publishes revisions to the NTD                        three-year training period reasonably
                                               DOTs and bus transit providers would                    Reporting Manuals (defined in part 630                permits designated personnel to train on
                                               continue as voluntary participants. FTA                 as reference documents) following                     relevant safety issues while not
                                               believes this initial approach of                       notice and comment. For the PTSCTP,                   significantly impacting operations.
                                               mandatory training for SSOAs and rail                   FTA would issue and update the                           Although each SSOA and rail transit
                                               transit agencies, and voluntary training                training requirements for the PTSCTP in               agency would have discretion with
                                               for bus only systems, allows for                        a similar manner. After FTA issues a                  regard to the subject matter for refresher
                                               optimum utilization of Federal and local                final PTSCTP rule, FTA would                          training, the proposed rule would
                                               resources while providing flexibility to                periodically review the training                      require designated personnel to
                                               revise the training requirements as                     requirements to determine if any                      participate in at least one hour of
                                               appropriate. However, FTA notes that                    modifications should be made to                       refresher training. FTA emphasizes that
                                               pursuant to 49 U.S.C. 5329(c)(1), it has                improve the effectiveness of the                      this proposal would provide the SSOAs
                                               discretion to promulgate mandatory                      program. If warranted, revised                        and rail transit agencies with discretion
                                               training requirements for all public                    requirements would be published in the                to require more than one hour of
                                               transportation systems—not just rail.                   Federal Register for notice and                       refresher training based on the specific
                                                  In response to commenters who                        comment before taking effect. The                     safety oversight training needs of the
                                               recommended that the PTSCTP program                     requirements then would be made                       SSOA or rail transit agency.
                                               requirements be flexible and scalable                   available via the FTA Web site as the                    FTA also agrees with those ANPRM
                                               and take into consideration the varying                 reference document noted in sections                  commenters who indicated that FTA
                                               needs and sizes of different public                     672.5, 672.11 and 672.13 of the                       should recognize relevant safety training
                                               transit agencies, FTA notes that the                    proposed regulatory text. The flexibility             and certification that designated
                                               PTSCTP’s mandatory training would                       of this process would align with FTA’s                personnel already have obtained. To
                                               apply only to SSOAs and rail transit                    periodic review of safety data and                    that end, FTA is proposing to allow
                                               agencies with minimum training                          trends to determine if the reference                  designated personnel to have their
                                               requirements necessary to enhance                       document warrants revisions. FTA                      previous training evaluated by FTA to
                                               technical proficiency. State DOT and                    believes this proposed approach                       determine if the training competencies
                                               bus transit personnel would be                          provides the public transportation                    are equivalent to the competencies of
                                               voluntary participants. Further, FTA                    industry with predictable training                    the curriculum proposed for the
                                               recognizes the value of leveraging its                  requirements yet allows flexibility to                PTSCTP. FTA would have the
                                               published safety toolkits, best practices               respond to emerging safety trends                     discretion to determine whether specific
                                               guides, and providing technical                         within a reasonable timeframe.                        PTSCTP training requirements should
                                               assistance as the PTSCTP is                                The proposed PTSCTP is also flexible               be waived for the designated personnel.
                                               implemented. Therefore, before FTA                      with regard to its application. FTA is                   FTA believes the regulatory construct
                                               would propose new training                              not proposing that a recipient only can               described above balances flexibility and
                                               requirements, existing FTA-sponsored                    hire personnel that have completed the                scalability for recipients while
                                               training would be reviewed for                          initial training requirements. As                     achieving the objective of enhancing the
                                               applicability and scalability relative to               suggested by a number of commenters,                  technical proficiency of public
                                               the diverse universe of public transit                  FTA proposes that personnel would                     transportation personnel. FTA invites
                                               providers.                                              have three years from the date the                    public comment on the flexible and
                                                  FTA also proposes flexibility with                   recipient identifies him or her as                    scalable approach proposed to
                                               regard to how personnel would be                        designated personnel to complete the                  implement the PTSCTP.
                                               identified as participants for the                      initial requirements. FTA believes this
                                               PTSCTP. FTA agrees with commenters                      measured approach promotes the                        IV. Interim Program Curriculum and
                                               who indicated the recipient should have                 legislative intent of enhancing the                   Technical Training Requirements
                                               discretion to identify which of its                     technical proficiency of safety oversight               FTA is providing the following
                                               personnel perform safety oversight                      personnel while recognizing the                       requirements of the interim program
                                               functions. Comments to the ANPRM                        recipient’s need to prudently manage its              here to assist stakeholders with
                                               indicated that position titles and                      human capital and resources.                          understanding the curriculum and
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                                               functions in the public transportation                     Additionally, FTA agrees with                      requirements proposed for this rule. As
                                               industry are not universal. In general, it              commenters who indicated that                         stated previously, FTA adopted these
                                               would be impractical for FTA to                         refresher training should occur every                 requirements through a notice and
                                               identify the specific positions or titles of            two years following the initial three-                comment process and is not seeking
                                               those directly responsible for safety                   year timeframe for completing safety                  comments on the requirements
                                               oversight or those who conduct audits                   certification training requirements.                  themselves. FTA believes the
                                               and examinations. Therefore, the                        Topics for refresher training would be at             curriculum and technical training
                                               proposed rule includes definitions for                  the discretion of the SSOA or rail transit            requirements developed for the interim


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                                                                    Federal Register / Vol. 80, No. 232 / Thursday, December 3, 2015 / Proposed Rules                                          75647

                                               program provide a sufficient baseline for                  Recognizing that each rail fixed                      D Complete training that covers the
                                               enhancing the technical competency of                   guideway public transportation system                 skills and knowledge the designated
                                               those directly responsible for safety                   has unique characteristics, each SSOA                 personnel will need to effectively
                                               oversight. However, since these                         will identify the tasks related to                    perform his or her tasks.
                                               requirements only became effective in                   inspections, examinations, and audits,                   D Pass a written and/or oral
                                               May of this year, FTA is interested in                  and all activities requiring sign-off,                examination covering the skills and
                                               receiving comments on the effectiveness                 which must be performed by the SSOA                   knowledge required for the designated
                                               of the curriculum and technical training                to carry out its safety oversight                     personnel to effectively perform his or
                                               requirements noted herein.                              requirements, and identify the skills and             her tasks.
                                                  For purposes of consistency, FTA has                 knowledge necessary to perform each                      D Demonstrate hands-on capability to
                                               changed ‘‘covered personnel’’ to                        task at that system. At a minimum, the                perform his or her tasks to the
                                               ‘‘designated personnel’’ as that is the                 technical training plan will describe the             satisfaction of the appropriate SSOA
                                               term proposed for use in the rule. All                  process for receiving technical training              supervisor or designated instructor.
                                               other text is the same as that published                from the rail transit agencies in the                    Æ Establish equivalencies or written
                                               in the February 27, 2015, Federal                       following competency areas appropriate                and oral examinations to allow
                                               Register notice (80 FR 10619), available                to the specific rail fixed guideway                   designated personnel to demonstrate
                                               at http://www.gpo.gov/fdsys/pkg/FR-                     system(s) for which safety audits and                 that they possess the skill and
                                               2015-02-27/pdf/2015-03842.pdf.                          examinations are conducted:                           qualification required to perform their
                                                                                                       • Agency organizational structure                     tasks.
                                               A. Required Curriculum Over a Three-                                                                             Æ Require biennial refresher training
                                               Year Period                                             • System Safety Program Plan and
                                                                                                            Security Program Plan                            to maintain technical skills and abilities
                                                  • FTA/SSOA personnel and                                                                                   which includes classroom and hands-on
                                                                                                       • Knowledge of agency:
                                               contractor support, and rail transit                                                                          training, as well as testing. Observation
                                                                                                          Æ Territory and revenue service
                                               agency personnel with direct                                                                                  and evaluation of actual performance of
                                                                                                            schedules
                                               responsibility for safety oversight of rail                                                                   duties may be used to meet the hands-
                                                                                                          Æ Current bulletins, general orders,
                                               transit systems not subject to FRA                                                                            on portion of this requirement, provided
                                                                                                            and other associated directives that
                                               regulation:                                                                                                   that such testing is documented.
                                                                                                            ensure safe operations
                                               Æ One (1) hour course on SMS                               Æ Operations and maintenance rule                     Æ Require that training records be
                                                  Awareness—e-learning delivery (all                        books                                            maintained to demonstrate the current
                                                  required participants)                                  Æ Safety rules                                     qualification status of designated
                                               Æ Two (2) hour course on Safety                            Æ Standard Operating Procedures                    personnel assigned to carry out the
                                                  Assurance—e-learning delivery (all                      Æ Roadway Worker Protection                        oversight program. Records may be
                                                  required participants)                                  Æ Employee Hours of Service and                    maintained either electronically or in
                                               Æ Two (2) hour SMS Gap course (e-                                                                             writing and must be provided to FTA
                                                                                                            Fatigue Management program
                                                  learning for existing TSSP Certificate                                                                     upon request.
                                                                                                          Æ Employee Observation and Testing
                                                  holders)                                                                                                      Æ Records must include the following
                                                                                                            Program (Efficiency Testing)
                                               Æ SMS Principles for Rail Transit (2                                                                          information concerning each designated
                                                                                                          Æ Employee training and certification
                                                  days—all required participants)                                                                            personnel:
                                                                                                            requirements
                                               Æ SMS Principles for SSO Programs (2                                                                             D Name;
                                                                                                          Æ Vehicle inspection and
                                                  days—FTA/SSOA/contractor support                                                                              D The title and date each training
                                                  personnel only)                                           maintenance programs, schedules
                                                                                                                                                             course was completed and the
                                               Æ Revised TSSP with SMS Principles                           and records
                                                                                                                                                             proficiency test score(s) where
                                                  Integration (not required of current                    Æ Track inspection and maintenance
                                                                                                                                                             applicable;
                                                  TSSP Certificate holders—17.5 days                        programs, schedules and records                     D The content of each training course
                                                  for all other designated personnel)                     Æ Tunnels, bridges, and other                      successfully completed;
                                               Æ Rail System Safety                                         structures inspection and                           D A description of the designated
                                               Æ Effectively Managing Transit                               maintenance programs, schedules                  personnel’s hands-on performance
                                                  Emergencies                                               and records                                      applying the skills and knowledge
                                               Æ Transit System Security                                  Æ Traction power (substation,                      required to perform the tasks that the
                                               Æ Rail Incident Investigation                                overhead catenary system, and third              employee will be responsible for
                                                  • FTA/SSOA/contractor support                             rail), load dispatching, inspection              performing and the factual basis
                                               personnel (technical training                                and maintenance programs,                        supporting the determination;
                                               component):                                                  schedules and records                               D The tasks the designated personnel
                                                  Each SSOA shall develop a technical                     Æ Signal and train control inspection              is deemed qualified to perform; and
                                               training plan for designated personnel                       and maintenance programs,                           D Provide the date that the designated
                                               and contractor support personnel who                         schedules and records                            personnel’s status as qualified to
                                               perform safety audits and examinations.                    The SSOA will determine the length                 perform the tasks expires, and the date
                                               The SSOA will submit its proposed                       of time for the technical training based              in which biennial refresher training is
                                               technical training plan to FTA for                      on the skill level of the designated                  due.
                                               review and evaluation as part of the                    personnel relative to the applicable rail                Æ Ensure the qualification of
                                               SSOA certification program in                           transit agency(s). FTA will provide a                 contractors performing oversight
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                                               accordance with 49 U.S.C. 5329(e)(7).                   template on its Web site to assist the                activities. SSOAs may use
                                               This review and approval process will                   SSOA with preparing and monitoring its                demonstrations, previous training and
                                               support the consultation required                       technical training plan and will provide              education, and written and oral
                                               between FTA and SSOAs regarding the                     technical assistance as requested. Each               examinations to determine if contractors
                                               staffing and qualification of the SSOAs’                SSOA technical training plan that is                  possess the skill and qualification
                                               employees and other designated                          submitted to FTA for review will:                     required to perform their tasks.
                                               personnel in accordance with 49 U.S.C.                     Æ Require designated personnel to                     Æ Periodically assess the effectiveness
                                               5329(e)(3)(D).                                          successfully:                                         of the technical training. One method of


