81_FR_6367 81 FR 6343 - Public Transportation Agency Safety Plan

81 FR 6343 - Public Transportation Agency Safety Plan

DEPARTMENT OF TRANSPORTATION
Federal Transit Administration

Federal Register Volume 81, Issue 24 (February 5, 2016)

Page Range6343-6371
FR Document2016-02017

The Federal Transit Administration (FTA) is proposing requirements for Public Transportation Agency Safety Plans as authorized by Section 20021 of the Moving Ahead for Progress in the 21st Century Act (MAP-21). This proposed rule would require operators of public transportation systems that receive Federal financial assistance under 49 U.S.C. Chapter 53 to develop and implement Public Transportation Agency Safety Plans based on the Safety Management System approach. Development and implementation of agency safety plans will help ensure that public transportation systems are safe nationwide. FTA seeks public comments on all aspects of this proposed rule, including information related to its benefits and costs, as well as alternative approaches that may more cost-effectively satisfy the statutory requirements and help ensure the safety of the nation's public transportation system.

Federal Register, Volume 81 Issue 24 (Friday, February 5, 2016)
[Federal Register Volume 81, Number 24 (Friday, February 5, 2016)]
[Proposed Rules]
[Pages 6343-6371]
From the Federal Register Online  [www.thefederalregister.org]
[FR Doc No: 2016-02017]



[[Page 6343]]

Vol. 81

Friday,

No. 24

February 5, 2016

Part II





Department of Transportation





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Federal Transit Administration





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49 CFR Part 673





Public Transportation Agency Safety Plan; National Public 
Transportation Safety Plan; Availability; Proposed Rule and Notice

Federal Register / Vol. 81, No. 24 / Friday, February 5, 2016 / 
Proposed Rules

[[Page 6344]]


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DEPARTMENT OF TRANSPORTATION

Federal Transit Administration

49 CFR Part 673

[Docket No. FTA-2015-0021]
RIN 2132-AB23


Public Transportation Agency Safety Plan

AGENCY: Federal Transit Administration (FTA), DOT.

ACTION: Notice of Proposed Rulemaking (NPRM): request for comments.

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SUMMARY: The Federal Transit Administration (FTA) is proposing 
requirements for Public Transportation Agency Safety Plans as 
authorized by Section 20021 of the Moving Ahead for Progress in the 
21st Century Act (MAP-21). This proposed rule would require operators 
of public transportation systems that receive Federal financial 
assistance under 49 U.S.C. Chapter 53 to develop and implement Public 
Transportation Agency Safety Plans based on the Safety Management 
System approach. Development and implementation of agency safety plans 
will help ensure that public transportation systems are safe 
nationwide. FTA seeks public comments on all aspects of this proposed 
rule, including information related to its benefits and costs, as well 
as alternative approaches that may more cost-effectively satisfy the 
statutory requirements and help ensure the safety of the nation's 
public transportation system.

DATES: Comments must be received by April 5, 2016. Any comments filed 
after this deadline will be considered to the extent practicable.
    FTA will hold webinars to explain the proposed rule. Interested 
stakeholders should check FTA's Web site for days and times of 
webinars: http://www.fta.dot.gov/calendar.html. Additionally, FTA will 
hold a listening session on Wednesday, March 16, 2016, in conjunction 
with the American Public Transportation Association's Legislative 
Conference. The listening session will be held at the JW Marriott, 1331 
Pennsylvania Avenue NW., Washington, DC 20004 at 9:30 a.m.

ADDRESSES: Please submit your comments by only one of the following 
methods, identifying your submission by Docket Number (FTA-2015-0021) 
or Regulatory Identification Number (RIN) (2132-AB23).
     Federal eRulemaking Portal: Submit electronic comments and 
other data to http://www.regulations.gov.
     U.S. Mail: Send comments to Docket Operations, U.S. 
Department of Transportation, 1200 New Jersey Avenue SE., West Building 
Room W12-140, Washington, DC 20590-0001.
     Hand Delivery or Courier: Take comments to Docket 
Operations in Room W12-140 of the West Building, Ground Floor, at 1200 
New Jersey Avenue SE., Washington, DC, between 9:00 a.m. and 5:00 p.m., 
Monday through Friday, except Federal holidays.
     Fax: Fax comments to Docket Operations, U.S. Department of 
Transportation, at (202) 493-2251.
    Instructions: You must include the agency name (Federal Transit 
Administration) and Docket Number (FTA-2015-0021 for this notice or 
Regulation Identifier Number (RIN) 2132-AB23), at the beginning of your 
comments. If sent by mail, submit two copies of your comments. Due to 
security procedures in effect since October 2001, mail received through 
the U.S. Postal Service may be subject to delays. Parties submitting 
comments should consider using an express mail firm to ensure the 
prompt filing of any submissions not filed electronically or by hand. 
If you wish to receive confirmation that FTA received your comments, 
you must include a self-addressed stamped postcard. All comments 
received will be posted without change to http://www.regulations.gov, 
including any personal information provided. Anyone is able to search 
the electronic form for all comments received into any of our dockets 
by the name of the individual submitting the comment (or signing the 
comment, if submitted on behalf of an association, business, labor 
union, etc.). You may review the United States Department of 
Transportation's (DOT) Privacy Act system of records notice for the DOT 
Federal Docket Management System (FDMS) in the Federal Register 
published on December 29, 2010 (75 FR 82132) at http://www.thefederalregister.org/fdsys/pkg/FR-2010-12-29/pdf/2010-32876.pdf.

FOR FURTHER INFORMATION CONTACT: For program matters, contact Brian 
Alberts, Office of Transit Safety and Oversight, (202) 366-1783 or 
[email protected]. For legal matters, contact Michael Culotta, 
Office of Chief Counsel, (212) 668-2178 or [email protected].
    Office hours are from 8:30 a.m. to 5:00 p.m., Monday through 
Friday, except Federal holidays.

SUPPLEMENTARY INFORMATION:

Table of Contents

I. Executive Summary
    A. Purpose of Regulatory Action
    B. Statutory Authority
    C. Summary of Major Provisions
    D. Costs and Benefits (Table)
II. Background
    A. History
    B. General Requirements
    C. The Safety Management Systems (SMS) Approach
    D. The Role of the Accountable Executive With Public 
Transportation Agency Safety Plans and Transit Asset Management 
Plans
III. Advance Notice of Proposed Rulemaking and Response to Relevant 
Comments
    A. Scope and Applicability of Public Transportation Agency 
Safety Plans
    B. Safety Management Systems
    C. Public Transportation Agency Safety Plan Development, 
Certification, and Oversight
    D. Role of the Board of Directors (or Equivalent Authority) and 
the Chief Safety Officer
    E. Coordination of Public Transportation Agency Safety Plan With 
Other MAP-21 Programs and Plans
IV. Section-by-Section Analysis
V. Regulatory Analyses and Notices

I. Executive Summary

A. Purpose of Regulatory Action

    The public transportation industry remains among the safest surface 
transportation modes in terms of total reported safety events, 
fatalities, and injuries.\1\ Nonetheless, given the complexity of 
public transportation service, the condition and performance of transit 
equipment and facilities, turnover in the transit workforce, and the 
quality of procedures, training, and supervision, the public 
transportation industry remains vulnerable to catastrophic accidents.
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    \1\ See United States Department of Transportation, Bureau of 
Transportation Statistics, ``Table 2-1: Transportation Fatalities by 
Mode 1960-2013,'' at http://www.rita.dot.gov/bts/sites/rita.dot.gov.bts/files/publications/national_transportation_statistics/html/table_02_01.html_mfd; and 
``Table 1-40: U.S. Passenger Miles (Millions) 1960-2013,'' at http://www.rita.dot.gov/bts/sites/rita.dot.gov.bts/files/publications/national_transportation_statistics/html/table_01_40.html.
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    This Notice of Proposed Rulemaking (NPRM) proposes requirements for 
Public Transportation Agency Safety Plans that would carry out explicit 
statutory mandates in the Moving Ahead for Progress in the 21st Century 
Act (Pub. L. 112-141; July 6, 2012) (MAP-21), which recently was 
reauthorized by the Fixing America's Surface Transportation Act (Pub. 
L. 114-94; December 4, 2015) and codified at 49 U.S.C. 5329(d), to 
strengthen the safety of public transportation systems that receive 
Federal financial assistance under Chapter 53. This NPRM proposes 
requirements for the adoption of Safety Management Systems (SMS) 
principles and methods; the development,

[[Page 6345]]

certification, and update of Public Transportation Agency Safety Plans; 
and the coordination of Public Transportation Agency Safety Plan 
elements with other FTA programs and proposed rules, as specified in 49 
U.S.C. 5329.

B. Statutory Authority

    In Section 20021 of MAP-21, Congress directed FTA to establish a 
comprehensive Public Transportation Safety Program, one element of 
which is the requirement for Public Transportation Agency Safety Plans. 
Pursuant to 49 U.S.C. 5329(d), FTA must issue a final rule requiring 
operators of public transportation systems that receive financial 
assistance under Chapter 53 to develop and certify Public 
Transportation Agency Safety Plans. FTA also is required to issue a 
rule designating certain Urbanized Area Formula Program recipients 
under 49 U.S.C. 5307 that may have their Public Transportation Agency 
Safety Plans drafted or certified by a State. 49 U.S.C. 5329(d)(3)(B). 
Further, FTA must allow States to draft and certify Public 
Transportation Agency Safety Plans for Rural Area Formula Program 
recipients and subrecipients under 49 U.S.C. 5311. 49 U.S.C. 
5329(d)(3)(A).

C. Summary of Major Provisions

    The proposed rule would add a new Part 673, ``Public Transportation 
Agency Safety Plans,'' to Title 49 of the Code of Federal Regulations. 
The rule would implement the requirements of 49 U.S.C. 5329(d).
    One year after FTA issues a final rule to carry out Section 
5329(d), each State, local governmental authority, and other operator 
of a public transportation system that receives Federal financial 
assistance under 49 U.S.C. Chapter 53, must certify that it has 
established and implemented a comprehensive Public Transportation 
Agency Safety Plan. 49 U.S.C. 5329(d)(1). FTA proposes that large 
transit providers that are direct recipients of Section 5307 funds 
would develop their own plans, have the plans approved by their Boards 
of Directors (or equivalent authority), and certify to FTA that those 
plans are in place. FTA also proposes that transit providers which 
receive funds under the Enhanced Mobility of Seniors and Individuals 
with Disabilities Program authorized by 49 U.S.C. 5310 (which tend to 
be much smaller transit providers) and transit providers that receive 
funds under the Rural Area Formula Program authorized by 49 U.S.C. 
5311, as well as small public transportation providers as defined in 
this NPRM, may have their plans drafted or certified by the State in 
which they operate.
    At a minimum, and consistent with 49 U.S.C. 5329(d), FTA proposes 
that each Public Transportation Agency Safety Plan must:
     Include a Safety Management System consisting of four main 
pillars: (1) Safety Management Policy, (2) Safety Risk Management, (3) 
Safety Assurance, and (4) Safety Promotion, as discussed in more detail 
below (49 CFR 673.11(a)(2));
     Include performance targets based on the safety 
performance criteria established under the National Public 
Transportation Safety Plan, and the state of good repair standards 
established in the regulations that implement the National Transit 
Asset Management System and are included in the National Public 
Transportation Safety Plan (49 CFR 673.11(a)(3));
     Address all applicable requirements and standards as set 
forth in FTA's Public Transportation Safety Program and National Public 
Transportation Safety Plan (49 CFR 673.11(a)(4)); and
     Establish a process and timeline for conducting an annual 
review and update of the Public Transportation Agency Safety Plan (49 
CFR 673.11(a)(5)).
    FTA proposes that each rail transit agency must include in its 
Public Transportation Agency Safety Plan an emergency preparedness and 
response plan, as historically required by FTA under its State Safety 
Oversight Rule at 49 CFR part 659. 49 CFR 673.11(a)(6).
    A transit agency would be able to develop one Public Transportation 
Agency Safety Plan for all modes of service, or it may develop a Public 
Transportation Agency Safety Plan for each mode of service not subject 
to safety regulation by another Federal entity. 49 CFR 673.11(b). A 
transit agency would be required to maintain records associated with 
its Public Transportation Agency Safety Plan. 49 CFR 673 subpart D. Any 
rail fixed guideway public transportation system that had a System 
Safety Program Plan compliant with 49 CFR part 659 as of October 1, 
2012, would be able to keep that plan in effect until one year after 
the effective date of the final rule. 49 CFR 673.11(e). Agencies that 
operate passenger ferries regulated by the United States Coast Guard 
(USCG) or commuter rail service regulated by the Federal Railroad 
Administration (FRA) would not be required to develop agency safety 
plans for those modes of service. 49 CFR 673.11(f).
    A State or transit agency would be required to make its safety 
performance targets available to States and Metropolitan Planning 
Organizations to aid in the planning process, and to the maximum extent 
practicable, a State or transit agency would be required to coordinate 
with States and Metropolitan Planning Organizations in the selection of 
State and MPO safety performance targets. 49 CFR 673.15.
    On an annual basis, a transit agency or State would be required to 
certify its compliance with this rule. 49 CFR 673.13.

D. Costs and Benefits (Table)

    FTA has determined that this proposed rule likely is ``economically 
significant'' under Executive Order 12866, in that it may lead to 
transit agencies making investment and prioritization decisions related 
to mitigation of safety risks that would result in economic impacts 
that could exceed $100 million in a year. However, as discussed in 
greater detail below, FTA was unable to quantify the potential impacts 
of this rule beyond the costs for transit agencies to develop and 
implement Public Transportation Agency Safety Plans. FTA was able to 
estimate costs of approximately $86 million in the first year, and $70 
million per year thereafter. These costs result from developing and 
certifying safety plans, documenting the SMS approach, implementing 
SMS, and associated recordkeeping. The estimated costs do not include 
the costs of actions that transit agencies would be required to take to 
mitigate risk as a result of implementing this rule, such as vehicle 
modifications, additional training, technology investments, or changes 
to operating procedures. The annualized cost of proposed requirements 
is estimated to be approximately $71 million.
    FTA could not estimate the benefits of the proposed rule. To 
estimate safety benefits, one would need to understand the exact causes 
of the accidents and the factors that may cause future accidents. This 
information is generally unknown in this sector, given the infrequency 
and diversity of the type of safety incidents that occur. In addition, 
one would need information about the safety problems that agencies are 
likely to find through implementation of their safety plans and the 
actions agencies are likely to take to address those problems. Instead, 
FTA conducted a breakeven analysis that compares the estimated costs 
(absent the cost of mitigations beyond those specifically required by 
the rule such as training) to a pool of potential safety benefits. The 
pool of potential safety benefits is an estimate of the cost of all bus 
and rail incidents over a future 20-year period. The estimate is an

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extrapolation of the total cost of bus and rail incidents that occurred 
from 2010 to 2014.
    As Table 1 below shows, the amount of incident reduction needed to 
breakeven with estimated costs is low. However, benefits of SMS will 
primarily result from mitigating actions, which are largely not 
accounted for in this analysis. FTA has not estimated the benefits of 
implementing SMS without mitigating actions, but expects they are 
unlikely to be large. Estimated costs for agencies' safety plans 
include certain activities that could yield safety improvements, such 
as improved communication, identification of hazards, and greater 
employee awareness. It is plausible that these activities alone could 
produce accident reductions that surpass the breakeven level, though 
even greater reductions could be achieved in concert with other 
mitigating actions.
    This analysis assumes that benefits are realized from reducing both 
rail and bus incidents after adjusting for the estimated breakeven 
threshold for the proposed State Safety Oversight and Safety Training 
Rules (RINs 2132-AB19 and 2132-AB25 respectively), to which the rail 
agencies also will be subject when finalized.

                                                       Table 1--Summary of Breakeven Analysis \2\
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                                              Current dollar value                   7% Discounted value                    3% Discounted value
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Bus Incidents (20-Year Estimate)...  $86,999,489,120......................  $40,894,178,605......................  $58,084,884,054.
Rail Incidents (20-Year Estimate)..  $37,680,410,444......................  $17,711,706,703......................  $25,157,185,334.
Total Pool of Benefits (20-Year      $124,679,899,564.....................  $58,605,885,309......................  $83,242,069,388.
 Estimate).
Estimated Costs (20-Year Estimate).  $1,407,680,883.......................  $752,319,890.........................  $1,050,876,643.
Benefits and Costs of Mitigating     Not Estimated........................  Not Estimated........................  Not Estimated.
 Actions.
Estimated Cost (Annualized)........  .....................................  $71,013,675..........................  $70,635,417.
Breakeven Threshold Including Bus    .....................................  1.28%................................  1.26%.
 and Rail.
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II. Background

    On July 6, 2012, the President signed into law MAP-21 (Pub. L. 112-
141). MAP-21 authorized a number of fundamental changes to the Federal 
transit programs at 49 U.S.C. Chapter 53. This NPRM addresses the 
Public Transportation Agency Safety Plan within the Public 
Transportation Safety Program authorized under 49 U.S.C. 5329.
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    \2\ The costs in this table and the breakeven threshold do not 
account for actions by agencies to mitigate or eliminate safety 
risks identified through implementation of their safety plans 
(beyond those specifically required by the rule, such as training).
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    The Public Transportation Safety Program consists of several key 
elements: the National Public Transportation Safety Plan, authorized by 
49 U.S.C. 5329(b); the Public Transportation Safety Certification 
Training Program, authorized by 49 U.S.C. 5329(c); the Public 
Transportation Agency Safety Plans, authorized by 49 U.S.C. 5329(d); 
and the State Safety Oversight Program, authorized by 49 U.S.C. 
5329(e). FTA will issue rules and guidance to carry out all of these 
plans and programs under the rulemaking authority of 49 U.S.C. 5329 and 
5334(a)(11).
    On October 3, 2013, FTA issued an Advance Notice of Proposed 
Rulemaking (ANPRM) for the National Public Transportation Safety Plan, 
the Safety Certification Training Program, and the Public 
Transportation Agency Safety Plans. 78 FR 61251. Through the ANPRM, FTA 
also sought public comment on transit asset management, given FTA's 
statutory directive to develop and implement a Transit Asset Management 
System under 49 U.S.C. 5326. FTA is addressing the National Public 
Transportation Safety Plan, the Safety Certification Training Program, 
and the Transit Asset Management System through separate rulemakings 
and guidance documents. Each of these programs will contribute to the 
establishment of a comprehensive framework that will help to ensure 
public transportation systems are safe nationwide.
    In most instances, the requirements of the Public Transportation 
Agency Safety Plans will apply to each recipient and subrecipient of 
FTA funding, regardless of the mode(s) of transit provided. However, 
two provisions limit FTA's regulatory jurisdiction. First, FTA is 
prohibited from establishing safety performance standards for rolling 
stock that is already regulated by another Federal agency. 49 U.S.C. 
5329(b)(2)(C)(i). Second, the requirements of the Public Transportation 
Agency Safety Plans will not apply to rail transit systems to the 
extent that they are already subject to regulation by FRA. 49 U.S.C. 
5329(e)(1) and (e)(2). Further, to the extent that any other Federal 
agency already regulates the safety of a particular mode of public 
transportation, FTA does not intend to publish duplicative, 
inconsistent, or conflicting regulations.
    Today's proposed rule for establishing and certifying Public 
Transportation Agency Safety Plans takes into account the size, 
complexity, and operating environments of applicable recipients. FTA 
proposes the incorporation of SMS principles and methods to support 
Public Transportation Agency Safety Plan development and 
implementation. SMS provides transit agencies flexibility in 
establishing processes and activities to address safety risks within 
their agencies in a scalable manner.
    Until FTA issues a final rule to carry out Section 5329(d), 
existing system safety and security program plans required of rail 
fixed guideway systems under 49 CFR part 659 will remain in effect. 49 
U.S.C. 5329(d)(2). Within one year of the Public Transportation Agency 
Safety Plan final rule's effective date, all operators of public 
transportation systems that receive Chapter 53 funds would be required 
to draft and certify their Public Transportation Agency Safety Plans, 
unless a State is otherwise required to do so on behalf of the public 
transportation provider, in which case, the State also would have one 
year after the rule's effective date to draft and certify its Public 
Transportation Agency Safety Plans. Public transportation providers 
that operate multiple modes of transit service would have the option of 
preparing separate Public Transportation Agency Safety Plans for each 
mode, or preparing one Public Transportation Agency Safety Plan for all 
modes operated by the provider. If separate safety plans are developed 
for multiple modes under FTA's jurisdiction, each Public Transportation 
Agency Safety Plan (for example, one for bus service and one for rail 
transit service) must comply with the final rule.

A. History

    Prior to MAP-21, FTA's authority to require safety plans was 
limited to rail transit agencies subject to FTA's State Safety 
Oversight Rule. Under existing 49 CFR part 659, any State that has a 
rail

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fixed guideway system not subject to FRA regulation is required to 
establish a state safety oversight agency, and each state safety 
oversight agency must require each rail fixed guideway system within 
its jurisdiction to develop a system safety and a system security 
program plan. These plans are reviewed and approved by state safety 
oversight agencies. 49 CFR 659.17. MAP-21 authorized significant 
changes to FTA's State Safety Oversight Program, and FTA is undergoing 
a rulemaking to effectuate those changes. The history of 49 CFR part 
659, and its relationship to the Public Transportation Safety Program 
and today's notice, can be viewed in the NPRM for 49 CFR part 674, 
which is the proposed new location for the State Safety Oversight Rule 
in the Code of Federal Regulations. See 80 FR 11002, Feb. 27, 2015 
(http://www.thefederalregister.org/fdsys/pkg/FR-2015-02-27/pdf/2015-03841.pdf).
    In addition to requiring safety and security plans for rail fixed 
guideway systems, FTA established and currently manages a voluntary Bus 
Safety Program that has encouraged bus transit agencies to develop 
system safety program plans to implement safety program activities. The 
voluntary program has been very well received and has promoted 
coordination among FTA, the Community Transportation Association of 
America (CTAA), and the American Public Transportation Association 
(APTA) to provide technical assistance to bus transit agencies to 
support system safety program plan development and implementation. 
Through FTA's Bus Safety Program, more States have recommended that 
their bus transit agencies develop safety plans using templates 
provided by FTA through its safety Web site. In addition, a number of 
States require both rail and bus transit agencies to develop system 
safety program plans.
    The aforementioned efforts demonstrate that many transit agencies 
embrace the concept and benefits of developing safety plans in order to 
document their safety program activities, as well as ensure commitment 
from agency executives who often review and sign the safety plan or 
policy statement.
    Pursuant to 49 U.S.C. 5329(d), Public Transportation Agency Safety 
Plans must be drafted and certified by each transit agency regardless 
of mode, with the exception of transit providers that receive funds 
under 49 U.S.C. 5311 (Section 5311) and small public transportation 
providers as defined in this NPRM, which may have their plans drafted 
and certified by the State. In addition to this statutory requirement, 
FTA is proposing that the State must draft and certify Public 
Transportation Agency Safety Plans for operators of public 
transportation that receive funds under 49 U.S.C. 5310 (Section 5310), 
in an effort to alleviate the regulatory, administrative, and financial 
burdens on the small recipients in this program. FTA proposes that a 
Section 5310, Section 5311, or small public transportation provider may 
opt to draft and certify their own plan. Today's proposed rule helps 
advance the regulatory steps taken by FTA and States previously and the 
voluntary efforts taken by industry associations, States, and transit 
providers to improve transit safety.

B. General Requirements

    Pursuant to 49 U. S.C. 5329(d)(1), each Public Transportation 
Agency Safety Plan must include, at minimum:
     A requirement that the board of directors, or equivalent 
entity, approve the plan and any updates;
     Methods for identifying and evaluating safety risks 
throughout all elements of the recipient's public transportation 
system;
     Strategies to minimize the exposure of the public, 
personnel, and property to hazards and unsafe conditions;
     A process and timeline for conducting an annual review and 
update of the plan;
     Performance targets based on the safety performance 
criteria and state of good repair standards set out in the National 
Public Transportation Safety Plan;
     Assignment of an adequately trained Safety Officer who 
reports directly to the general manager, president, or equivalent 
officer of the recipient; and
     A comprehensive staff training program for operations 
personnel and personnel directly responsible for safety that includes 
the completion of a safety training program and continuing safety 
education and training.

C. The Safety Management Systems (SMS) Approach

    Public transportation is one of the safest modes of travel.\3\ 
However, public transportation incidents occur, and the potential for 
catastrophic events remains. In recent years, there have been several 
major transit accidents that resulted in fatalities, injuries, and 
significant property damage. From 2004 to 2013, the National 
Transportation Safety Board (NTSB) reported on nine transit accidents 
that, collectively, resulted in 15 fatalities, 297 injuries, and over 
$30 million in property damages. During that same period, transit 
agencies reported over 40,000 incidents, approximately 2,000 
fatalities, and over 76,000 injuries to FTA's National Transit 
Database.\4\
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    \3\ See United States Department of Transportation, Bureau of 
Transportation Statistics, ``Table 2-1: Transportation Fatalities by 
Mode 1960-2013,'' available at http://www.rita.dot.gov/bts/sites/rita.dot.gov.bts/files/publications/national_transportation_statistics/html/table_02_01.html_mfd; and 
``Table 1-40: U.S. Passenger Miles (Millions) 1960-2013,'' available 
at http://www.rita.dot.gov/bts/sites/rita.dot.gov.bts/files/publications/national_transportation_statistics/html/table_01_40.html.
    \4\ National Transit Database, Major-Only Time Series, http://www.ntdprogram.gov/ntdprogram/data.htm.
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    The NTSB has investigated a number of these accidents and has 
issued reports identifying the probable causes and contributing 
factors, including deficiencies in the training and supervision of 
employees; \5\ deficiencies in the maintenance of equipment and 
infrastructure; \6\ and deficiencies in safety management and 
oversight, such as weaknesses in transit agencies' safety rules and 
procedures,\7\ lack of safety cultures within transit agencies,\8\ and 
lack of adequate oversight by State and Federal agencies.\9\ The 
deficiencies identified by NTSB will continue to plague the transit 
industry as infrastructure ages, skilled employees retire, and transit 
agencies continue to endure financial stresses. Through implementation 
of the Public Transportation Safety Program, including today's Public 
Transportation Agency Safety Plan proposed rulemaking, FTA's goal is to 
address these deficiencies and improve the safety of public 
transportation.
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    \5\ For example, the National Transportation Safety Board (NTSB) 
issued Safety Recommendation R-15-010 for the Washington 
Metropolitan Area Transit Authority's (WMATA) Metrorail incident on 
January 12, 2015, and NTSB issued Safety Recommendations R-15-20 and 
R-15-021 for the Chicago Transit Authority's (CTA) incident on March 
24, 2015. NTSB's reports for these recommendations are pending.
    \6\ NTSB issued Safety Recommendation R-15-008 for the WMATA 
Metrorail incident on January 12, 2015; NTSB's report for this 
incident is pending. NTSB also issued several Safety Recommendations 
in Report RAR-10/02.
    \7\ NTSB issued Safety Recommendations R-15-009 and R-15-011 for 
the WMATA Metrorail incident on January 12, 2015; NTSB's report for 
these recommendations is pending. NTSB also issued several Safety 
Recommendations in Reports RAB-15-02, RAR-12/04, and RAR-10/02.
    \8\ NTSB cited safety culture concerns in Reports SIR-14/03 and 
RAR-07/02.
    \9\ NTSB issued Safety Recommendation R-15-007 for the WMATA 
Metrorail incident on January 12, 2015, and Safety Recommendations 
R-15-018 and R-15-019 for the CTA incident on March 24, 2015. NTSB's 
reports for these recommendations are pending. NTSB also issued 
several safety recommendations in Reports RAR-12/04, RAR-11/01, and 
RAR-10/02.

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[[Page 6348]]

    In order to advance a comprehensive approach to safety decision-
making, FTA is proposing to adopt an SMS approach to developing and 
implementing the Public Transportation Safety Program, and specifically 
the Public Transportation Agency Safety Plans. Following a 
recommendation from FTA's designated Federal Advisory Committee--the 
Transit Advisory Committee for Safety (TRACS) \10\--on May 13, 2013, 
the FTA Administrator issued a Dear Colleague Letter \11\ and answers 
to Frequently Asked Questions (FAQs) \12\ to the transit industry 
stating FTA's intention to adopt the SMS approach as the basis for its 
initiatives to improve the safety of public transportation. This NPRM 
seeks comment on proposed SMS processes and activities and their 
documentation in the Public Transportation Agency Safety Plans. This 
NPRM also seeks public comments on alternatives to requiring adoption 
of SMS, such as promoting adoption of SMS through guidance or technical 
assistance (while also promulgating regulations that satisfy the 
statutory requirements of 49 U.S.C. 5329(d)).
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    \10\ Implementing Safety Management System Principles in Rail 
Transit Agencies, available at http://www.fta.dot.gov/documents/TRACS_Ltr_Rpt_SMS_fnl.pdf.
    \11\ The Dear Colleague Letter is available at http://www.fta.dot.gov/newsroom/12910_15391.html.
    \12\ The SMS FAQs are available at http://www.fta.dot.gov/tso_15177.html.
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    Safety management is based on the fact that safety is not an 
absolute condition--there always will be hazards and risks in public 
transportation. However, an approach of primarily reacting to accidents 
and incidents by prescribing measures to prevent recurrence alone will 
not contribute to sustaining and improving public transportation 
safety.
    Modern SMS practices that systematically and proactively identify 
the factors that contribute to unsafe events, and prevent or minimize 
the likelihood of their occurrence, have proven effective in other 
transportation sectors. Such practices call for setting safety goals 
and objectives, defining clear levels of accountability and 
responsibility for safety, establishing proactive approaches to 
identifying hazards and managing safety risks in 
day[hyphen]to[hyphen]day activities, establishing safety 
risk[hyphen]based resource allocation, monitoring and evaluating 
performance towards goals, and continuous learning and improvement. SMS 
is a significant improvement over more ``reactive'' safety activities, 
which tend to focus on discovering and mitigating the cause of an 
accident only after that accident has occurred.
    SMS integrates safety into all aspects of a transit system's 
activities, from planning to design, to construction, to operations, 
and to maintenance. SMS builds on the public transportation industry's 
three decades of experience with system safety by bringing management 
processes, integrated data analysis, and organizational culture more 
squarely into the industry's overall risk management framework. SMS is 
a management approach that provides processes that ensure each public 
transportation agency, no matter its size or service environment, has 
the necessary organizational structures, accountabilities, policies, 
and procedures in place to direct and control resources to manage 
safety optimally. When fully applied, the SMS approach provides a set 
of decision-making tools that allow transit agencies to prioritize 
safety when making informed operating and capital investment decisions.
    SMS is comprised of four essential components: (1) Safety 
Management Policy, (2) Safety Risk Management, (3) Safety Assurance, 
and (4) Safety Promotion. Each of these components, or ``pillars,'' is 
consistent with 49 U.S.C. 5329(d). The table below illustrates the 
connection between each of the statutory requirements for safety plans 
and the pillars of SMS.