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                                               75648                Federal Register / Vol. 80, No. 232 / Thursday, December 3, 2015 / Proposed Rules

                                               validation and assessment could be                      ‘‘Contractor,’’ ‘‘FTA,’’ ‘‘Recipient,’’               that the unique organizational
                                               through the use of efficiency tests or                  ‘‘Public Transportation Agency,’’ ‘‘Rail              framework of public transit systems
                                               periodic review of employee                             Fixed Guideway System,’’ ‘‘State,’’ and               does not reasonably allow for uniform
                                               performance.                                            ‘‘State Safety Oversight Agency.’’                    designation of the same position or
                                                                                                          In addition, there are some new terms              function as being ‘‘directly responsible
                                               B. Voluntary Curriculum                                 proposed for this rulemaking with                     for safety oversight.’’ FTA believes each
                                               • Bus transit system personnel with                     definitions that are consistent with the              transit agency is better situated to
                                                   direct safety oversight responsibility              common sense use as they appear in the                determine which of its personnel should
                                                   and State DOTs overseeing safety                    proposed rule text. They are:                         be designated for participation in the
                                                   programs for subrecipients                          ‘‘Designated Personnel,’’ ‘‘Directly                  PTSCTP, whether mandatory or
                                                 Æ FTA-sponsored Bus Safety                            Responsible for Safety Oversight,’’                   voluntary.
                                                   Programs                                            ‘‘Reference Documents,’’ ‘‘Safety                        Paragraph (a) would require each
                                                 Æ One (1) hour course on SMS                          Audits,’’ and ‘‘Safety Examinations.’’                recipient that operates a rail transit
                                                   Awareness—e-learning delivery                                                                             system not subject to FRA requirements
                                                                                                       Section 672.11 Designated Personnel
                                                 Æ SMS for Bus Operations                                                                                    to identify its designated personnel for
                                                 Æ TSSP Certificate (Bus)                              Who Conduct Safety Audits and
                                                                                                                                                             mandatory participation in the PTSCTP.
                                                                                                       Examinations
                                                                                                                                                             Paragraph (b) would allow recipients of
                                               V. Section-by-Section Analysis                             With paragraph (a) of this section,                other modes of public transportation
                                                 This section explains the                             FTA is proposing that the State entity                with personnel who are directly
                                               requirements proposed to implement                      authorized by the Governor to perform                 responsible for safety oversight to
                                               the Public Transportation Safety                        public transportation safety oversight                participate voluntarily. In general, these
                                               Certification Training Program in                       functions should identify its personnel               recipients would be State DOTs, transit
                                               accordance with 49 U.S.C. 5329(c)(1).                   who conduct safety audits and                         agencies with both bus and rail transit
                                                                                                       examinations of the public                            systems, as well as bus only systems.
                                               Section 672.1       Purpose                             transportation systems for mandatory                  These recipients would have discretion
                                                 This part proposes to implement 49                    participation in training requirements of             to scale their training requirements
                                               U.S.C. 5329(c)(1) by establishing a                     this part. In general, those identified               based on their safety risks, as well as
                                               uniform curriculum of safety                            would be SSOA personnel and the                       guidance issued by FTA. FTA would
                                               certification training to enhance the                   contractor support whose functions                    continue to provide technical assistance
                                               technical proficiency of individuals                    include on-site safety audits and                     for training through its Safety Training
                                               who are directly responsible for safety                 examinations of rail public                           and Resource Web site which can be
                                               oversight of public transportation                      transportation systems. This section also             located at: https://safety.fta.dot.gov/.
                                               systems not subject to the safety                       would apply to the managers and                          Paragraph (c) would provide
                                               oversight requirements of another                       supervisors who have direct authority                 mandatory participants up to three years
                                               Federal agency. This part would not                     over such personnel. FTA is proposing                 from the time of his or her initial
                                               preempt a State from implementing its                   this approach because each SSOA is                    designation to complete the initial
                                               own safety certification training                       better situated to determine which of its             training requirements. The recipient
                                               requirements for public transportation                  personnel and contractors perform                     would then ensure that each mandatory
                                               systems subject to its jurisdiction.                    safety audit and examination functions                participant completes at least one-hour
                                                                                                       as those terms are proposed in the                    of refresher training every two years
                                               Section 672.3       Scope and Applicability
                                                                                                       Definitions section for this rule.                    thereafter. However, the recipient may
                                                  In general, the proposed rule would                     Paragraph (b) proposes that personnel              require additional time for such
                                               apply to all recipients of Federal public               designated by the SSOA would have                     training. As noted in paragraph (d), the
                                               transportation funding under Chapter 53                 three years to complete the applicable                FTA web address for locating the
                                               of Title 49 of the United States Code.                  training noted in the Reference                       current version of the safety certification
                                               However, the mandatory requirements                     Document as the term is defined in                    training requirements is identified.
                                               would apply specifically to SSOA                        proposed section 672.5. To implement
                                               personnel and their contractor support                  this rule, the interim program training               627.15 Evaluation of Prior
                                               who conduct safety audits and                           requirements listed in Section IV of this             Certification and Training
                                               examinations. In addition, the                          notice would be listed in the Reference                 FTA recognizes the existence of other
                                               mandatory requirements would apply to                   Document. Paragraph (b) also would                    competent organizations that provide
                                               rail transit agency personnel who are                   require the SSOA to ensure that                       relevant safety training and certification
                                               directly responsible for safety oversight               designated personnel complete at least                for public transportation safety
                                               of rail transit systems that are not                    one-hour of refresher training every two              professionals. Therefore, paragraph (a)
                                               subject to the requirements of FRA. All                 years after the initial three-year period             of this section would allow a participant
                                               other recipients of Chapter 53 funding                  above. The SSOA would have discretion                 to request that FTA review other non-
                                               would have discretion to participate                    to determine the subject area and time                FTA sponsored safety training the
                                               voluntarily in the training requirements                for such training. Paragraph (c) would                participant has completed for the
                                               proposed for the PTSCTP.                                identify the FTA web address for                      purpose of receiving credit toward
                                                                                                       locating the current version of the safety            equivalent elements of PTSCTP training
                                               Section 672.5       Definitions                                                                               requirements.
                                                                                                       certification training requirements.
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                                                 This section would set forth the                                                                              Paragraph (b) would require the
                                               definitions of some key terms for the                   Section 672.13 Designated Personnel                   participant to provide official
                                               proposed rule. Although this would be                   of Public Transportation Agencies                     documentation from the organization
                                               a new rule, many of the terms used for                     This section would require a recipient             that conducted the training for which
                                               this section will carry the same or                     to identify its employees whose job                   credit is being requested. The
                                               similar meaning as the terms are used in                function is ‘‘directly responsible for                documentation should indicate the
                                               other documents issued by FTA.                          safety oversight’’ of the public                      date(s) and subject matter of the
                                               Specifically, they are ‘‘Administrator,’’               transportation system. FTA understands                completed training. In addition, the


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                                                                    Federal Register / Vol. 80, No. 232 / Thursday, December 3, 2015 / Proposed Rules                                         75649

                                               participant would be required to                           With regard to contractors that                    Section 672.33 Compliance as a
                                               provide a narrative summary of the                      provide audit and examination services                Condition of Financial Assistance
                                               training objectives and the                             to SSOAs, the SSOA would be                              This section would define actions
                                               competencies obtained through that                      responsible for ensuring that any                     available to the Administrator if a
                                               training.                                               contractor it engages to perform a safety             recipient for whom the training
                                                  In accordance with paragraph (c),                    oversight function is qualified to                    requirements are mandatory does not
                                               FTA would evaluate the submission to                    perform the service as contracted.                    comply with the requirements of this
                                               determine if the previously completed                   Therefore, it is reasonable for the SSOA,             part. Paragraph (a) would indicate that
                                               safety training conforms to the training                working with its contractor, to maintain              the Administrator has discretion to
                                               objectives and competencies of the FTA                  training records of those providing                   withhold Federal public transportation
                                               curriculum. If approved, FTA would                      contract services.                                    funds should the Administrator find
                                               provide the participant credit for the                                                                        that a recipient is not complying with
                                               previous training and waive completion                  Section 672.23        Availability of Records         the requirements of this part. Paragraph
                                               of the equivalent element of the PTSCTP                                                                       (b) would provide the recipient with
                                               requirement. However, the waiver                           With this section, FTA is proposing
                                                                                                       requirements for the safekeeping and                  written notice of the Administrator’s
                                               would not exempt a participant from                                                                           decision and the factual basis for the
                                               having to comply with any applicable                    limited release of information
                                                                                                       maintained in accordance with the                     Administrator’s finding of
                                               refresher training or technical training                                                                      noncompliance. Paragraph (c) would
                                               requirements.                                           proposed requirements of this part.
                                                                                                                                                             provide the recipient an opportunity to
                                                                                                       Paragraph (a) would require that
                                               Section 672.21       Records                                                                                  respond to the Administrator within 30
                                                                                                       information maintained in applicable                  days of receiving written notice of the
                                                  An essential requirement of any                      training records not be released without              finding of noncompliance. Paragraph (d)
                                               training program is the maintenance of                  the consent of the participant for whom               provides actions the Administrator may
                                               adequate records to document that the                   the record is maintained, except in                   undertake at his or her discretion.
                                               training was completed. To that end, as                 those limited instances as prescribed by
                                               noted in paragraph (a), FTA proposes to                 law or as indicated in paragraphs (b), (c)            VI. Cost-Benefit Analysis
                                               maintain an electronic record of each                   and (d).                                                Section 5329(h) of title 49, United
                                               PTSCTP participant. The electronic                         Paragraph (b) would allow a                        States Code requires FTA to ‘‘take into
                                               record would be created when the                                                                              consideration the costs and benefits of
                                                                                                       participant to receive a copy of his or
                                               participant registers online for the                                                                          each action the Secretary proposes to
                                                                                                       her training records without cost to the
                                               program at: https://safety.fta.dot.gov/.                                                                      take’’ under section 5329. To assess the
                                                                                                       participant. To assist with safety
                                                  FTA would maintain and administer                                                                          costs for the PTSCTP, we first reviewed
                                                                                                       oversight activities, paragraph (c) would
                                               the online database; however, paragraph                                                                       data from the Transportation Safety
                                               (b) would require that each recipient be                require a recipient to provide
                                                                                                                                                             Institute (TSI). Using this data and our
                                               responsible for ensuring that its                       appropriate Federal and SSOA
                                                                                                                                                             familiarity with how SSOAs are
                                               designated personnel are properly                       personnel access to all of the recipient’s
                                                                                                                                                             organized, we developed a maximum
                                               registered and completing the                           facilities where required training is                 and minimum number of personnel, to
                                               curriculum for their position (e.g., safety             conducted. In addition, the recipient                 include employees and contractors that
                                               oversight function, or conducting safety                would be required to grant access to all              would be affected by the PTSCTP. Next,
                                               audits and examinations). The database                  training records required to be                       using the same data from TSI, we
                                               would allow participants to update his                  maintained by this part to appropriate                determined the number of rail transit
                                               or her status as training requirements                  Department of Transportation personnel                personnel that would be affected by the
                                               are completed.                                          and appropriate State officials who are               PTSCTP. We also reviewed the number
                                                  Paragraph (c) would require each                     responsible for safety oversight of public            of FTA personnel who participate in
                                               SSOA develop a technical training plan                  transportation systems. Paragraph (d)                 safety audits and examinations and
                                               based on applicable requirements                        would require a recipient to provide                  determined the number of FTA
                                               identified in the technical training                    information regarding a participant’s                 personnel that would be required to
                                               component of Section IV of this notice.                 training when requested by the National               undergo the some level of training and
                                               Each SSOA would maintain training                       Transportation Safety Board when such                 certification. In developing annual costs
                                               records that document the technical                     request is made as part of an accident                for personnel that would attend the
                                               training undertaken by its designated                   investigation.                                        PTSCTP, we assumed a minimum and
                                               personnel and contractors who conduct                                                                         maximum case scenario.
                                               audits and examinations of rail transit                 Section 672.31        Requirement To Certify            For the minimum case, we assumed
                                               systems under its jurisdiction. This                    Compliance                                            that all designated personnel under this
                                               documentation would be retained by the                                                                        program had already completed the
                                                                                                         Recipients are required to annually
                                               SSOA for at least five years from the                                                                         TSSP Certificate Program and would
                                               date the record is created. This                        certify their compliance with Federal                 require only the SMS portion of the
                                               documentation process would assist the                  grant requirements as a condition for                 coursework described in Section IV of
                                               SSOA in complying with the                              receiving funding. Paragraph (a) would                this notice. This assumption is
                                               requirements of 49 U.S.C. 5329(e)(3)(E),                require recipients for whom the training              supported given the popularity of the
                                                                                                       requirements are mandatory to self-
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                                               as it would provide supporting                                                                                TSSP Certificate Program within the
                                               documents that show designated SSOA                     certify compliance with this part                     industry. This assumption is supported
                                               personnel and contractor support are                    through the annual FTA certification                  further by the level of voluntary
                                               have received training to perform                       and assurances. Paragraph (b) would                   participation by transit industry
                                               requisite safety oversight functions. As                require the recipient to identify the                 personnel obtained from current
                                               with the interim program, FTA would                     person(s) within its organization                     graduation/attendance data at TSI. For
                                               provide templates and guidance to assist                authorized to certify the status of the               the maximum case, we assume that no
                                               the SSOA with this process.                             recipient’s compliance.                               one subject to the NPRM has a TSSP


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                                               75650                        Federal Register / Vol. 80, No. 232 / Thursday, December 3, 2015 / Proposed Rules

                                               Certificate. In this case, all designated                                   under this NPRM would undertake one-                                          over four consecutive weeks. As noted
                                               personnel would have to take and                                            third of the total coursework each year.                                      in the comments received on the
                                               complete both the TSSP and SMS                                              While affected employees will have                                            ANPRM, many commenters suggested
                                               coursework over the allotted 3-year                                         three years to complete the                                                   that we harness the existing voluntary
                                               period. The table below shows the                                           coursework—it would be unreasonable                                           training offered by TSI and build upon
                                               estimated counts used in our analysis.                                      to expect an employee to be away from                                         that base.
                                                 To simplify the analysis, we assumed                                      a duty station for training purposes for
                                               that the total designated personnel

                                                                           ESTIMATED UNIVERSE OF POTENTIAL SSOA, RAIL TRANSIT AGENCY, AND FTA PERSONNEL
                                                                                                                                                                                                                                   Minimum               Maximum

                                               SSOA Personnel ......................................................................................................................................................                             70               120
                                               Rail Transit Agency Personnel ................................................................................................................................                                   200               340
                                               FTA Personnel .........................................................................................................................................................                           40                40

                                                     Total ..................................................................................................................................................................                   310               500