          Table 2--Crosswalk Between the Statutory Requirements for Safety Plans and the Pillars of SMS
----------------------------------------------------------------------------------------------------------------
                                                  Safety plan must
             Statutory provision                      include:                         SMS Pillar
----------------------------------------------------------------------------------------------------------------
49 U.S.C. 5329(d)(1)(A).....................  ``a requirement that     Safety Management Policy.
                                               the board of directors
                                               (or equivalent entity)
                                               of the recipient
                                               approve the agency
                                               safety plan and any
                                               updates to the agency
                                               safety plan''.
49 U.S.C. 5329(d)(1)(B).....................  ``methods for            Safety Risk Management.
                                               identifying and
                                               evaluating safety
                                               risks throughout all
                                               elements of the public
                                               transportation system
                                               of the recipient''.
49 U.S.C. 5329(d)(1)(C).....................  ``strategies to          Safety Risk Management.
                                               minimize exposure of
                                               the public, personnel,
                                               and property to
                                               hazards and unsafe
                                               conditions''.
49 U.S.C. 5329(d)(1)(D).....................  ``a process and          Safety Assurance.
                                               timeline for
                                               conducting an annual
                                               review and update of
                                               the safety plan of the
                                               recipient''.
49 U.S.C. 5329(d)(1)(E).....................  ``performance targets    Safety Management Policy.
                                               based on the safety
                                               performance criteria
                                               and state of good
                                               repair standards''.
49 U.S.C. 5329(d)(1)(F).....................  ``assignment of an       Safety Management Policy.
                                               adequately trained
                                               safety officer who
                                               reports directly to
                                               the general manager,
                                               president, or
                                               equivalent officer of
                                               the recipient''.
49 U.S.C. 5329(d)(1)(G).....................  ``a comprehensive staff  Safety Promotion.
                                               training program for
                                               the operations
                                               personnel directly
                                               responsible for safety
                                               of the recipient''.
----------------------------------------------------------------------------------------------------------------

    Safety Management Policy is the foundation of the organization's 
SMS. The safety management policy statement clearly states the 
organization's safety objectives and sets forth the policies, 
procedures, and organizational structures necessary to accomplish the 
safety objectives. It clearly delineates management and employee 
responsibilities for safety throughout the organization. It also 
ensures that management is actively engaged in the oversight of the 
organization's safety performance by requiring regular review of the 
safety policy by a designated Accountable Executive (general manager, 
president, or other person with similar authority). Within the context 
of the Public Transportation Agency Safety Plan, an organization's 
safety objectives will be articulated through the setting of 
performance targets based on, at a minimum, the safety performance 
criteria established in the National Public Transportation Safety Plan, 
and state of good repair standards based on the definition of that term 
established under the National Transit Asset Management System Rule. 
See 49 U.S.C. 5329(d)(1)(E).
    Pursuant to the statutory requirements at 49 U.S.C. 5329(d)(1)(B) 
and (C), each agency's Public Transportation Agency Safety Plan must 
include ``methods for identifying and evaluating safety risks

[[Page 6349]]

throughout all elements of the public transportation system,'' and 
``strategies to minimize the exposure of the public, personnel, and 
property to hazards and unsafe conditions.'' Each of these requirements 
is consistent with the second component of SMS--Safety Risk 
Management--which requires the development of processes and activities 
to help the organization better identify hazards associated with its 
operational systems. Once identified, a transit agency would evaluate 
the safety risk associated with the potential consequences of these 
hazards, and then institute mitigations, as necessary, to control the 
consequences or minimize the safety risk. Additionally, FTA proposes to 
require a transit agency to perform hazard identification activities on 
those assets that do not meet the state of good repair standards 
established under the National Transit Asset Management System.
    The statutory requirements at 49 U.S.C. 5329(d)(1)(B), (C), and (D) 
also encompass the requirements of the third component of SMS--Safety 
Assurance. Safety Assurance requires an organization to monitor the 
effectiveness of safety risk mitigations established under Safety Risk 
Management. Safety Assurance is also designed to ensure that the 
organization meets or exceeds its safety objectives through the 
collection, analysis, and assessment of data about the organization's 
performance. One of the keys elements of Safety Assurance is a regular 
review and update of a transit agency's SMS and overall safety plan to 
ensure their effectiveness.
    The fourth component of SMS--Safety Promotion--involves the 
training, awareness, and communication that support safety. The 
training aspect of SMS is consistent with the statutory requirement for 
a comprehensive staff training program for operations personnel and 
personnel directly responsible for safety. 49 U.S.C. 5329(d)(1)(G).
    Service providers within the public transportation industry can 
vary greatly based on size, complexity, and operating characteristics. 
Transit agencies need safety processes, activities, and tools that 
scale to size, complexity, and uniqueness of the transit system. SMS 
provides such an approach. SMS is flexible, and can be scaled to the 
mode, size, and complexity of any transit operator, in any 
environment--urban, suburban, or rural. The extent to which the transit 
agency's SMS processes, activities, and tools are used and documented 
will vary from agency to agency. For a small bus operation, SMS is 
going to be simple and straightforward. For a larger transit agency 
with hundreds or thousands of employees and multiple modes, SMS is 
going to be more complex.
    SMS scales itself to reflect the size and complexity of the 
operation, but the fundamental accountability remains the same. SMS 
establishes the accountabilities, processes and activities necessary to 
ensure that appropriate information rises to the highest levels of the 
organization to support decision-making related to safety risk. 
However, each transit agency will determine the level of detail 
necessary to identify and evaluate its own unique safety risks and 
target its resources to manage those safety risks.
    Other modes of transportation, such as the aviation and rail 
industries, have adopted SMS as the foundation and framework for their 
safety systems given the success of SMS in preventing and mitigation 
safety outcomes. For example, the Federal Aviation Administration (FAA) 
recently adopted SMS and promulgated a regulation which requires 
certain air carriers to develop safety plans based on the principles of 
SMS.\13\ In the rail industry, FRA is proposing to adopt SMS in its 
rulemaking which would require railroads to develop system safety 
program plans, largely based on the principles of SMS, under 49 CFR 
part 270.
---------------------------------------------------------------------------

    \13\ See FAA's Final Rule, ``Safety Management Systems for 
Domestic, Flag, and Supplemental Operations Certificate Holders,'' 
14 CFR parts 5 and 119, 80 FR 1308, Jan. 8, 2015.
---------------------------------------------------------------------------

    There is also preliminary evidence of the success of SMS as an 
effective method of mitigating and preventing safety outcomes in other 
modes of transportation in other parts of the world. For example, 
Transport Canada has noted that, in the area of rail safety:

    [N]ot only have qualitative benefits been identified, but 
statistics reflect a correlation between the introduction of the 
safety management system approach in 2001 and improved safety 
statistics. Statistical analysis . . . indicates a downward trend in 
accident rates . . . over the past 10 years. Moreover, since 2007, 
train accidents have decreased by 23% and passenger train accidents 
have decreased by 19%. This decrease can be linked to increased 
levels of consultation and communication between the three largest 
railway companies and Transport Canada, enhanced focus on safety 
management systems, and a variety of new safety initiatives related 
to operations and infrastructure. It is therefore expected that 
updates to safety management systems would help further reduce the 
number of accidents, fatalities and injuries, and property 
damage.\14\
---------------------------------------------------------------------------

    \14\ See http://gazette.gc.ca/rp-pr/p2/2015/2015-02-25/html/sor-dors26-eng.php.

    In short, FTA believes that SMS is the most effective way of 
preventing and mitigating safety events in the transit industry. 
Notwithstanding the above, FTA seeks comments from the public on 
alternative regulatory requirements, potentially in combination with 
non-mandatory guidance, that would satisfy the statutory requirements 
of 49 U.S.C. 5329(d) and that may more cost-effectively improve the 
safety of the nation's public transportation systems. FTA specifically 
invites the public to provide information to allow the comparison of 
the benefits and costs of FTA's proposed requirements to alternative 
approaches.

D. The Role of the Accountable Executive With Public Transportation 
Agency Safety Plans and Transit Asset Management Plans

    Each transit agency has a process by which it budgets, allocates 
funds, and plans for the future. In most cases, this decision-making 
process is led by a President, General Manager, or Chief Executive 
Officer who formulates and proposes capital and operating budgets. For 
purposes of the Public Transportation Agency Safety Plan and Transit 
Asset Management Plan rules, FTA is proposing to require transit 
agencies to identify these individuals as the ``Accountable 
Executives'' for those agencies. The Accountable Executive would be 
responsible approving the transit agency's Public Transportation Agency 
Safety Plan, and any updates thereto. The Accountable Executive would 
be responsible for the implementation and maintenance of the SMS. This 
Accountable Executive also would be responsible for making decisions 
over the human and capital resources needed to develop and maintain the 
agency's Transit Asset Management Plan required by 49 U.S.C. 5326. FTA 
intends that the individual who is responsible for making decisions 
related to the condition of the agency's capital assets, particularly 
whether those assets are in a state of good repair, is also responsible 
for implementing the agency's SMS and determining whether those assets 
are presenting any safety risks. This individual must have the ability 
to make budgetary, operational, and capital program decisions to 
address these competing needs and issues.
    Ultimately, the decisions made by the Accountable Executive 
regarding the proposed capital and operating budgets typically are 
presented for approval to the transit agency's Board of Directors or 
equivalent entity. An Accountable Executive and members of the transit 
agency's Board of Directors must make

[[Page 6350]]

strategic decisions regarding operational and service demands, capital 
investments, and the safety resource needs of the system. This often 
can be challenging due to budget constraints and service demand 
pressures. It is important that safety receives appropriate attention 
by the Accountable Executive and Board of Directors as they make 
decisions regarding operating and capital budgets. Within an SMS 
environment, the Accountable Executive would rely on outputs of SMS 
processes and activities to ensure that a transit agency's strategic 
planning is informed and transparent with regard to the role of safety 
in decision-making.

III. Advance Notice of Proposed Rulemaking and Response to Relevant 
Comments

    As discussed above, FTA issued an ANPRM on October 3, 2013. 78 FR 
61251 (http://www.thefederalregister.org/fdsys/pkg/FR-2013-10-03/pdf/2013-23921.pdf). 
The comment period closed on January 2, 2014. The ANPRM sought comment 
on 123 questions related to the implementation of the public 
transportation safety program and transit asset management. In response 
to the ANPRM, FTA received comments from 167 entities, including 
States, transit agencies, trade associations, and individuals. FTA 
received and reviewed approximately 2,500 pages of comments. Throughout 
the ANPRM, FTA expressed its intention to adopt a comprehensive 
approach to safety that would be scalable and flexible.
    Of the 123 questions presented in the ANPRM, FTA is addressing 42 
questions in this notice related to Public Transportation Agency Safety 
Plans. Specifically, FTA addresses the following questions in this 
notice: 8-10, 17-31, 33-44, 47, 107-110, 112, and 116-121.
    To reduce the burden on readers, where applicable and possible, FTA 
provides a summation and/or reference to the State Safety Oversight 
Program, or Public Transportation Safety Program NPRMs as a way to 
direct the reader to the appropriate discussion and limit redundancy.
    FTA took relevant comments into consideration when developing this 
proposed rule. Below, the ANPRM comments and responses are subdivided 
by subject and corresponding question numbers.

A. Scope and Applicability of Public Transportation Agency Safety Plans
B. Safety Management Systems
C. Public Transportation Agency Safety Plan Development, Certification, 
and Oversight
D. Role of the Board of Directors (or Equivalent Authority) and the 
Chief Safety Officer
E. Coordination of Public Transportation Agency Safety Plan with Other 
MAP-21 Programs and Rules

A. Scope and Applicability of Public Transportation Agency Safety Plans 
(Questions 22, 31, 33 and 43)

    In the Plan Requirements section of the ANPRM, FTA sought input on 
the costs and benefits of including rail, bus, and other public 
transportation modes under one Public Transportation Agency Safety Plan 
for those agencies that operate multiple modes of public 
transportation. The State's Role section of the ANPRM sought comment on 
the applicability of Public Transportation Agency Safety Plan 
requirements to recipients of Section 5311 Tribal Transit Formula and 
Tribal Transit Discretionary Program funds. The ANPRM also sought 
comment on how to define small public transportation providers under 49 
U.S.C. 5307 (Section 5307) and whether or not the scope of Public 
Transportation Agency Safety Plan requirements should be less stringent 
for smaller public transit providers.
    Comments: Commenters were evenly split on whether multiple modes 
should be combined into one agency-wide safety plan or whether multi-
modal agencies should develop separate safety plans for each of their 
modes. Many commenters felt strongly that a single plan should be 
adopted in order to maintain agency-wide consistency and uniformity in 
overall safety culture. Other commenters suggested that rail and bus 
modes require separate safety plans due to inherent differences in 
safety concerns and focus. Additional respondents requested that FTA 
allow flexibility on this matter, leaving it up to each individual 
agency as to whether to adopt separate safety plans by mode or to 
combine all modes into one agency-wide safety plan.
    In regards to 49 U.S.C. 5311 Tribal recipients, some commenters 
stated that FTA should decide how best to apply safety plan provisions 
to these recipients. Other commenters suggested that Section 5311 
Tribal recipients should report directly to FTA, and others stated that 
Tribal recipients should be included in standard statewide safety 
plans. Additionally, a few commenters suggested that 49 U.S.C. 5329(d) 
does not apply to State subrecipients or Tribal Transit recipients. One 
commenter recommended that Public Transportation Agency Safety Plan 
requirements should apply equally to all recipients, including those 
receiving funds through the Tribal Transit Formula and Tribal Transit 
Discretionary Programs.
    In terms of whether or not requirements should be less stringent 
for smaller public transit providers, several commenters suggested 
that, while there should be consistency in the approach to safety, 
smaller transit providers should not be subjected to overly burdensome 
requirements and should be allowed to implement less stringent 
approaches to safety management. These and other commenters also 
suggested that, if possible, smaller transit providers should be able 
to pool resources with States or other transit providers for expenses 
associated with acquiring safety training, if possible. To this point, 
a few commenters recommended that FTA adopt CTAA's Certified Safety and 
Security Officer Certification Program as a way to minimize additional 
training cost for small transit providers. In general, many commenters 
recommended that the scope of FTA's requirement should be scalable and 
flexible enough to recognize that smaller transit operations may 
contain fewer safety risks than those of larger transit agencies.
    With respect to FTA's question as to how it should define small 
Section 5307 public transportation providers, several commenters 
recommended that the definition should be based on either the 
population of the urbanized area (UZA) that the transit agency serves 
or by the number of vehicles in operation during peak service. 
Specifically, commenters stated that either a population between 50,000 
and 200,000, or a population of 200,000 or less, should be used as the 
threshold to define a small Section 5307 public transportation 
provider. Other commenters stated that 100 buses or fewer in peak 
service should be the threshold set for a small Section 5307 public 
transportation provider, as it is a measure familiar throughout the 
entire public transportation industry and less subject to variation 
than other similar measures. A few commenters recommended that the 
definition used for waivers in the National Transit Database (NTD)--
thirty or fewer vehicles across all modes and types of service--should 
be used as the measure to define a small Section 5307 public 
transportation provider. Other commenters suggested that FTA define 
these agencies by size of area served, revenue miles, or passenger 
counts. Finally, a few commenters suggested that the States should have 
no role in

[[Page 6351]]

overseeing the safety of small Section 5307 public transportation 
providers.
    Response: In today's NPRM, FTA proposes that a transit agency may 
include more than one mode of service in a single plan, or may have 
individual safety plans for each mode of service. FTA agrees that 
flexibility is important on this matter, and that each agency should 
have discretion in deciding which approach is appropriate for its 
particular operations. FTA does not intend to promulgate safety 
regulations that will apply to either commuter rail systems that are 
regulated by the FRA or to ferry systems that are regulated by the 
United States Coast Guard (USCG). FTA invites additional comments on 
how FTA could support the development of Public Transportation Agency 
Safety Plans for transit agencies of different sizes and modes.
    Although FTA is proposing to provide flexibility to transit 
agencies so that they can determine for themselves whether they will 
develop a single safety plan for all modes of transit, or whether they 
will develop individual safety plans for each mode, FTA is not 
proposing to allow transit agencies to utilize their FRA-required 
commuter railroad safety plans for other modes of transit regulated by 
FTA. FTA notes that on September 7, 2012, FRA issued an NPRM related to 
its System Safety Program. 77 FR 55406. In this NPRM, FRA proposes to 
require any railroad that operates intercity or commuter passenger 
train service and any railroad that provides commuter or other short-
haul rail passenger train service to develop a System Safety Program 
Plan. FRA proposes to protect from discovery, evidence, and Federal and 
State court proceedings any information compiled or collected solely 
for the purpose of developing, implementing, or evaluating a System 
Safety Program Plan, including a railroad's analysis of its safety 
risks and its identification of safety risk mitigation measures. Given 
FRA's proposal and given the fact that FTA does not have similar 
statutory authority to protect data, an operator of a public 
transportation system which provides commuter rail service regulated by 
FRA would not be able to use its System Safety Program Plan for other 
modes of public transportation. The public transportation provider 
would be required to develop a separate plan or plans for its other 
modes of public transportation subject to FTA's safety regulation.
    In today's NPRM, FTA proposes, consistent with the statutory 
mandate, that requirements of Part 673 would apply to all operators of 
public transportation systems that receive Federal financial assistance 
under 49 U.S.C. Chapter 53. FTA proposes to define an operator of a 
public transportation system to mean a provider of public 
transportation as defined under 49 U.S.C. 5302(14). This definition 
generally includes regular, continuing shared ride surface 
transportation that is open to the public, and which does not provide 
service that is closed to the general public and only available for 
particular clientele, such as Section 5310-funded service that is not 
open to the general public and only available for a particular 
clientele. FTA invites comments from the public regarding the 
definition of the term, ``operator of a public transportation system.''
    While Congress did not specify that Section 5310 providers could 
have their plans drafted or certified by a State, FTA notes that 49 
U.S.C. 5329 applies to all operators of public transportation systems 
that receive Chapter 53 funds. The definition of public transportation 
in 49 U.S.C. 5302 includes services that ``are open to a segment of the 
general public defined by age, disability, or low income.'' The Section 
5310 program historically has funded vehicles for non-profit agencies 
that serve these segments of the general public, either in open door 
service or closed door service available only to clients of a 
particular agency or agencies. Importantly, not every entity that 
receives Section 5310 funds is a small non-profit agency with one or 
two FTA-funded vehicles. Many Section 5310 providers operate 
substantial fixed route or demand response service, including ADA 
complementary paratransit service, and in many cases these entities 
also receive urbanized (Section 5307) or rural area (Section 5311) 
formula funds.
    FTA therefore is proposing that the type of service, rather than 
the source of FTA funds, be the deciding factor in determining whether 
a Section 5310 recipient must have a Public Transportation Agency 
Safety Plan. In the case when a Section 5310 provider operates service 
that is open door service (open to a segment of the general public), 
FTA proposes that the Section 5310 provider must have its Public 
Transportation Agency Safety Plan drafted and certified by a State, 
unless the Section 5310 provider opts to draft and certify its own 
plan. Most of these Section 5310 providers are smaller operators of 
public transportation systems, and through this requirement, FTA 
intends to alleviate the administrative and financial burdens placed on 
Section 5310 providers in complying with this part. In the case when a 
Section 5310 provider operates service that is closed to the general 
public and only available for a particular clientele, FTA proposes that 
neither the State nor the Section 5310 provider would be required to 
develop and certify a Public Transportation Agency Safety Plan. In 
other words, nonprofit and other community service organizations that 
receive Section 5310 funds and provide closed door service would not be 
required to draft and certify Public Transportation Agency Safety 
Plans.
    FTA seeks comments from the public on these proposals, particularly 
as to whether a Section 5310 provider operating a public transportation 
system should be required to develop and implement a Public 
Transportation Agency Safety Plan, whether or not the entity also 
receives Section 5307 or Section 5311 funds, and if so, whether that 
plan should be drafted and certified by a State. FTA also seeks comment 
as to whether a designated recipient under 49 U.S.C. 5310 should draft 
and certify Public Transportation Agency Safety Plans on behalf of 
Section 5310 providers in large urbanized areas instead of the State, 
or if the States should draft and certify those plans.
    FTA anticipates scalability and flexibility in agency plan 
development, and FTA will provide substantial technical assistance and 
guidance to all recipients and subrecipients. Proposed requirements in 
today's NPRM recognize the variance in size, complexity, and operating 
characteristics of the public transportation industry.
    Because 49 U.S.C. 5329(d) provides that States may draft and 
certify Public Transportation Agency Safety Plans for Section 5311 
providers (most of which are smaller transit agencies) and small public 
transportation providers under Section 5307, and because SMS 
implementation is inherently scalable, FTA believes that today's 
proposal provides sufficient flexibility for States and small transit 
providers, such that they would not be expected to incur expenses for 
safety management equal to those of a large transit agency. While FTA 
proposes that 49 CFR part 673 would apply to all Chapter 53 operators 
of public transportation systems, the proposed requirements may be 
scaled to address variances in transit agency size, complexity, and 
operating environment.
    In today's NPRM, FTA proposes to define small public transportation 
providers under Section 5307 based on vehicles operating in revenue 
service. Any public transportation provider that does not operate rail 
fixed guideway service and operates 100 or fewer vehicles in revenue 
service, including

[[Page 6352]]

fixed route, general public paratransit, and Americans with 
Disabilities Act complementary paratransit, would be considered a small 
Section 5307 public transportation provider for purposes of Public 
Transportation Agency Safety Plan development and certification.
    FTA considered various alternatives suggested by commenters, such 
as using a lower vehicles operating in revenue service threshold or UZA 
population. FTA evaluated each alternative, assessing safety 
performance, resource burden, and consistency with other FTA programs 
and definitions. Ultimately, FTA agreed with commenters that 
recommended the 100 or fewer vehicles operating in revenue service 
option because it results in a lower degree of burden placed on 
individual Section 5307 public transportation providers and it creates 
alignment with FTA's Transit Asset Management Program proposed rule. By 
using this number, FTA is trying to ensure that the lowest 
administrative, financial, and regulatory burdens are placed on the 
transit industry, including small transit providers. This is a number 
that the industry commonly uses to define small Section 5307 bus 
agencies, particularly in regards to FTA operating assistance. See 49 
U.S.C. 5307(a)(2)(B). FTA also is proposing to use this number as a 
benchmark in its Transit Asset Management NPRM, so FTA is proposing to 
use the 100-bus threshold here for consistency.

B. Safety Management Systems (Questions 17-21, 27-28)

    Section I of the ANPRM highlighted FTA's intention to propose the 
SMS approach as the foundation for the development, implementation, 
oversight, and enforcement of the new Public Transportation Safety 
Program.
    The ANPRM posed several questions related to SMS, including 
questions related to: (1) Barriers to SMS adoption; (2) the need for 
technical assistance; (3) the current use of SMS in the transit 
industry and alternative approaches; and (4) the current practices and 
challenges with the management of safety risks. These ANPRM questions 
also related to the adoption of SMS by FTA and the use of SMS to inform 
Public Transportation Agency Safety Plans.
1. Barriers to SMS Adoption and Need for Technical Assistance
    Comments: Several commenters suggested that the SMS approach may be 
burdensome for smaller transit agencies to implement, and identified or 
listed barriers or challenges to adopting SMS principles. Specifically, 
these commenters suggested the following as barriers to adoption: A 
lack of financial resources, inconsistent or insufficient training on 
SMS (both classroom and online), limited staffing for development and 
implementation of SMS, the burden of additional data collection and 
documentation, and concern that SMS is a departure from tried and true 
safety practices. Many respondents requested that training programs be 
scalable based on agency size; several responders pointed out that 
attendance at off-site training programs would be practically 
impossible for small agencies, where a single employee is often the 
only person capable of fulfilling critical agency functions. There were 
many requests for FTA to provide training programs online to ease this 
burden on already taxed agencies and employees. Other commenters noted 
the challenges for agencies with boards of directors consisting of 
local politicians whose decisions are subject to political pressure; 
the importance of distinguishing between the FRA-required model and the 
SMS model for agencies that operate in a shared rail corridor; and the 
ability of FTA to provide clear guidance on defining how SMS principles 
are to be interpreted and applied. Additionally, a few commenters 
suggested that SMS might be challenging to implement within the current 
management/labor collective bargaining agreement process. Other 
commenters suggested that, for a system that contracts for some or all 
of its service, implementing SMS would be challenging and difficult. A 
few commenters stated that the practical benefit from a fully-
implemented SMS far outweighs the effort needed to overcome potential 
challenges. Conversely, a few other commenters were opposed to any 
adoption of SMS by Federal regulation whatsoever.
    Response: FTA proposes to adopt SMS as the framework for managing 
safety risks in the transit industry because SMS is flexible and 
scalable, and also provides a level of implementation that is 
commensurate with the size and complexity of transit agencies. For 
additional information on SMS, FTA recommends readers review Appendix A 
to FTA's NPRM on State Safety Oversight Programs (see 80 FR 11002, Feb. 
27, 2015; http://www.thefederalregister.org/;fdsys/pkg/FR-2015-02-27/pdf/2015-
03841.pdf), FTA's SMS Framework guidance document (see http://www.fta.dot.gov/documents/FTA_SMS_Framework.pdf), and FTA's forthcoming 
National Public Transportation Safety Plan. Today's proposal reflects 
key elements of the law that are consistent with SMS principles and 
methods. Each element of 49 U.S.C. 5329(d)(1) sets forth requirements 
for transit agency safety management that are critical to an effective 
SMS, namely: Executive management accountability, the identification of 
hazards, the evaluation of safety risks, the strategies to mitigate 
these safety risks, regular reviews of a transit agency's safety 
system, direct lines of safety reporting, and a commitment to safety 
training.
    SMS processes and activities can assist transit agencies in 
identifying safety concerns and issues, evaluating these concerns for 
their potential impact on transit safety, and developing cost-effective 
mitigations to address safety concerns so that an accident or safety 
event can be prevented. FTA does not agree that SMS is a departure from 
tried and true safety practices. SMS, as a management system, embraces 
current safety practices and activities, and ensures that transit 
agency executive management is presented with timely information to act 
on safety risks in a proactive manner.
    Today's rulemaking proposes that each transit agency would be 
required to implement SMS. FTA believes that it is critical for each 
transit agency to work through the process of identifying and managing 
safety risks that may be unique to its size, operations, and operating 
environment. Because SMS processes, activities and tools can be adapted 
to the size, complexity, and uniqueness of the transit agency, FTA 
believes it is the best approach to address the requirements set forth 
in 49 U.S.C. 5329(d)(1). For example, the safety reporting program of a 
large agency might require rather important and robust IT support for 
data management and several safety data analysts, whereas the same 
program for a small agency might be administered with a spreadsheet for 
data management and a part-time safety analyst or a staff person who 
analyzes safety data as an ancillary duty.
    To reduce the administrative, financial, and regulatory burdens on 
small public transportation providers, the proposed rule requires 
States to draft and certify Public Transportation Agency Safety Plans--
and documentation of SMS processes therein--for Section 5310, Section 
5311, and small public transportation providers, unless those providers 
opt to draft and certify their own safety plans. Although FTA proposes 
to require States to draft and certify Public Transportation Agency 
Safety Plans, FTA proposes that each recipient which operates a public 
transportation system implement its own safety plan,

[[Page 6353]]

regardless of the size of the agency. In other words, States will lend 
their resources and technical expertise to smaller operators of public 
transportation by drafting the safety plans and by certifying to FTA 
that the plans they drafted satisfy all of FTA's requirements. The 
plans will include various elements, such as processes for identifying 
safety hazards and risks, processes for evaluating those safety hazards 
and risks, and processes for mitigating those safety hazards and risks, 
as appropriate. The transit agencies will have to perform those 
activities themselves--not the States--thus, the individual transit 
agencies are responsible for ``implementing'' and ``carrying out'' the 
plans that are drafted by the States, but the States will be ultimately 
responsible for drafting and certification functions (unless a small 
transit agency opts to draft and certify its own agency safety plan). 
Additionally, each transit agency would be responsible for implementing 
SMS that scales to the size and complexity of the organization. As a 
result, FTA expects that the Public Transportation Agency Safety Plan 
also will scale for smaller organizations.
    In an effort to further reduce the administrative, financial, and 
regulatory burdens on recipients and other public transportation 
operators, FTA will develop and issue templates for Public 
Transportation Agency Safety Plans for agencies of different sizes. FTA 
also will develop and issue guidance and other tools, and provide 
technical assistance, to support SMS development and implementation.
    Some commenters suggested that a need for SMS training exists, and 
that transit agencies may experience challenges with the development 
and implementation of SMS. To address these concerns, FTA will continue 
to develop and provide safety training for the industry, and FTA also 
will collect and provide information on other sources of outside SMS 
training. Currently, FTA provides a number of courses to support 
transit agency safety training needs. FTA intends to expand these 
offerings, including online courses, to support general safety 
training, as well as training on SMS principles and methods. FTA is 
piloting SMS training courses. Additionally, FTA will launch an Agency 
SMS Implementation Pilot Program to help reduce the burden on transit 
agencies for developing SMS by identifying effective safety practices, 
including training that will be shared with the industry. These 
efforts, coupled with technical guidance, will directly assist those 
agencies for which a lack of training and guidance may be a barrier to 
SMS implementation. Recently, FTA issued Final Interim Safety 
Certification Training Provisions which set forth the safety training 
requirements for Federal and State Safety Oversight Agency personnel 
and their contractors who conduct safety oversight audits and 
examinations of public transportation systems not otherwise regulated 
by another Federal agency. See 80 FR 10619 (Feb. 27, 2015) (http://www.thefederalregister.org/fdsys/pkg/FR-2015-02-27/pdf/2015-03842.pdf). Consistent 
with the statutory provisions of 49 U.S.C. 5329(d)(1)(G), FTA's 
proposed training requirements and technical assistance discussed in 
this NPRM are intended to address the training needs of those 
individuals directly responsible for safety, and they are intended to 
complement the requirements and technical assistance for safety 
oversight personnel as discussed in the Final Interim Safety 
Certification Training Provisions.
    FTA disagrees with commenters who suggested that there might be 
additional challenges with SMS adoption because of political and legal 
issues with Boards of Directors and local politics. Just as a Board of 
Directors is responsible for the service levels provided to the 
community and budgets adopted, they are also accountable for safety 
outcomes. FTA believes that SMS provides greater transparency in the 
prioritization of, and decision-making regarding, a transit agency's 
safety risks. Today's notice mirrors statutory language in 49 U.S.C. 
5329(d) with respect to executive level accountability and would 
require that a transit agency's Board of Directors (or equivalent 
authority) review and approve the Public Transportation Agency Safety 
Plan.
    One commenter suggested that a challenge to SMS adoption may be the 
difficulty in distinguishing between the FRA-required safety model and 
the SMS model. FTA believes that SMS implementation encourages 
coordination in Safety Risk Management for all modes operated by a 
transit agency. However, and in response to this comment, FTA notes 
that it has different statutory authority than FRA for regulating 
safety, and to the extent another Federal agency already regulates 
safety of a particular mode of transportation, FTA does not intend to 
promulgate duplicative, inconsistent, or conflicting regulations. 
Therefore, agencies that operate passenger ferries regulated by the 
United States Coast Guard or commuter rail service regulated by FRA 
would not have to develop FTA safety plans for those modes of service. 
FTA seeks public comments on whether any aspect of this proposed rule 
is duplicative, inconsistent, or conflicts with other Federal agency 
regulations.
    With respect to comments related to perceived challenges in SMS 
implementation due to management/labor collective bargaining agreements 
or for systems that contract for service, today's proposed rule does 
not include requirements regarding collective bargaining, and FTA 
anticipates that each transit agency would benefit from increased 
information on safety issues and performance.
2. Current Use of SMS in the Transit Industry and Alternative 
Approaches
    Comments: Several commenters suggested that they currently practice 
SMS-related activities, and provided detailed responses. Commenters 
identified, in part, the following list of activities and practices: 
Data-driven safety performance management; employee safety reporting 
programs; committee structures to support safety communication and 
safety risk evaluation; safety management policy statements; senior 
management accountability; safety audits and inspections; designated 
Safety Officers and staff; safety accountabilities and 
responsibilities; proactive hazard identification and analysis; 
accident investigation to determine probable cause; safety promotion 
and communication; and safety training. One commenter indicated that 
his agency has reorganized its safety department to reflect the four 
major components of SMS.
    Some commenters indicated that they provide alternative safety 
management approaches. Some suggested that FTA adopt a centralized, 
State or regional, safety management or other approach that would 
lessen the burden for States. One commenter suggested that FTA provide 
an option for transit agencies that operate fewer than 100 vehicles, or 
other small transit agencies, to participate in insurance risk pools 
(and be exempted from any requirement to develop and implement SMS), 
while other commenters expressed their opposition to any rulemaking by 
FTA on SMS because they did not want to be subject to Federal 
regulations on safety. Finally, several commenters indicated that they 
were in agreement with FTA's adoption of SMS.
    Response: FTA believes that SMS builds on industry safety 
practices, which is evidenced by the number of SMS-related activities 
currently being practiced by several of the commenters. FTA proposes to 
adopt SMS to guide the

[[Page 6354]]

advancement of FTA's safety rulemakings, and therefore, today's rule 
proposes that Public Transportation Agency Safety Plans must address 
the basic four components of SMS: (1) Safety Management Policy, (2) 
Safety Risk Management, (3) Safety Assurance, and (4) Safety Promotion 
(explained in more detail in the Section-by-Section Analysis of Subpart 
C of the Public Transportation Agency Safety Plan, below).
    Recipients may utilize additional safety management practices, but 
recipients would be required to meet the basic requirements as set 
forth in today's proposed rule. Based on comments received, FTA is 
confident that the transit industry already has some elements of SMS in 
place.
    With respect to commenters who suggested a more centralized State 
management approach, today's proposal requires States to draft and 
certify Public Transportation Agency Safety Plans on behalf of Section 
5310, Section 5311, and small public transportation providers (as 
defined in this NPRM). FTA disagrees with the commenter who proposed 
that transit agencies operating fewer than 100 vehicles be exempt from 
SMS requirements in favor of insurance risk pools. While insurance risk 
pools may take into account safety risk, FTA does not believe that they 
meet all elements of an SMS, nor do they satisfy all of the statutory 
requirements of Public Transportation Agency Safety Plans. Nothing in 
today's proposal would prevent transit agencies from participating in 
insurance risk pools in addition to implementing a Public 
Transportation Agency Safety Plan with SMS.
3. Current Practices and Challenges With the Management of Safety Risk 
Related to Human Factors
    Comments: Many commenters stated they currently apply some type of 
risk-based approach in managing safety risks related to human factors. 
These approaches included drug and alcohol program testing, post-
incident testing, commercial driver's license physical examination 
requirements, fitness for duty physical examinations, medical 
evaluations, application of the Federal Motor Carrier Safety 
Administration's hours of service regulations, fatigue awareness 
training, medication reporting, sleep disorder screening, and 
evaluating the ability of employees to comply with procedures and 
rules.
    One commenter suggested that another potential issue with adopting 
a risk-based approach to human factors relates to transit employees' 
rights to health privacy. A few commenters recommended that FTA take a 
statistical sample approach to gather data on this subject, which could 
inform and guide further formulation of agency safety plan 
requirements.
    Response: FTA is encouraged that many transit agencies already take 
a risk-based approach in managing safety risks related to human 
factors, and are doing so through a number of different methods, 
including those listed above. This is a positive step towards 
implementing the Safety Risk Management component of SMS, and FTA 
encourages agencies to continue to conduct these risk-based approaches 
to managing safety risks related to human factors. FTA also encourages 
agencies to take into account bicycle and pedestrian safety concerns, 
along with other factors, as agencies are conducting Safety Risk 
Management.\15\ As discussed above, FTA intends to provide additional 
guidance, technical assistance, and training regarding SMS.
---------------------------------------------------------------------------