                                                 Next, we determined the training, by                                      sessions. While SSO personnel will be                                            SMS COURSEWORK—IN-CLASS AND
                                               course, that would be required of each                                      required to take 5.125 days of total                                              ONLINE REQUIRED—Continued
                                               person within the scope of the PTSCTP.                                      training, rail transit agency personnel                                                 [Completed within a 3-year period]
                                               The TSSP Certificate Program consists                                       will not be required to take the two-day
                                               of four courses.1 The Table below lists                                     SMS Principles Course. However, we                                                         SMS courses                          Days
                                               the courses and duration.                                                   assume here that all rail transit agency
                                                                                                                           personnel will take all 5.125 days. This                                      Safety Assurance .................                       0.25
                                                     TSSP COURSEWORK REQUIRED                                              approach is conservative and potentially                                      SMS Gap ..............................                   0.25
                                                        [Completed within a 3-year period]                                 over counts the total costs by about $65–                                     SMS Principles Rail Transit ..                            2.5
                                                                                                                                                                                                         SMS Principles SSO Pro-
                                                                                                                           110,000.00 per year but does not
                                                                                                                                                                                                           grams ................................                     2
                                                          TSSP courses                                 Days                complicate this analysis. The Table
                                                                                                                           below lists the courses and duration.                                             Total ..................................          5.125
                                               Rail Safety ............................                           4.5
                                               Rail Incident Investigation ....                                   4.5
                                               Rail Security .........................                            4.5         SMS COURSEWORK—IN-CLASS AND                                                  Using the 2013 Bureau of Labor
                                               Managing Emergencies ........                                        4               ONLINE REQUIRED                                                      Statistics (BLS) average wage rate of
                                                                                                                                     [Completed within a 3-year period]                                  $40.84 for those taking training under
                                                  Total ..................................                      17.5                                                                                     this program, we developed the
                                                                                                                                        SMS courses                                  Days                following Lower Bound and Upper
                                                 The SMS Coursework consists of two                                                                                                                      Bound costs for attendance as depicted
                                               courses and three online training                                           SMS Awareness ...................                                0.125        in the table below.

                                                          COSTS FOR ATTENDANCE OF SSOA, RAIL TRANSIT AGENCY, AND FTA PERSONNEL WITHIN A 3-YEAR PERIOD
                                                                                                                                                                             Number of                                          Training time            Attendance
                                                                                                                                                                                                        Hourly rate
                                                                                                                                                                             personnel                                             (days)                   costs

                                               Lower Bound Mandatory Costs/Yr ..................................................................                                           310                    $40.84                    5.125        $172,467.32
                                               Upper Bound Mandatory Costs/Yr ..................................................................                                           500                     40.84                   22.625        1,234,470.68



                                                  Next, we developed costs associated                                      we used 30 percent for weighting for                                          parameters. Lastly, there is no cost
                                               with developing, managing, and                                              unattributable costs and allocated full                                       associated with taking the coursework
                                               administering the coursework for the                                        costs where we were able to identify                                          for public agency employees. Using this
                                               PTSCTP. First, we reviewed the course                                       cost resulting from the TSSP and/or                                           information, we developed the costs
                                               catalog for TSI and determined the                                          SMS training components. Using data                                           presented in the following table.
                                               percentage of courses required by the                                       from FTA’s budget for TSI, the cost for
                                               PTSCTP of the total courses offered—a                                       the administration of courses, contract                                          TSI PROGRAM COSTS ASSOCIATED
                                               little more than one-fourth (six courses                                    costs, and costs for the development of                                         WITH TSSP AND SMS COURSEWORK
                                               plus three online courses out of 21 total                                   new coursework we developed the
                                               courses or about 28 percent) of the total                                   program costs. We factored no facility                                        Federal Salaries and Bene-
                                               course offerings would be required of                                       costs as regional transit agencies or FTA                                       fits * ....................................      $210,212
                                                                                                                                                                                                         Contract Services .................                 368,000
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                                               the combined TSSP/SMS training under                                        Regional Offices host courses. Hence,                                         Equipment, Supplies, Space,
                                               this NPRM. Furthermore, of the total                                        we also do not account for travel costs                                         Other * ...............................            58,260
                                               days of coursework offered by TSI, 30                                       because courses are hosted locally—                                           Travel (Other than Course
                                               percent were attributable to the TSSP/                                      travel for those attending would be                                             Delivery) * ..........................             13,800
                                               SMS coursework. To be conservative,                                         included within normal commuting                                              Course Delivery ....................                462,866

                                                 1 The TSSP Certificate Program has two tracks,                            the PTSCTP is optional for bus-based transit we do                            not address those costs or benefits in the instant
                                               one for rail and one for bus-based transport. Since                                                                                                       analysis.



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                                                                          Federal Register / Vol. 80, No. 232 / Thursday, December 3, 2015 / Proposed Rules                                                                 75651

                                                  TSI PROGRAM COSTS ASSOCIATED  costs for the PTSCTP. We note here                                                                      coursework, which is a weak
                                                  WITH     TSSP     AND     SMS again that we have been very                                                                            assumption given the level of voluntary
                                                  COURSEWORK—Continued          conservative in aggregating costs, so in                                                                participation and popularity of the
                                                                                             fact the aggregate cost estimates are                                                      program. Moreover, we have used a
                                               Indirect at 19% .....................                  211,496
                                                                                             greater than we expect to be the case.                                                     weighting that over estimates
                                               Est. Materials Fee Recov-                     We have not removed costs for rail                                                         unattributable costs given the level of
                                                 ery * ...................................
                                                                                      97,570
                                                                                             transit agency personnel that do not                                                       presence in the TSI course load. While
                                                 Total Program ................... 1,422,204 have to take the SMS SSO Principles                                                        we present data for both a Maximum
                                                                                             course. We have assumed in the                                                             Cost and Minimum Cost scenarios, the
                                                 * Weighted Cost Allocation.                 Maximum scenario, in an                                                                    actual experience for costs should be
                                                 Using the costs presented above, the        overabundance of caution, that everyone                                                    closer to the Minimum scenario than to
                                               table below presents the total annual         has not taken the TSSP Certificate                                                         the Maximum scenario.

                                                                                         TOTAL COSTS FOR THE PTSCTP OVER A 3-YEAR CERTIFICATION PERIOD
                                                                                                                                                                                        Attendance      TSI costs       Total costs
                                                                                                                                                                                           costs

                                               Aggregate Costs MIN ..................................................................................................................     $172,467       $1,422,204      $1,594,671
                                               Aggregate Costs MAX .................................................................................................................      1,234,471       1,422,204       2,656,674