    \15\ Secretary Anthony Foxx recently issued a bicycle and 
pedestrian safety initiative, and FTA encourages transit agencies to 
consider that initiative when developing their safety plans (see 
http://www.dot.gov/sites/dot.gov/files/docs/safer_people_safer_streets_summary_doc_acc_v1-11-9.pdf).
---------------------------------------------------------------------------

C. Public Transportation Agency Safety Plan Development, Certification, 
and Oversight (Questions 25-26, 30, 34-42, 44-47, 107-110, 112)

    The ANPRM posed several questions related to the development, 
certification, and oversight of Public Transportation Agency Safety 
Plans. Specifically, FTA sought comments in the following areas: (1) 
Plan drafting and updating, (2) plan certification, (3) the role of the 
State, and (4) oversight of the plan. Questions regarding the drafting, 
certification, or oversight of a Public Transportation Agency Safety 
Plan that included reference to the role of the State are addressed in 
Section 3: Role of the State, below.
1. Plan Drafting and Updating
    Comments: Many commenters suggested that FTA can reduce the 
administrative burden of drafting Public Transportation Agency Safety 
Plans by providing transit agencies with templates, models, and 
assistance to support agency safety plan development. Some commenters 
stated that FTA should provide the safety plan templates and a few 
others stated that State Departments of Transportation (State DOTs) 
should provide the templates. Other commenters stated that FTA could 
reduce the burden by not requiring annual safety plan updates. A few 
commenters recommended that either FTA not promulgate or reduce the 
requirements for small transit providers. Finally, a few commenters 
suggested that FTA utilize only the current level of NTD reporting 
requirements, and not expand safety data reporting, as it would add 
unnecessary burdens.
    Response: As mentioned previously, FTA intends to provide States 
and the industry with templates to guide and support Public 
Transportation Agency Safety Plan development. FTA does not anticipate 
that a small transit provider (or its State in the case of Section 
5310, Section 5311, and small public transportation providers) would 
require as complex of a Public Transportation Agency Safety Plan as a 
larger transit provider. One of the key elements of Public 
Transportation Agency Safety Plans would be the development and 
implementation of SMS principles, and inherent to SMS is its 
scalability and flexibility. FTA anticipates the scalability and 
flexibility in plan development will not unduly burden any particular 
recipient, and to reduce any burdens, FTA intends to develop and issue 
to the industry electronic templates, guidance, and training.
    FTA is proposing that recipients and other operators of public 
transportation systems update their Public Transportation Agency Safety 
Plans annually so that they remain current to meet evolving needs and 
so that they capture any new best practices in the industry. Readers 
should note that reviews and updates to a Public Transportation Agency 
Safety Plan developed by rail fixed guideway systems must adhere to the 
requirements that are codified at 49 CFR part 659, until FTA issues a 
final rule for State Safety Oversight at 49 CFR part 674.
2. Plan Certification and Review
    FTA sought comment on the mechanics of Public Transportation Agency 
Safety Plan certification, including the certification for 
subrecipients; whether a self-assessment, or set of procedures, should 
be followed prior to certification; and the role of FTA in reviewing 
plans and certifications.
    Comments: Many commenters responded that they preferred the use of 
FTA's annual Certifications and Assurances process for certifying that 
Public Transportation Agency Safety Plans comply with FTA's statutory 
and regulatory requirements, particularly given the industry's 
familiarity with this process as it is used currently for FTA's 
standard grant programs. Several of these same commenters suggested 
that subrecipient certification should be a

[[Page 6355]]

separate process between the subrecipient agency and the designated 
recipient (or State). In addition, a few commenters stated that 
certification should not be through FTA's annual Certification and 
Assurance process, and a few commenters stated that recipients should 
self-certify. Several commenters also suggested that FTA should review 
the safety plans as part of FTA's Triennial and State Management Review 
(SMR) oversight processes, and not as part of the grant approval 
process.
    Many commenters indicated that they do not support FTA's review of 
Public Transportation Agency Safety Plan certifications on the basis of 
a weighted random sample. A few commenters suggested that Public 
Transportation Agency Safety Plan certifications be reviewed on the 
basis of a weighted random sample, as a suitable alternative to 
reviewing all plans. Some commenters also indicated that, although a 
weighted random sample could be appropriate, it is important that the 
system is not overly burdensome.
    Some commenters suggested that FTA establish self-assessment 
procedures, but only one commenter indicated that FTA should establish 
procedures for recipients to follow before certifying their Public 
Transportation Agency Safety Plans. Many commenters suggested that it 
would be helpful if FTA established a self-assessment checklist, or a 
tool for recipients to utilize, to assist with the certification of 
their Public Transportation Agency Safety Plans. Many of these same 
commenters added that the self-assessment tool should make clear which 
components of the plans are required by law, and which components are 
at the recipient's discretion. A few commenters indicated that an FTA 
self-assessment tool would not be helpful because agencies differ 
substantially in their plans and practices.
    Response: In keeping with the statutory requirements of 49 U.S.C. 
5329(d), and many of the comments, FTA proposes that each transit 
agency self-certify that it has established a Public Transportation 
Agency Safety Plan that complies with all of FTA's statutory and 
regulatory requirements through FTA's annual Certification and 
Assurances process. FTA proposes that States are required to certify on 
behalf of subrecipients, which is discussed in greater detail below. 
FTA is not proposing that it review safety plans prior to grant 
approval, but FTA intends to review the plans through its Triennial 
Review and SMR oversight processes. FTA intends to conduct additional 
oversight of Public Transportation Agency Safety Plans and SMS 
programs, outside of the standing Triennial Review and SMR processes, 
at its discretion. FTA will consider developing a self-assessment tool, 
although this notice does not propose the use of a self-assessment tool 
prior to agency safety plan certification. In addition, FTA intends to 
provide the industry with technical assistance, as needed.
3. Role of the State
    The ANPRM posed several questions related to the role of States in 
regards to Public Transportation Agency Safety Plans. In the State's 
Role section of the ANPRM, FTA sought comments with respect to States 
and Section 5311 and small Section 5307 public transportation 
providers, including: (1) The drafting and updating of Public 
Transportation Agency Safety Plans, (2) certifying Public 
Transportation Agency Safety Plans, and (3) overseeing and reviewing 
the implementation of Public Transportation Agency Safety Plans 
(covered in the subsequent ``Oversight of Public Transportation Agency 
Safety Plans'' section).
a. Role of the State in Drafting Public Transportation Agency Safety 
Plans
    Comments: Many commenters recommended that FTA should allow States 
to draft State safety plans for subrecipients. Many commenters 
indicated their support for a national and/or statewide template to 
support States' development of Public Transportation Agency Safety 
Plans, as it would relieve the burden on States and bring more 
consistency to the plans. A subset of these commenters recommended that 
FTA work closely with industry associations such as CTAA and APTA in 
the development of the national or statewide Public Transportation 
Agency Safety Plan templates, including those that could be modified to 
reflect individual transit agency operating needs.
    Given the significant degree of variance in transit agencies' size, 
complexity, and operating environments, several commenters suggested 
that FTA should not allow States to develop statewide plans applicable 
to subrecipients and small public transportation providers. These 
commenters recommended that FTA require transit agencies to develop 
their own Public Transportation Agency Safety Plans. Other commenters 
agreed, stating that Public Transportation Agency Safety Plans should 
reflect local safety implementation and that a statewide plan may not 
provide sufficient detail for the management of safety from agency to 
agency. Other commenters responded with concern that States may not 
have sufficient resources and technical capacity to develop Public 
Transportation Agency Safety Plans. Finally, a few commenters suggested 
that it would be too great of an administrative burden on States to 
develop Public Transportation Agency Safety Plans.
    Many commenters indicated that the ability to modify the statewide 
safety plan template would be important because safety risks can vary 
from agency to agency. Several commenters believed that there would be 
utility with FTA or State-generated templates to support Public 
Transportation Agency Safety Plan development. A few commenters 
suggested that FTA allow States to have the option of developing 
statewide plans, and these commenters recommended that FTA should not 
require States to develop statewide plans.
    In terms of the number of safety plans that a State might be 
expected to draft, many commenters stated that this number could vary 
from state-to-state and range anywhere from 20 to 70 plans. Another set 
of commenters stated that the number of safety plans a State might be 
expected to draft should be determined by the State.
    Response: In this NPRM, FTA proposes to require States to draft 
Public Transportation Agency Safety Plans on behalf of Section 5310, 
Section 5311, and small public transportation providers. FTA agrees 
with commenters who recommended that FTA should require States to 
develop plans on behalf of these providers. As discussed above, this 
proposal is consistent with the statutory provisions of 49 U.S.C. 
5329(d)(3), and it reduces the administrative, financial, and 
regulatory burden on smaller transit agencies that may not have the 
resources or technical expertise to draft and certify Public 
Transportation Agency Safety Plans. The number of safety plans that a 
State may prepare will vary from state-to-state, and although FTA is 
requiring the State to develop the plan, FTA is not instructing States 
on how to develop those plans. For example, a State may draft a single 
statewide plan or it may draft individual plans on behalf of each 
Section 5310, Section 5311, and small public transportation provider. 
FTA proposes that each Section 5310, Section 5311, and small public 
transportation provider may opt to draft their own plan if they choose 
to do so.
    In addition, FTA seeks comments from the public regarding the 
following questions: If a State was to draft a statewide plan, how 
would the plan

[[Page 6356]]

respond to the SMS component of Safety Risk Management (i.e. 
identification of individual agency risks and hazards)? Should FTA 
require drafting of single statewide plans or individual safety plans 
on behalf of Section 5310, Section 5311, and small public 
transportation providers in that State? Or should FTA defer to the 
State's preference on this requirement?
    With respect to the potential burden of plan development, FTA 
agrees with commenters that templates and guidance would be beneficial. 
FTA plans to provide technical assistance, training, and templates to 
support plan development. Similar to the variety of safety plan 
templates that FTA has provided in the past as part of its Bus Safety 
Program, FTA will provide safety plan templates for states and transit 
agencies, keeping in consideration differences in size, complexity and 
operating characteristics.
b. Role of State in Certifying Public Transportation Agency Safety 
Plans
    In its ANPRM, FTA sought comments with respect to the type of 
assistance that should be provided to States that choose to certify to 
FTA the Public Transportation Agency Safety Plans on behalf of small 
operators. FTA also sought comments on the types of requirements and 
procedures that FTA should establish for State certification of safety 
plans.
    Comments: Many commenters suggested that a significant burden would 
be imposed upon States if FTA required them to certify each and every 
Public Transportation Agency Safety Plan. These commenters expressed 
that, in part, the burden would be due to a lack of staff resources at 
States and the amount of time that staff would need to review and 
certify individual safety plans. A number of commenters suggested that 
FTA should allow maximum flexibility for States. A few commenters 
suggested that the burden would be minimal since they already have a 
role in monitoring agency safety plans. Many commenters suggested that 
FTA could reduce the overall administrative burden if it provides 
technical assistance and sample templates. Many commenters stated that 
FTA should not establish any requirements or procedures for States that 
draft and certify Public Transportation Agency Safety Plans for 
subrecipients. Other commenters expressed an opinion that 49 U.S.C. 
5329(d) does not require States' subrecipients to develop safety plans. 
A few commenters suggested that FTA should establish requirements for 
States that develop and certify Public Transportation Agency Safety 
Plans for their subrecipients.
    Response: FTA proposes to require each State to review and certify 
Public Transportation Agency Safety Plans for all Section 5310, Section 
5311, and small public transportation providers in that State. FTA also 
proposes to require States to certify individual subrecipient plans, or 
certify a statewide plan on behalf of its subrecipients, particularly 
given the statutory requirement at 49 U.S.C. 5329 that any ``operator 
of a public transportation system'' which receives Chapter 53 financial 
assistance must draft and certify a Public Transportation Agency Safety 
Plan, regardless of its status as a recipient or subrecipient. In 
addition, any Section 5310, Section 5311, or small public 
transportation provider that opts to draft its own plan may also 
certify its own plan. With respect to the process for certification of 
Public Transportation Agency Safety Plans, as noted above, FTA proposes 
to use its annual Certifications and Assurances process for the 
certification of the plans.
4. Oversight and Review of Public Transportation Agency Safety Plans
    The State's Role section of the ANPRM posed questions relating to 
the purview a State might have in overseeing subrecipients, how 
oversight should be provided, and the time estimated to provide such 
oversight. In addition, FTA asked those States that currently perform 
safety operations oversight for non-rail modes, to provide information 
on these programs. Finally, this section posed questions about the 
annual review of Public Transportation Agency Safety Plans.
    Comments: Many commenters suggested that States should provide 
oversight of transit agencies for which the State drafts and certifies 
the Public Transportation Agency Safety Plan (or statewide safety 
plan). Other commenters suggested that this form of oversight could 
represent a conflict of interest for the State. Additional commenters 
suggested that States do not have the staff and expertise to draft and 
certify plans.
    Many commenters suggested that FTA should require State DOTs to 
maintain lists of certified subrecipients that have established safety 
plans or are covered by a statewide plan. A few commenters noted that 
some states already maintain lists of subrecipients. Other commenters 
suggested that State DOTs should not be required to maintain these 
types of lists, either because all Section 5311 subrecipients already 
will be covered by a state management plan, or in their opinion, 49 
U.S.C. 5329(d) does not require individual safety plans for State DOT 
subrecipients so there is no need to maintain a list.
    In response to FTA's question regarding current safety oversight 
practices, some commenters stated that they do not currently perform 
safety oversight for non-rail modes. Other commenters suggested that 
the oversight role could be effectively streamlined by combining bus 
oversight into each State's existing rail oversight program, but other 
commenters disagreed. Additional commenters stated that combining 
oversight of rail and non-rail transit safety may work in some States, 
but it may not work in others, and therefore, FTA should not require 
transit agencies to combine oversight practices. Some commenters stated 
that bus and rail system elements are very different, so the oversight 
programs would be best administered separately. Many commenters 
recommended that States should have some sort of oversight role of non-
rail transit systems and could combine bus oversight into each State's 
existing rail oversight program, but others disagreed that they could 
be combined. Finally, several commenters suggested that additional 
financial and staffing resources would be necessary if FTA requires 
States to provide oversight of non-rail transit, and that adding 
additional staff would take considerable time.
    Many commenters suggested that FTA should not have a role in 
reviewing the Public Transportation Agency Safety Plans. Other 
commenters recommended that FTA review the Public Transportation Agency 
Safety Plans through the Triennial and SMR review processes. Finally, 
many commenters suggested that an annual review would be too frequent 
for transit agencies that only provide bus service, and an annual 
review may increase a transit agency's operating costs and be difficult 
to implement without diverting resources from other agency programs.
    Response: With today's notice, FTA does not propose additional 
oversight requirements for States that draft and certify Public 
Transportation Agency Safety Plans. FTA anticipates that oversight for 
Public Transportation Agency Safety Plan implementation for agencies 
that do not operate a rail fixed guideway system would be conducted 
primarily through FTA's SMR and Triennial Review Programs. FTA is 
likely to conduct additional oversight of Public Transportation Agency 
Safety Plans outside of these programs. FTA agrees with commenters who 
suggested that States likely already maintain lists of subrecipients, 
and therefore is not

[[Page 6357]]

proposing a requirement for additional subrecipient lists.
    With respect to the review of Public Transportation Agency Safety 
Plans, as mentioned earlier, FTA intends to maintain the authority to 
review the plans during SMR and Triennial Reviews or at its sole 
discretion, such as in the event that FTA identifies circumstances 
posing a safety risk. FTA disagrees with commenters who suggested that 
an annual review would be too frequent. Pursuant to 49 U.S.C. 
5329(d)(1)(D), transit agencies are required to perform annual reviews 
of their Public Transportation Agency Safety Plans. FTA proposes that 
each transit agency document its timeline for an annual review and 
update, as necessary, of its Public Transportation Agency Safety Plan 
(Sec.  673.11(a)(7)).

D. Role of the Board of Directors (or Equivalent Authority) and the 
Chief Safety Officer (Questions 23, 29)

    In the Plan Requirements section of the ANPRM, FTA posed a question 
regarding the role of a transit agency's Board of Directors (or 
equivalent authority) with the approval of its Public Transportation 
Agency Safety Plan. FTA also posed questions regarding the roles and 
responsibilities of a transit agency's executive leadership, including 
the combination of roles and responsibilities, particularly in smaller 
operations, where the same individual may function as the transit 
agency's general manager, operations manager, and Safety Officer. 
Related to this question, FTA asked if the combination of these roles 
could cause any conflict of interest between safety and any other 
agency responsibilities.
1. Board of Directors (or Equivalent Authority)
    Comments: Many commenters suggested that if a Transit agency does 
not have a Board of Directors, ``equivalent entities'' to a Board of 
Directors generally would be those that have authority to make day-to-
day policy decisions. In the cases where a transit agency does not have 
a Board of Directors, several commenters suggested that FTA should 
allow a transit agency's General Manager to certify that it has 
reviewed a Public Transportation Agency Safety Plan through FTA's 
Certifications and Assurances process. Other commenters noted that the 
attributes, functions, and authorities of an ``equivalent entity'' to a 
Board of Directors should be the same as that of a Board of Directors. 
A few commenters suggested that, in some instances, boards of directors 
and equivalent entities may be serving in a volunteer capacity, and 
lack the experience and knowledge to develop or certify safety plans. 
These commenters suggested that only the State or FTA may have the 
experience and knowledge to develop and certify Public Transportation 
Agency Safety Plans. A few commenters stated that if there is no Board 
of Directors, then only the State (or State Safety Oversight Agency) or 
FTA should be allowed to approve Public Transportation Agency Safety 
Plans.
    Response: FTA is proposing to define the term ``Equivalent 
Authority'' to mean an entity that carries out duties similar to that 
of a Board of Directors, including, at the very minimum, sufficient 
authority to review and approve a recipient or subrecipient's Public 
Transportation Agency Safety Plan. If a recipient or subrecipient does 
not have a Board of Directors to review and approve a Public 
Transportation Agency Safety Plan, then FTA proposes that the recipient 
or subrecipient must identify an ``Equivalent Authority'' as defined in 
today's proposal. For example, an ``Equivalent Authority'' could be the 
policy decision-maker/grant manager for a Section 5310, Section 5311, 
or small public transportation provider; the city council and/or city 
manager for a city; a county legislature for a county; or a State 
transportation commission for a State. Pursuant to 49 U.S.C. 
5329(d)(1)(A), FTA proposes that each Public Transportation Agency 
Safety Plan, and subsequent updates, would be reviewed and approved by 
the Board of Directors (or Equivalent Authority).
    Regarding the role of State Safety Oversight Agencies, it would be 
a conflict of interest for those oversight authorities to be involved 
in the development of the Public Transportation Agency Safety Plans 
that they are charged with overseeing. Consequently, FTA is not 
proposing that a State Safety Oversight Agency serve as an ``Equivalent 
Authority'' for purposes of this rule.
2. Chief Safety Officer
    Comments: When asked what other responsibilities might be combined 
with the Safety Officer role, particularly in smaller operations where 
the same individual may function as the general manager, operations 
manager, and Safety Officer, many commenters acknowledged that the 
Safety Officer position could be combined with other complementary non-
operational positions, but these commenters recommended that the Safety 
Officer position should not be combined with operational roles because 
the combined duties would create a conflict of interest. Many other 
commenters noted that small agencies do not have the resources to 
dedicate a single position to a Safety Officer role, and in some cases, 
combine operational, maintenance, and safety functions under a single 
individual. A few commenters stated that a Safety Officer very likely 
will serve many functions within small transit agencies, and these 
commenters believe that there are no conflicts of interest with this 
arrangement.
    A few commenters suggested that a transit agency could combine the 
following responsibilities with the Safety Officer position: training, 
emergency preparedness and management, security, risk management 
(claims), quality assurance, and environmental management. One 
commenter also stated that FTA needs to be very diligent about 
codifying new requirements, and should consider a different set of 
rules for the 20 to 50 largest transit providers than for smaller 
operators nationwide.
    Response: Pursuant to 49 U.S.C. 5329(d)(1)(F), a Public 
Transportation Agency Safety Plan must include the ``assignment of an 
adequately trained Safety Officer who reports directly to the general 
manager, president, or equivalent officer of the recipient.'' The 
intent for this direct reporting relationship is to ensure that safety 
matters are directly and routinely elevated from the most senior Safety 
Officer to the Accountable Executive.
    FTA agrees that many smaller agencies may not have sufficient 
resources for a dedicated Safety Officer. In many cases, a transit 
agency's Safety Officer may serve several other functions, including 
those related to safety, operations, and maintenance. Consequently, FTA 
proposes that Section 5310, Section 5311, and small public 
transportation providers may assign an adequately trained Safety 
Officer to serve other agency functions. For example, it would be 
reasonable to anticipate that in a very small bus transit agency, the 
general manager or operations manager may be the same individual as the 
Safety Officer.
    Notwithstanding this proposal for smaller transit providers, FTA 
believes that it is preferable for larger transit systems to have a 
Safety Officer who focuses exclusively on safety-related issues, so for 
rail fixed guideway systems and all other recipients, FTA proposes that 
the Safety Officer may not also serve in an operational or maintenance 
capacity, and that the Safety Officer must report directly to the chief 
executive officer, general manager, president, or other equivalent 
officer.

[[Page 6358]]

E. Coordination of Public Transportation Agency Safety Plan With Other 
MAP-21 Programs and Plans (Questions 8-10, 24, 116-121)

    In the ANPRM, FTA discussed the statutory requirements regarding 
coordination of the Public Transportation Agency Safety Plan with the 
National Public Transportation Safety Plan at 49 U.S.C. 5329(b) and the 
Transit Asset Management System at 49 U.S.C. 5326. FTA also discussed 
the statutory requirements regarding coordination of the Public 
Transportation Agency Safety Plan with the planning requirements at 49 
U.S.C. 5303 and 49 U.S.C. 5304. These provisions require Metropolitan 
Planning Organizations (MPOs) and States to coordinate the selection of 
their performance targets with the performance targets set by FTA 
recipients for safety and state of good repair.
    Comments: Commenters generally opposed FTA issuing prescriptive 
criteria for safety, state of good repair, or statewide and 
metropolitan planning processes. To address the law's requirements, 
commenters generally encouraged FTA to allow transit agencies to 
establish their own safety and state of good repair definitions, and to 
allow transit agencies to develop their own performance measures in 
their Public Transportation Agency Safety Plans. Several commenters 
expressed the opinion that state of good repair considerations should 
only become relevant when safety issues are identified. These 
commenters generally recommended that FTA focus the Public 
Transportation Agency Safety Plan and SMS implementation on processes 
used to ensure the identification of these issues. Other commenters 
disputed the existence of a nexus or connection between state of good 
repair and safety. Several commenters pointed out that although safety 
is an important consideration in state of good repair, it is only one 
consideration, and existing processes and capabilities already account 
for safety issues in asset management and statewide/MPO planning 
processes.
    Many commenters believed that FTA should not establish any other 
requirements for integrating Public Transportation Agency Safety Plans 
and Transit Asset Management Plan goals, measures, and targets into 
each other or the transportation planning process. Other commenters 
stated that FTA should not establish any requirements regarding 
coordination. Some commenters stated that the MPO Certification process 
is the most appropriate venue to ensure that Public Transportation 
Agency Safety Plan's and the Transit Asset Management Plan's goals, 
measures, and targets from individual transit systems are integrated 
into the metropolitan transportation planning process. A small group of 
commenters recommended that any FTA requirements be as general as 
possible and not undercut fundamental State and local prerogatives.
    Response: FTA recognizes that safety is only one factor in the 
transit asset management and statewide and local planning processes, 
and likewise, that safety programs do not deal exclusively with asset 
condition and capital investments but rather touch on a wide variety of 
operational, engineering, and maintenance activities. While the 
connections between and among safety, transit asset management, and 
statewide and metropolitan planning may appear tenuous to some 
commenters, MAP-21 makes them a matter of law. Specifically, Congress 
authorized a new Transit Asset Management Program at 49 U.S.C. 5326 to 
establish a system to monitor, manage, and improve the state of good 
repair of the nation's public transportation capital assets. Further, 
in the enhanced requirements for Statewide and Metropolitan planning at 
49 U.S.C. 5303(h)(2)(B)(iii) and 5304(d)(2)(B)(ii), respectively, 
Congress mandated that the performance targets set in the Metropolitan 
and Statewide Planning processes be ``coordinate[d] to the maximum 
extent practicable'' with transit agencies' performance targets for 
safety and asset management. In their entirety, the requirements of 49 
U.S.C. 5329, 5326, 5303 and 5304 support one another and the 
coordination of national, State, and local efforts to improve transit 
safety and increase the reliability and performance of the nation's 
public transportation systems.
    Pursuant to 49 U.S.C. 5329(b)(2)(B), FTA must develop and implement 
a National Public Transportation Safety Plan that includes safety 
performance criteria and the definition of state of good repair, which 
must be defined through a transit asset management rulemaking. 49 
U.S.C. 5326(b)(1) and (d). Pursuant to 49 U.S.C. 5329(d)(1)(E), a 
Public Transportation Agency Safety Plan must include safety 
performance targets based on the safety performance criteria in the 
National Public Transportation Safety Plan and the state of good repair 
standards established under the National Transit Asset Management 
System. 49 U.S.C. 5329(b)(2), 49 U.S.C. 5326(b)(1).
    Although not required in this proposed rule, pursuant to the 
planning requirements at 49 U.S.C. 5303 and 5304 and the proposed 
regulations thereunder at 23 CFR part 450 (see 79 FR 31784, June 2, 
2014), States and MPOs must integrate into the Statewide and 
metropolitan planning processes the developed goals, objectives, 
performance measures, and targets described in the Public 
Transportation Agency Safety Plans and Transit Asset Management Plans, 
either directly or by reference. Further, in the Statewide Long Range 
Plans and Metropolitan Transportation Plans, States should and MPOs 
must (1) describe the safety and asset management performance measures 
and targets; (2) report on the condition of the transit systems with 
respect to the safety and asset management performance targets; and (3) 
report on the progress achieved in meeting the safety and asset 
management performance targets in comparison with the conditions 
reported in previous years. 49 U.S.C. 5303(i)(2)(B) and (C); 49 U.S.C. 
5304(f)(7). States and MPOs also must coordinate in the selection of 
transit safety performance and state of good repair targets with the 
transit agencies to the maximum extent practicable. 49 U.S.C. 
5303(h)(2)(B)(ii); 49 U.S.C. 5304(d)(2)(B)(ii). Finally, transportation 
improvement programs (TIPs) and statewide transportation improvement 
programs (STIPs) must include, to the maximum extent practicable, a 
discussion of the anticipated effects of the TIP or STIP toward 
achieving the safety and asset management performance targets, linking 
the safety and asset management investment priorities to those 
performance targets. 49 U.S.C. 5303(j)(2)(D); 49 U.S.C. 5304(g)(4).
    The integration of a transit agency's safety and asset management 
performance targets into the State and MPO planning process would 
inform States and MPOs in the setting of their goals, objectives, and 
investment strategies for public transportation. This integrated 
planning process should result in States and MPOs being able to 
identify investment and management strategies to improve or preserve 
the safety of public transportation systems and the condition of 
transit capital assets.
    In today's NPRM, FTA proposes in Sec.  673.11(a)(3) that transit 
agencies must include in their Public Transportation Agency Safety 
Plans performance targets that are based on the safety performance 
criteria and state of good repair standards established by FTA under 
its National Public Transportation Safety Plan and the National Transit 
Asset Management System, respectively. In Sec.  673.15, FTA proposes to 
require

[[Page 6359]]

transit agencies to coordinate with States and MPOs in the selection of 
State and MPO safety performance targets.
    In addition, the development of safety performance criteria by FTA 
and safety performance targets by transit agencies support FTA's 
overall efforts to monitor the safety performance of the public 
transportation industry, in keeping with recommendations made by the 
U.S. Government Accountability Office in its January 2011 report, ``FTA 
Programs are Helping Address Transit Agencies' Safety Challenges, but 
Improved Performance Goals and Measures could Better Focus Efforts'' 
(http://www.gao.gov/new.items/d11199.pdf).
    FTA is providing additional information regarding the coordination 
of Public Transportation Agency Safety Plans, the Public Transportation 
Safety Program, National Public Transportation Safety Plan, and Transit 
Asset Management Plans in separate NPRMs issued to implement the MAP-21 
provisions codified at 49 U.S.C. 5329(b) and 5326, respectively. FTA 
and FHWA jointly issued an NPRM on June 2, 2014, that proposes new 
requirements for Metropolitan, Statewide and Non-Metropolitan Planning 
to implement the new MAP-21 provisions codified at 49 U.S.C. 5303 and 
5304, and in the future, FTA and FHWA will issue a joint final rule to 
guide the new performance-based approach to planning. See 79 FR 31784.

Section-by-Section Analysis

Subpart A--General

Sec.  673.1 Applicability

    This section explains that this regulation would apply to all 
States, local governmental authorities, and other operators of public 
transportation systems that are recipients of Federal financial 
assistance under 49 U.S.C. Chapter 53. In accordance with 49 U.S.C. 
5329(d), a Public Transportation Agency Safety Plan would be required 
of all operators of public transportation systems, whereas in the past, 
a ``system safety program plan'' was only required of rail fixed 
guideway systems, currently codified in 49 CFR 659.17. This requirement 
would go into effect one year after the effective date of the final 
rule.

Sec.  673.3 Policy

    This section explains that FTA proposes the use of principles and 
methods of SMS as the basis for this regulation and all other 
regulations and policies FTA will issue under the authority of 49 
U.S.C. 5329, to the extent practicable and consistent with law and 
other applicable requirements (such as those for regulatory review). It 
further proposes FTA's intent to set standards for SMS that are 
flexible and can be tailored to the size and operating complexity of 
the recipient.

Sec.  673.5 Definitions

    This section sets forth a number of proposed definitions, many of 
which are based on the principles and methods of SMS. For example, 
readers should refer to ``Accountable Executive,'' ``Hazard,'' 
``Operator of a Public Transportation System,'' ``Safety Assurance,'' 
``Safety Management System,'' ``Safety Management Policy,'' ``Safety 
Promotion,'' and ``Safety Risk Management.'' In recent years SMS has 
emerged as the preferable practice for enhancing safety in all modes of 
transportation, and the Secretary of Transportation instructed each of 
the Department's operating administrations to develop rules, plans, and 
programs to apply SMS to their grant recipients and regulated 
communities. See http://www.fedeval.net/docs/2012Coplen_1.pdf. Many of 
the definitions for applying the principles and methods of SMS in 
proposed Sec.  673.5 are very similar to those set forth in the FAA's 
SMS regulation, titled ``Safety Management Systems for Domestic, Flag, 
and Supplemental Operations Certificate Holders,'' 14 CFR parts 5 and 
119, 80 FR 1308, Jan. 8, 2015.
    In addition, both the Administrator's May 13, 2013 Dear Colleague 
letter and a set of frequently asked questions about SMS are available 
on FTA's Web site at http://www.fta.dot.gov/tso_15177.html. Finally, 
FTA has provided its ``Safety Management Systems Framework,'' in 
Appendix A to FTA's State Safety Oversight NPRM. 80 FR 11002, Feb. 27, 
2015 (http://www.thefederalregister.org/fdsys/pkg/FR-2015-02-27/pdf/2015-03841.pdf). 
FTA anticipates that it will be incorporating these same definitions 
for applying SMS to public transportation in its related rulemakings 
for the Public Transportation Safety Program and the Public 
Transportation Safety Certification Training Program.
    FTA proposes to include a definition for ``Accountable Executive'' 
that identifies the person at a transit agency that has the 
responsibility and accountability for the implementation of SMS and 
control and direction of the Public Transportation Agency Safety Plan 
and the Transit Asset Management Plan. FTA proposes to include 
definitions for ``Safety Risk Management,'' ``Safety Risk,'' ``Safety 
Assurance,'' and ``Safety Management Policy,'' all key terms to the 
implementation of SMS.
    This section also proposes a number of definitions for terms used 
repeatedly throughout the other safety programs authorized by 49 U.S.C. 
5329. Some of these terms are included in FTA's proposed State Safety 
Oversight NPRM which was issued prior to this NPRM, but the wording of 
the definitions has been slightly changed in today's rulemaking for 
sake of clarity. FTA's intent is for all terms to have the same 
definition in all of its safety programs, and FTA will reconcile those 
terms in the appropriate rulemakings. Readers should refer, 
specifically, to the definitions of ``Accident,'' ``Event,'' 
``Hazard,'' ``Incident,'' ``Investigation,'' ``Occurrence,'' and 
``Transit Agency.''
    Pursuant to 49 U.S.C. 5329(d)(3)(B), FTA must issue a rule that 
designates which 49 U.S.C. 5307 small public transportation providers 
may have States draft Public Transportation Agency Safety Plans on 
their behalf. This section proposes a definition for ``Small Public 
Transportation Provider'' (in accordance with 49 U.S.C. 5329(d)(3)(B)) 
as a Section 5307 recipient or subrecipient that does not operate rail 
fixed guideway service and operates 100 or fewer vehicles in revenue 
service.
    New definitions are proposed for the terms ``National Public 
Transportation Safety Plan,'' ``Transit Asset Management Plan,'' and 
``Equivalent Authority,'' all of which are consistent with the use of 
those terms in the statutes and FTA's related rulemakings on safety and 
transit asset management.

Subpart B--Public Transportation Agency Safety Plans

Sec.  673.11 General Requirements

    This section proposes the minimum requirements for the elements to 
be included in a Public Transportation Agency Safety Plan. Pursuant to 
49 U.S.C 5329(d)(1), this section proposes that each operator of public 
transportation that receives Federal financial assistance under 49 
U.S.C. Chapter 53 must develop and certify a Public Transportation 
Agency Safety Plan. As provided by 49 U.S.C. 5329(d)(3)(A), Sec.  
673.11(d) proposes that a State must draft the Public Transportation 
Agency Safety Plan for 49 U.S.C. 5310 and 5311 providers, as well as 
for any small public transportation providers as defined in today's 
NPRM. A State is not required to develop a Public Transportation Agency 
Safety Plan for a particular transit agency that receives Federal 
financial assistance under 49 U.S.C. 5310, 49 U.S.C. 5311, or a small 
public transportation provider, if that agency

[[Page 6360]]

notifies the State that it will develop its own plan.
    Section 673.11(a)(1) proposes that the Public Transportation Agency 
Safety Plan, and any updates, must be signed by the transit agency's 
designated Accountable Executive and be approved by the transit 
agency's Board of Directors, or equivalent entity. This proposal is 
consistent with the statutory requirement in 49 U.S.C. 5329(d)(1)(A) 
that a Board of Directors (or equivalent entity) approve the transit 
agency's safety plan. In short, under today's NPRM, accountability for 
the contents in the Public Transportation Agency Safety Plan is 
formally elevated to the Accountable Executive and Board of Directors. 
Section 673.11(a)(7) proposes that this occurs annually to a timeline 
established by the agency, or State, in accordance with 49 U.S.C. 
5329(d)(1)(D).
    Pursuant to 49 U.S.C. 5329(d)(1)(B), (C), (D), (E), (F), and (G), a 
transit agency must establish: Methods for identifying and evaluating 
safety risks throughout all elements of its public transportation 
system; strategies to minimize the exposure of the public, personnel, 
and property to hazards and unsafe conditions; a process and timeline 
for conducting an annual review and update of its safety plan; safety 
performance targets; a safety officer who reports directly to the 
general manager, president, or equivalent officer; and a comprehensive 
staff training program for the operations personnel and personnel 
directly responsible for safety. These statutory requirements fit into 
the four key pillars of SMS, as discussed in more detail above: Safety 
Management Policy, Safety Risk Management, Safety Assurance, and Safety 
Promotion. Consequently, FTA proposes to require each transit agency to 
develop and implement an SMS under Sec.  673.11(a)(2); this SMS will 
satisfy the statutory requirements of 49 U.S.C. 5329(d)(1)(B), (C), 
(D), (E), (F), and (G). In this proposal, FTA recognizes that a Public 
Transportation Agency Safety Plan for a large, multi-modal, complex 
public transportation system most likely will be more complex than that 
of a very small bus operator. The scalability of SMS will allow transit 
agencies to develop safety plans that will meet the unique needs of 
their operating environments.
    Proposed Sec.  673.11(a)(3) explains that each Public 
Transportation Agency Safety Plan must include safety performance 
targets based on the safety performance criteria and state of good 
repair measures established by FTA in the National Public 
Transportation Safety Plan. In the National Public Transportation 
Safety Plan, FTA is proposing to adopt four initial safety performance 
criteria: (1) Fatalities, (2) Injuries, (3) Safety Events, and (4) 
System Reliability.\16\ These safety performance criteria represent 
categories of measures that are intended to reduce safety events, 
fatalities, and injuries. These measures are broad so that they will be 
relevant to all public transportation modes, and they are intended to 
focus transit agencies on the development of specific and measureable 
targets, as well as the actions each agency would implement to improve 
their own safety outcomes. Through the SMS process, FTA expects transit 
agencies to develop their own performance indicators and regularly 
monitor the performance of their systems to ensure that they are 
meeting their targets and improving safety outcomes. FTA is proposing 
to adopt these measures through a separate notice and comment process, 
and FTA directs readers to that docket if readers are interested in 
submitting comments on the safety performance criteria. FTA expects 
transit agencies to evaluate their safety performances and determine 
whether they should change their safety performance targets at least 
annually when the transit agencies are reviewing and updating their 
Public Transportation Agency Safety Plans. A State or transit agency 
must make its safety performance targets available to States and 
Metropolitan Planning Organizations (MPO) to aid States and MPOs in the 
selection of their own performance targets.
---------------------------------------------------------------------------

    \16\ FTA may adopt additional performance criteria through 
future public comment processes.
---------------------------------------------------------------------------

    Section 673.11(a)(4) proposes that a Public Transportation Agency 
Safety Plan must address any future standards or requirements, as 
applicable, set forth in FTA's Public Transportation Safety Program and 
FTA's National Public Transportation Safety Plan.
    Section 673.11(a)(5) proposes that each transit agency must 
establish a process and timeline for conducting an annual review and 
update of its Public Transportation Agency Safety Plan.
    Proposed Sec.  673.11(a)(6) would require that each rail transit 
agency include, or incorporate by reference, in its Public 
Transportation Agency Safety Plan an emergency preparedness and 
response plan. FTA intends that each emergency preparedness and 
response plan would address, at a minimum: The assignment of employee 
responsibilities, as necessary and appropriate, during an emergency; 
the integration of responses to all hazards, as appropriate; and 
coordination with Federal, State, regional, and local officials with 
roles and responsibilities for emergency preparedness and response in 
the transit agency's service area. FTA understands that a transit 
agency may have developed an emergency preparedness and response plan 
that addresses these minimum requirements in accordance with 
regulations from other Federal and State agencies. Notably, FTA 
currently requires rail fixed guideway systems to have emergency 
preparedness plans through the State Safety Oversight Rule at 49 CFR 
659.19(k). FTA intends to require rail transit systems to continue to 
implement the twenty-one elements of their system safety program plans 
as currently required under 49 CFR part 659; the pillars of SMS cover 
the remaining twenty elements. FTA has developed a crosswalk analysis 
between each of the twenty-one elements of system safety program plans 
and each of the elements of SMS. FTA is adding this crosswalk to the 
docket, and FTA is making the crosswalk available on its Web site at 
http://fta.dot.gov/tso.html.
    FTA notes that there are safety models that include emergency 
preparedness as a key element. For example, FAA requires certain air 
carriers to have emergency preparedness plans. See 14 CFR 5.27. 
Additionally, FRA is proposing to require railroads to have emergency 
preparedness plans. See 77 FR 55403 (Sept. 7, 2012). Recent safety-
related events have demonstrated the need for emergency preparedness 
plans in improving safety outcomes nationally.
    In addition to the above general requirements, FTA would expect a 
transit agency to comply with all other applicable Federal, State, and 
local requirements, laws, regulations, and codes as they may relate to 
safety.\17\
---------------------------------------------------------------------------

    \17\ See FTA's State Safety Oversight Rule at 49 CFR 659.19(r) 
(2015).
---------------------------------------------------------------------------

    Section 673.11(b) proposes that the Public Transportation Agency 
Safety Plan may include more than one mode of service. However, if a 
transit agency has a safety plan for its commuter rail service, 
passenger ferry service, or aviation service, then the transit agency 
may not use that plan for purposes of satisfying 49 CFR part 673; the 
transit agency must develop a separate Public Transportation Agency 
Safety Plan consistent with this part. FTA invites specific comment on 
how FTA could support the development of Public Transportation Agency 
Safety Plans for Transit Agencies of different sizes and modes.
    Section 673.11(c) proposes that a transit agency must maintain its 
Public Transportation Agency Safety Plan in

[[Page 6361]]

accordance with the recordkeeping requirements of Subpart D of this 
Part.
    Section 673.11(d) proposes that a State must draft and certify a 
Public Transportation Agency Safety Plan on behalf of any 49 U.S.C. 
5310, 49 U.S.C. 5311, or small public transportation provider. A State 
is not required to draft a Public Transportation Agency Safety Plan if 
a 49 U.S.C. 5310, 49 U.S.C. 5311, or small public transportation 
provider notifies the State that it will draft its own plan. In either 
instance, the transit agency must carry out the plan.
    If a State drafts and certifies a Public Transportation Agency 
Safety Plan on behalf of a transit agency, and the transit agency later 
opts to draft and certify its own Public Transportation Agency Safety 
Plan, then the transit agency would be required to notify the State, 
and the transit agency would have one year from the date of the 
notification to draft and certify a Public Transportation Agency Safety 
Plan that is compliant with this part.
    Section 673.11(e) proposes that any rail fixed guideway system that 
had a system safety program plan, as per requirements set forth in 49 
CFR part 659 as of October 1, 2012, may keep that plan in effect until 
one year after the effective date of the final rule.
    Sec.  673.11(f) proposes that agencies that operate passenger 
ferries regulated by USCG or commuter rail service regulated by FRA are 
not required to develop agency safety plans for those modes of service.

Sec.  673.13 Certification of Compliance

    Section 673.13(a) provides that not later than one year after the 
effective date of the final rule, each transit agency must certify its 
compliance with the requirements of this part. For transit agencies 
that receive Federal funding under 49 U.S.C. 5310, 49 U.S.C. 5311, and 
those identified as small public transportation providers under 49 
U.S.C. 5307, a State must certify compliance unless the provider opts 
to draft and certify its own safety plan. In those cases where a State 
certifies compliance for 49 U.S.C. 5310, 49 U.S.C. 5311, or small 
public transportation provider under 49 U.S.C. 5307, this certification 
must also occur within one year after the effective date of the final 
rule.
    In addition to certification, Public Transportation Agency Safety 
Plans that are developed by transit agencies with rail transit systems 
must also be reviewed and approved by the appropriate State Safety 
Oversight Agency as per the requirements set forth in 49 CFR part 659, 
and the future recodification of those requirements at 49 CFR part 674. 
In accordance with 49 U.S.C. 5329(e)(4)(iv), State Safety Oversight 
Agencies must have the authority to review, approve, oversee, and 
enforce the implementation of the Public Transportation Agency Safety 
Plans of transit agencies operating rail fixed guideway public 
transportation systems.
    Section 673.13(b) requires that each transit agency or State 
certify compliance with part 673 on an annual basis.

Sec.  673.15 Coordination with Metropolitan, Statewide, and Non-
Metropolitan Planning Processes

    This section proposes to require a State or transit agency to make 
its safety performance targets available to States and Metropolitan 
Planning Organizations to aid in the planning process. This section 
also proposes to require, to the maximum extent practicable, a State or 
transit agency to coordinate with States and Metropolitan Planning 
Organizations in the selection of State and MPO safety performance 
targets.

Subpart C--Safety Management Systems

Sec.  673.21 General Requirements

    This section outlines the SMS elements that each transit agency 
must establish in its Public Transportation Agency Safety Plan. Under 
today's NPRM, each transit agency would be required to implement an 
SMS; however, FTA would require that each transit agency would scale 
the SMS to the size, scope, and complexity of the transit agency's 
operations. Each transit agency would be required to establish its 
activities to include the four main pillars of SMS: (1) Safety 
Management Policy; (2) Safety Risk Management; (3) Safety Assurance; 
and (4) Safety Promotion. FTA expects that the scope and detail for 
each activity will vary based on the size and complexity of the system. 
FTA anticipates that activities, and documentation of those activities, 
for a small bus transit agency will be substantially less than those of 
a large multi-modal system. To help clarify SMS development and 
implementation, FTA intends to provide guidance to the industry, 
including templates designed to accommodate the variance in transit 
system mode, size and complexity.

Sec.  673.23 Safety Management Policy

    Under proposed Sec.  673.23(a), a transit agency would be required 
to establish the organizational accountabilities and responsibilities 
necessary for implementing SMS and capture these under the first 
component of SMS, Safety Management Policy. The success of a transit 
agency's SMS is dependent upon the commitment of the entire 
organization and begins with the highest levels of transit agency 
management. FTA expects that the level of detail for organizational 
accountabilities and responsibilities would be commensurate with the 
size and complexity of the transit agency.
    The Safety Management Policy statement would contain the transit 
agency's safety objectives. These objectives would include a broad 
description of the agency's overarching safety goals, which would be 
based on that agency's unique needs. The Safety Management Policy 
statement also would include a reference to the agency's safety 
objectives and performance targets.
    Under Sec.  673.23(b), a transit agency would need to include in 
its Safety Management Policy statement a process that allows employees 
to report safety conditions to senior management. This process would 
provide protections for employees who report safety conditions to 
senior management and a description of behaviors that are unacceptable 
and that would not be exempt from disciplinary actions. This is a 
critical SMS element for ensuring safety. A reporting program allows 
employees who identify safety hazards and risks in the day-to-day 
duties to directly notify senior personnel, without fear of reprisal, 
so that the hazards and risks can be mitigated or eliminated. NTSB has 
emphasized the need for transit agencies to have confidential employee 
safety reporting programs,\18\ and this need was discussed at length in 
NTSB's Investigate Hearing on the WMATA Smoke and Electrical Arcing 
Incident in Washington, DC on June 23 and 24, 2015.\19\
---------------------------------------------------------------------------

    \18\ NTSB issued Safety Recommendation R-10/02 for the WMATA 
Metrorail train collision accident on June 22, 2009, found at: 
http://www.ntsb.gov/investigations/AccidentReports/Reports/RAR1002.pdf. Through this report, NTSB recommends that ``FTA 
facilitate the development of non-punitive safety reporting programs 
at all transit agencies [in order] to collect reports from employees 
in all divisions within their agencies.''
    \19\ See the NTSB's hearing materials at http://www.ntsb.gov/news/events/Pages/2015_WMATA_Washington_DC_IHG_Agenda.aspx. and 
http://dms.ntsb.gov/pubdms/search/document.cfm?docID=432379&docketID=57383&mkey=90596.
---------------------------------------------------------------------------

    Section 673.23(c) proposes that the Safety Management Policy 
statement is communicated throughout the transit agency, as well as to 
the Board of Directors (or equivalent authority), and is made readily 
available to all employees of the transit agency and contractors.

[[Page 6362]]

    Section 673.23(d) proposes that the transit agency establish its 
accountabilities and responsibilities necessary to meet the established 
safety performance targets. In general, a transit agency would need to 
describe its organizational structure and the procedures it must adopt 
in order for it to meet its safety performance targets. A transit 
agency would describe the authorities, accountabilities, and 
responsibilities for safety management as they relate to the 
development and management of the transit agency's SMS. The level of 
detail in this section would be commensurate with the size and 
complexity of transit agency operations. At a minimum, a transit agency 
would need to identify an Accountable Executive, a Chief Safety Officer 
or SMS Executive, and agency leadership, executive management, and key 
staff who would be responsible for the implementation of a transit 
agency's safety plan.

Sec.  673.25 Safety Risk Management

    Section 673.25(a) proposes that each transit agency establish and 
implement its process for managing safety risk, including the 
identification of hazards, analysis of hazards, evaluation of safety 
risk, and mitigation of safety risk, in all elements of its public 
transportation system, including changes to its public transportation 
system that may impact safety performance. At a minimum, FTA would 
expect a transit agency to apply its safety risk management process to 
the design of a new public transportation system, changes to its 
existing public transportation system, new operations of service to the 
public, new operations or maintenance procedures or organizational 
change, and changes to operations or maintenance procedures. 
Additionally, FTA would expect a transit agency to develop measures to 
ensure that safety principles, requirements, and representatives are 
included in the transit agency's procurement process.\20\
---------------------------------------------------------------------------

    \20\ See FTA's State Safety Oversight Rule at 49 CFR 659.19(u).
---------------------------------------------------------------------------

    Section 673.25(b)(1) would require a transit agency to establish a 
process for hazard identification and analysis, including the 
identification of the sources, both proactive and reactive, for 
identifying hazards. Activities for hazard identification analysis 
could include formalized processes where a transit agency identifies 
hazards throughout its entire system, logs them into a database, 
performs risk analyses, and identifies mitigation measures. These 
activities also could include safety focus groups, reviews of safety 
reporting trends, and for smaller bus systems, it could mean sitting 
down with a few operators in a room, discussing hazards on the system, 
deciding which ones pose the greatest risk, and then developing 
mitigation.
    A transit agency must apply its process for hazard identification 
and analysis to all aspects of its system, including but not limited to 
its operational activities, system expansions, and state of good repair 
activities. A transit agency should consider the results of its asset 
condition assessments while performing safety hazard identification 
activities within its SMS. The results of the condition assessments, 
and subsequent SMS analysis, will inform a transit agency's 
determination as to whether an asset meets the state of good repair 
standards under 49 CFR part 625.
    Section 673.25(b)(2) would require a transit agency to include, as 
a source for hazard identification and analysis, data and information 
provided by an oversight authority and the FTA.
    FTA proposes that hazard identification and analysis activities are 
commensurate with the size of the transit agency operations. For 
example, FTA would anticipate that the number of identified hazards for 
a small, rural bus system may be less than the number of hazards 
identified for a large, multi-modal system.
    Section 673.25(c) proposes that a transit agency establish 
activities for the evaluation and prioritization of safety risks 
related to the potential consequences of hazards identified and 
analyzed in Sec.  673.25(b). Transit agencies would need to evaluate 
safety risks in terms of both probability (the likelihood of the hazard 
producing the potential consequences) and severity (the damage, or the 
potential consequences of a hazard, that may be caused if the hazard is 
not eliminated or its consequences are not successfully mitigated).
    A transit agency also would need to establish criteria for the 
development of safety risk mitigations that are necessary based on the 
results of the agency's safety risk evaluation. For example, a transit 
agency may decide that the criteria for developing safety risk 
mitigations could be the identification of a safety risk, benefit-cost 
analysis, a system level change (such as the addition of new technology 
on a vehicle), a change to operational procedures, or the expansion of 
service. To further illustrate these examples, a transit agency may 
color code different levels of safety risk (``red'' as high, ``yellow'' 
as medium, and ``green'' as minor) and develop different types of 
safety risk mitigations to correspond to those levels.

Sec.  673.27 Safety Assurance

    Section 673.27(a) proposes that a transit agency develop and 
implement safety assurance activities that include safety performance 
monitoring and measurement and continuous improvement. FTA would expect 
that a transit agency's safety assurance activities would be scaled to 
the size and complexity of its operations, with the objective being 
that a transit agency can accurately determine whether or not it is 
meeting its safety objectives and safety performance targets, as well 
as the extent to which its SMS is being implemented effectively.
    Each transit agency would be required to conduct an annual review 
of its safety risk mitigations. FTA anticipates that each transit 
agency would identify those safety risk mitigations that should be 
reviewed each year to ensure they are still effective.
    In Sec.  673.27(b), FTA proposes that a transit agency identify the 
data and information that it must collect from its operations, 
maintenance, and public transportation services so that it may monitor 
the agency's safety performance as well as the effectiveness of its 
SMS. Under this section, a transit agency would be responsible for the 
ongoing monitoring of its operations and maintenance protocols and 
procedures, and any safety risk mitigations, to assure that they are 
being implemented as planned.
    This section proposes that a transit agency investigate safety 
events (as defined in this NPRM) and any reports from non-compliance 
with applicable regulations, standards, and applicable legal authority. 
Finally, the section would require the continuous monitoring of 
information reported through the employee safety reporting program.
    In Sec.  673.27(c), a transit agency would be required to manage 
changes in its system. A transit agency would be required to develop a 
process for identifying and assessing changes that may introduce new 
hazards or impact the transit agency's safety performance. If a transit 
agency determines that a change might impact safety, then the transit 
agency would need to evaluate the change using Safety Risk Management 
activities established under Sec.  673.25.
    In Sec.  673.27(d), a transit agency would be required to regularly 
assess its safety performance. If a transit agency identifies any 
deficiencies during a safety performance assessment, it would be 
required to develop and carry out,

[[Page 6363]]

under the direction of the Accountable Executive, a plan to address the 
identified safety deficiencies. FTA would expect a transit agency to 
conduct a safety performance assessment at least annually, and the 
safety performance assessment can be completed in conjunction with the 
annual review and update to its overall safety plan in Sec.  
673.11(a)(5).

Sec.  673.29 Safety Promotion

    This section proposes that a transit agency establish competencies 
and training for all agency employees directly responsible for the 
management of safety, and establish and maintain the means for 
communicating safety performance and SMS information. Section 673.29(a) 
would require a transit agency to establish a comprehensive safety 
training program. Through the safety training programs, a transit 
agency would require each employee, as applicable, to complete training 
to enable the person to meet his or her role and responsibilities for 
safety management, and to complete refresher training, as necessary, to 
stay current with the agency's safety management practices and 
procedures.
    Section 673.29(b) would require a transit agency to ensure that all 
employees are aware of any policies, activities, and procedures that 
are related to their role and safety management responsibilities. 
Safety communications would include information on hazards and safety 
risks that are relevant to the employee's role and responsibilities; 
explain reasons that a transit agency introduces or changes policies, 
activities or procedures; and communicates to an employee when actions 
are taken in response to reports submitted by the employee through an 
employee safety reporting program. FTA expects that each transit agency 
would define the means and mechanisms for effective safety 
communication based on their organization, structure, and size of 
operations.

Subpart D--Safety Plan Documentation and Recordkeeping

Sec.  673.31 Safety Plan Documentation

    This section proposes that transit agencies keep records of their 
documents that meet the requirements of this part. FTA would expect a 
transit agency to maintain documents that set forth its Public 
Transportation Agency Safety Plan, including those related to the 
implementation of its SMS, such as results from SMS processes and 
activities. For the purpose of reviews, investigations, audits, or 
other purposes, the section proposes that these documents be made 
available to FTA, State Safety Oversight Agencies in the case of rail 
transit systems, and other Federal agencies as appropriate. A transit 
agency would be required to maintain any of these documents for a 
minimum of three years.

Sec.  673.33 Safety Plan Records

    This section proposes that, in addition to the documents indicated 
above, a transit agency must maintain, at a minimum, the following 
records: safety risk mitigations, results from a transit agency's 
safety performance assessment, and records of employee safety training. 
FTA anticipates that the amount of records maintained by each transit 
agency would vary based on the agency's size and complexity. For 
example, it is reasonable to expect that a smaller agency would have 
fewer safety risk mitigations and employee training records to 
maintain, whereas a large transit agency may have a robust safety 
management information system to track and monitor its safety risk 
mitigations, and perhaps another system dedicated to tracking employee 
safety training. For safety performance monitoring and measurement, the 
section proposes that the transit agency maintain documentation that it 
would use to determine how well it is meeting its safety objectives and 
safety performance targets, as well as safety performance indicators 
used to determine the effectiveness of SMS implementation.

V. Regulatory Analyses and Notices

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

    Executive Orders and 12866 and 13563 direct agencies to propose or 
adopt a regulation only upon a reasoned determination that its benefits 
justify its costs (recognizing that some benefits and costs are 
difficult to quantify); tailor its regulations to impose the least 
burden on society; assess all costs and benefits of available 
regulatory alternatives; and, if regulation is necessary, to select 
regulatory approaches that maximizes net benefits--including potential 
economic, environmental, public health, and safety effects, 
distributive impacts, and equity. Executive Order 13563 also emphasizes 
the importance of harmonizing rules and promoting flexibility.
    This proposed rule has been drafted and reviewed in accordance with 
the principles set forth in Executive Orders 12866 and 13563. FTA has 
determined that this proposed rule likely is ``economically 
significant'' under Executive Order 12866, in that it may lead to 
transit agencies making investment and prioritization decisions related 
to mitigation of safety risks that would result in economic impacts 
that could exceed $100 million in a year. However, as discussed in 
greater detail below, FTA was unable to quantify the potential impacts 
of this rule beyond the costs for transit agencies to develop and 
implement Public Transportation Agency Safety Plans. FTA was able to 
estimate costs of approximately $86 million in the first year, and $70 
million per year thereafter. These costs result from developing and 
certifying safety plans, documenting the SMS approach, implementing 
SMS, and associated recordkeeping. The estimated costs do not include 
the costs of actions that transit agencies would be required to take to 
mitigate risk as a result of implementing this rule, such as vehicle 
modifications, additional training, technology investments, or changes 
to operating procedures. The annualized cost of proposed requirements 
is estimated to be approximately $71 million. FTA requests comment on 
any information that could assist in quantifying the costs, benefits, 
and transfers associated with this rulemaking.
    FTA has placed in the docket a Regulatory Impact Analysis (RIA) 
that analyzes the benefits and costs of the proposed regulatory changes 
in accordance with Executive Orders 12866 and 13563, and United States 
Department of Transportation (USDOT) policy.
    FTA also conducted this analysis to satisfy the statutory 
requirement at 49 U.S.C. 5329(h)(1) that it take into consideration the 
costs and benefits related to each action that it takes under 49 U.S.C. 
5329, including this proposed rule.
    The proposed rule would require all operators of public 
transportation systems that receive Federal financial assistance under 
49 U.S.C. Chapter 53 to develop and implement Public Transportation 
Safety Plans as required by Section 20021 of the Moving Ahead for 
Progress in the 21st Century Act (MAP-21), now codified at 49 U.S.C. 
5329, using the SMS approach.
    SMS is a flexible, scalable approach to safety that has been widely 
adopted across multiple modes of transportation in both the public and 
private sectors. It employs a systematic, data-driven approach in which 
risks to safety are identified, then controlled or mitigated to 
acceptable levels. SMS brings

[[Page 6364]]

business-like methods and principles to safety, similar to the ways in 
which an organization manages its finances, through safety plans, with 
targets and performance indicators, and continuous monitoring of safety 
performance throughout an organization.
    In addition to responding to the specific legislative mandate, the 
proposed rule responds to National Transportation Safety Board (NTSB) 
recommendations about expanding the use of SMS to reduce the risks of 
transit crashes. From 2004 to 2013, NTSB reported on nine transit 
accidents that, collectively, resulted in 15 fatalities, 297 injuries, 
and over $30 million in property damages. Although transit systems have 
historically been among the safest means of surface transportation, the 
transit industry is facing increased pressures at a time when ridership 
is growing, infrastructure is aging, and large numbers of the workforce 
are retiring. During that same 2004-2013 time period, transit agencies 
reported over 40,000 incidents, more than 2,000 fatalities, and over 
76,000 injuries to FTA's National Transit Database.
    This RIA provides quantitative estimates of the expected compliance 
costs associated with the proposed rule. Costs for transit agencies 
were estimated based on the staff labor costs associated with 
implementing the requirements of the proposed rule, with adjustments 
for agency size and for agencies' existing level of maturity with SMS 
approaches. Three main cost areas were estimated: (1) Developing and 
certifying safety plans; (2) implementing and documenting the SMS 
approach; and (3) associated recordkeeping. Staff time was monetized 
using data on wage rates and benefits in the transit industry. Over the 
20-year analysis period, total costs are estimated at $752 million in 
present value (using a 7% discount rate), or the equivalent of $71 
million per year.
    As previously stated, FTA was unable to estimate the cost of 
actions that agencies would take to mitigate or eliminate safety 
problems identified through implementation of their safety plans. This 
is because FTA is unaware of information sources or methods to predict 
with sufficient confidence the number or type of safety problems 
agencies will identify through implementation of their safety plans, or 
the number, type, and cost of actions that agencies will take to 
address such problems. For similar reasons, FTA also is unable to 
estimate the benefits of these actions. FTA seeks information from the 
public for analyzing the benefits and costs of actions by agencies to 
mitigate or eliminate safety problems such as the number, types, 
benefits, and costs of such actions.
    With respect to State and MPO performance target setting, FTA 
forecasted benefits based on the estimated impact of the SMS approach 
on reducing transit crashes and their associated societal costs, 
including fatal and non-fatal injuries, property damage, and other 
costs. Safety benefits were calculated for both bus and rail modes. 
However, since the rail agencies are subject to additional safety 
rules, analysis also was undertaken excluding the rail modes. Benefits 
were monetized using information on transit crash costs, including 
direct costs and USDOT-standard statistical values for fatality and 
injury prevention. Although many other sectors report reductions in 
safety incident after adopting SMS, it is not possible to transfer that 
experience to the transit industry due to the differences in 
organizational structures and practices.
    FTA could not estimate the benefits of this proposed rule. To 
estimate safety benefits, one would need to understand the exact causes 
of the accidents and the factors that may cause future accidents. This 
information is generally unknown in this sector, given the infrequency 
and diversity of the type of safety incidents that occur. Instead, FTA 
conducted a breakeven analysis that compares the costs that FTA was 
able to estimate (absent the cost of mitigations) to a pool of 
potential safety benefits. The pool of safety benefits is an estimate 
of the cost of bus and rail incidents over a future 20-year period. The 
estimate is an extrapolation based on the cost of bus and rail 
incidents that occurred from 2010 to 2014.
    As the table below shows, the amount of incident reduction needed 
to breakeven with the costs of the proposed rule that were estimated is 
low. However, benefits of SMS primarily will result from mitigating 
actions. As previously stated, the benefits and costs of such actions 
are not accounted for in this analysis. FTA has not estimated the 
benefits of implementing SMS without mitigating actions, but expects 
such benefits are unlikely to be large. Estimated costs for the Public 
Transportation Agency Safety Plans include certain activities that 
likely will yield safety improvements, such as improved communication, 
identification of hazards, and greater employee awareness. It is 
plausible that these changes alone could produce accident reductions 
that surpass estimated costs.
    This analysis assumes that benefits are realized from reducing both 
rail and bus incidents after adjusting for the estimated breakeven 
threshold for the proposed State Safety Oversight and Safety Training 
Rules (RINs 2132-AB19 and 2132-AB25 respectively), to which the rail 
agencies also will be subject when finalized.
    Under the performance management framework established by MAP-21, 
States, MPOs, and transit providers must establish targets in key 
national performance areas to document expectations for future 
performance. Pursuant to 49 U.S.C. 5303(h)(2)(B)(ii) and 
5304(d)(2)(B)(ii), States and MPOs must coordinate the selection of 
their performance targets, to the maximum extent practicable, with 
performance targets set by transit providers under 49 U.S.C. 5326 
(transit asset management) and 49 U.S.C. 5329 (safety), to ensure 
consistency.
    In the joint FTA and FHWA Planning NPRM, both agencies indicated 
that their performance-related rules would implement the basic elements 
of a performance management framework, including the establishment of 
measures and associated target setting. Because the performance-related 
rules implement these elements and the difficulty in estimating costs 
of target setting associated with unknown measures, the joint FTA and 
FHWA Planning NPRM did not assess these costs. Rather, FTA and FHWA 
proposed that the costs associated with target setting at every level 
would be captured in each agency's respective ``performance 
management'' rules. For example, FHWA's second performance management 
rule NPRM, published after the joint FTA and FHWA Planning NPRM, 
assumes that the incremental costs to States and MPOs for establishing 
performance targets reflect the incremental wage costs for an 
operations manager and a statistician to analyze performance-related 
data.
    The RIA that accompanied the joint FTA and FHWA Planning Final Rule 
captured the costs of the effort by States, MPOs, and transit providers 
to coordinate in the setting of State and MPO transit performance 
targets for state of good repair and safety. FTA believes that the cost 
to MPOs and States to set transit performance targets is included 
within the costs of coordination. FTA requests comments on this point. 
Will there be any additional costs for States and MPOs in target 
setting beyond the coordination costs included in the planning rule? If 
so, what would those costs be? To the extent that responses to these 
questions cause the agency to adjust any of its cost assumptions, those 
changes will be reflected in the final rule and any related information 
collections.

[[Page 6365]]

    A summary of the benefits and costs of this proposed rule is 
provided in Table 3 below, which also is included in Table 1 above.