                                                  As the interim provisions only have                                potential safety benefits that rule would                          observations, investigations, safety
                                               been in effect for a short time, we were                              need to achieve in order to achieve a                              studies, data analysis activities, and
                                               unable to generate any estimate of their                              ‘‘break even’’ point with the costs based                          hazard management. The SSO NPRM
                                               benefits. Thus, to assess the benefits for                            on two different estimates of the                                  focuses its efforts on process
                                               the PTSCTP, we considered how other                                   potential benefit pool. (FTA noted,                                improvements to achieve its benefits.
                                               transportation modes that are in the                                  therein, that the analysis was not                                    The SSO program is reliant on the
                                               process of implementing SMS or similar                                intended to be a full analysis of the                              PTSCTP for part of its safety
                                               systematic approaches to safety have                                  potential benefits of SMS for transit                              improvements. While the SSO NPRM
                                               estimated the benefits of their programs                              safety—rather it was intended to                                   proposed to improve SSO and rail
                                               in reducing incidents, adverse                                        provide some quantified estimate of the                            transit agencies processes, the PTSCTP
                                               outcomes, and improving training                                      potential benefits of the changes to the                           improves the requisite human capital
                                               programs. For example, although no two                                SSO program proposed in that rule).                                within the SSO program by improving
                                               programs are identical, the Federal                                   FTA also noted that the analysis may                               the training and by making mandatory
                                               Railroad Administration (FRA) in its                                  understate the potential benefits                                  training for those designated personnel
                                               final rule implementing its Training                                  because of the lack of data on some non-                           charged with safety oversight at SSO
                                               Standards issued November 7, 2014 at                                  injury related costs associated with                               and rail transit agencies.
                                               79 FR 66460, http://www.gpo.gov/fdsys/                                many incidents, particularly regarding                                We were very confident that a 2
                                               pkg/FR-2012-02-07/html/2012-                                          property damage and travel delays. For                             percent reduction, which is in line with
                                               2148.htm, provided evidence that                                      the SSO NPRM, FTA estimated that the                               FRA estimates, could be achieved with
                                               training programs for the railroad                                    SSO program revisions would                                        the SSO NPRM—in fact, our
                                               industry would yield a breakeven point                                realistically garner a 2 percent reduction                         calculations showed the breakeven
                                               with a 7 percent reduction in human                                   in costs associated with fatalities and                            point to be a reduction of 1.23 percent.
                                               factor-caused accidents. Moreover, FRA                                ‘‘serious’’ injuries. FTA performed                                This leaves about .77 percent or nearly
                                               in its proposed rules to implement its                                analyzed the potential safety benefits of                          $14.3 million in benefits that have been
                                               System Safety Program (SSP) (see 80 FR                                the SSO NPRM by reviewing the rail                                 unallocated. FTA believes that training
                                               10950) and its Risk Reduction Program                                 transit incidents specifically identified                          for those charged with safety oversight
                                               (RRP) (see 77 FR 55372) provided                                      by the NTSB as related to inadequate                               at SSO and rail transit agencies is an
                                               anecdotal evidence that both programs                                 safety oversight programs. Of the 19                               imperative to achieve estimated
                                               could lead to meaningful reductions in                                major rail transit accidents the NTSB                              reductions in incidents and accidents.
                                               serious crashes, and conducted                                        has investigated (or preliminarily                                 To this end, we calculated the
                                               breakeven analyses that found that a                                  investigated) since 2004, five had                                 breakeven point for the PTSCTP. The
                                               less than 1 percent reduction in the                                  probable causes that included                                      breakeven point for the maximum case
                                               incidents and accidents under                                         inadequate safety oversight on the part                            of $2.6 million in annual costs is 0.14
                                               consideration would lead to a cost-                                   of the rail transit agency or FTA. Based                           percent and .09 percent for the
                                               neutral SSP rule and an approximately                                 on the analysis for the SSO NPRM, for                              minimum case of $1.6 million in annual
                                               2 percent reduction for the RRP rule.                                 the benefits to breakeven with the costs                           costs. This level of reduction in
                                               Additionally, the Federal Aviation                                    to both SSOs and rail transit agencies,                            fatalities and serious injuries is likely to
                                               Administration estimated that its SMS                                 the rule would only require a 1.23                                 be extremely conservative and we are
                                               program could yield a 20 percent                                      percent reduction of the accidents costs                           highly confident that it is easily
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                                               reduction in crashes.                                                 per year, which did not include                                    attainable when complemented with the
                                                  Enhancements brought about by SMS                                  potentially significant unquantified                               changes proposed in the SSO NPRM.
                                               have also supported transportation and                                costs related to property damage and                                  As an alternative and to cross-check
                                               oversight agencies in mitigating the                                  disruption.                                                        the benefits of training, we reviewed
                                               impacts of those events that do occur.                                   At base, the SSO NPRM increases the                             literature on returns derived from
                                               For the SSO program NPRM issued                                       frequency and/or comprehensiveness of                              investments in training and training
                                               February 27, 2015, at 80 FR 11002–30,                                 activities that are already performed,                             programs. Bartel conducts a panel study
                                               FTA considered what percentage of                                     such as reviews, inspections, field                                that analyzed large firms, studies that


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                                               75652                      Federal Register / Vol. 80, No. 232 / Thursday, December 3, 2015 / Proposed Rules

                                               focused on one or two firms, and                                      investments in training may well be                          We partially reproduce the table below
                                               company sponsored studies.2 Bartel                                    greater than was previously believed.                        from Bartel.
                                               finds that employer’s return on

                                                                                                       ECONOMETRIC ANALYSIS OF LARGE SAMPLES OF FIRMS
                                                            Author                          Response rate                  Sample size         Performance measure                                     Findings

                                               Bishop ...........................     75% ..............................               2594   Productivity ...................   ROI on 100 hours of new hire training ranged
                                                                                                                                                                                   from 11% to 38%.
                                               Bartel .............................   6.5% .............................               155    Value-Added ................       Implementation of formal training raised produc-
                                                                                                                                                                                   tivity by 6% per year.
                                               Holzer et al. ...................      32% ..............................               157    Scrap Rate ...................     Doubling of worker training reduced scrap rate
                                                                                                                                                                                   by 7%, using fixed-effects model.
                                               Black and Lynch ............           72% ..............................               617    Net Sales .....................    Percentage of formal training that occurs off the
                                                                                                                                                                                   job has significant effect in cross section but
                                                                                                                                                                                   no effect on the establishment-specific resid-
                                                                                                                                                                                   ual.
                                               Tan and Batra ...............          Random Sample ..........                300–56000       Value-Added ................       Predicted training has positive effect on value-
                                                                                                                                                                                   added; effects range from 2.8% to 71% per
                                                                                                                                                                                   year.
                                               Huselid ..........................     28% ..............................               968    Tobin’s q and Rate of              High-performance practices had significant ef-
                                                                                                                                                Return on Capital.                 fect in cross section that disappeared in
                                                                                                                                                                                   fixed-effects model.
                                                  Source: Bartel PP. 506.


                                                  While these results from Bartel’s                                  hopes to unify and harmonize the                             considered to the extent practicable. In
                                               study are not transportation or even                                  provision of safety-related activities                       addition, FTA may continue to file
                                               transit related, it still gives a clear                               across SSOAs and rail transit agencies.                      relevant information in the docket as it
                                               picture of the benefits that firms across                             In this way, this pool of employees will                     becomes available after the comment
                                               industries have experienced when they                                 gain knowledge to identify and control                       period closing date, and interested
                                               have invested in training. We also                                    hazards with the ultimate goal of                            persons should continue to examine the
                                               reviewed a study by Almedia and                                       decreasing incidents. Additionally, FTA                      docket for new material. A final rule
                                               Carneiro on firm-provided training, in                                expects that the codification of the                         may be published at any time after close
                                               which they estimate the rate of return                                PTSCTP will help promote a safety                            of the comment period.
                                               for firms that invest in human capital                                culture within the transit industry. This
                                                                                                                                                                                  Executive Order 12866 (Regulatory
                                               (training).3 Conducting a panel study of                              safety culture should help instill a
                                                                                                                                                                                  Planning and Review), Executive Order
                                               firms with detailed data on training,                                 transit agency-wide appreciation for
                                                                                                                                                                                  13563 (Improving Regulation and
                                               they estimate that firms that do not                                  shared goals, shared beliefs, best
                                                                                                                                                                                  Regulatory Review), and DOT
                                               provide training yield a negative 7                                   practices, and positive and vigilant
                                                                                                                                                                                  Regulatory Policies and Procedures
                                               percent return while those that provide                               attitudes towards safety.
                                               training accomplish a 24 percent return.                                 We are unsure how to quantify the                            Executive Orders 12866 and 13563
                                               They conclude that training is ‘‘a good                               effects of a positive safety culture as a                    direct Federal agencies to assess all
                                               investment for many firms and the                                     safety culture will develop over time.                       costs and benefits of available regulatory
                                               economy, possibly yielding higher                                     Characteristics of a positive safety                         alternatives and, if regulation is
                                               returns than either investments in                                    culture include: Actively seeking out                        necessary, to select regulatory
                                               physical capital or investments in                                    information on hazards; employee                             approaches that maximize net benefits—
                                               schooling.’’ 4                                                        training; information exchanges; and                         including potential economic,
                                                  The literature generally shows that                                understanding that responsibility for                        environmental, public health and safety
                                               returns on investment for training are                                safety is shared. While the returns on                       effects, distributive impacts, and equity.
                                               positive and usually greater than is                                  investment in training should be fairly                      Executive Order 13563 emphasizes the
                                               typically thought. This comports with                                 quick, establishing, promoting, and                          importance of quantifying both costs
                                               the conservative assumptions that we                                  increasing safety in an industry that is                     and benefits, reducing costs,
                                               have made and use to assess the                                       already very safe, is difficult to predict                   harmonizing rules, and promoting
                                               PTSCTP program.                                                       with any certainty.                                          flexibility.
                                                                                                                                                                                     FTA has determined this rulemaking
                                               Qualitative Factors                                                   VII. Regulatory Analyses and Notices                         is not a significant regulatory action
                                                 While the TSSP Certificate Program                                    All comments received on or before                         within the meaning of Executive Order
                                               has been available for some time, it had                              the close of business on the comment                         12866, Executive Order 13563, and the
                                               been an optional certification that some                              closing date will be considered and will                     U.S. Department of Transportation’s
                                               SSOA, rail, and bus safety oversight                                  be available for examination in the                          regulatory policies and procedures
                                               personnel sought out of self-initiative.                              docket at the above address. Comments                        (DOT Order 2100.5 dated May 22, 1980,
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                                               With the delineation of a mandatory                                   received after the comment closing date                      44 FR 11034, Feb. 26, 1979). FTA has
                                               pool of safety oversight employees, FTA                               will be filed in the docket and will be                      determined that this rulemaking is not
                                                 2 Bartel, Ann P. ‘‘Measuring the Employer’s                            3 Almeida, Rita and Pedro Carneiro. ‘‘Costs,                4 Ibid.

                                               Return on Investments in Training: Evidence from                      Benefits and the Intenal Rate of Return to Firm
                                               the Literature’’ Online: https://                                     Provided Training’’ Online: http://
                                               www0.gsb.columbia.edu/faculty/abartel/papers/                         siteresources.worldbank.org/DEC/Resources/
                                               measuring_employer.pdf.                                               AlmeidaCarneiroUpdatedWP3851.pdf.