       Table 3--Reduction In Cost of Bus and Rail Incidents Needed to Breakeven With Estimated Costs \21\
----------------------------------------------------------------------------------------------------------------
                                 Current Dollar value         7% Discounted value         3% Discounted value
----------------------------------------------------------------------------------------------------------------
Bus Incidents (20-Year        $86,999,489,120...........  $40,894,178,605...........  $58,084,884,054.
 Estimate).
Rail Incidents (20-Year       $37,680,410,444...........  $17,711,706,703...........  $25,157,185,334.
 Estimate).
Total Pool of Benefits (20-   $124,679,899,564..........  $58,605,885,309...........  $83,242,069,388.
 Year Estimate).
Estimated Costs (20-Year      $1,407,680,883............  $752,319,890..............  $1,050,876,643.
 Estimate).
Benefits and Costs of         Not Estimated.............  Not Estimated.............  Not Estimated.
 Mitigating Actions.
Estimated Cost (Annualized).  ..........................  $71,013,675...............  $70,635,417.
Breakeven Threshold           ..........................  1.28%.....................  1.26%.
 Including Bus and Rail.
----------------------------------------------------------------------------------------------------------------

Regulatory Flexibility Act
---------------------------------------------------------------------------

    \21\ The costs and breakeven threshold in this table do not 
account for actions by agencies to mitigate or eliminate safety 
risks identified through implementation of their safety plans other 
than those mitigation actions prescribed in the rule, such as 
training.
---------------------------------------------------------------------------

    In compliance with the Regulatory Flexibility Act (Pub. L. 96-354, 
5 U.S.C. 601-612), FTA has evaluated the effects of this proposed rule 
on small entities and has determined that the proposed rule will not 
have a significant economic impact on a substantial number of small 
entities.
    The proposed rule would affect roughly 2,125 small entities, most 
of which are small government entities and small non-profit 
organizations that operate public transportation systems in non-
urbanized areas. Compliance costs will vary according to agency size 
and complexity, the extent of current SMS practices, and the extent of 
current asset management practices. Costs are illustrated by an example 
calculation for a small operator of a public transportation system that 
receives Formula Grants for Rural Areas under 49 U.S.C. 5311, for which 
compliance costs range from an average of $12,000 per Section 5310 
agency, to roughly $31,000 per small Section 5307 agency (these 
estimates exclude the cost of mitigating actions). For the sake of 
comparison, while transit agency operations budgets vary significantly, 
the average for small Section 5307 agencies is around $6.3 million per 
year, and Section 5311 agencies average $1 million per year. Thus, the 
estimated costs of the rule are around 0.5% to 1.5% of agency budgets. 
FTA proposes to mitigate the costs for smaller operators of public 
transportation systems by requiring the States in which they are 
located to draft and certify Public Transportation Agency Safety Plans 
on their behalf, unless the operator chooses to develop and certify its 
own plan. Additionally, to mitigate the costs for smaller operators of 
public transportation systems, FTA is proposing to adopt the SMS 
approach to safety, which is scalable and tailored for the specific 
needs of a particular transit agency.
    Overall, while the proposed rule would affect a substantial number 
of small entities, these impacts would not be significant due to the 
low magnitude of the costs. Moreover, FTA has designed the proposed 
rule to allow flexibility for small entities. FTA is providing 
additional analysis of the Regulatory Flexibility Act's application to 
this proposed rule in Regulatory Impact Analysis posted to the docket.

Unfunded Mandates Reform Act of 1995

    This proposed rule will not impose unfunded mandates as defined by 
the Unfunded Mandates Reform Act of 1995 (Pub. L. 104-4, March 22, 
1995, 109 Stat. 48; codified at 2 U.S.C. 1501 et seq.).
    Pursuant to 2 U.S.C. 1501(8), one of the purposes of the Unfunded 
Mandates Reform Act is to consider ``the effect of . . . Federal 
statutes and regulations that impose Federal intergovernmental 
mandates.'' The term ``Federal intergovernmental mandate'' is defined 
at 2 U.S.C. 658(5)(A)(i) to mean ``any provision in legislation, 
statute, or regulation that would impose an enforceable duty upon 
State, local, or tribal governments, except . . . a condition of 
Federal assistance.''
    Given the fact that FTA's authorizing statute at 49 U.S.C. 5329(d) 
makes the development and implementation of Public Transportation 
Agency Safety Plans a condition of FTA Federal financial assistance, 
and given that FTA is proposing to require transit agencies to annually 
certify that they have safety plans consistent with this rule as a 
condition of that Federal financial assistance, this proposed rule will 
not impose unfunded mandates.

Executive Order 13132 (Federalism)

    This final rule has been analyzed in accordance with the principles 
and criteria established by Executive Order 13132, and FTA has 
determined that this proposed rule will not have sufficient Federalism 
implications to warrant the preparation of a Federalism assessment. FTA 
has also determined that this proposed rule will 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 rule.

Paperwork Reduction Act (PRA)

    In compliance with the Paperwork Reduction Act of 1995 (44 U.S.C. 
et seq.) (PRA), and the White House Office of Management and Budget's 
(OMB) implementing regulation at 5 CFR 1320.8(d), FTA is seeking 
approval from OMB for the Information Collection Request abstracted 
below. FTA acknowledges that this NPRM entails the collection of 
information to implement the Public Transportation Agency Safety Plan 
requirements of 49 U.S.C. 5329(d). Specifically, an operator of a 
public transportation system would do the following: (1) Develop and 
certify a Public Transportation Agency Safety Plan; (2) implement and 
document the SMS approach; and (3) associated recordkeeping.
    FTA seeks public comment to evaluate whether the proposed 
collection of information is necessary for the proper performance of 
FTA's functions, including whether the information will have practical 
utility; whether the estimation of the burden of the proposed 
information collection is accurate, including the validity of the 
methodologies and assumptions used; ways in which the quality, utility, 
and clarity of the information can be enhanced; and whether the burden 
can be minimized, including through the use of automated collection 
techniques

[[Page 6366]]

or other forms of information technology.
    Readers should note that the information collection would be 
specific to each operator of a public transportation system in an 
effort to facilitate and record the operator's safety responsibilities 
and activities. The paperwork burden for each operator of a public 
transportation system would be proportionate to the size and complexity 
of its operations. For example, an operator of both a rail fixed 
guideway system and a bus system may need to generate more 
documentation than an operator of a bus system only.
    Also, readers should note that FTA already requires rail fixed 
guideway public transportation systems to develop System Safety Program 
Plans and System Security Plans in accordance with the requirements of 
49 CFR part 659. FTA collects information from States and State Safety 
Oversight Agencies regarding these plans, and FTA anticipates that 
operators of rail fixed guideway systems will utilize some of this 
documentation for purposes of developing Public Transportation Agency 
Safety Plans. Please see FTA's currently approved collection, 2132-
0558, available at http://www.reginfo.gov/public/do/PRAMain.
    Type of Collection: Operators of public transportation systems.
    Type of Review: OMB Clearance. New Information Collection Request.
    Summary of the Collection: The information collection includes (1) 
the development and certification of a Public Transportation Agency 
Safety Plan; (2) the implementation and documentation of the SMS 
approach; and (3) associated recordkeeping.
    Need for and Expected Use of the Information to be Collected: 
Collection of information for this program is necessary to ensure that 
operators of public transportation systems are performing their safety 
responsibilities and activities required by law at 49 U.S.C. 5329(d). 
Without the Public Transportation Agency Safety Plan reporting 
requirements, FTA would be unable to determine each State's compliance 
with 49 U.S.C. 5329(d).
    Respondents: Respondents include operators of public transportation 
as defined under 49 U.S.C. 5302(14), which do not provide service that 
is closed to the general public and only available for a particular 
clientele. The total number of respondents is 561. This figure includes 
242 respondents that are States, rail fixed guideway systems that 
receive Urbanized Area Formula Program funds under 49 U.S.C. 5307, and 
large bus systems that receive Urbanized Area Formula Program funds 
under 49 U.S.C. 5307. This figure also includes 319 respondents that 
would have their Public Transportation Agency Safety Plans drafted and 
certified by the State in which they are located, including small 
public transportation providers that receive Urbanized Area Formula 
Program funds under 49 U.S.C. 5307, operate one hundred or fewer 
vehicles in revenue service, and do not operate rail fixed guideway 
service; recipients of Formula Grants for Rural areas under 49 U.S.C. 
5311; and operators of public transportation systems that receive 
Formula Grants for the Enhanced Mobility of Senior and Individuals with 
Disabilities under 49 U.S.C. 5310.
    Frequency: Annual.
    Estimated Total Annual Burden of Costs and Hours on Respondents:
---------------------------------------------------------------------------

    \22\ The total annual cost includes labor and non-labor costs 
for travel and information technology.

                Tier I Respondents (Operating Over 100 Vehicles and Rail Fixed Guideway Service)
                                 [Total annualized burden hours and costs \22\]
----------------------------------------------------------------------------------------------------------------
                                                                   Annual burden
          Agency type             Agency safety      Number of       hours per     Total annual    Total annual
                                    plan item       respondents     respondent     burden hours      cost  ($)
----------------------------------------------------------------------------------------------------------------
States........................  Development/                  55             111           6,082         210,010
                                 Certification.
                                Implementation/               55               0               0               0
                                 Documentation.
                                Recordkeeping...              55               0               0               0
5307 Rail.....................  Development/                  60              48           2,862         255,660
                                 Certification.
                                Implementation/               60             699          41,956       3,893,019
                                 Documentation.
                                Recordkeeping...              60             238          14,274       2,051,779
5307 Large Bus................  Development/                 127              48           6,123         583,332
                                 Certification.
                                Implementation/              127             771          97,943       6,856,950
                                 Documentation.
                                Recordkeeping...             127             232          29,520       3,290,570
                                                 ---------------------------------------------------------------
    Total Tier I..............  ................             242             821         198,760      17,141,321
----------------------------------------------------------------------------------------------------------------


            Tier II Respondents (Operating 100 or Fewer Vehicles and No Rail Fixed Guideway Service)
                                 [Total Annualized burden hours and costs \23\]
----------------------------------------------------------------------------------------------------------------
                                                                   Annual burden
          Agency type             Agency safety      Number of       hours per     Total annual    Total annual
                                    plan item       respondents     respondent     burden hours      cost  ($)
----------------------------------------------------------------------------------------------------------------
5307 Small Bus................  Development/                  94              19           1,773        $170,092
                                 Certification.
                                Implementation/              625             355         221,601      11,724,615
                                 Documentation.
                                Recordkeeping...             625             242         150,938       8,714,824
5311 Bus......................  Development/                 195              14           2,767         265,343
                                 Certification.
                                Implementation/             1300             279         362,875      19,199,240
                                 Documentation.
                                Recordkeeping...            1300             190         247,163      14,270,660
5310 Bus......................  Development/                  30              11             319          30,617
                                 Certification.
                                Implementation/              200             227          45,463       2,405,367
                                 Documentation.
                                Recordkeeping...             200              21           4,129         238,386
 

[[Page 6367]]

 
    Total Tier II.............  ................            2125             488       1,037,026      57,019,144
----------------------------------------------------------------------------------------------------------------
The total PRA cost of the rule would be approximately $74.2 million per year averaged over the first three years
  and $31,110 per respondent per year on average.

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 either through a Categorical 
Exclusion, an Environmental Assessment, or an Environmental Impact 
Statement. This proposed rule is categorically excluded under FTA's 
NEPA implementing regulations at 23 CFR 771.118(c)(4), which covers 
planning and administrative activities that do not involve or lead 
directly to construction, such as the promulgation of rules, 
regulations, directives, and program guidance. FTA has determined that 
no unusual circumstances exist and that this Categorical Exclusion is 
applicable.
---------------------------------------------------------------------------

    \23\ The total annual cost includes labor and non-labor costs 
for travel and information technology.
---------------------------------------------------------------------------

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 DOT's environmental justice 
initiatives accomplish this goal by involving the potentially affected 
public in developing transportation projects that fit harmoniously 
within their communities without sacrificing safety or mobility. FTA 
has developed a program circular addressing environmental justice in 
transit projects, Circular 4703.1, Environmental Justice Policy 
Guidance for Federal Transit Administration Recipients. The Circular is 
designed to provide a framework to assist recipients as they integrate 
principles of environmental justice into their transit decision-making 
process. The Circular contains recommendations for State DOTs, MPOs, 
and transit providers 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. This proposed 
rule will not cause adverse environmental impacts, and as a result, 
minority populations and low-income populations will not be 
disproportionately impacted.

Executive Order 12630 (Taking of Private Property)

    This proposed rule will not affect a taking of private property or 
otherwise have taking implications under Executive Order 12630, 
Governmental Actions and Interference with Constitutionally Protected 
Property Rights.

Executive Order 12988 (Civil Justice Reform)

    This proposed rule meets applicable standards in sections 3(a) and 
3(b)(2) of Executive Order 12988, Civil Justice Reform, to minimize 
litigation, eliminate ambiguity, and reduce burden.

Executive Order 13045 (Protection of Children)

    FTA has analyzed this proposed rule under Executive Order 13045, 
Protection of Children from Environmental Health Risks and Safety 
Risks. 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 rule under Executive Order 13175 
(Nov. 6, 2000), and has determined that it will not have substantial 
direct effects on one or more Indian tribes; will not impose 
substantial direct compliance costs on Indian tribal governments; and 
will not preempt tribal laws. Therefore, a tribal summary impact 
statement is not required.

Executive Order 13211 (Energy Effects)

    FTA has analyzed this proposed rule under Executive Order 13211, 
Actions Concerning Regulations That Significantly Affect Energy Supply, 
Distribution, or Use (May 18, 2001). FTA has determined that this 
proposed rule is not a significant energy action under that Executive 
Order because it 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

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

Statutory/Legal Authority for This Rulemaking

    This rulemaking is issued under the authority of section 20021 of 
MAP-21, which requires public transportation agencies to develop and 
implement comprehensive safety plans. This authority was reauthorized 
under the FAST Act. The authority is codified at 49 U.S.C. 5329(d).

Regulation Identification Number

    A 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 673

    Mass transportation, Safety.

Public Transportation Agency Safety Plan

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

    For the reasons set forth in the preamble, and under the authority 
of 49

[[Page 6368]]

U.S.C. 5329(d), 5334, and the delegations of authority at 49 CFR 1.91, 
FTA hereby proposes to amend Chapter VI of Title 49, Code of Federal 
Regulations by adding part 673 to read as follows:

Title 49--Transportation

PART 673--PUBLIC TRANSPORTATION AGENCY SAFETY PLANS

Subpart A--General
Sec.
673.1 Applicability
673.3 Policy
673.5 Definitions
Subpart B--Safety Plans
673.11 General requirements
673.13 Certification of compliance
673.15 Coordination with metropolitan, statewide, and non-
metropolitan planning processes
Subpart C--Safety Management Systems
673.21 General requirements
673.23 Safety management policy
673.25 Safety Risk Management
673.27 Safety assurance
673.29 Safety promotion
Subpart D--Safety Plan Documentation and Recordkeeping
673.31 Safety plan documentation
673.33 Safety plan records

    Authority: 49 U.S.C. 5329(d), 5334; 49 CFR 1.91.
Subpart A--General


Sec.  673.1  Applicability.

    This part applies to any State, local governmental authority, and 
any other operator of a public transportation system that receives 
Federal financial assistance under 49 U.S.C. Chapter 53.


Sec.  673.3  Policy.

    The Federal Transit Administration (FTA) has adopted the principles 
and methods of Safety Management Systems (SMS) as the basis for 
enhancing the safety of public transportation in the United States. All 
rules, regulations, policies, guidance, best practices, and technical 
assistance administered under FTA's safety authority will, to the 
extent practicable and consistent with legal and other applicable 
requirements, follow the principles and methods of SMS. This part sets 
standards for the Public Transportation Agency Safety Plan, which will 
be responsive to FTA's Public Transportation Safety Program, and 
reflect the specific safety objectives, standards, and priorities of 
each transit agency. Each Public Transportation Agency Safety Plan will 
incorporate SMS principles and methods tailored to the size, 
complexity, and scope of the public transportation system and the 
environment in which it operates.


Sec.  673.5  Definitions.

    As used in this part:
    Accident means an Event that involves any of the following: A loss 
of life; a report of a serious injury to a person; a collision of 
public transportation vehicles; a runaway train; an evacuation for life 
safety reasons; or any derailment of a rail transit vehicle, at any 
location, at any time, whatever the cause.
    Accountable Executive means a single, identifiable person who has 
ultimate responsibility and accountability for the implementation and 
maintenance of the Safety Management System of a public transportation 
agency; responsibility for carrying out the agency's Transit Asset 
Management Plan; and control or direction over the human and capital 
resources needed to develop and maintain both the agency's Public 
Transportation Agency Safety Plan, in accordance with 49 U.S.C. 
5329(d), and the agency's Transit Asset Management Plan in accordance 
with 49 U.S.C. 5326.
    Chief Safety Officer means an adequately trained individual who has 
responsibility for safety and reports directly to a transit agency's 
chief executive officer, general manager, president, or equivalent 
officer. A Chief Safety Officer may not serve in other operational or 
maintenance capacities, unless the Chief Safety Officer is employed by 
a transit agency that is a small public transportation provider as 
defined in this part, or a public transportation provider that does not 
operate a rail fixed guideway public transportation system.
    Equivalent Authority means an entity that carries out duties 
similar to that of a Board of Directors, for a recipient or 
subrecipient of FTA funds under 49 U.S.C. Chapter 53, including 
sufficient authority to review and approve a recipient or 
subrecipient's Public Transportation Agency Safety Plan.
    Event means any Accident, Incident, or Occurrence.
    FTA means the Federal Transit Administration, an operating 
administration within the United States Department of Transportation.
    Hazard means any real or potential condition that can cause injury, 
illness, or death; damage to or loss of the facilities, equipment, 
rolling stock, or infrastructure of a public transportation system; or 
damage to the environment.
    Incident means an event that involves any of the following: a 
personal injury that is not a serious injury; one or more injuries 
requiring medical transport; or damage to facilities, equipment, 
rolling stock, or infrastructure that disrupts the operations of a 
transit agency.
    Investigation means the process of determining the causal and 
contributing factors of an accident, incident, or hazard, for the 
purpose of preventing recurrence and mitigating risk.
    National Public Transportation Safety Plan means the plan to 
improve the safety of all public transportation systems that receive 
Federal financial assistance under 49 U.S.C. Chapter 53.
    Occurrence means an Event without any personal injury in which any 
damage to facilities, equipment, rolling stock, or infrastructure does 
not disrupt the operations of a transit agency.
    Operator of a public transportation system means a provider of 
public transportation as defined under 49 U.S.C. 5302(14), and which 
does not provide service that is closed to the general public and only 
available for a particular clientele.
    Performance criteria means categories of measures indicating the 
level of safe performance within a transit agency.
    Performance target means a specific level of performance for a 
given performance measure over a specified timeframe.
    Public Transportation Agency Safety Plan means the documented 
comprehensive agency safety plan for a transit agency that is required 
by 49 U.S.C. 5329 and this part.
    Rail transit agency means any entity that provides services on a 
rail fixed guideway public transportation system.
    Risk mitigation means a method or methods to eliminate or reduce 
the effects of hazards.
    Safety Assurance means processes within a transit agency's Safety 
Management System that functions to ensure the implementation and 
effectiveness of safety risk mitigation, and to ensure that the transit 
agency meets or exceeds its safety objectives through the collection, 
analysis, and assessment of information.
    Safety Management Policy means a transit agency's documented 
commitment to safety, which defines the transit agency's safety 
objectives and the accountabilities and responsibilities of its 
employees in regard to safety.
    Safety Management System (SMS) means the formal, top-down, 
organization-wide approach to managing safety risk and assuring the 
effectiveness of a transit agency's safety risk mitigation. SMS 
includes systematic procedures, practices, and policies for managing 
risks and hazards.
    Safety Management System (SMS) Executive means a Safety Officer or 
an equivalent.

[[Page 6369]]

    Safety performance target means a Performance Target related to 
safety management activities.
    Safety Promotion means a combination of training and communication 
of safety information to support SMS as applied to the transit agency's 
public transportation system.
    Safety risk means the assessed probability and severity of the 
potential consequence(s) of a hazard, using as reference the worst 
foreseeable, but credible, outcome.
    Safety risk evaluation means the formal activity whereby a transit 
agency determines Safety Risk Management priorities by establishing the 
significance or value of its safety risks.
    Safety Risk Management means a process within a transit agency's 
Safety Management System for identifying hazards and analyzing, 
assessing, and mitigating safety risk.
    Serious injury means any injury which:
    (1) Requires hospitalization for more than 48 hours, commencing 
within 7 days from the date of the injury was received;
    (2) Results in a fracture of any bone (except simple fractures of 
fingers, toes, or noses);
    (3) Causes severe hemorrhages, nerve, muscle, or tendon damage;
    (4) Involves any internal organ; or
    (5) Involves second- or third-degree burns, or any burns affecting 
more than 5 percent of the body surface.
    Small public transportation provider means a recipient or 
subrecipient of Urbanized Area Formula Program funds under 49 U.S.C. 
5307 that has one hundred (100) or fewer vehicles in revenue service 
and does not operate a rail fixed-guideway public transportation 
system.
    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 of Good Repair means the condition in which a capital asset 
is able to operate at a full level of performance.
    State Safety Oversight Agency 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 674.
    Transit agency means an operator of a public transportation system 
that receives Federal financial assistance under 49 U.S.C. Chapter 53.
    Transit Asset Management Plan means a plan developed by a recipient 
or Group Plan pursuant to 49 CFR part 625 that includes, at minimum, 
capital asset inventories and condition assessments, decision support 
tools, and investment prioritization.
Subpart B--Safety Plans


Sec.  673.11  General requirements.

    (a) A transit agency must within one calendar year after 
publication of the final rule, establish a Public Transportation Agency 
Safety Plan that meets the requirements of this part and, at a minimum, 
consists of the following elements:
    (1) The Public Transportation Agency Safety Plan, and subsequent 
updates, must be signed by the Accountable Executive and approved by 
the agency's Board of Directors, or an entity equivalent to a Board of 
Directors.
    (2) The Public Transportation Agency Safety Plan must document the 
processes and activities related to Safety Management System (SMS) 
implementation, as required under Subpart C of this Part.
    (3) The Public Transportation Agency Safety Plan must include 
performance targets based on the safety performance criteria 
established under the National Public Transportation Safety Plan, and 
the state of good repair standards established in the regulations that 
implement the National Transit Asset Management System and are included 
in the National Public Transportation Safety Plan.
    (4) The Public Transportation Agency Safety Plan must address all 
applicable requirements and standards as set forth in FTA's Public 
Transportation Safety Program and the National Public Transportation 
Safety Plan. Compliance with the minimum safety performance standards 
authorized under 49 U.S.C. 5329(b)(2)(C) is not required until 
standards have been established through the rulemaking process.
    (5) Each transit agency must establish a process and timeline for 
conducting an annual review and update of the Public Transportation 
Agency Safety Plan.
    (6) A rail transit agency also must include in its Public 
Transportation Agency Safety Plan an emergency preparedness and 
response plan or procedures that addresses, at a minimum, the 
assignment of employee responsibilities during an emergency; and 
coordination with Federal, State, regional, and local officials with 
roles and responsibilities for emergency preparedness and response in 
the transit agency's service area.
    (b) A transit agency may develop one Public Transportation Agency 
Safety Plan for all modes of service, or may develop a Public 
Transportation Agency Safety Plan for each mode of service not subject 
to safety regulation by another Federal entity.
    (c) A transit agency must maintain its Public Transportation Agency 
Safety Plan in accordance with the recordkeeping requirements in 
subpart D of this part.
    (d) A State must draft and certify a Public Transportation Agency 
Safety Plan on behalf of any transit agency that receives Federal 
financial assistance under 49 U.S.C. 5310, 49 U.S.C. 5311, and any 
small public transportation provider located in that State. A State is 
not required to draft a Public Transportation Agency Safety Plan for a 
particular transit agency that receives Federal financial assistance 
under 49 U.S.C. 5310, 49 U.S.C. 5311, or a small public transportation 
provider, if that agency notifies the State that it will draft its own 
plan. In each instance, the transit agency must carry out the plan. If 
a State drafts and certifies a Public Transportation Agency Safety Plan 
on behalf of a transit agency, and the transit agency later opts to 
draft and certify its own Public Transportation Agency Safety Plan, 
then the transit agency must notify the State. The transit agency has 
one year from the date of the notification to draft and certify a 
Public Transportation Agency Safety Plan that is compliant with this 
part.
    (e) Any rail fixed guideway public transportation system that had a 
System Safety Program Plan compliant with 49 CFR part 659 as of October 
1, 2012, may keep that plan in effect until [one year after the 
effective date of the final rule].
    (f) Agencies that operate passenger ferries regulated by the United 
States Coast Guard (USCG) or commuter rail service regulated by the 
Federal Railroad Administration (FRA) are not required to develop 
agency safety plans for those modes of service.


Sec.  673.13  Certification of compliance.

    (a) Each transit agency, or State as authorized in Sec.  673.11(d), 
must certify that it has established a Public Transportation Agency 
Safety Plan meeting the requirements of this part by [one year after 
the effective date of the final rule]. A State Safety Oversight Agency 
must review and approve a Public Transportation Agency Safety Plan 
developed by rail fixed guideway system, as authorized in 49 U.S.C. 
5329(e) and its implementing regulations at 49 CFR part 674.
    (b) On an annual basis, a transit agency or State must certify its 
compliance with this part.

[[Page 6370]]

Sec.  673.15  Coordination with metropolitan, statewide, and non-
metropolitan planning processes.

    (a) A State or transit agency must make its safety performance 
targets available to States and Metropolitan Planning Organizations to 
aid in the planning process.
    (b) To the maximum extent practicable, a State or transit agency 
must coordinate with States and Metropolitan Planning Organizations in 
the selection of State and MPO safety performance targets.
Subpart C--Safety Management Systems


Sec.  673.21  General requirements.

    Each transit agency must establish and implement a Safety 
Management System under this part. A transit agency Safety Management 
System must be appropriately scaled to the size, scope and complexity 
of transit agency and include the following elements:
    (a) Safety Management Policy as described in Sec.  673.23 of this 
subpart;
    (b) Safety Risk Management as described in Sec.  673.25 of this 
subpart;
    (c) Safety Assurance as described in Sec.  673.27 of this subpart; 
and
    (d) Safety Promotion as described in Sec.  673.29 of this subpart.


Sec.  673.23  Safety management policy.

    (a) A transit agency must establish its organizational 
accountabilities and responsibilities and have a written statement of 
safety management policy that includes the agency's safety objectives 
and safety performance targets.
    (b) A transit agency must establish a process that allows employees 
to report safety conditions to senior management, protections for 
employees who report safety conditions to senior management, and a 
description of employee behaviors that may result in disciplinary 
action.
    (c) The safety management policy must be communicated throughout 
the agency's organization.
    (d) The transit agency must establish the necessary authorities, 
accountabilities, and responsibilities for the management of safety 
amongst the following individuals within its organization, as they 
relate to the development and management of the transit agency's Safety 
Management System (SMS):
    (1) Accountable Executive. The transit agency must identify an 
Accountable Executive. The Accountable Executive is accountable for 
ensuring that the agency's SMS is effectively implemented, throughout 
the agency's public transportation system. The Accountable Executive is 
accountable for ensuring action is taken, as necessary, to address 
substandard performance in the agency's SMS. The Accountable Executive 
may delegate specific responsibilities, but the ultimate accountability 
for the transit agency's safety performance cannot be delegated and 
always rests with the Accountable Executive.
    (2) Chief Safety Officer or Safety Management System (SMS) 
Executive. The Accountable Executive may designate a Chief Safety 
Officer or SMS Executive who may be given authority and responsibility 
for day-to-day implementation and operation of an agency's SMS. The 
Chief Safety Officer or SMS Executive must hold a direct line of 
reporting to the Accountable Executive. A transit agency may allow the 
Accountable Executive to also serve as the Chief Safety Officer or SMS 
Executive.
    (3) Agency leadership and executive management. A transit agency 
must identify those members of its leadership or executive management, 
other than an Accountable Executive, Safety Officer, or SMS Executive, 
who have authorities or responsibilities for day-to-day implementation 
and operation of an agency's SMS.
    (4) Key staff. A transit agency may designate key staff, groups of 
staff, or committees to support the Accountable Executive, Chief Safety 
Officer, or SMS Executive in developing, implementing, and operating 
the agency's SMS.


Sec.  673.25  Safety Risk Management.

    (a) Safety Risk Management process. A transit agency must develop 
and implement a Safety Risk Management process for all elements of its 
public transportation system. The Safety Risk Management process must 
be comprised of the following activities: Identification of safety 
hazards, analysis of safety hazards, safety risk evaluation, and safety 
risk mitigation.
    (b) Safety hazard identification and analysis. (1) A transit agency 
must establish a process for hazard identification and analysis.
    (2) A transit agency must include, as a source for hazard 
identification and analysis, data, and information provided by an 
oversight authority and the FTA.
    (c) Safety risk evaluation and mitigation. (1) A transit agency 
must establish activities to evaluate and prioritize the safety risk 
associated with the potential consequences of safety hazards. Safety 
risks must be evaluated in terms of probability and severity and take 
into account mitigations already in place to reduce the probability or 
severity of the potential consequence(s) analyzed.
    (2) A transit agency must establish criteria for the development of 
safety risk mitigations that are necessary based on the results of the 
agency's safety risk evaluation.


Sec.  673.27  Safety assurance.

    (a) Safety assurance process. A transit agency must develop and 
implement a safety assurance process, consistent with this subpart.
    (b) Safety performance monitoring and measurement. A transit agency 
must establish activities to:
    (1) Monitor its system for compliance with, and sufficiency of, the 
agency's procedures for operations and maintenance;
    (2) Monitor its operations to identify hazards not identified 
through the Safety Risk Management process established in Sec.  673.25 
of this subpart;
    (3) Monitor its operations to identify any safety risk mitigations 
that may be ineffective, inappropriate, or were not implemented as 
intended;
    (4) Investigate safety events to identify causal factors; and
    (5) Monitor information reported through any internal safety 
reporting programs.
    (c) Management of change. (1) A transit agency must establish a 
process for identifying and assessing changes that may introduce new 
hazards or impact the transit agency's safety performance.
    (2) If a transit agency determines that a change may impact its 
safety performance, then the transit agency must evaluate the proposed 
change through its Safety Risk Management process.
    (d) Continuous improvement. (1) A transit agency must establish a 
process to assess its safety performance.
    (2) If a transit agency identifies any deficiencies as part of its 
safety performance assessment, then the transit agency must develop and 
carry out, under the direction of the Accountable Executive, a plan to 
address the identified safety deficiencies.


Sec.  673.29  Safety promotion.

    (a) Competencies and training. A transit agency must establish a 
comprehensive safety training program for all agency employees and 
contractors directly responsible for the management of safety in the 
agency's public transportation system. The training program must 
include refresher training, as necessary.
    (b) Safety communication. A transit agency must communicate safety 
and safety performance information throughout the agency's organization

[[Page 6371]]

that, at a minimum, conveys information on hazards and safety risks 
relevant to employees' roles and responsibilities and informs employees 
of safety actions taken in response to reports submitted through an 
employee safety reporting program.
Subpart D--Safety Plan Documentation and Recordkeeping


Sec.  673.31  Safety plan documentation.

    At all times, a transit agency must maintain documents that set 
forth its Public Transportation Agency Safety Plan, including those 
related to the implementation of its Safety Management System (SMS), 
and results from SMS processes and activities. A transit agency must 
maintain documents that are included in whole, or by reference, that 
describe the programs, policies, and procedures that the agency uses to 
carry out its Public Transportation Agency Safety Plan. These documents 
must be made available upon request by the Federal Transit 
Administration or other Federal entity, or a State Safety Oversight 
Agency having jurisdiction. A transit agency must maintain these 
documents for a minimum of three years.


Sec.  673.33  Safety plan records.

    In addition to any documents or records required elsewhere in this 
part, a transit agency must maintain records of the following items:
    (a) Safety risk mitigations developed in accordance with Sec.  
673.25;
    (b) Results from the transit agency's safety performance 
assessments as required under Sec.  673.27; and
    (c) Employee safety training taken for purposes of compliance with 
this part and the Public Transportation Agency Safety Training 
Certification Program.

[FR Doc. 2016-02017 Filed 2-4-16; 8:45 am]
BILLING CODE 4910-57-P



                                                                                                          Vol. 81                           Friday,
                                                                                                          No. 24                            February 5, 2016




                                                                                                          Part II


                                                                                                          Department of Transportation
                                                                                                          Federal Transit Administration
                                                                                                          49 CFR Part 673
                                                                                                          Public Transportation Agency Safety Plan; National Public Transportation
                                                                                                          Safety Plan; Availability; Proposed Rule and Notice
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                                                     6344                     Federal Register / Vol. 81, No. 24 / Friday, February 5, 2016 / Proposed Rules

                                                     DEPARTMENT OF TRANSPORTATION                               • U.S. Mail: Send comments to                         B. Statutory Authority
                                                                                                             Docket Operations, U.S. Department of                    C. Summary of Major Provisions
                                                     Federal Transit Administration                          Transportation, 1200 New Jersey                          D. Costs and Benefits (Table)
                                                                                                                                                                   II. Background
                                                                                                             Avenue SE., West Building Room W12–                      A. History
                                                     49 CFR Part 673                                         140, Washington, DC 20590–0001.                          B. General Requirements
                                                     [Docket No. FTA–2015–0021]                                 • Hand Delivery or Courier: Take                      C. The Safety Management Systems (SMS)
                                                                                                             comments to Docket Operations in                            Approach
                                                     RIN 2132–AB23                                           Room W12–140 of the West Building,                       D. The Role of the Accountable Executive
                                                                                                             Ground Floor, at 1200 New Jersey                            With Public Transportation Agency
                                                     Public Transportation Agency Safety                     Avenue SE., Washington, DC, between                         Safety Plans and Transit Asset
                                                     Plan                                                    9:00 a.m. and 5:00 p.m., Monday                             Management Plans
                                                                                                                                                                   III. Advance Notice of Proposed Rulemaking
                                                     AGENCY: Federal Transit Administration                  through Friday, except Federal holidays.                    and Response to Relevant Comments
                                                     (FTA), DOT.                                                • Fax: Fax comments to Docket                         A. Scope and Applicability of Public
                                                     ACTION: Notice of Proposed Rulemaking                   Operations, U.S. Department of                              Transportation Agency Safety Plans
                                                     (NPRM): request for comments.                           Transportation, at (202) 493–2251.                       B. Safety Management Systems
                                                                                                                Instructions: You must include the                    C. Public Transportation Agency Safety
                                                     SUMMARY:   The Federal Transit                          agency name (Federal Transit                                Plan Development, Certification, and
                                                     Administration (FTA) is proposing                       Administration) and Docket Number                           Oversight
                                                     requirements for Public Transportation                                                                           D. Role of the Board of Directors (or
                                                                                                             (FTA–2015–0021 for this notice or
                                                     Agency Safety Plans as authorized by                                                                                Equivalent Authority) and the Chief
                                                                                                             Regulation Identifier Number (RIN)                          Safety Officer
                                                     Section 20021 of the Moving Ahead for                   2132–AB23), at the beginning of your                     E. Coordination of Public Transportation
                                                     Progress in the 21st Century Act (MAP–                  comments. If sent by mail, submit two                       Agency Safety Plan With Other MAP–21
                                                     21). This proposed rule would require                   copies of your comments. Due to                             Programs and Plans
                                                     operators of public transportation                      security procedures in effect since                   IV. Section-by-Section Analysis
                                                     systems that receive Federal financial                  October 2001, mail received through the               V. Regulatory Analyses and Notices
                                                     assistance under 49 U.S.C. Chapter 53 to                U.S. Postal Service may be subject to                 I. Executive Summary
                                                     develop and implement Public                            delays. Parties submitting comments
                                                     Transportation Agency Safety Plans                      should consider using an express mail                 A. Purpose of Regulatory Action
                                                     based on the Safety Management System                   firm to ensure the prompt filing of any                  The public transportation industry
                                                     approach. Development and                               submissions not filed electronically or               remains among the safest surface
                                                     implementation of agency safety plans                   by hand. If you wish to receive                       transportation modes in terms of total
                                                     will help ensure that public                            confirmation that FTA received your                   reported safety events, fatalities, and
                                                     transportation systems are safe                         comments, you must include a self-                    injuries.1 Nonetheless, given the
                                                     nationwide. FTA seeks public                            addressed stamped postcard. All                       complexity of public transportation
                                                     comments on all aspects of this                         comments received will be posted                      service, the condition and performance
                                                     proposed rule, including information                    without change to http://                             of transit equipment and facilities,
                                                     related to its benefits and costs, as well              www.regulations.gov, including any                    turnover in the transit workforce, and
                                                     as alternative approaches that may more                 personal information provided. Anyone                 the quality of procedures, training, and
                                                     cost-effectively satisfy the statutory                  is able to search the electronic form for             supervision, the public transportation
                                                     requirements and help ensure the safety                 all comments received into any of our                 industry remains vulnerable to
                                                     of the nation’s public transportation                   dockets by the name of the individual                 catastrophic accidents.
                                                     system.                                                 submitting the comment (or signing the                   This Notice of Proposed Rulemaking
                                                     DATES: Comments must be received by                     comment, if submitted on behalf of an                 (NPRM) proposes requirements for
                                                     April 5, 2016. Any comments filed after                 association, business, labor union, etc.).            Public Transportation Agency Safety
                                                     this deadline will be considered to the                 You may review the United States                      Plans that would carry out explicit
                                                     extent practicable.                                     Department of Transportation’s (DOT)                  statutory mandates in the Moving
                                                        FTA will hold webinars to explain the                Privacy Act system of records notice for              Ahead for Progress in the 21st Century
                                                     proposed rule. Interested stakeholders                  the DOT Federal Docket Management                     Act (Pub. L. 112–141; July 6, 2012)
                                                     should check FTA’s Web site for days                    System (FDMS) in the Federal Register                 (MAP–21), which recently was
                                                     and times of webinars: http://www.fta.                  published on December 29, 2010 (75 FR                 reauthorized by the Fixing America’s
                                                     dot.gov/calendar.html. Additionally,                    82132) at http://www.gpo.gov/fdsys/                   Surface Transportation Act (Pub. L.
                                                     FTA will hold a listening session on                    pkg/FR-2010-12-29/pdf/2010-32876.pdf.                 114–94; December 4, 2015) and codified
                                                     Wednesday, March 16, 2016, in                           FOR FURTHER INFORMATION CONTACT: For                  at 49 U.S.C. 5329(d), to strengthen the
                                                     conjunction with the American Public                    program matters, contact Brian Alberts,               safety of public transportation systems
                                                     Transportation Association’s Legislative                Office of Transit Safety and Oversight,               that receive Federal financial assistance
                                                     Conference. The listening session will                  (202) 366–1783 or Brian.Alberts@                      under Chapter 53. This NPRM proposes
                                                     be held at the JW Marriott, 1331                        dot.gov. For legal matters, contact                   requirements for the adoption of Safety
                                                     Pennsylvania Avenue NW., Washington,                    Michael Culotta, Office of Chief                      Management Systems (SMS) principles
                                                     DC 20004 at 9:30 a.m.                                   Counsel, (212) 668–2178 or                            and methods; the development,
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                                                     ADDRESSES: Please submit your                           Michael.Culotta@dot.gov.
                                                                                                                                                                      1 See United States Department of Transportation,
                                                     comments by only one of the following                      Office hours are from 8:30 a.m. to 5:00
                                                                                                                                                                   Bureau of Transportation Statistics, ‘‘Table 2–1:
                                                     methods, identifying your submission                    p.m., Monday through Friday, except                   Transportation Fatalities by Mode 1960–2013,’’ at
                                                     by Docket Number (FTA–2015–0021) or                     Federal holidays.                                     http://www.rita.dot.gov/bts/sites/rita.dot.gov.bts/
                                                     Regulatory Identification Number (RIN)                  SUPPLEMENTARY INFORMATION:                            files/publications/national_transportation_
                                                     (2132–AB23).                                                                                                  statistics/html/table_02_01.html_mfd; and ‘‘Table
                                                        • Federal eRulemaking Portal:                        Table of Contents                                     1–40: U.S. Passenger Miles (Millions) 1960–2013,’’
                                                                                                                                                                   at http://www.rita.dot.gov/bts/sites/rita.dot.gov.bts/
                                                     Submit electronic comments and other                    I. Executive Summary                                  files/publications/national_transportation_
                                                     data to http://www.regulations.gov.                        A. Purpose of Regulatory Action                    statistics/html/table_01_40.html.



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                                                                              Federal Register / Vol. 81, No. 24 / Friday, February 5, 2016 / Proposed Rules                                          6345

                                                     certification, and update of Public                     drafted or certified by the State in which            Metropolitan Planning Organizations to
                                                     Transportation Agency Safety Plans;                     they operate.                                         aid in the planning process, and to the
                                                     and the coordination of Public                            At a minimum, and consistent with                   maximum extent practicable, a State or
                                                     Transportation Agency Safety Plan                       49 U.S.C. 5329(d), FTA proposes that                  transit agency would be required to
                                                     elements with other FTA programs and                    each Public Transportation Agency                     coordinate with States and Metropolitan
                                                     proposed rules, as specified in 49 U.S.C.               Safety Plan must:                                     Planning Organizations in the selection
                                                     5329.                                                     • Include a Safety Management                       of State and MPO safety performance
                                                                                                             System consisting of four main pillars:               targets. 49 CFR 673.15.
                                                     B. Statutory Authority                                  (1) Safety Management Policy, (2) Safety                 On an annual basis, a transit agency
                                                       In Section 20021 of MAP–21,                           Risk Management, (3) Safety Assurance,                or State would be required to certify its
                                                     Congress directed FTA to establish a                    and (4) Safety Promotion, as discussed                compliance with this rule. 49 CFR
                                                     comprehensive Public Transportation                     in more detail below (49 CFR                          673.13.
                                                     Safety Program, one element of which is                 673.11(a)(2));
                                                     the requirement for Public                                • Include performance targets based                 D. Costs and Benefits (Table)
                                                     Transportation Agency Safety Plans.                     on the safety performance criteria                       FTA has determined that this
                                                     Pursuant to 49 U.S.C. 5329(d), FTA                      established under the National Public                 proposed rule likely is ‘‘economically
                                                     must issue a final rule requiring                       Transportation Safety Plan, and the state             significant’’ under Executive Order
                                                     operators of public transportation                      of good repair standards established in               12866, in that it may lead to transit
                                                     systems that receive financial assistance               the regulations that implement the                    agencies making investment and
                                                     under Chapter 53 to develop and certify                 National Transit Asset Management                     prioritization decisions related to
                                                     Public Transportation Agency Safety                     System and are included in the National               mitigation of safety risks that would
                                                     Plans. FTA also is required to issue a                  Public Transportation Safety Plan (49                 result in economic impacts that could
                                                     rule designating certain Urbanized Area                 CFR 673.11(a)(3));                                    exceed $100 million in a year. However,
                                                     Formula Program recipients under 49                       • Address all applicable requirements               as discussed in greater detail below,
                                                     U.S.C. 5307 that may have their Public                  and standards as set forth in FTA’s                   FTA was unable to quantify the
                                                     Transportation Agency Safety Plans                      Public Transportation Safety Program                  potential impacts of this rule beyond the
                                                     drafted or certified by a State. 49 U.S.C.              and National Public Transportation                    costs for transit agencies to develop and
                                                     5329(d)(3)(B). Further, FTA must allow                  Safety Plan (49 CFR 673.11(a)(4)); and                implement Public Transportation
                                                     States to draft and certify Public                        • Establish a process and timeline for              Agency Safety Plans. FTA was able to
                                                     Transportation Agency Safety Plans for                  conducting an annual review and                       estimate costs of approximately $86
                                                     Rural Area Formula Program recipients                   update of the Public Transportation                   million in the first year, and $70 million
                                                     and subrecipients under 49 U.S.C. 5311.                 Agency Safety Plan (49 CFR                            per year thereafter. These costs result
                                                     49 U.S.C. 5329(d)(3)(A).                                673.11(a)(5)).                                        from developing and certifying safety
                                                                                                               FTA proposes that each rail transit                 plans, documenting the SMS approach,
                                                     C. Summary of Major Provisions                          agency must include in its Public                     implementing SMS, and associated
                                                        The proposed rule would add a new                    Transportation Agency Safety Plan an                  recordkeeping. The estimated costs do
                                                     Part 673, ‘‘Public Transportation Agency                emergency preparedness and response                   not include the costs of actions that
                                                     Safety Plans,’’ to Title 49 of the Code of              plan, as historically required by FTA                 transit agencies would be required to
                                                     Federal Regulations. The rule would                     under its State Safety Oversight Rule at              take to mitigate risk as a result of
                                                     implement the requirements of 49                        49 CFR part 659. 49 CFR 673.11(a)(6).                 implementing this rule, such as vehicle
                                                     U.S.C. 5329(d).                                           A transit agency would be able to                   modifications, additional training,
                                                        One year after FTA issues a final rule               develop one Public Transportation                     technology investments, or changes to
                                                     to carry out Section 5329(d), each State,               Agency Safety Plan for all modes of                   operating procedures. The annualized
                                                     local governmental authority, and other                 service, or it may develop a Public                   cost of proposed requirements is
                                                     operator of a public transportation                     Transportation Agency Safety Plan for                 estimated to be approximately $71
                                                     system that receives Federal financial                  each mode of service not subject to                   million.
                                                     assistance under 49 U.S.C. Chapter 53,                  safety regulation by another Federal                     FTA could not estimate the benefits of
                                                     must certify that it has established and                entity. 49 CFR 673.11(b). A transit                   the proposed rule. To estimate safety
                                                     implemented a comprehensive Public                      agency would be required to maintain                  benefits, one would need to understand
                                                     Transportation Agency Safety Plan. 49                   records associated with its Public                    the exact causes of the accidents and the
                                                     U.S.C. 5329(d)(1). FTA proposes that                    Transportation Agency Safety Plan. 49                 factors that may cause future accidents.
                                                     large transit providers that are direct                 CFR 673 subpart D. Any rail fixed                     This information is generally unknown
                                                     recipients of Section 5307 funds would                  guideway public transportation system                 in this sector, given the infrequency and
                                                     develop their own plans, have the plans                 that had a System Safety Program Plan                 diversity of the type of safety incidents
                                                     approved by their Boards of Directors                   compliant with 49 CFR part 659 as of                  that occur. In addition, one would need
                                                     (or equivalent authority), and certify to               October 1, 2012, would be able to keep                information about the safety problems
                                                     FTA that those plans are in place. FTA                  that plan in effect until one year after              that agencies are likely to find through
                                                     also proposes that transit providers                    the effective date of the final rule. 49              implementation of their safety plans and
                                                     which receive funds under the                           CFR 673.11(e). Agencies that operate                  the actions agencies are likely to take to
                                                     Enhanced Mobility of Seniors and                        passenger ferries regulated by the                    address those problems. Instead, FTA
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                                                     Individuals with Disabilities Program                   United States Coast Guard (USCG) or                   conducted a breakeven analysis that
                                                     authorized by 49 U.S.C. 5310 (which                     commuter rail service regulated by the                compares the estimated costs (absent the
                                                     tend to be much smaller transit                         Federal Railroad Administration (FRA)                 cost of mitigations beyond those
                                                     providers) and transit providers that                   would not be required to develop                      specifically required by the rule such as
                                                     receive funds under the Rural Area                      agency safety plans for those modes of                training) to a pool of potential safety
                                                     Formula Program authorized by 49                        service. 49 CFR 673.11(f).                            benefits. The pool of potential safety
                                                     U.S.C. 5311, as well as small public                      A State or transit agency would be                  benefits is an estimate of the cost of all
                                                     transportation providers as defined in                  required to make its safety performance               bus and rail incidents over a future 20-
                                                     this NPRM, may have their plans                         targets available to States and                       year period. The estimate is an


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                                                     6346                         Federal Register / Vol. 81, No. 24 / Friday, February 5, 2016 / Proposed Rules

                                                     extrapolation of the total cost of bus and                      mitigating actions, but expects they are                                could be achieved in concert with other
                                                     rail incidents that occurred from 2010 to                       unlikely to be large. Estimated costs for                               mitigating actions.
                                                     2014.                                                           agencies’ safety plans include certain                                    This analysis assumes that benefits
                                                       As Table 1 below shows, the amount                            activities that could yield safety                                      are realized from reducing both rail and
                                                     of incident reduction needed to                                 improvements, such as improved                                          bus incidents after adjusting for the
                                                     breakeven with estimated costs is low.                          communication, identification of                                        estimated breakeven threshold for the
                                                     However, benefits of SMS will primarily                         hazards, and greater employee                                           proposed State Safety Oversight and
                                                     result from mitigating actions, which are                       awareness. It is plausible that these                                   Safety Training Rules (RINs 2132–AB19
                                                     largely not accounted for in this                               activities alone could produce accident                                 and 2132–AB25 respectively), to which
                                                     analysis. FTA has not estimated the                             reductions that surpass the breakeven                                   the rail agencies also will be subject
                                                     benefits of implementing SMS without                            level, though even greater reductions                                   when finalized.

                                                                                                              TABLE 1—SUMMARY OF BREAKEVEN ANALYSIS 2
                                                                                                                                              Current dollar value                     7% Discounted value                  3% Discounted value

                                                     Bus Incidents (20-Year Estimate) ..............................................      $86,999,489,120 ............               $40,894,178,605 ............          $58,084,884,054.
                                                     Rail Incidents (20-Year Estimate) ..............................................     $37,680,410,444 ............               $17,711,706,703 ............          $25,157,185,334.
                                                     Total Pool of Benefits (20-Year Estimate) .................................          $124,679,899,564 ..........                $58,605,885,309 ............          $83,242,069,388.
                                                     Estimated Costs (20-Year Estimate) ..........................................        $1,407,680,883 ..............              $752,319,890 .................        $1,050,876,643.
                                                     Benefits and Costs of Mitigating Actions ...................................         Not Estimated ................             Not Estimated ................        Not Estimated.
                                                     Estimated Cost (Annualized) ......................................................   ........................................   $71,013,675 ...................       $70,635,417.
                                                     Breakeven Threshold Including Bus and Rail ............................              ........................................   1.28% .............................   1.26%.



                                                     II. Background                                                  5326. FTA is addressing the National                                    in establishing processes and activities
                                                        On July 6, 2012,the President signed                         Public Transportation Safety Plan, the                                  to address safety risks within their
                                                     into law MAP–21 (Pub. L. 112–141).                              Safety Certification Training Program,                                  agencies in a scalable manner.
                                                     MAP–21 authorized a number of                                   and the Transit Asset Management                                           Until FTA issues a final rule to carry
                                                     fundamental changes to the Federal                              System through separate rulemakings                                     out Section 5329(d), existing system
                                                     transit programs at 49 U.S.C. Chapter                           and guidance documents. Each of these                                   safety and security program plans
                                                     53. This NPRM addresses the Public                              programs will contribute to the                                         required of rail fixed guideway systems
                                                     Transportation Agency Safety Plan                               establishment of a comprehensive                                        under 49 CFR part 659 will remain in
                                                     within the Public Transportation Safety                         framework that will help to ensure                                      effect. 49 U.S.C. 5329(d)(2). Within one
                                                     Program authorized under 49 U.S.C.                              public transportation systems are safe                                  year of the Public Transportation
                                                     5329.                                                           nationwide.                                                             Agency Safety Plan final rule’s effective
                                                        The Public Transportation Safety                                In most instances, the requirements of                               date, all operators of public
                                                     Program consists of several key                                 the Public Transportation Agency Safety                                 transportation systems that receive
                                                     elements: the National Public                                   Plans will apply to each recipient and                                  Chapter 53 funds would be required to
                                                     Transportation Safety Plan, authorized                          subrecipient of FTA funding, regardless                                 draft and certify their Public
                                                     by 49 U.S.C. 5329(b); the Public                                of the mode(s) of transit provided.                                     Transportation Agency Safety Plans,
                                                     Transportation Safety Certification                             However, two provisions limit FTA’s                                     unless a State is otherwise required to
                                                     Training Program, authorized by 49                              regulatory jurisdiction. First, FTA is                                  do so on behalf of the public
                                                     U.S.C. 5329(c); the Public                                      prohibited from establishing safety                                     transportation provider, in which case,
                                                     Transportation Agency Safety Plans,                             performance standards for rolling stock                                 the State also would have one year after
                                                     authorized by 49 U.S.C. 5329(d); and the                        that is already regulated by another                                    the rule’s effective date to draft and
                                                     State Safety Oversight Program,                                 Federal agency. 49 U.S.C.                                               certify its Public Transportation Agency
                                                     authorized by 49 U.S.C. 5329(e). FTA                            5329(b)(2)(C)(i). Second, the                                           Safety Plans. Public transportation
                                                     will issue rules and guidance to carry                          requirements of the Public                                              providers that operate multiple modes
                                                     out all of these plans and programs                             Transportation Agency Safety Plans will                                 of transit service would have the option
                                                     under the rulemaking authority of 49                            not apply to rail transit systems to the                                of preparing separate Public
                                                     U.S.C. 5329 and 5334(a)(11).                                    extent that they are already subject to                                 Transportation Agency Safety Plans for
                                                        On October 3, 2013, FTA issued an                            regulation by FRA. 49 U.S.C. 5329(e)(1)                                 each mode, or preparing one Public
                                                     Advance Notice of Proposed                                      and (e)(2). Further, to the extent that any                             Transportation Agency Safety Plan for
                                                     Rulemaking (ANPRM) for the National                             other Federal agency already regulates                                  all modes operated by the provider. If
                                                     Public Transportation Safety Plan, the                          the safety of a particular mode of public                               separate safety plans are developed for
                                                     Safety Certification Training Program,                          transportation, FTA does not intend to                                  multiple modes under FTA’s
                                                     and the Public Transportation Agency                            publish duplicative, inconsistent, or                                   jurisdiction, each Public Transportation
                                                     Safety Plans. 78 FR 61251. Through the                          conflicting regulations.                                                Agency Safety Plan (for example, one
                                                     ANPRM, FTA also sought public                                      Today’s proposed rule for establishing                               for bus service and one for rail transit
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                                                     comment on transit asset management,                            and certifying Public Transportation                                    service) must comply with the final
                                                     given FTA’s statutory directive to                              Agency Safety Plans takes into account                                  rule.
                                                     develop and implement a Transit Asset                           the size, complexity, and operating
                                                     Management System under 49 U.S.C.                                                                                                       A. History
                                                                                                                     environments of applicable recipients.
                                                                                                                     FTA proposes the incorporation of SMS                                      Prior to MAP–21, FTA’s authority to
                                                       2 The costs in this table and the breakeven                   principles and methods to support                                       require safety plans was limited to rail
                                                     threshold do not account for actions by agencies to
                                                     mitigate or eliminate safety risks identified through
                                                                                                                     Public Transportation Agency Safety                                     transit agencies subject to FTA’s State
                                                     implementation of their safety plans (beyond those              Plan development and implementation.                                    Safety Oversight Rule. Under existing 49
                                                     specifically required by the rule, such as training).           SMS provides transit agencies flexibility                               CFR part 659, any State that has a rail


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                                                                              Federal Register / Vol. 81, No. 24 / Friday, February 5, 2016 / Proposed Rules                                                      6347

                                                     fixed guideway system not subject to                    FTA is proposing that the State must                     remains. In recent years, there have
                                                     FRA regulation is required to establish                 draft and certify Public Transportation                  been several major transit accidents that
                                                     a state safety oversight agency, and each               Agency Safety Plans for operators of                     resulted in fatalities, injuries, and
                                                     state safety oversight agency must                      public transportation that receive funds                 significant property damage. From 2004
                                                     require each rail fixed guideway system                 under 49 U.S.C. 5310 (Section 5310), in                  to 2013, the National Transportation
                                                     within its jurisdiction to develop a                    an effort to alleviate the regulatory,                   Safety Board (NTSB) reported on nine
                                                     system safety and a system security                     administrative, and financial burdens                    transit accidents that, collectively,
                                                     program plan. These plans are reviewed                  on the small recipients in this program.                 resulted in 15 fatalities, 297 injuries,
                                                     and approved by state safety oversight                  FTA proposes that a Section 5310,                        and over $30 million in property
                                                     agencies. 49 CFR 659.17. MAP–21                         Section 5311, or small public                            damages. During that same period,
                                                     authorized significant changes to FTA’s                 transportation provider may opt to draft                 transit agencies reported over 40,000
                                                     State Safety Oversight Program, and                     and certify their own plan. Today’s                      incidents, approximately 2,000
                                                     FTA is undergoing a rulemaking to                       proposed rule helps advance the                          fatalities, and over 76,000 injuries to
                                                     effectuate those changes. The history of                regulatory steps taken by FTA and                        FTA’s National Transit Database.4
                                                     49 CFR part 659, and its relationship to                States previously and the voluntary                         The NTSB has investigated a number
                                                     the Public Transportation Safety                        efforts taken by industry associations,                  of these accidents and has issued
                                                     Program and today’s notice, can be                      States, and transit providers to improve                 reports identifying the probable causes
                                                     viewed in the NPRM for 49 CFR part                      transit safety.                                          and contributing factors, including
                                                     674, which is the proposed new location                                                                          deficiencies in the training and
                                                     for the State Safety Oversight Rule in                  B. General Requirements
                                                                                                                                                                      supervision of employees; 5 deficiencies
                                                     the Code of Federal Regulations. See 80                    Pursuant to 49 U. S.C. 5329(d)(1),                    in the maintenance of equipment and
                                                     FR 11002, Feb. 27, 2015 (http://www.                    each Public Transportation Agency                        infrastructure; 6 and deficiencies in
                                                     gpo.gov/fdsys/pkg/FR-2015-02-27/pdf/                    Safety Plan must include, at minimum:                    safety management and oversight, such
                                                     2015-03841.pdf).                                           • A requirement that the board of                     as weaknesses in transit agencies’ safety
                                                        In addition to requiring safety and                  directors, or equivalent entity, approve                 rules and procedures,7 lack of safety
                                                     security plans for rail fixed guideway                  the plan and any updates;                                cultures within transit agencies,8 and
                                                     systems, FTA established and currently                     • Methods for identifying and                         lack of adequate oversight by State and
                                                     manages a voluntary Bus Safety Program                  evaluating safety risks throughout all                   Federal agencies.9 The deficiencies
                                                     that has encouraged bus transit agencies                elements of the recipient’s public                       identified by NTSB will continue to
                                                     to develop system safety program plans                  transportation system;                                   plague the transit industry as
                                                     to implement safety program activities.                    • Strategies to minimize the exposure                 infrastructure ages, skilled employees
                                                     The voluntary program has been very                     of the public, personnel, and property to                retire, and transit agencies continue to
                                                     well received and has promoted                          hazards and unsafe conditions;                           endure financial stresses. Through
                                                     coordination among FTA, the                                • A process and timeline for                          implementation of the Public
                                                     Community Transportation Association                    conducting an annual review and                          Transportation Safety Program,
                                                     of America (CTAA), and the American                     update of the plan;                                      including today’s Public Transportation
                                                     Public Transportation Association                          • Performance targets based on the
                                                                                                                                                                      Agency Safety Plan proposed
                                                     (APTA) to provide technical assistance                  safety performance criteria and state of
                                                                                                                                                                      rulemaking, FTA’s goal is to address
                                                     to bus transit agencies to support system               good repair standards set out in the
                                                                                                                                                                      these deficiencies and improve the
                                                     safety program plan development and                     National Public Transportation Safety
                                                                                                                                                                      safety of public transportation.
                                                     implementation. Through FTA’s Bus                       Plan;
                                                     Safety Program, more States have                           • Assignment of an adequately                            4 National Transit Database, Major-Only Time
                                                     recommended that their bus transit                      trained Safety Officer who reports                       Series, http://www.ntdprogram.gov/ntdprogram/
                                                     agencies develop safety plans using                     directly to the general manager,                         data.htm.
                                                     templates provided by FTA through its                   president, or equivalent officer of the                     5 For example, the National Transportation Safety

                                                     safety Web site. In addition, a number                  recipient; and                                           Board (NTSB) issued Safety Recommendation R–
                                                     of States require both rail and bus                        • A comprehensive staff training                      15–010 for the Washington Metropolitan Area
                                                                                                                                                                      Transit Authority’s (WMATA) Metrorail incident on
                                                     transit agencies to develop system safety               program for operations personnel and                     January 12, 2015, and NTSB issued Safety
                                                     program plans.                                          personnel directly responsible for safety                Recommendations R–15–20 and R–15–021 for the
                                                        The aforementioned efforts                           that includes the completion of a safety                 Chicago Transit Authority’s (CTA) incident on
                                                     demonstrate that many transit agencies                  training program and continuing safety                   March 24, 2015. NTSB’s reports for these
                                                                                                                                                                      recommendations are pending.
                                                     embrace the concept and benefits of                     education and training.                                     6 NTSB issued Safety Recommendation R–15–008
                                                     developing safety plans in order to                                                                              for the WMATA Metrorail incident on January 12,
                                                     document their safety program                           C. The Safety Management Systems
                                                                                                                                                                      2015; NTSB’s report for this incident is pending.
                                                     activities, as well as ensure commitment                (SMS) Approach                                           NTSB also issued several Safety Recommendations
                                                     from agency executives who often                           Public transportation is one of the                   in Report RAR–10/02.
                                                                                                                                                                         7 NTSB issued Safety Recommendations R–15–
                                                     review and sign the safety plan or policy               safest modes of travel.3 However, public
                                                                                                                                                                      009 and R–15–011 for the WMATA Metrorail
                                                     statement.                                              transportation incidents occur, and the                  incident on January 12, 2015; NTSB’s report for
                                                        Pursuant to 49 U.S.C. 5329(d), Public                potential for catastrophic events                        these recommendations is pending. NTSB also
                                                     Transportation Agency Safety Plans                                                                               issued several Safety Recommendations in Reports
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                                                     must be drafted and certified by each                      3 See United States Department of Transportation,     RAB–15–02, RAR–12/04, and RAR–10/02.
                                                                                                                                                                         8 NTSB cited safety culture concerns in Reports
                                                     transit agency regardless of mode, with                 Bureau of Transportation Statistics, ‘‘Table 2–1:
                                                                                                             Transportation Fatalities by Mode 1960–2013,’’           SIR–14/03 and RAR–07/02.
                                                     the exception of transit providers that                 available at http://www.rita.dot.gov/bts/sites/             9 NTSB issued Safety Recommendation R–15–007
                                                     receive funds under 49 U.S.C. 5311                      rita.dot.gov.bts/files/publications/national_            for the WMATA Metrorail incident on January 12,
                                                     (Section 5311) and small public                         transportation_statistics/html/table_02_01.html_         2015, and Safety Recommendations R–15–018 and
                                                     transportation providers as defined in                  mfd; and ‘‘Table 1–40: U.S. Passenger Miles              R–15–019 for the CTA incident on March 24, 2015.
                                                                                                             (Millions) 1960–2013,’’ available at http://www.rita.    NTSB’s reports for these recommendations are
                                                     this NPRM, which may have their plans                   dot.gov/bts/sites/rita.dot.gov.bts/files/publications/   pending. NTSB also issued several safety
                                                     drafted and certified by the State. In                  national_transportation_statistics/html/table_01_        recommendations in Reports RAR–12/04, RAR–11/
                                                     addition to this statutory requirement,                 40.html.                                                 01, and RAR–10/02.



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                                                     6348                     Federal Register / Vol. 81, No. 24 / Friday, February 5, 2016 / Proposed Rules

                                                        In order to advance a comprehensive                  condition—there always will be hazards                  operations, and to maintenance. SMS
                                                     approach to safety decision-making,                     and risks in public transportation.                     builds on the public transportation
                                                     FTA is proposing to adopt an SMS                        However, an approach of primarily                       industry’s three decades of experience
                                                     approach to developing and                              reacting to accidents and incidents by                  with system safety by bringing
                                                     implementing the Public Transportation                  prescribing measures to prevent                         management processes, integrated data
                                                     Safety Program, and specifically the                    recurrence alone will not contribute to                 analysis, and organizational culture
                                                     Public Transportation Agency Safety                     sustaining and improving public                         more squarely into the industry’s overall
                                                     Plans. Following a recommendation                       transportation safety.                                  risk management framework. SMS is a
                                                     from FTA’s designated Federal Advisory                     Modern SMS practices that                            management approach that provides
                                                     Committee—the Transit Advisory                          systematically and proactively identify                 processes that ensure each public
                                                     Committee for Safety (TRACS) 10—on                      the factors that contribute to unsafe                   transportation agency, no matter its size
                                                     May 13, 2013, the FTA Administrator                     events, and prevent or minimize the                     or service environment, has the
                                                     issued a Dear Colleague Letter 11 and                   likelihood of their occurrence, have                    necessary organizational structures,
                                                     answers to Frequently Asked Questions                   proven effective in other transportation                accountabilities, policies, and
                                                     (FAQs) 12 to the transit industry stating               sectors. Such practices call for setting                procedures in place to direct and
                                                     FTA’s intention to adopt the SMS                        safety goals and objectives, defining                   control resources to manage safety
                                                     approach as the basis for its initiatives               clear levels of accountability and                      optimally. When fully applied, the SMS
                                                     to improve the safety of public                         responsibility for safety, establishing                 approach provides a set of decision-
                                                     transportation. This NPRM seeks                         proactive approaches to identifying                     making tools that allow transit agencies
                                                                                                             hazards and managing safety risks in                    to prioritize safety when making
                                                     comment on proposed SMS processes
                                                                                                             day-to-day activities, establishing safety
                                                     and activities and their documentation                                                                          informed operating and capital
                                                                                                             risk-based resource allocation,
                                                     in the Public Transportation Agency                                                                             investment decisions.
                                                                                                             monitoring and evaluating performance
                                                     Safety Plans. This NPRM also seeks                                                                                 SMS is comprised of four essential
                                                                                                             towards goals, and continuous learning
                                                     public comments on alternatives to                                                                              components: (1) Safety Management
                                                                                                             and improvement. SMS is a significant
                                                     requiring adoption of SMS, such as                      improvement over more ‘‘reactive’’                      Policy, (2) Safety Risk Management, (3)
                                                     promoting adoption of SMS through                       safety activities, which tend to focus on               Safety Assurance, and (4) Safety
                                                     guidance or technical assistance (while                 discovering and mitigating the cause of                 Promotion. Each of these components,
                                                     also promulgating regulations that                      an accident only after that accident has                or ‘‘pillars,’’ is consistent with 49 U.S.C.
                                                     satisfy the statutory requirements of 49                occurred.                                               5329(d). The table below illustrates the
                                                     U.S.C. 5329(d)).                                           SMS integrates safety into all aspects               connection between each of the
                                                        Safety management is based on the                    of a transit system’s activities, from                  statutory requirements for safety plans
                                                     fact that safety is not an absolute                     planning to design, to construction, to                 and the pillars of SMS.