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                                                                    Federal Register / Vol. 80, No. 232 / Thursday, December 3, 2015 / Proposed Rules                                        75653

                                               economically significant. The proposals                 of $143.1 million or more in any one                  affect the number of personnel
                                               set forth in this NPRM will not result in               year (2 U.S.C. 1532).                                 designated for participation. FTA
                                               an effect on the economy of $100                                                                              proposes to bear the cost associated
                                                                                                       Executive Order 13132 (Federalism)
                                               million or more. The proposals set forth                                                                      with the development and maintenance
                                               in the NPRM will not adversely affect                     This proposed rulemaking has been                   of the Web site. FTA is seeking
                                               the economy, interfere with actions                     analyzed in accordance with the                       comment on whether the information
                                               taken or planned by other agencies, or                  principles and criteria established by                collected will have practical utility;
                                               generally alter the budgetary impact of                 Executive Order 13132, and FTA has                    whether its estimation of the burden of
                                               any entitlements, grants, user fees, or                 determined that the proposed action                   the proposed information collection is
                                               loan programs.                                          would not have sufficient Federalism                  accurate; whether the burden can be
                                                                                                       implications to warrant the preparation               minimized through the use of
                                               Regulatory Flexibility Act and Executive                of a Federalism assessment. FTA has                   automated collection techniques or
                                               Order 13272                                             also concluded that this proposed action              other forms of information technology;
                                                  This proposed rule was developed in                  would not preempt any State law or                    and for ways in which the quality,
                                               accordance with Executive Order 13272                   State regulation or affect the States’                utility, and clarity of the information
                                               (Proper Consideration of Small Entities                 abilities to discharge traditional State              can be enhanced.
                                               in Agency rulemaking) and DOT’s                         governmental functions.                                  Type of Review: OMB Clearance. New
                                               policies and procedures to promote                      Executive Order 12372                                 information collection request.
                                               compliance with the Regulatory                                                                                   Respondents: Currently there are 30
                                                                                                       (Intergovernmental Review)
                                               Flexibility Act (5 U.S.C. 601 et seq.)                                                                        States with 60 rail fixed guideway
                                                                                                          The regulations effectuating Executive             public transportation systems in
                                               which requires an agency to review                      Order 12372 regarding
                                               regulations to assess the impact on                                                                           engineering, construction, and
                                                                                                       intergovernmental consultation on                     operations. The PRA estimate is based
                                               small entities. In compliance with the                  Federal programs and activities apply to
                                               Regulatory Flexibility Act, FTA has                                                                           on participation in the PTSCTP by a
                                                                                                       this proposed rulemaking.                             total of 30 States and 60 rail transit
                                               evaluated the likely effects of the
                                               proposals set forth in this NPRM on                     Paperwork Reduction Act                               agencies. In addition, we estimate
                                               small entities.                                                                                               participation by 35–45 SSOA
                                                                                                          In compliance with the Paperwork                   contractors and approximately 30
                                                  As noted in the cost benefit analysis                Reduction Act of 1995 (44 U.S.C. 3501                 Federal personnel and contractors.
                                               for this rule, FTA developed a                          et seq.; ‘‘PRA’’) and the OMB regulation                 Frequency: Information will be
                                               maximum and minimum number of                           at 5 CFR 1320.8(d), FTA is seeking                    collected through the Web site on an
                                               employees of recipients that would be                   approval from OMB for the Information                 ongoing basis throughout the year.
                                               affected by the PTSCTP. FTA believes                    Collection Request abstracted below. In               Participants must complete training
                                               that approximately 70 to 120 SSOA                       order to comply with the requirements                 requirements within 3 years and
                                               personnel and contractors would be                      proposed to implement the PTSCTP in                   refresher training every 2 years.
                                               subject to the mandatory PTSCTP                         accordance with 49 U.S.C. 5329(c)(1),                 Certification of compliance will be
                                               training requirements while                             this NPRM would require recipients to                 required annually.
                                               approximately 340 personnel of rail                     provide information to FTA regarding                     Estimated Total Annual Burden
                                               transit agencies would be mandatory                     the participation of their respective                 Hours: In the first year of the program,
                                               participants. Further, FTA believes that                designated personnel as abstracted                    we estimate a total burden of between
                                               approximately 2,000 personnel may be                    below. Designated personnel would                     5,209 (minimum) and 5,909 (maximum)
                                               voluntary participants. Section                         provide enrollment information,                       hours, depending on how many
                                               5329(e)(6) permits recipients of rural                  periodically update compliance with                   individuals are required to participate.
                                               and urbanized area formula funds to use                 PTSCTP training requirements, and                     Annually, each SSOA would devote
                                               Federal funds to cover up to 80 percent                 where applicable, submit supporting                   between 88–91 hours to information
                                               of the PTSCTP costs. Additionally, FTA                  documentation of prior training for                   collection activities including the
                                               believes many of the PTSCPT                             credit towards PTSCTP training                        development and submission of training
                                               participants will be eligible to receive                requirements. All recipients of                       plans to FTA. SSOA contractors would
                                               credit for prior safety training which                  mandatory PTSCTP requirements would                   devote approximately 140–180 hours to
                                               will further reduce the cost and impact                 annually certify compliance with the                  information collection activities. These
                                               associated with this proposed                           PTSCTP requirements. Additionally,                    activities would have a combined total
                                               rulemaking. For these reasons, FTA                      SSOAs would be required to develop                    of 2,780–2,920 hours, depending on
                                               certifies that this action will not have a              annual technical training plans for FTA               how many individuals are required to
                                               significant economic effect on a                        approval. The plans would support the                 participate. The mandatory participants
                                               substantial number of small entities.                   SSOA requirement to demonstrate that                  affected by 49 U.S.C. 5329(c)(1) and
                                                                                                       applicable SSOA personnel are                         today’s rulemaking include 60 rail fixed
                                               Unfunded Mandates
                                                                                                       qualified to perform safety audits and                guideway public transportation systems
                                                  This proposed rulemaking would not                   examinations.                                         which would spend an estimated
                                               impose unfunded mandates as defined                        The information collection would be                annual total of between 2,060
                                               by the Unfunded Mandates Reform Act                     different for each type of recipient                  (minimum) and 2,620 (maximum) hours
                                               of 1995 (Pub. L. 104–4, March 22, 1995,                 (Federal government personnel, Federal                on information collection activities in
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                                               109 Stat. 48). The cost of training to                  contractors, SSOAs and their                          the first year, or approximately 34–44
                                               comply with this NPRM would be an                       contractors, and rail transit agencies).              hours each. Finally, FTA is expected to
                                               eligible expenditure of Federal financial               Therefore, the paperwork burden would                 expend approximately 249 hours in
                                               assistance provided to recipients under                 vary. For example, the burden on                      furtherance of the PTSCTP in the first
                                               49 U.S.C. Chapter 53. This proposed                     SSOAs would be proportionate to the                   year, and Federal contractors will spend
                                               rule will not result in the expenditure                 number of rail transit agencies within                an estimated four (4) hours each, for a
                                               by State, local, and tribal governments,                that State, and the size and complexity               combined total of approximately 369
                                               in the aggregate, or by the private sector,             of those rail transit systems. This would             hours in the first year.


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                                               75654                Federal Register / Vol. 80, No. 232 / Thursday, December 3, 2015 / Proposed Rules

                                                 Additional documentation detailing                    environmental justice into their transit              business, labor union, or any other
                                               FTA’s Paperwork Reduction Act                           decision-making processes. The Circular               entity. You may review USDOT’s
                                               Information Collection Request,                         includes recommendations for State                    complete Privacy Act Statement
                                               including FTA’s Justification Statement,                Departments of Transportation,                        published in the Federal Register on
                                               will be posted in the docket for this                   Metropolitan Planning Organizations,                  April 11, 2000, at 65 FR 19477–8.
                                               rulemaking. OMB is required to make a                   and public transportation systems on (1)              Statutory/Legal Authority for This
                                               decision concerning the collection of                   How to fully engage environmental                     Rulemaking
                                               information requirements contained in                   justice populations in the transportation
                                               this proposed rule within 60 days after                 decision-making process; (2) How to                      This rulemaking is issued under the
                                               receiving the information collection                    determine whether environmental                       authority of the Moving Ahead for
                                               request submission from FTA. FTA will                   justice populations would be subjected                Progress in the 21st Century Act (MAP–
                                               summarize and respond to any                            to disproportionately high and adverse                21; Pub. L. 112–141), and the statutory
                                               comments on the proposed information                    human health or environmental effects                 provision codified at 49 U.S.C.
                                               collection request from OMB and the                     of a public transportation project,                   5329(c)(1), which requires the Secretary
                                               public in the preamble to the final rule.               policy, or activity; and (3) How to avoid,            of Transportation to prescribe a public
                                                                                                       minimize, or mitigate these effects.                  transportation safety certification
                                               National Environmental Policy Act                                                                             training program for Federal and State
                                                 The National Environmental Policy                     Executive Order 12988 (Civil Justice                  employees, or other designated
                                               Act of 1969 (42 U.S.C. 4321, et seq.)                   Reform)                                               personnel, who conduct safety audits
                                               requires Federal agencies to analyze the                   This action meets the applicable                   and examinations of public
                                               potential environmental effects of their                standards in sections 3(a) and 3(b)(2) of             transportation systems and employees
                                               proposed actions in the form of a                       Executive Order 12988 to minimize                     of public transportation agencies
                                               categorical exclusion, environmental                    litigation, eliminate ambiguity, and                  directly responsible for safety oversight.
                                               assessment, or environmental impact                     reduce burden.                                        The Secretary is authorized to issue
                                               statement. This proposed rulemaking is                                                                        regulations to carry out the general
                                               categorically excluded under FTA’s                      Executive Order 13045 (Protection of                  provisions of this statutory requirement
                                               environmental impact procedure at 23                    Children)                                             pursuant to 49 U.S.C. 5329(f)(7).
                                               CFR 771.118(c)(4), pertaining to                           FTA has analyzed this proposed                     Regulation Identification Number
                                               planning and administrative activities                  rulemaking under Executive Order
                                               that do not involve or lead directly to                 13045. FTA certifies that this proposed                 A regulation identification number
                                               construction, such as the promulgation                  rule will not cause an environmental                  (RIN) is assigned to each regulatory
                                               of rules, regulations, and directives.                  risk to health or safety that may                     action listed in the Unified Agenda of
                                               FTA has determined that no unusual                      disproportionately affect children.                   Federal Regulations. The Regulatory
                                               circumstances exist in this instance, and                                                                     Information Service Center publishes
                                               that a categorical exclusion is                         Executive Order 13175 (Tribal                         the Unified Agenda in April and
                                               appropriate for this rulemaking.                        Consultation)                                         October of each year. The RIN set forth
                                                                                                         FTA has analyzed this proposed                      in the heading of this document can be
                                               Executive Order 12630 (Taking of                        rulemaking under Executive Order                      used to cross-reference this action with
                                               Private Property)                                       13175 and finds that the action will not              the Unified Agenda.
                                                 This rulemaking will not affect a                     have substantial direct effects on one or             List of Subjects in 49 CFR Part 672
                                               taking of private property or otherwise                 more Indian tribes; will not impose
                                               have taking implications under                          substantial direct compliance costs on                  Transportation, Mass transportation,
                                               Executive Order 12630.                                                                                        Safety, Reporting and recordkeeping
                                                                                                       Indian tribal governments; will not
                                                                                                                                                             requirements.
                                               Executive Order 12898 (Federal Actions                  preempt tribal laws; and will not
                                                                                                       impose any new consultation                             Issued in Washington, DC, under the
                                               To Address Environmental Justice in                                                                           authority delegated at 49 CFR 1.91.
                                               Minority Populations and Low-Income                     requirements on Indian tribal
                                                                                                       governments. Therefore, a tribal                      Therese McMillan,
                                               Populations)
                                                                                                       summary impact statement is not                       Acting Administrator.
                                                 Executive Order 12898 directs every                   required.                                               For the reasons stated in the
                                               Federal agency to make environmental                                                                          preamble, and under the authority of 49
                                               justice part of its mission by identifying              Executive Order 13211 (Energy Effects)
                                                                                                                                                             U.S.C. 5329(c), 5329(f), and the
                                               and addressing the effects of all                         FTA has analyzed this proposed                      delegation of authority at 49 CFR 1.91,
                                               programs, policies, and activities on                   rulemaking under Executive Order                      the Federal Transit Administration
                                               minority populations and low-income                     13211 and has determined that this                    proposes to amend chapter VI of Title
                                               populations. The USDOT environmental                    action is not a significant energy action             49, Code of Federal Regulations, by
                                               justice initiatives accomplish this goal                under the Executive Order, given that                 adding part 672 to read as follows:
                                               by involving the potentially affected                   the action is not likely to have a
                                               public in developing transportation                     significant adverse effect on the supply,             PART 672—PUBLIC
                                               projects that fit harmoniously within                   distribution, or use of energy. Therefore,            TRANSPORTATION SAFETY
                                               their communities without                               a Statement of Energy Effects is not                  CERTIFICATION TRAINING PROGRAM
                                               compromising safety or mobility.                        required.
                                                                                                                                                             Subpart A—General Provisions
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                                               Additionally, FTA has issued a program
                                               circular addressing environmental                       Privacy Act                                           Sec.
                                               justice in public transportation,                         Anyone is able to search the                        672.1 Purpose.
                                               C 4703.1, Environmental Justice Policy                  electronic form of all comments                       672.3 Scope and applicability.
                                                                                                                                                             672.5 Definitions.
                                               Guidance for Federal Transit                            received into any of FTA’s dockets by
                                               Administration Recipients. This circular                the name of the individual submitting                 Subpart B—Training Requirements
                                               provides a framework for FTA grantees                   the comment or signing the comment if                 672.11 Designated personnel who conduct
                                               as they integrate principles of                         submitted on behalf of an association,                    safety audits and examinations.



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                                                                    Federal Register / Vol. 80, No. 232 / Thursday, December 3, 2015 / Proposed Rules                                           75655

                                               672.13 Designated personnel of public                   public transportation systems subject to              Subpart B—Training Requirements
                                                   transportation agencies.                            the jurisdiction of the agency.
                                               672.15 Evaluation of prior certification and                                                                  § 672.11 Designated personnel who
                                                   training.                                              Directly responsible for safety                    conduct safety audits and examinations.
                                                                                                       oversight means a public transportation
                                               Subpart C—Administrative Requirements                   agency designated personnel whose job                    (a) Each State Safety Oversight
                                               672.21 Records.                                         function includes the development,                    Agency (SSOA) shall designate its
                                               672.23 Availability of records.                         implementation and review of the                      personnel and contractors who conduct
                                               Subpart D—Compliance and Certification                  recipient’s safety plan.                              safety audits and examinations of public
                                               Requirements                                               FTA means the Federal Transit                      transportation systems, including the
                                               672.31 Requirement to certify compliance.               Administration, an agency within the                  managers and supervisors of such
                                               672.33 Compliance as a condition of                     United States Department of                           personnel, and ensure such designated
                                                   financial assistance.                               Transportation.                                       personnel comply with the applicable
                                                 Authority: 49 U.S.C. 5329(c), 49 U.S.C.
                                                                                                                                                             training requirements in the current
                                                                                                          Public transportation agency means                 Reference Document.
                                               5329(f), 49 CFR 1.91.                                   an entity that provides public
                                                                                                       transportation as defined in 49 U.S.C.                   (b) Designated personnel and
                                               Subpart A—General Provisions                                                                                  contractors shall complete applicable
                                                                                                       5302 and that has one or more modes
                                               § 672.1   Purpose.                                      of service not subject to the safety                  training requirements of this part within
                                                                                                       oversight requirements of another                     three (3) years of their initial
                                                 (a) This part implements a uniform                                                                          designation. Thereafter, refresher
                                               safety certification training curriculum                Federal agency.
                                                                                                                                                             training shall be completed every two
                                               and requirements that will enhance the                     Rail fixed guideway public                         (2) years. The SSOA will determine
                                               technical proficiency of individuals                    transportation system means any fixed                 refresher training requirements which
                                               who are directly responsible for safety                 guideway system that uses rail, is                    shall include at a minimum, one (1)
                                               oversight of public transportation                      operated for public transportation, is                hour of safety oversight training.
                                               agencies not subject to the safety                      within the jurisdiction of a State, and is
                                               oversight requirements of another                       not subject to the jurisdiction of the                   (c) Copies. Copies of the current
                                               Federal agency.                                         Federal Railroad Administration, or any               Reference Document are available from
                                                 (b) This part does not preempt any                    such system in engineering or                         the FTA Web site located at https://
                                               safety certification training                           construction. Rail fixed guideway                     safety.fta.dot.gov.
                                               requirements required by a State for                    public transportation systems include
                                                                                                                                                             § 672.13 Designated personnel of public
                                               public transportation agencies within its               but are not limited to rapid rail, heavy              transportation agencies.
                                               jurisdiction.                                           rail, light rail, monorail, trolley,
                                                                                                       inclined plane, funicular, and                           (a) Each recipient that operates a rail
                                               § 672.3   Scope and applicability.                      automated guideway.                                   fixed guideway public transportation
                                                  (a) In general, this part applies to all                                                                   system not subject to the safety
                                                                                                          Recipient means an entity, including
                                               recipients of Federal financial assistance                                                                    oversight of another Federal agency
                                                                                                       a State or local governmental authority
                                               under 49 U.S.C. Chapter 53.                                                                                   shall designate its personnel who are
                                                                                                       that receives Federal funds pursuant to
                                                  (b) The mandatory requirements of                    49 U.S.C. Chapter 53.                                 directly responsible for safety oversight
                                               this part will apply only to State Safety                                                                     and ensure that they comply with the
                                               Oversight Agency personnel and                             Reference Document means the                       applicable training requirements as set
                                               contractor support, and designated                      current edition of the Public                         forth in the current Reference
                                               personnel of recipients that operate rail               Transportation Safety Certification                   Document.
                                               fixed guideway systems that are not                     Training Program training requirements
                                                                                                       and curriculum. The curriculum and                       (b) Each recipient that operates a bus
                                               subject to the requirements of the                                                                            or other public transportation system
                                               Federal Railroad Administration.                        training requirements are subject to
                                                                                                       periodic revision through a notice-and-               not subject to the safety oversight of
                                                  (c) Other FTA recipients may                                                                               another Federal agency may designate
                                               participate voluntarily in accordance                   comment process. Recipients are
                                                                                                       responsible for using the current edition             its personnel who are directly
                                               with this part.                                                                                               responsible for safety oversight. Such
                                                                                                       of the Reference Document.
                                               § 672.5   Definitions.                                                                                        personnel may participate in the
                                                                                                          Safety audit means an examination of               applicable training requirements as set
                                                 As used in this part:                                 a recipient’s safety records and related              forth in the current Reference
                                                 Administrator means the Federal                       materials.                                            Document.
                                               Transit Administrator or the
                                                                                                          Safety examination means a process                    (c) Personnel designated under
                                               Administrator’s designee.
                                                                                                       for gathering facts or information, or an             paragraph (a) of this section shall
                                                 Contractor means an entity that                       analysis of facts or information
                                               performs tasks on behalf of FTA or a                                                                          complete applicable training
                                                                                                       previously collected.                                 requirements of this part within three
                                               State Safety Oversight Agency through
                                               contract or other agreement.                               State means a State of the United                  (3) years of their initial designation.
                                                 Designated personnel means:                           States, the District of Columbia, Puerto              Thereafter, refresher training shall be
                                                 (1) Employees identified by a                         Rico, the Northern Mariana Islands,                   completed every two (2) years. The
                                                                                                       Guam, American Samoa, and the Virgin                  recipient will determine refresher
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                                               recipient whose job function requires
                                               them to be directly responsible for                     Islands.                                              training requirements which will
                                               safety oversight of public transportation                  State Safety Oversight Agency (SSOA)               include at a minimum, one (1) hour of
                                               provided by the agency; or                              means an agency established by a State                safety oversight training.
                                                 (2) Employees and contractors of a                    that meets the requirements and                          (d) Copies. Copies of the current
                                               State Safety Oversight Agency whose                     performs the functions specified by 49                Reference Document are available from
                                               job function requires them to conduct                   U.S.C. 5329(e) and the regulations set                the FTA Web site located at https://
                                               safety audits and examinations of the                   forth in 49 CFR part 659.                             safety.fta.dot.gov.