                                                          TABLE 2—CROSSWALK BETWEEN THE STATUTORY REQUIREMENTS FOR SAFETY PLANS AND THE PILLARS OF SMS
                                                            Statutory provision                                            Safety plan must include:                                              SMS Pillar

                                                     49 U.S.C. 5329(d)(1)(A) ..........    ‘‘a requirement that the board of directors (or equivalent entity) of the recipient           Safety Management Policy.
                                                                                              approve the agency safety plan and any updates to the agency safety plan’’.
                                                     49 U.S.C. 5329(d)(1)(B) ..........    ‘‘methods for identifying and evaluating safety risks throughout all elements of the          Safety Risk Management.
                                                                                              public transportation system of the recipient’’.
                                                     49 U.S.C. 5329(d)(1)(C) .........     ‘‘strategies to minimize exposure of the public, personnel, and property to haz-              Safety Risk Management.
                                                                                              ards and unsafe conditions’’.
                                                     49 U.S.C. 5329(d)(1)(D) .........     ‘‘a process and timeline for conducting an annual review and update of the safety             Safety Assurance.
                                                                                              plan of the recipient’’.
                                                     49 U.S.C. 5329(d)(1)(E) ..........    ‘‘performance targets based on the safety performance criteria and state of good              Safety Management Policy.
                                                                                              repair standards’’.
                                                     49 U.S.C. 5329(d)(1)(F) ..........    ‘‘assignment of an adequately trained safety officer who reports directly to the              Safety Management Policy.
                                                                                              general manager, president, or equivalent officer of the recipient’’.
                                                     49 U.S.C. 5329(d)(1)(G) .........     ‘‘a comprehensive staff training program for the operations personnel directly re-            Safety Promotion.
                                                                                              sponsible for safety of the recipient’’.



                                                       Safety Management Policy is the                       engaged in the oversight of the                         criteria established in the National
                                                     foundation of the organization’s SMS.                   organization’s safety performance by                    Public Transportation Safety Plan, and
                                                     The safety management policy                            requiring regular review of the safety                  state of good repair standards based on
                                                     statement clearly states the                            policy by a designated Accountable                      the definition of that term established
                                                     organization’s safety objectives and sets               Executive (general manager, president,                  under the National Transit Asset
                                                     forth the policies, procedures, and                     or other person with similar authority).                Management System Rule. See 49 U.S.C.
                                                     organizational structures necessary to                  Within the context of the Public                        5329(d)(1)(E).
                                                     accomplish the safety objectives. It                    Transportation Agency Safety Plan, an                      Pursuant to the statutory requirements
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                                                     clearly delineates management and                       organization’s safety objectives will be                at 49 U.S.C. 5329(d)(1)(B) and (C), each
                                                     employee responsibilities for safety                    articulated through the setting of                      agency’s Public Transportation Agency
                                                     throughout the organization. It also                    performance targets based on, at a                      Safety Plan must include ‘‘methods for
                                                     ensures that management is actively                     minimum, the safety performance                         identifying and evaluating safety risks
                                                       10 Implementing Safety Management System               11 The Dear Colleague Letter is available at http://     12 The SMS FAQs are available at http://www.fta.

                                                     Principles in Rail Transit Agencies, available at       www.fta.dot.gov/newsroom/12910_15391.html.              dot.gov/tso_15177.html.
                                                     http://www.fta.dot.gov/documents/TRACS_Ltr_Rpt_
                                                     SMS_fnl.pdf.



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                                                                              Federal Register / Vol. 81, No. 24 / Friday, February 5, 2016 / Proposed Rules                                            6349

                                                     throughout all elements of the public                   and straightforward. For a larger transit                 In short, FTA believes that SMS is the
                                                     transportation system,’’ and ‘‘strategies               agency with hundreds or thousands of                   most effective way of preventing and
                                                     to minimize the exposure of the public,                 employees and multiple modes, SMS is                   mitigating safety events in the transit
                                                     personnel, and property to hazards and                  going to be more complex.                              industry. Notwithstanding the above,
                                                     unsafe conditions.’’ Each of these                         SMS scales itself to reflect the size               FTA seeks comments from the public on
                                                     requirements is consistent with the                     and complexity of the operation, but the               alternative regulatory requirements,
                                                     second component of SMS—Safety Risk                     fundamental accountability remains the                 potentially in combination with non-
                                                     Management—which requires the                           same. SMS establishes the                              mandatory guidance, that would satisfy
                                                     development of processes and activities                 accountabilities, processes and activities             the statutory requirements of 49 U.S.C.
                                                     to help the organization better identify                necessary to ensure that appropriate                   5329(d) and that may more cost-
                                                     hazards associated with its operational                 information rises to the highest levels of             effectively improve the safety of the
                                                     systems. Once identified, a transit                     the organization to support decision-                  nation’s public transportation systems.
                                                     agency would evaluate the safety risk                   making related to safety risk. However,                FTA specifically invites the public to
                                                     associated with the potential                           each transit agency will determine the                 provide information to allow the
                                                     consequences of these hazards, and then                 level of detail necessary to identify and              comparison of the benefits and costs of
                                                     institute mitigations, as necessary, to                 evaluate its own unique safety risks and               FTA’s proposed requirements to
                                                     control the consequences or minimize                    target its resources to manage those                   alternative approaches.
                                                     the safety risk. Additionally, FTA                      safety risks.                                          D. The Role of the Accountable
                                                     proposes to require a transit agency to                    Other modes of transportation, such                 Executive With Public Transportation
                                                     perform hazard identification activities                as the aviation and rail industries, have              Agency Safety Plans and Transit Asset
                                                     on those assets that do not meet the                    adopted SMS as the foundation and                      Management Plans
                                                     state of good repair standards                          framework for their safety systems given
                                                     established under the National Transit                  the success of SMS in preventing and                      Each transit agency has a process by
                                                     Asset Management System.                                mitigation safety outcomes. For                        which it budgets, allocates funds, and
                                                        The statutory requirements at 49                     example, the Federal Aviation                          plans for the future. In most cases, this
                                                     U.S.C. 5329(d)(1)(B), (C), and (D) also                 Administration (FAA) recently adopted                  decision-making process is led by a
                                                     encompass the requirements of the third                 SMS and promulgated a regulation                       President, General Manager, or Chief
                                                     component of SMS—Safety Assurance.                      which requires certain air carriers to                 Executive Officer who formulates and
                                                     Safety Assurance requires an                            develop safety plans based on the                      proposes capital and operating budgets.
                                                     organization to monitor the                             principles of SMS.13 In the rail industry,             For purposes of the Public
                                                     effectiveness of safety risk mitigations                FRA is proposing to adopt SMS in its                   Transportation Agency Safety Plan and
                                                     established under Safety Risk                           rulemaking which would require                         Transit Asset Management Plan rules,
                                                     Management. Safety Assurance is also                    railroads to develop system safety                     FTA is proposing to require transit
                                                     designed to ensure that the organization                program plans, largely based on the                    agencies to identify these individuals as
                                                     meets or exceeds its safety objectives                  principles of SMS, under 49 CFR part                   the ‘‘Accountable Executives’’ for those
                                                     through the collection, analysis, and                   270.                                                   agencies. The Accountable Executive
                                                     assessment of data about the                               There is also preliminary evidence of               would be responsible approving the
                                                     organization’s performance. One of the                  the success of SMS as an effective                     transit agency’s Public Transportation
                                                     keys elements of Safety Assurance is a                  method of mitigating and preventing                    Agency Safety Plan, and any updates
                                                     regular review and update of a transit                  safety outcomes in other modes of                      thereto. The Accountable Executive
                                                     agency’s SMS and overall safety plan to                 transportation in other parts of the                   would be responsible for the
                                                     ensure their effectiveness.                             world. For example, Transport Canada                   implementation and maintenance of the
                                                        The fourth component of SMS—                         has noted that, in the area of rail safety:            SMS. This Accountable Executive also
                                                     Safety Promotion—involves the                                                                                  would be responsible for making
                                                     training, awareness, and communication                     [N]ot only have qualitative benefits been           decisions over the human and capital
                                                     that support safety. The training aspect                identified, but statistics reflect a correlation       resources needed to develop and
                                                                                                             between the introduction of the safety
                                                     of SMS is consistent with the statutory                                                                        maintain the agency’s Transit Asset
                                                                                                             management system approach in 2001 and
                                                     requirement for a comprehensive staff                   improved safety statistics. Statistical analysis       Management Plan required by 49 U.S.C.
                                                     training program for operations                         . . . indicates a downward trend in accident           5326. FTA intends that the individual
                                                     personnel and personnel directly                        rates . . . over the past 10 years. Moreover,          who is responsible for making decisions
                                                     responsible for safety. 49 U.S.C.                       since 2007, train accidents have decreased by          related to the condition of the agency’s
                                                     5329(d)(1)(G).                                          23% and passenger train accidents have                 capital assets, particularly whether
                                                        Service providers within the public                  decreased by 19%. This decrease can be                 those assets are in a state of good repair,
                                                     transportation industry can vary greatly                linked to increased levels of consultation and         is also responsible for implementing the
                                                     based on size, complexity, and                          communication between the three largest                agency’s SMS and determining whether
                                                     operating characteristics. Transit                      railway companies and Transport Canada,                those assets are presenting any safety
                                                     agencies need safety processes,                         enhanced focus on safety management
                                                                                                                                                                    risks. This individual must have the
                                                                                                             systems, and a variety of new safety
                                                     activities, and tools that scale to size,               initiatives related to operations and                  ability to make budgetary, operational,
                                                     complexity, and uniqueness of the                       infrastructure. It is therefore expected that          and capital program decisions to
                                                     transit system. SMS provides such an                    updates to safety management systems would             address these competing needs and
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                                                     approach. SMS is flexible, and can be                   help further reduce the number of accidents,           issues.
                                                     scaled to the mode, size, and complexity                fatalities and injuries, and property                     Ultimately, the decisions made by the
                                                     of any transit operator, in any                         damage.14                                              Accountable Executive regarding the
                                                     environment—urban, suburban, or rural.                                                                         proposed capital and operating budgets
                                                     The extent to which the transit agency’s                  13 See FAA’s Final Rule, ‘‘Safety Management
                                                                                                                                                                    typically are presented for approval to
                                                     SMS processes, activities, and tools are                Systems for Domestic, Flag, and Supplemental           the transit agency’s Board of Directors or
                                                                                                             Operations Certificate Holders,’’ 14 CFR parts 5 and
                                                     used and documented will vary from                      119, 80 FR 1308, Jan. 8, 2015.                         equivalent entity. An Accountable
                                                     agency to agency. For a small bus                         14 See http://gazette.gc.ca/rp-pr/p2/2015/2015-02-   Executive and members of the transit
                                                     operation, SMS is going to be simple                    25/html/sor-dors26-eng.php.                            agency’s Board of Directors must make


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                                                     6350                     Federal Register / Vol. 81, No. 24 / Friday, February 5, 2016 / Proposed Rules

                                                     strategic decisions regarding operational               D. Role of the Board of Directors (or                 requirements should apply equally to all
                                                     and service demands, capital                              Equivalent Authority) and the Chief                 recipients, including those receiving
                                                     investments, and the safety resource                      Safety Officer                                      funds through the Tribal Transit
                                                     needs of the system. This often can be                  E. Coordination of Public                             Formula and Tribal Transit
                                                     challenging due to budget constraints                     Transportation Agency Safety Plan                   Discretionary Programs.
                                                     and service demand pressures. It is                       with Other MAP–21 Programs and                         In terms of whether or not
                                                     important that safety receives                            Rules                                               requirements should be less stringent
                                                     appropriate attention by the                            A. Scope and Applicability of Public                  for smaller public transit providers,
                                                     Accountable Executive and Board of                      Transportation Agency Safety Plans                    several commenters suggested that,
                                                     Directors as they make decisions                        (Questions 22, 31, 33 and 43)                         while there should be consistency in the
                                                     regarding operating and capital budgets.                                                                      approach to safety, smaller transit
                                                     Within an SMS environment, the                             In the Plan Requirements section of                providers should not be subjected to
                                                     Accountable Executive would rely on                     the ANPRM, FTA sought input on the
                                                                                                                                                                   overly burdensome requirements and
                                                     outputs of SMS processes and activities                 costs and benefits of including rail, bus,
                                                                                                                                                                   should be allowed to implement less
                                                     to ensure that a transit agency’s strategic             and other public transportation modes
                                                                                                                                                                   stringent approaches to safety
                                                     planning is informed and transparent                    under one Public Transportation
                                                                                                                                                                   management. These and other
                                                     with regard to the role of safety in                    Agency Safety Plan for those agencies
                                                                                                                                                                   commenters also suggested that, if
                                                     decision-making.                                        that operate multiple modes of public
                                                                                                                                                                   possible, smaller transit providers
                                                                                                             transportation. The State’s Role section
                                                     III. Advance Notice of Proposed                                                                               should be able to pool resources with
                                                                                                             of the ANPRM sought comment on the
                                                     Rulemaking and Response to Relevant                                                                           States or other transit providers for
                                                                                                             applicability of Public Transportation
                                                     Comments                                                                                                      expenses associated with acquiring
                                                                                                             Agency Safety Plan requirements to
                                                                                                             recipients of Section 5311 Tribal Transit             safety training, if possible. To this point,
                                                        As discussed above, FTA issued an
                                                                                                             Formula and Tribal Transit                            a few commenters recommended that
                                                     ANPRM on October 3, 2013. 78 FR
                                                                                                             Discretionary Program funds. The                      FTA adopt CTAA’s Certified Safety and
                                                     61251 (http://www.gpo.gov/fdsys/pkg/
                                                                                                             ANPRM also sought comment on how to                   Security Officer Certification Program as
                                                     FR-2013-10-03/pdf/2013-23921.pdf).
                                                                                                             define small public transportation                    a way to minimize additional training
                                                     The comment period closed on January
                                                                                                             providers under 49 U.S.C. 5307 (Section               cost for small transit providers. In
                                                     2, 2014. The ANPRM sought comment
                                                                                                             5307) and whether or not the scope of                 general, many commenters
                                                     on 123 questions related to the
                                                                                                             Public Transportation Agency Safety                   recommended that the scope of FTA’s
                                                     implementation of the public
                                                     transportation safety program and                       Plan requirements should be less                      requirement should be scalable and
                                                     transit asset management. In response to                stringent for smaller public transit                  flexible enough to recognize that smaller
                                                     the ANPRM, FTA received comments                        providers.                                            transit operations may contain fewer
                                                     from 167 entities, including States,                       Comments: Commenters were evenly                   safety risks than those of larger transit
                                                     transit agencies, trade associations, and               split on whether multiple modes should                agencies.
                                                     individuals. FTA received and reviewed                  be combined into one agency-wide                         With respect to FTA’s question as to
                                                     approximately 2,500 pages of                            safety plan or whether multi-modal                    how it should define small Section 5307
                                                     comments. Throughout the ANPRM,                         agencies should develop separate safety               public transportation providers, several
                                                     FTA expressed its intention to adopt a                  plans for each of their modes. Many                   commenters recommended that the
                                                     comprehensive approach to safety that                   commenters felt strongly that a single                definition should be based on either the
                                                     would be scalable and flexible.                         plan should be adopted in order to                    population of the urbanized area (UZA)
                                                        Of the 123 questions presented in the                maintain agency-wide consistency and                  that the transit agency serves or by the
                                                     ANPRM, FTA is addressing 42                             uniformity in overall safety culture.                 number of vehicles in operation during
                                                     questions in this notice related to Public              Other commenters suggested that rail                  peak service. Specifically, commenters
                                                     Transportation Agency Safety Plans.                     and bus modes require separate safety                 stated that either a population between
                                                     Specifically, FTA addresses the                         plans due to inherent differences in                  50,000 and 200,000, or a population of
                                                     following questions in this notice: 8–10,               safety concerns and focus. Additional                 200,000 or less, should be used as the
                                                     17–31, 33–44, 47, 107–110, 112, and                     respondents requested that FTA allow                  threshold to define a small Section 5307
                                                     116–121.                                                flexibility on this matter, leaving it up             public transportation provider. Other
                                                        To reduce the burden on readers,                     to each individual agency as to whether               commenters stated that 100 buses or
                                                     where applicable and possible, FTA                      to adopt separate safety plans by mode                fewer in peak service should be the
                                                     provides a summation and/or reference                   or to combine all modes into one                      threshold set for a small Section 5307
                                                     to the State Safety Oversight Program, or               agency-wide safety plan.                              public transportation provider, as it is a
                                                     Public Transportation Safety Program                       In regards to 49 U.S.C. 5311 Tribal                measure familiar throughout the entire
                                                     NPRMs as a way to direct the reader to                  recipients, some commenters stated that               public transportation industry and less
                                                     the appropriate discussion and limit                    FTA should decide how best to apply                   subject to variation than other similar
                                                     redundancy.                                             safety plan provisions to these                       measures. A few commenters
                                                        FTA took relevant comments into                      recipients. Other commenters suggested                recommended that the definition used
                                                     consideration when developing this                      that Section 5311 Tribal recipients                   for waivers in the National Transit
                                                     proposed rule. Below, the ANPRM                         should report directly to FTA, and                    Database (NTD)—thirty or fewer
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                                                     comments and responses are subdivided                   others stated that Tribal recipients                  vehicles across all modes and types of
                                                     by subject and corresponding question                   should be included in standard                        service—should be used as the measure
                                                     numbers.                                                statewide safety plans. Additionally, a               to define a small Section 5307 public
                                                     A. Scope and Applicability of Public                    few commenters suggested that 49                      transportation provider. Other
                                                        Transportation Agency Safety Plans                   U.S.C. 5329(d) does not apply to State                commenters suggested that FTA define
                                                     B. Safety Management Systems                            subrecipients or Tribal Transit                       these agencies by size of area served,
                                                     C. Public Transportation Agency Safety                  recipients. One commenter                             revenue miles, or passenger counts.
                                                        Plan Development, Certification, and                 recommended that Public                               Finally, a few commenters suggested
                                                        Oversight                                            Transportation Agency Safety Plan                     that the States should have no role in


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                                                                              Federal Register / Vol. 81, No. 24 / Friday, February 5, 2016 / Proposed Rules                                           6351

                                                     overseeing the safety of small Section                  Federal financial assistance under 49                 service that is closed to the general
                                                     5307 public transportation providers.                   U.S.C. Chapter 53. FTA proposes to                    public and only available for a
                                                        Response: In today’s NPRM, FTA                       define an operator of a public                        particular clientele, FTA proposes that
                                                     proposes that a transit agency may                      transportation system to mean a                       neither the State nor the Section 5310
                                                     include more than one mode of service                   provider of public transportation as                  provider would be required to develop
                                                     in a single plan, or may have individual                defined under 49 U.S.C. 5302(14). This                and certify a Public Transportation
                                                     safety plans for each mode of service.                  definition generally includes regular,                Agency Safety Plan. In other words,
                                                     FTA agrees that flexibility is important                continuing shared ride surface                        nonprofit and other community service
                                                     on this matter, and that each agency                    transportation that is open to the public,            organizations that receive Section 5310
                                                     should have discretion in deciding                      and which does not provide service that               funds and provide closed door service
                                                     which approach is appropriate for its                   is closed to the general public and only              would not be required to draft and
                                                     particular operations. FTA does not                     available for particular clientele, such as           certify Public Transportation Agency
                                                     intend to promulgate safety regulations                 Section 5310-funded service that is not               Safety Plans.
                                                     that will apply to either commuter rail                 open to the general public and only                      FTA seeks comments from the public
                                                     systems that are regulated by the FRA or                available for a particular clientele. FTA             on these proposals, particularly as to
                                                     to ferry systems that are regulated by the              invites comments from the public                      whether a Section 5310 provider
                                                     United States Coast Guard (USCG). FTA                   regarding the definition of the term,                 operating a public transportation system
                                                     invites additional comments on how                      ‘‘operator of a public transportation                 should be required to develop and
                                                     FTA could support the development of                    system.’’                                             implement a Public Transportation
                                                     Public Transportation Agency Safety                        While Congress did not specify that                Agency Safety Plan, whether or not the
                                                     Plans for transit agencies of different                 Section 5310 providers could have their               entity also receives Section 5307 or
                                                     sizes and modes.                                        plans drafted or certified by a State,                Section 5311 funds, and if so, whether
                                                        Although FTA is proposing to provide                 FTA notes that 49 U.S.C. 5329 applies                 that plan should be drafted and certified
                                                     flexibility to transit agencies so that they            to all operators of public transportation             by a State. FTA also seeks comment as
                                                     can determine for themselves whether                    systems that receive Chapter 53 funds.                to whether a designated recipient under
                                                     they will develop a single safety plan for              The definition of public transportation               49 U.S.C. 5310 should draft and certify
                                                     all modes of transit, or whether they                   in 49 U.S.C. 5302 includes services that              Public Transportation Agency Safety
                                                     will develop individual safety plans for                ‘‘are open to a segment of the general                Plans on behalf of Section 5310
                                                     each mode, FTA is not proposing to                      public defined by age, disability, or low             providers in large urbanized areas
                                                     allow transit agencies to utilize their                 income.’’ The Section 5310 program                    instead of the State, or if the States
                                                     FRA-required commuter railroad safety                   historically has funded vehicles for non-             should draft and certify those plans.
                                                     plans for other modes of transit                        profit agencies that serve these segments                FTA anticipates scalability and
                                                     regulated by FTA. FTA notes that on                     of the general public, either in open                 flexibility in agency plan development,
                                                     September 7, 2012, FRA issued an                        door service or closed door service                   and FTA will provide substantial
                                                     NPRM related to its System Safety                       available only to clients of a particular             technical assistance and guidance to all
                                                     Program. 77 FR 55406. In this NPRM,                     agency or agencies. Importantly, not                  recipients and subrecipients. Proposed
                                                     FRA proposes to require any railroad                    every entity that receives Section 5310               requirements in today’s NPRM
                                                     that operates intercity or commuter                     funds is a small non-profit agency with               recognize the variance in size,
                                                     passenger train service and any railroad                one or two FTA-funded vehicles. Many                  complexity, and operating
                                                     that provides commuter or other short-                  Section 5310 providers operate                        characteristics of the public
                                                     haul rail passenger train service to                    substantial fixed route or demand                     transportation industry.
                                                     develop a System Safety Program Plan.                   response service, including ADA                          Because 49 U.S.C. 5329(d) provides
                                                     FRA proposes to protect from discovery,                 complementary paratransit service, and                that States may draft and certify Public
                                                     evidence, and Federal and State court                   in many cases these entities also receive             Transportation Agency Safety Plans for
                                                     proceedings any information compiled                    urbanized (Section 5307) or rural area                Section 5311 providers (most of which
                                                     or collected solely for the purpose of                  (Section 5311) formula funds.                         are smaller transit agencies) and small
                                                     developing, implementing, or evaluating                    FTA therefore is proposing that the                public transportation providers under
                                                     a System Safety Program Plan, including                 type of service, rather than the source of            Section 5307, and because SMS
                                                     a railroad’s analysis of its safety risks               FTA funds, be the deciding factor in                  implementation is inherently scalable,
                                                     and its identification of safety risk                   determining whether a Section 5310                    FTA believes that today’s proposal
                                                     mitigation measures. Given FRA’s                        recipient must have a Public                          provides sufficient flexibility for States
                                                     proposal and given the fact that FTA                    Transportation Agency Safety Plan. In                 and small transit providers, such that
                                                     does not have similar statutory authority               the case when a Section 5310 provider                 they would not be expected to incur
                                                     to protect data, an operator of a public                operates service that is open door                    expenses for safety management equal
                                                     transportation system which provides                    service (open to a segment of the general             to those of a large transit agency. While
                                                     commuter rail service regulated by FRA                  public), FTA proposes that the Section                FTA proposes that 49 CFR part 673
                                                     would not be able to use its System                     5310 provider must have its Public                    would apply to all Chapter 53 operators
                                                     Safety Program Plan for other modes of                  Transportation Agency Safety Plan                     of public transportation systems, the
                                                     public transportation. The public                       drafted and certified by a State, unless              proposed requirements may be scaled to
                                                     transportation provider would be                        the Section 5310 provider opts to draft               address variances in transit agency size,
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                                                     required to develop a separate plan or                  and certify its own plan. Most of these               complexity, and operating environment.
                                                     plans for its other modes of public                     Section 5310 providers are smaller                       In today’s NPRM, FTA proposes to
                                                     transportation subject to FTA’s safety                  operators of public transportation                    define small public transportation
                                                     regulation.                                             systems, and through this requirement,                providers under Section 5307 based on
                                                        In today’s NPRM, FTA proposes,                       FTA intends to alleviate the                          vehicles operating in revenue service.
                                                     consistent with the statutory mandate,                  administrative and financial burdens                  Any public transportation provider that
                                                     that requirements of Part 673 would                     placed on Section 5310 providers in                   does not operate rail fixed guideway
                                                     apply to all operators of public                        complying with this part. In the case                 service and operates 100 or fewer
                                                     transportation systems that receive                     when a Section 5310 provider operates                 vehicles in revenue service, including


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                                                     6352                     Federal Register / Vol. 81, No. 24 / Friday, February 5, 2016 / Proposed Rules

                                                     fixed route, general public paratransit,                commenters suggested the following as                 with SMS principles and methods. Each
                                                     and Americans with Disabilities Act                     barriers to adoption: A lack of financial             element of 49 U.S.C. 5329(d)(1) sets
                                                     complementary paratransit, would be                     resources, inconsistent or insufficient               forth requirements for transit agency
                                                     considered a small Section 5307 public                  training on SMS (both classroom and                   safety management that are critical to an
                                                     transportation provider for purposes of                 online), limited staffing for development             effective SMS, namely: Executive
                                                     Public Transportation Agency Safety                     and implementation of SMS, the burden                 management accountability, the
                                                     Plan development and certification.                     of additional data collection and                     identification of hazards, the evaluation
                                                        FTA considered various alternatives                  documentation, and concern that SMS                   of safety risks, the strategies to mitigate
                                                     suggested by commenters, such as using                  is a departure from tried and true safety             these safety risks, regular reviews of a
                                                     a lower vehicles operating in revenue                   practices. Many respondents requested                 transit agency’s safety system, direct
                                                     service threshold or UZA population.                    that training programs be scalable based              lines of safety reporting, and a
                                                     FTA evaluated each alternative,                         on agency size; several responders                    commitment to safety training.
                                                     assessing safety performance, resource                  pointed out that attendance at off-site                  SMS processes and activities can
                                                     burden, and consistency with other FTA                  training programs would be practically                assist transit agencies in identifying
                                                     programs and definitions. Ultimately,                   impossible for small agencies, where a                safety concerns and issues, evaluating
                                                     FTA agreed with commenters that                         single employee is often the only person              these concerns for their potential impact
                                                     recommended the 100 or fewer vehicles                   capable of fulfilling critical agency                 on transit safety, and developing cost-
                                                     operating in revenue service option                     functions. There were many requests for               effective mitigations to address safety
                                                     because it results in a lower degree of                 FTA to provide training programs                      concerns so that an accident or safety
                                                     burden placed on individual Section                     online to ease this burden on already                 event can be prevented. FTA does not
                                                     5307 public transportation providers                    taxed agencies and employees. Other                   agree that SMS is a departure from tried
                                                     and it creates alignment with FTA’s                     commenters noted the challenges for                   and true safety practices. SMS, as a
                                                     Transit Asset Management Program                        agencies with boards of directors                     management system, embraces current
                                                     proposed rule. By using this number,                    consisting of local politicians whose                 safety practices and activities, and
                                                     FTA is trying to ensure that the lowest                 decisions are subject to political                    ensures that transit agency executive
                                                     administrative, financial, and regulatory               pressure; the importance of                           management is presented with timely
                                                     burdens are placed on the transit                       distinguishing between the FRA-                       information to act on safety risks in a
                                                     industry, including small transit                       required model and the SMS model for                  proactive manner.
                                                     providers. This is a number that the                    agencies that operate in a shared rail                   Today’s rulemaking proposes that
                                                     industry commonly uses to define small                  corridor; and the ability of FTA to                   each transit agency would be required to
                                                     Section 5307 bus agencies, particularly                 provide clear guidance on defining how                implement SMS. FTA believes that it is
                                                     in regards to FTA operating assistance.                                                                       critical for each transit agency to work
                                                                                                             SMS principles are to be interpreted and
                                                     See 49 U.S.C. 5307(a)(2)(B). FTA also is                                                                      through the process of identifying and
                                                                                                             applied. Additionally, a few
                                                     proposing to use this number as a                                                                             managing safety risks that may be
                                                                                                             commenters suggested that SMS might
                                                     benchmark in its Transit Asset                                                                                unique to its size, operations, and
                                                                                                             be challenging to implement within the
                                                     Management NPRM, so FTA is                                                                                    operating environment. Because SMS
                                                                                                             current management/labor collective
                                                     proposing to use the 100-bus threshold                                                                        processes, activities and tools can be
                                                                                                             bargaining agreement process. Other
                                                     here for consistency.                                                                                         adapted to the size, complexity, and
                                                                                                             commenters suggested that, for a system
                                                                                                                                                                   uniqueness of the transit agency, FTA
                                                     B. Safety Management Systems                            that contracts for some or all of its
                                                                                                                                                                   believes it is the best approach to
                                                     (Questions 17–21, 27–28)                                service, implementing SMS would be
                                                                                                                                                                   address the requirements set forth in 49
                                                                                                             challenging and difficult. A few                      U.S.C. 5329(d)(1). For example, the
                                                       Section I of the ANPRM highlighted
                                                                                                             commenters stated that the practical                  safety reporting program of a large
                                                     FTA’s intention to propose the SMS
                                                                                                             benefit from a fully-implemented SMS                  agency might require rather important
                                                     approach as the foundation for the
                                                                                                             far outweighs the effort needed to                    and robust IT support for data
                                                     development, implementation,
                                                                                                             overcome potential challenges.                        management and several safety data
                                                     oversight, and enforcement of the new
                                                                                                             Conversely, a few other commenters                    analysts, whereas the same program for
                                                     Public Transportation Safety Program.
                                                       The ANPRM posed several questions                     were opposed to any adoption of SMS                   a small agency might be administered
                                                     related to SMS, including questions                     by Federal regulation whatsoever.                     with a spreadsheet for data management
                                                     related to: (1) Barriers to SMS adoption;                  Response: FTA proposes to adopt                    and a part-time safety analyst or a staff
                                                     (2) the need for technical assistance; (3)              SMS as the framework for managing                     person who analyzes safety data as an
                                                     the current use of SMS in the transit                   safety risks in the transit industry                  ancillary duty.
                                                     industry and alternative approaches;                    because SMS is flexible and scalable,                    To reduce the administrative,
                                                     and (4) the current practices and                       and also provides a level of                          financial, and regulatory burdens on
                                                     challenges with the management of                       implementation that is commensurate                   small public transportation providers,
                                                     safety risks. These ANPRM questions                     with the size and complexity of transit               the proposed rule requires States to
                                                     also related to the adoption of SMS by                  agencies. For additional information on               draft and certify Public Transportation
                                                     FTA and the use of SMS to inform                        SMS, FTA recommends readers review                    Agency Safety Plans—and
                                                     Public Transportation Agency Safety                     Appendix A to FTA’s NPRM on State                     documentation of SMS processes
                                                     Plans.                                                  Safety Oversight Programs (see 80 FR                  therein—for Section 5310, Section 5311,
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                                                                                                             11002, Feb. 27, 2015; http://www.gpo.                 and small public transportation
                                                     1. Barriers to SMS Adoption and Need                    gov/;fdsys/pkg/FR-2015-02-27/pdf/2015-                providers, unless those providers opt to
                                                     for Technical Assistance                                03841.pdf), FTA’s SMS Framework                       draft and certify their own safety plans.
                                                        Comments: Several commenters                         guidance document (see http://www.fta.                Although FTA proposes to require
                                                     suggested that the SMS approach may                     dot.gov/documents/FTA_SMS_                            States to draft and certify Public
                                                     be burdensome for smaller transit                       Framework.pdf), and FTA’s forthcoming                 Transportation Agency Safety Plans,
                                                     agencies to implement, and identified or                National Public Transportation Safety                 FTA proposes that each recipient which
                                                     listed barriers or challenges to adopting               Plan. Today’s proposal reflects key                   operates a public transportation system
                                                     SMS principles. Specifically, these                     elements of the law that are consistent               implement its own safety plan,