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                                               75656                Federal Register / Vol. 80, No. 232 / Thursday, December 3, 2015 / Proposed Rules

                                               § 672.15 Evaluation of prior certification              the participant passed or failed any                  § 672.33 Compliance as a condition of
                                               and training.                                           associated tests;                                     financial assistance.
                                                  (a) Designated personnel subject to                    (4) The tasks the participant is                       (a) General requirement. A recipient
                                               this part may request that FTA evaluate                 deemed qualified to perform; and                      may not be eligible for Federal financial
                                               safety training or certification                          (5) The date the designated                         assistance under 49 U.S.C. Chapter 53,
                                               previously obtained from another entity                 personnel’s status as qualified to                    in whole or in part, if the Administrator
                                               to determine if the training satisfies an               perform the task(s) expires, and the date             determines the recipient has failed to
                                               applicable training requirement of this                 in which biennial refresher training is               comply with the requirements of this
                                               part.                                                   due.                                                  part.
                                                  (b) Designated personnel must                                                                                 (b) Notice. If the Administrator
                                               provide FTA with an official transcript                 § 672.23    Availability of records.                  determines that Federal financial
                                               or certificate of the training, a                          (a) Except as required by law, or                  assistance should be withheld, the
                                               description of the curriculum and                       expressly authorized or required by this              Administrator will issue a notice of
                                               competencies obtained, and a brief                      part, a recipient may not release                     violation and the amount proposed to be
                                               statement detailing how the training or                 information pertaining to designated                  withheld at least ninety (90) days prior
                                               certification satisfies the applicable                  personnel that is required to be                      to the date from when the funds will be
                                               requirement of this part.                               maintained by this part without the                   withheld. The notice must contain—
                                                  (c) FTA will evaluate the submission                 written consent of the designated                        (1) A statement of the legal authority
                                               and determine if any of the applicable                  personnel.                                            for issuance;
                                               training requirements of this part will be                 (b) Designated personnel are entitled,
                                               credited for waiver. If a waiver is                                                                              (2) A statement of the regulatory
                                                                                                       upon written request, to obtain copies of             provision(s) the recipient is believed to
                                               granted, designated personnel are                       any records pertaining to his or her
                                               responsible for completing all other                                                                          have violated;
                                                                                                       training that is required to be                          (3) A statement of the factual
                                               applicable requirements of this part.                   maintained by this part. The recipient                allegations upon which the notice of
                                               Subpart C—Administrative                                shall promptly provide the records                    violation is based; and
                                               Requirements                                            requested by designated personnel and                    (4) A statement of the remedial action
                                                                                                       access shall not be contingent upon the               sought to correct the violation.
                                               § 672.21   Records.                                     recipient’s receipt of payment for the                   (c) Reply. Within thirty (30) days of
                                                  (a) General requirement. FTA will                    production of such records.                           service of a notice of violation, a
                                               maintain an electronic database for                        (c) A recipient shall permit access to             recipient may file a written reply with
                                               designated personnel to register and                    all facilities utilized and records                   the Administrator. Upon written
                                               enroll in the Public Transportation                     compiled in accordance with the                       request, the Administrator may extend
                                               Safety Certification Training Program at                requirements of this part to the                      the time for filing for good cause shown.
                                               https://safety.fta.dot.gov.                             Secretary of Transportation, the Federal              The reply must be in writing, and
                                                  (b) General requirement. Each                        Transit Administration, or any State                  signed by the Accountable Executive or
                                               recipient shall ensure that its designated              agency with jurisdiction for public                   equivalent entity. A written response
                                               personnel are enrolled in the PTSCTP                    transportation safety oversight authority             may include an explanation for the
                                               via the electronic database. Designated                 over the recipient.                                   alleged violation, provide relevant
                                               personnel shall update their training                      (d) When requested by the National                 information or materials in response to
                                               profile as the applicable training                      Transportation Safety Board as part of                the alleged violation or in mitigation
                                               requirements of this part are completed.                an accident investigation, a recipient                thereof, or recommend alternative
                                                  (c) SSOA Requirement. Each SSOA                      shall disclose information related to the             means of compliance for consideration
                                               will maintain a record of the technical                 training of designated personnel.                     by the Administrator.
                                               training completed by its designated
                                                                                                                                                                (d) Decision. Within thirty (30) days
                                               personnel and contractors in accordance                 Subpart D—Compliance and
                                                                                                                                                             of receipt of a reply from a recipient, the
                                               with the technical training requirements                Certification Requirements
                                                                                                                                                             Administrator will issue a written reply
                                               of this part. Such records shall be
                                                                                                       § 672.31 Requirement to certify                       to the recipient. The Administrator may
                                               maintained by the SSOA for at least five
                                                                                                       compliance.                                           consider the recipient’s response,
                                               (5) years from the date the record is
                                                                                                         (a) A recipient of FTA financial                    pursuant to paragraph (c) of this section,
                                               created. Each record shall include the
                                                                                                       assistance described in § 672.3(b) of this            in determining whether to dismiss the
                                               following information at minimum:
                                                                                                       part shall annually certify compliance                notice of violation in whole or in part.
                                                  (1) The name of the designated
                                                                                                       with this part in accordance with FTA’s               If the notice of violation is not
                                               personnel or contractor;
                                                  (2) The title of the training, the date              procedures for annual grant certification             dismissed, the Administrator may
                                               the training was completed and the                      and assurances.                                       undertake any other enforcement action
                                               proficiency test score(s), where                          (b) A certification must be authorized              he or she deems appropriate, including
                                               applicable;                                             by the recipient’s governing board or                 withholding funds as stated in the
                                                  (3) The content of each training                     other authorizing official, and must be               notice of violation.
                                               course or curriculum successfully                       signed by a party specifically authorized             [FR Doc. 2015–30466 Filed 12–2–15; 8:45 am]
                                               completed and an indication of whether                  to do so.                                             BILLING CODE P
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Document Created: 2015-12-14 13:51:36
Document Modified: 2015-12-14 13:51:36
CategoryRegulatory Information
CollectionFederal Register
sudoc ClassAE 2.7:
GS 4.107:
AE 2.106:
PublisherOffice of the Federal Register, National Archives and Records Administration
SectionProposed Rules
ActionNotice of proposed rulemaking; request for comments.
DatesComments must be received by February 1, 2016. FTA will accept late-filed comments to the extent practicable.
ContactFor program issues, contact Ruth Lyons, FTA, Office of Safety and Oversight, 1200 New Jersey Avenue SE., Washington, DC 20590 (telephone: 202-366-2233 or email: [email protected]). For legal issues, contact Bruce Walker, FTA,
FR Citation80 FR 75639 
RIN Number2132-AB25
CFR AssociatedTransportation; Mass Transportation; Safety and Reporting and Recordkeeping Requirements

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