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                                                                              Federal Register / Vol. 81, No. 24 / Friday, February 5, 2016 / Proposed Rules                                          6353

                                                     regardless of the size of the agency. In                training and guidance may be a barrier                modes of service. FTA seeks public
                                                     other words, States will lend their                     to SMS implementation. Recently, FTA                  comments on whether any aspect of this
                                                     resources and technical expertise to                    issued Final Interim Safety Certification             proposed rule is duplicative,
                                                     smaller operators of public                             Training Provisions which set forth the               inconsistent, or conflicts with other
                                                     transportation by drafting the safety                   safety training requirements for Federal              Federal agency regulations.
                                                     plans and by certifying to FTA that the                 and State Safety Oversight Agency                       With respect to comments related to
                                                     plans they drafted satisfy all of FTA’s                 personnel and their contractors who                   perceived challenges in SMS
                                                     requirements. The plans will include                    conduct safety oversight audits and                   implementation due to management/
                                                     various elements, such as processes for                 examinations of public transportation                 labor collective bargaining agreements
                                                     identifying safety hazards and risks,                   systems not otherwise regulated by                    or for systems that contract for service,
                                                     processes for evaluating those safety                   another Federal agency. See 80 FR                     today’s proposed rule does not include
                                                     hazards and risks, and processes for                    10619 (Feb. 27, 2015) (http://www.gpo.                requirements regarding collective
                                                     mitigating those safety hazards and                     gov/fdsys/pkg/FR-2015-02-27/pdf/2015-                 bargaining, and FTA anticipates that
                                                     risks, as appropriate. The transit                      03842.pdf). Consistent with the                       each transit agency would benefit from
                                                     agencies will have to perform those                     statutory provisions of 49 U.S.C.                     increased information on safety issues
                                                     activities themselves—not the States—                   5329(d)(1)(G), FTA’s proposed training                and performance.
                                                     thus, the individual transit agencies are               requirements and technical assistance                 2. Current Use of SMS in the Transit
                                                     responsible for ‘‘implementing’’ and                    discussed in this NPRM are intended to                Industry and Alternative Approaches
                                                     ‘‘carrying out’’ the plans that are drafted             address the training needs of those
                                                     by the States, but the States will be                   individuals directly responsible for                     Comments: Several commenters
                                                     ultimately responsible for drafting and                 safety, and they are intended to                      suggested that they currently practice
                                                     certification functions (unless a small                 complement the requirements and                       SMS-related activities, and provided
                                                     transit agency opts to draft and certify                technical assistance for safety oversight             detailed responses. Commenters
                                                     its own agency safety plan).                            personnel as discussed in the Final                   identified, in part, the following list of
                                                     Additionally, each transit agency would                 Interim Safety Certification Training                 activities and practices: Data-driven
                                                     be responsible for implementing SMS                     Provisions.                                           safety performance management;
                                                     that scales to the size and complexity of                  FTA disagrees with commenters who                  employee safety reporting programs;
                                                     the organization. As a result, FTA                      suggested that there might be additional              committee structures to support safety
                                                     expects that the Public Transportation                  challenges with SMS adoption because                  communication and safety risk
                                                     Agency Safety Plan also will scale for                  of political and legal issues with Boards             evaluation; safety management policy
                                                     smaller organizations.                                  of Directors and local politics. Just as a            statements; senior management
                                                        In an effort to further reduce the                   Board of Directors is responsible for the             accountability; safety audits and
                                                     administrative, financial, and regulatory               service levels provided to the                        inspections; designated Safety Officers
                                                     burdens on recipients and other public                  community and budgets adopted, they                   and staff; safety accountabilities and
                                                     transportation operators, FTA will                      are also accountable for safety                       responsibilities; proactive hazard
                                                     develop and issue templates for Public                  outcomes. FTA believes that SMS                       identification and analysis; accident
                                                     Transportation Agency Safety Plans for                  provides greater transparency in the                  investigation to determine probable
                                                     agencies of different sizes. FTA also will              prioritization of, and decision-making                cause; safety promotion and
                                                     develop and issue guidance and other                    regarding, a transit agency’s safety risks.           communication; and safety training.
                                                     tools, and provide technical assistance,                Today’s notice mirrors statutory                      One commenter indicated that his
                                                     to support SMS development and                          language in 49 U.S.C. 5329(d) with                    agency has reorganized its safety
                                                     implementation.                                         respect to executive level accountability             department to reflect the four major
                                                        Some commenters suggested that a                     and would require that a transit                      components of SMS.
                                                     need for SMS training exists, and that                  agency’s Board of Directors (or                          Some commenters indicated that they
                                                     transit agencies may experience                         equivalent authority) review and                      provide alternative safety management
                                                     challenges with the development and                     approve the Public Transportation                     approaches. Some suggested that FTA
                                                     implementation of SMS. To address                       Agency Safety Plan.                                   adopt a centralized, State or regional,
                                                     these concerns, FTA will continue to                       One commenter suggested that a                     safety management or other approach
                                                     develop and provide safety training for                 challenge to SMS adoption may be the                  that would lessen the burden for States.
                                                     the industry, and FTA also will collect                 difficulty in distinguishing between the              One commenter suggested that FTA
                                                     and provide information on other                        FRA-required safety model and the SMS                 provide an option for transit agencies
                                                     sources of outside SMS training.                        model. FTA believes that SMS                          that operate fewer than 100 vehicles, or
                                                     Currently, FTA provides a number of                     implementation encourages                             other small transit agencies, to
                                                     courses to support transit agency safety                coordination in Safety Risk Management                participate in insurance risk pools (and
                                                     training needs. FTA intends to expand                   for all modes operated by a transit                   be exempted from any requirement to
                                                     these offerings, including online                       agency. However, and in response to                   develop and implement SMS), while
                                                     courses, to support general safety                      this comment, FTA notes that it has                   other commenters expressed their
                                                     training, as well as training on SMS                    different statutory authority than FRA                opposition to any rulemaking by FTA
                                                     principles and methods. FTA is piloting                 for regulating safety, and to the extent              on SMS because they did not want to be
                                                     SMS training courses. Additionally,                     another Federal agency already                        subject to Federal regulations on safety.
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                                                     FTA will launch an Agency SMS                           regulates safety of a particular mode of              Finally, several commenters indicated
                                                     Implementation Pilot Program to help                    transportation, FTA does not intend to                that they were in agreement with FTA’s
                                                     reduce the burden on transit agencies                   promulgate duplicative, inconsistent, or              adoption of SMS.
                                                     for developing SMS by identifying                       conflicting regulations. Therefore,                      Response: FTA believes that SMS
                                                     effective safety practices, including                   agencies that operate passenger ferries               builds on industry safety practices,
                                                     training that will be shared with the                   regulated by the United States Coast                  which is evidenced by the number of
                                                     industry. These efforts, coupled with                   Guard or commuter rail service                        SMS-related activities currently being
                                                     technical guidance, will directly assist                regulated by FRA would not have to                    practiced by several of the commenters.
                                                     those agencies for which a lack of                      develop FTA safety plans for those                    FTA proposes to adopt SMS to guide the


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                                                     6354                     Federal Register / Vol. 81, No. 24 / Friday, February 5, 2016 / Proposed Rules

                                                     advancement of FTA’s safety                             recommended that FTA take a statistical               either FTA not promulgate or reduce the
                                                     rulemakings, and therefore, today’s rule                sample approach to gather data on this                requirements for small transit providers.
                                                     proposes that Public Transportation                     subject, which could inform and guide                 Finally, a few commenters suggested
                                                     Agency Safety Plans must address the                    further formulation of agency safety                  that FTA utilize only the current level
                                                     basic four components of SMS: (1)                       plan requirements.                                    of NTD reporting requirements, and not
                                                     Safety Management Policy, (2) Safety                       Response: FTA is encouraged that                   expand safety data reporting, as it
                                                     Risk Management, (3) Safety Assurance,                  many transit agencies already take a                  would add unnecessary burdens.
                                                     and (4) Safety Promotion (explained in                  risk-based approach in managing safety                   Response: As mentioned previously,
                                                     more detail in the Section-by-Section                   risks related to human factors, and are               FTA intends to provide States and the
                                                     Analysis of Subpart C of the Public                     doing so through a number of different                industry with templates to guide and
                                                     Transportation Agency Safety Plan,                      methods, including those listed above.                support Public Transportation Agency
                                                     below).                                                 This is a positive step towards                       Safety Plan development. FTA does not
                                                        Recipients may utilize additional                    implementing the Safety Risk                          anticipate that a small transit provider
                                                     safety management practices, but                        Management component of SMS, and                      (or its State in the case of Section 5310,
                                                     recipients would be required to meet the                FTA encourages agencies to continue to                Section 5311, and small public
                                                     basic requirements as set forth in                      conduct these risk-based approaches to                transportation providers) would require
                                                     today’s proposed rule. Based on                         managing safety risks related to human                as complex of a Public Transportation
                                                     comments received, FTA is confident                     factors. FTA also encourages agencies to              Agency Safety Plan as a larger transit
                                                     that the transit industry already has                   take into account bicycle and pedestrian              provider. One of the key elements of
                                                     some elements of SMS in place.                          safety concerns, along with other                     Public Transportation Agency Safety
                                                        With respect to commenters who                       factors, as agencies are conducting                   Plans would be the development and
                                                     suggested a more centralized State                      Safety Risk Management.15 As                          implementation of SMS principles, and
                                                     management approach, today’s proposal                   discussed above, FTA intends to                       inherent to SMS is its scalability and
                                                     requires States to draft and certify                    provide additional guidance, technical                flexibility. FTA anticipates the
                                                     Public Transportation Agency Safety                     assistance, and training regarding SMS.               scalability and flexibility in plan
                                                     Plans on behalf of Section 5310, Section                                                                      development will not unduly burden
                                                     5311, and small public transportation                   C. Public Transportation Agency Safety                any particular recipient, and to reduce
                                                     providers (as defined in this NPRM).                    Plan Development, Certification, and                  any burdens, FTA intends to develop
                                                     FTA disagrees with the commenter who                    Oversight (Questions 25–26, 30, 34–42,                and issue to the industry electronic
                                                     proposed that transit agencies operating                44–47, 107–110, 112)                                  templates, guidance, and training.
                                                     fewer than 100 vehicles be exempt from                    The ANPRM posed several questions                      FTA is proposing that recipients and
                                                     SMS requirements in favor of insurance                  related to the development,                           other operators of public transportation
                                                     risk pools. While insurance risk pools                  certification, and oversight of Public                systems update their Public
                                                     may take into account safety risk, FTA                  Transportation Agency Safety Plans.                   Transportation Agency Safety Plans
                                                     does not believe that they meet all                     Specifically, FTA sought comments in                  annually so that they remain current to
                                                     elements of an SMS, nor do they satisfy                 the following areas: (1) Plan drafting                meet evolving needs and so that they
                                                     all of the statutory requirements of                    and updating, (2) plan certification, (3)             capture any new best practices in the
                                                     Public Transportation Agency Safety                     the role of the State, and (4) oversight              industry. Readers should note that
                                                     Plans. Nothing in today’s proposal                      of the plan. Questions regarding the                  reviews and updates to a Public
                                                     would prevent transit agencies from                     drafting, certification, or oversight of a            Transportation Agency Safety Plan
                                                     participating in insurance risk pools in                Public Transportation Agency Safety                   developed by rail fixed guideway
                                                     addition to implementing a Public                       Plan that included reference to the role              systems must adhere to the
                                                     Transportation Agency Safety Plan with                  of the State are addressed in Section 3:              requirements that are codified at 49 CFR
                                                     SMS.                                                    Role of the State, below.                             part 659, until FTA issues a final rule
                                                                                                                                                                   for State Safety Oversight at 49 CFR part
                                                     3. Current Practices and Challenges                     1. Plan Drafting and Updating                         674.
                                                     With the Management of Safety Risk
                                                                                                                Comments: Many commenters
                                                     Related to Human Factors                                                                                      2. Plan Certification and Review
                                                                                                             suggested that FTA can reduce the
                                                        Comments: Many commenters stated                     administrative burden of drafting Public                 FTA sought comment on the
                                                     they currently apply some type of risk-                 Transportation Agency Safety Plans by                 mechanics of Public Transportation
                                                     based approach in managing safety risks                 providing transit agencies with                       Agency Safety Plan certification,
                                                     related to human factors. These                         templates, models, and assistance to                  including the certification for
                                                     approaches included drug and alcohol                    support agency safety plan                            subrecipients; whether a self-
                                                     program testing, post-incident testing,                 development. Some commenters stated                   assessment, or set of procedures, should
                                                     commercial driver’s license physical                    that FTA should provide the safety plan               be followed prior to certification; and
                                                     examination requirements, fitness for                   templates and a few others stated that                the role of FTA in reviewing plans and
                                                     duty physical examinations, medical                     State Departments of Transportation                   certifications.
                                                     evaluations, application of the Federal                 (State DOTs) should provide the                          Comments: Many commenters
                                                     Motor Carrier Safety Administration’s                   templates. Other commenters stated that               responded that they preferred the use of
                                                     hours of service regulations, fatigue                   FTA could reduce the burden by not                    FTA’s annual Certifications and
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                                                     awareness training, medication                          requiring annual safety plan updates. A               Assurances process for certifying that
                                                     reporting, sleep disorder screening, and                few commenters recommended that                       Public Transportation Agency Safety
                                                     evaluating the ability of employees to                                                                        Plans comply with FTA’s statutory and
                                                     comply with procedures and rules.                         15 Secretary Anthony Foxx recently issued a         regulatory requirements, particularly
                                                        One commenter suggested that                         bicycle and pedestrian safety initiative, and FTA     given the industry’s familiarity with this
                                                     another potential issue with adopting a                 encourages transit agencies to consider that          process as it is used currently for FTA’s
                                                                                                             initiative when developing their safety plans (see
                                                     risk-based approach to human factors                    http://www.dot.gov/sites/dot.gov/files/docs/safer_
                                                                                                                                                                   standard grant programs. Several of
                                                     relates to transit employees’ rights to                 people_safer_streets_summary_doc_acc_v1-11-           these same commenters suggested that
                                                     health privacy. A few commenters                        9.pdf).                                               subrecipient certification should be a


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                                                                              Federal Register / Vol. 81, No. 24 / Friday, February 5, 2016 / Proposed Rules                                          6355

                                                     separate process between the                            Agency Safety Plans and SMS programs,                 safety from agency to agency. Other
                                                     subrecipient agency and the designated                  outside of the standing Triennial                     commenters responded with concern
                                                     recipient (or State). In addition, a few                Review and SMR processes, at its                      that States may not have sufficient
                                                     commenters stated that certification                    discretion. FTA will consider                         resources and technical capacity to
                                                     should not be through FTA’s annual                      developing a self-assessment tool,                    develop Public Transportation Agency
                                                     Certification and Assurance process,                    although this notice does not propose                 Safety Plans. Finally, a few commenters
                                                     and a few commenters stated that                        the use of a self-assessment tool prior to            suggested that it would be too great of
                                                     recipients should self-certify. Several                 agency safety plan certification. In                  an administrative burden on States to
                                                     commenters also suggested that FTA                      addition, FTA intends to provide the                  develop Public Transportation Agency
                                                     should review the safety plans as part of               industry with technical assistance, as                Safety Plans.
                                                     FTA’s Triennial and State Management                    needed.                                                  Many commenters indicated that the
                                                     Review (SMR) oversight processes, and                                                                         ability to modify the statewide safety
                                                                                                             3. Role of the State                                  plan template would be important
                                                     not as part of the grant approval process.
                                                        Many commenters indicated that they                     The ANPRM posed several questions                  because safety risks can vary from
                                                     do not support FTA’s review of Public                   related to the role of States in regards to           agency to agency. Several commenters
                                                     Transportation Agency Safety Plan                       Public Transportation Agency Safety                   believed that there would be utility with
                                                     certifications on the basis of a weighted               Plans. In the State’s Role section of the             FTA or State-generated templates to
                                                     random sample. A few commenters                         ANPRM, FTA sought comments with                       support Public Transportation Agency
                                                     suggested that Public Transportation                    respect to States and Section 5311 and                Safety Plan development. A few
                                                     Agency Safety Plan certifications be                    small Section 5307 public                             commenters suggested that FTA allow
                                                     reviewed on the basis of a weighted                     transportation providers, including: (1)              States to have the option of developing
                                                     random sample, as a suitable alternative                The drafting and updating of Public                   statewide plans, and these commenters
                                                     to reviewing all plans. Some                            Transportation Agency Safety Plans, (2)               recommended that FTA should not
                                                     commenters also indicated that,                         certifying Public Transportation Agency               require States to develop statewide
                                                     although a weighted random sample                       Safety Plans, and (3) overseeing and                  plans.
                                                     could be appropriate, it is important                   reviewing the implementation of Public                   In terms of the number of safety plans
                                                     that the system is not overly                           Transportation Agency Safety Plans                    that a State might be expected to draft,
                                                     burdensome.                                             (covered in the subsequent ‘‘Oversight                many commenters stated that this
                                                        Some commenters suggested that FTA                   of Public Transportation Agency Safety                number could vary from state-to-state
                                                     establish self-assessment procedures,                   Plans’’ section).                                     and range anywhere from 20 to 70
                                                     but only one commenter indicated that                                                                         plans. Another set of commenters stated
                                                                                                             a. Role of the State in Drafting Public
                                                     FTA should establish procedures for                                                                           that the number of safety plans a State
                                                                                                             Transportation Agency Safety Plans
                                                     recipients to follow before certifying                                                                        might be expected to draft should be
                                                     their Public Transportation Agency                         Comments: Many commenters                          determined by the State.
                                                     Safety Plans. Many commenters                           recommended that FTA should allow                        Response: In this NPRM, FTA
                                                     suggested that it would be helpful if                   States to draft State safety plans for                proposes to require States to draft Public
                                                     FTA established a self-assessment                       subrecipients. Many commenters                        Transportation Agency Safety Plans on
                                                     checklist, or a tool for recipients to                  indicated their support for a national                behalf of Section 5310, Section 5311,
                                                     utilize, to assist with the certification of            and/or statewide template to support                  and small public transportation
                                                     their Public Transportation Agency                      States’ development of Public                         providers. FTA agrees with commenters
                                                     Safety Plans. Many of these same                        Transportation Agency Safety Plans, as                who recommended that FTA should
                                                     commenters added that the self-                         it would relieve the burden on States                 require States to develop plans on
                                                     assessment tool should make clear                       and bring more consistency to the plans.              behalf of these providers. As discussed
                                                     which components of the plans are                       A subset of these commenters                          above, this proposal is consistent with
                                                     required by law, and which components                   recommended that FTA work closely                     the statutory provisions of 49 U.S.C.
                                                     are at the recipient’s discretion. A few                with industry associations such as                    5329(d)(3), and it reduces the
                                                     commenters indicated that an FTA self-                  CTAA and APTA in the development of                   administrative, financial, and regulatory
                                                     assessment tool would not be helpful                    the national or statewide Public                      burden on smaller transit agencies that
                                                     because agencies differ substantially in                Transportation Agency Safety Plan                     may not have the resources or technical
                                                     their plans and practices.                              templates, including those that could be              expertise to draft and certify Public
                                                        Response: In keeping with the                        modified to reflect individual transit                Transportation Agency Safety Plans.
                                                     statutory requirements of 49 U.S.C.                     agency operating needs.                               The number of safety plans that a State
                                                     5329(d), and many of the comments,                         Given the significant degree of                    may prepare will vary from state-to-
                                                     FTA proposes that each transit agency                   variance in transit agencies’ size,                   state, and although FTA is requiring the
                                                     self-certify that it has established a                  complexity, and operating                             State to develop the plan, FTA is not
                                                     Public Transportation Agency Safety                     environments, several commenters                      instructing States on how to develop
                                                     Plan that complies with all of FTA’s                    suggested that FTA should not allow                   those plans. For example, a State may
                                                     statutory and regulatory requirements                   States to develop statewide plans                     draft a single statewide plan or it may
                                                     through FTA’s annual Certification and                  applicable to subrecipients and small                 draft individual plans on behalf of each
                                                     Assurances process. FTA proposes that                   public transportation providers. These                Section 5310, Section 5311, and small
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                                                     States are required to certify on behalf                commenters recommended that FTA                       public transportation provider. FTA
                                                     of subrecipients, which is discussed in                 require transit agencies to develop their             proposes that each Section 5310,
                                                     greater detail below. FTA is not                        own Public Transportation Agency                      Section 5311, and small public
                                                     proposing that it review safety plans                   Safety Plans. Other commenters agreed,                transportation provider may opt to draft
                                                     prior to grant approval, but FTA intends                stating that Public Transportation                    their own plan if they choose to do so.
                                                     to review the plans through its Triennial               Agency Safety Plans should reflect local                 In addition, FTA seeks comments
                                                     Review and SMR oversight processes.                     safety implementation and that a                      from the public regarding the following
                                                     FTA intends to conduct additional                       statewide plan may not provide                        questions: If a State was to draft a
                                                     oversight of Public Transportation                      sufficient detail for the management of               statewide plan, how would the plan


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                                                     6356                     Federal Register / Vol. 81, No. 24 / Friday, February 5, 2016 / Proposed Rules

                                                     respond to the SMS component of                         Transportation Agency Safety Plans for                require individual safety plans for State
                                                     Safety Risk Management (i.e.                            their subrecipients.                                  DOT subrecipients so there is no need
                                                     identification of individual agency risks                  Response: FTA proposes to require                  to maintain a list.
                                                     and hazards)? Should FTA require                        each State to review and certify Public                  In response to FTA’s question
                                                     drafting of single statewide plans or                   Transportation Agency Safety Plans for                regarding current safety oversight
                                                     individual safety plans on behalf of                    all Section 5310, Section 5311, and                   practices, some commenters stated that
                                                     Section 5310, Section 5311, and small                   small public transportation providers in              they do not currently perform safety
                                                     public transportation providers in that                 that State. FTA also proposes to require              oversight for non-rail modes. Other
                                                     State? Or should FTA defer to the                       States to certify individual subrecipient             commenters suggested that the oversight
                                                     State’s preference on this requirement?                 plans, or certify a statewide plan on                 role could be effectively streamlined by
                                                        With respect to the potential burden                 behalf of its subrecipients, particularly             combining bus oversight into each
                                                     of plan development, FTA agrees with                    given the statutory requirement at 49                 State’s existing rail oversight program,
                                                     commenters that templates and                           U.S.C. 5329 that any ‘‘operator of a                  but other commenters disagreed.
                                                     guidance would be beneficial. FTA                       public transportation system’’ which                  Additional commenters stated that
                                                     plans to provide technical assistance,                  receives Chapter 53 financial assistance              combining oversight of rail and non-rail
                                                     training, and templates to support plan                 must draft and certify a Public                       transit safety may work in some States,
                                                     development. Similar to the variety of                  Transportation Agency Safety Plan,                    but it may not work in others, and
                                                     safety plan templates that FTA has                      regardless of its status as a recipient or            therefore, FTA should not require
                                                     provided in the past as part of its Bus                 subrecipient. In addition, any Section                transit agencies to combine oversight
                                                     Safety Program, FTA will provide safety                 5310, Section 5311, or small public                   practices. Some commenters stated that
                                                     plan templates for states and transit                   transportation provider that opts to draft            bus and rail system elements are very
                                                     agencies, keeping in consideration                      its own plan may also certify its own                 different, so the oversight programs
                                                     differences in size, complexity and                     plan. With respect to the process for                 would be best administered separately.
                                                     operating characteristics.                              certification of Public Transportation                Many commenters recommended that
                                                                                                             Agency Safety Plans, as noted above,                  States should have some sort of
                                                     b. Role of State in Certifying Public
                                                                                                             FTA proposes to use its annual                        oversight role of non-rail transit systems
                                                     Transportation Agency Safety Plans
                                                                                                             Certifications and Assurances process                 and could combine bus oversight into
                                                        In its ANPRM, FTA sought comments                    for the certification of the plans.
                                                     with respect to the type of assistance                                                                        each State’s existing rail oversight
                                                     that should be provided to States that                  4. Oversight and Review of Public                     program, but others disagreed that they
                                                     choose to certify to FTA the Public                     Transportation Agency Safety Plans                    could be combined. Finally, several
                                                     Transportation Agency Safety Plans on                      The State’s Role section of the                    commenters suggested that additional
                                                     behalf of small operators. FTA also                     ANPRM posed questions relating to the                 financial and staffing resources would
                                                     sought comments on the types of                         purview a State might have in                         be necessary if FTA requires States to
                                                     requirements and procedures that FTA                    overseeing subrecipients, how oversight               provide oversight of non-rail transit, and
                                                     should establish for State certification of             should be provided, and the time                      that adding additional staff would take
                                                     safety plans.                                           estimated to provide such oversight. In               considerable time.
                                                        Comments: Many commenters                            addition, FTA asked those States that                    Many commenters suggested that FTA
                                                     suggested that a significant burden                     currently perform safety operations                   should not have a role in reviewing the
                                                     would be imposed upon States if FTA                     oversight for non-rail modes, to provide              Public Transportation Agency Safety
                                                     required them to certify each and every                 information on these programs. Finally,               Plans. Other commenters recommended
                                                     Public Transportation Agency Safety                     this section posed questions about the                that FTA review the Public
                                                     Plan. These commenters expressed that,                  annual review of Public Transportation                Transportation Agency Safety Plans
                                                     in part, the burden would be due to a                   Agency Safety Plans.                                  through the Triennial and SMR review
                                                     lack of staff resources at States and the                  Comments: Many commenters                          processes. Finally, many commenters
                                                     amount of time that staff would need to                 suggested that States should provide                  suggested that an annual review would
                                                     review and certify individual safety                    oversight of transit agencies for which               be too frequent for transit agencies that
                                                     plans. A number of commenters                           the State drafts and certifies the Public             only provide bus service, and an annual
                                                     suggested that FTA should allow                         Transportation Agency Safety Plan (or                 review may increase a transit agency’s
                                                     maximum flexibility for States. A few                   statewide safety plan). Other                         operating costs and be difficult to
                                                     commenters suggested that the burden                    commenters suggested that this form of                implement without diverting resources
                                                     would be minimal since they already                     oversight could represent a conflict of               from other agency programs.
                                                     have a role in monitoring agency safety                 interest for the State. Additional                       Response: With today’s notice, FTA
                                                     plans. Many commenters suggested that                   commenters suggested that States do not               does not propose additional oversight
                                                     FTA could reduce the overall                            have the staff and expertise to draft and             requirements for States that draft and
                                                     administrative burden if it provides                    certify plans.                                        certify Public Transportation Agency
                                                     technical assistance and sample                            Many commenters suggested that FTA                 Safety Plans. FTA anticipates that
                                                     templates. Many commenters stated that                  should require State DOTs to maintain                 oversight for Public Transportation
                                                     FTA should not establish any                            lists of certified subrecipients that have            Agency Safety Plan implementation for
                                                     requirements or procedures for States                   established safety plans or are covered               agencies that do not operate a rail fixed
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                                                     that draft and certify Public                           by a statewide plan. A few commenters                 guideway system would be conducted
                                                     Transportation Agency Safety Plans for                  noted that some states already maintain               primarily through FTA’s SMR and
                                                     subrecipients. Other commenters                         lists of subrecipients. Other commenters              Triennial Review Programs. FTA is
                                                     expressed an opinion that 49 U.S.C.                     suggested that State DOTs should not be               likely to conduct additional oversight of
                                                     5329(d) does not require States’                        required to maintain these types of lists,            Public Transportation Agency Safety
                                                     subrecipients to develop safety plans. A                either because all Section 5311                       Plans outside of these programs. FTA
                                                     few commenters suggested that FTA                       subrecipients already will be covered by              agrees with commenters who suggested
                                                     should establish requirements for States                a state management plan, or in their                  that States likely already maintain lists
                                                     that develop and certify Public                         opinion, 49 U.S.C. 5329(d) does not                   of subrecipients, and therefore is not


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                                                                              Federal Register / Vol. 81, No. 24 / Friday, February 5, 2016 / Proposed Rules                                          6357

                                                     proposing a requirement for additional                  capacity, and lack the experience and                 interest. Many other commenters noted
                                                     subrecipient lists.                                     knowledge to develop or certify safety                that small agencies do not have the
                                                        With respect to the review of Public                 plans. These commenters suggested that                resources to dedicate a single position to
                                                     Transportation Agency Safety Plans, as                  only the State or FTA may have the                    a Safety Officer role, and in some cases,
                                                     mentioned earlier, FTA intends to                       experience and knowledge to develop                   combine operational, maintenance, and
                                                     maintain the authority to review the                    and certify Public Transportation                     safety functions under a single
                                                     plans during SMR and Triennial                          Agency Safety Plans. A few commenters                 individual. A few commenters stated
                                                     Reviews or at its sole discretion, such as              stated that if there is no Board of                   that a Safety Officer very likely will
                                                     in the event that FTA identifies                        Directors, then only the State (or State              serve many functions within small
                                                     circumstances posing a safety risk. FTA                 Safety Oversight Agency) or FTA should                transit agencies, and these commenters
                                                     disagrees with commenters who                           be allowed to approve Public                          believe that there are no conflicts of
                                                     suggested that an annual review would                   Transportation Agency Safety Plans.                   interest with this arrangement.
                                                     be too frequent. Pursuant to 49 U.S.C.                     Response: FTA is proposing to define                  A few commenters suggested that a
                                                     5329(d)(1)(D), transit agencies are                     the term ‘‘Equivalent Authority’’ to                  transit agency could combine the
                                                     required to perform annual reviews of                   mean an entity that carries out duties                following responsibilities with the
                                                     their Public Transportation Agency                      similar to that of a Board of Directors,              Safety Officer position: training,
                                                     Safety Plans. FTA proposes that each                    including, at the very minimum,                       emergency preparedness and
                                                     transit agency document its timeline for                sufficient authority to review and                    management, security, risk management
                                                     an annual review and update, as                         approve a recipient or subrecipient’s                 (claims), quality assurance, and
                                                     necessary, of its Public Transportation                 Public Transportation Agency Safety                   environmental management. One
                                                     Agency Safety Plan (§ 673.11(a)(7)).                    Plan. If a recipient or subrecipient does             commenter also stated that FTA needs
                                                                                                             not have a Board of Directors to review               to be very diligent about codifying new
                                                     D. Role of the Board of Directors (or
                                                                                                             and approve a Public Transportation                   requirements, and should consider a
                                                     Equivalent Authority) and the Chief
                                                                                                             Agency Safety Plan, then FTA proposes                 different set of rules for the 20 to 50
                                                     Safety Officer (Questions 23, 29)
                                                                                                             that the recipient or subrecipient must               largest transit providers than for smaller
                                                       In the Plan Requirements section of                   identify an ‘‘Equivalent Authority’’ as               operators nationwide.
                                                     the ANPRM, FTA posed a question                         defined in today’s proposal. For
                                                     regarding the role of a transit agency’s                                                                         Response: Pursuant to 49 U.S.C.
                                                                                                             example, an ‘‘Equivalent Authority’’                  5329(d)(1)(F), a Public Transportation
                                                     Board of Directors (or equivalent                       could be the policy decision-maker/
                                                     authority) with the approval of its                                                                           Agency Safety Plan must include the
                                                                                                             grant manager for a Section 5310,
                                                     Public Transportation Agency Safety                                                                           ‘‘assignment of an adequately trained
                                                                                                             Section 5311, or small public
                                                     Plan. FTA also posed questions                                                                                Safety Officer who reports directly to
                                                                                                             transportation provider; the city council
                                                     regarding the roles and responsibilities                                                                      the general manager, president, or
                                                                                                             and/or city manager for a city; a county
                                                     of a transit agency’s executive                                                                               equivalent officer of the recipient.’’ The
                                                                                                             legislature for a county; or a State
                                                     leadership, including the combination                                                                         intent for this direct reporting
                                                                                                             transportation commission for a State.
                                                     of roles and responsibilities, particularly                                                                   relationship is to ensure that safety
                                                                                                             Pursuant to 49 U.S.C. 5329(d)(1)(A),
                                                     in smaller operations, where the same                                                                         matters are directly and routinely
                                                                                                             FTA proposes that each Public
                                                     individual may function as the transit                                                                        elevated from the most senior Safety
                                                                                                             Transportation Agency Safety Plan, and
                                                     agency’s general manager, operations                                                                          Officer to the Accountable Executive.
                                                                                                             subsequent updates, would be reviewed
                                                     manager, and Safety Officer. Related to                 and approved by the Board of Directors                   FTA agrees that many smaller
                                                     this question, FTA asked if the                         (or Equivalent Authority).                            agencies may not have sufficient
                                                     combination of these roles could cause                     Regarding the role of State Safety                 resources for a dedicated Safety Officer.
                                                     any conflict of interest between safety                 Oversight Agencies, it would be a                     In many cases, a transit agency’s Safety
                                                     and any other agency responsibilities.                  conflict of interest for those oversight              Officer may serve several other
                                                                                                             authorities to be involved in the                     functions, including those related to
                                                     1. Board of Directors (or Equivalent                                                                          safety, operations, and maintenance.
                                                                                                             development of the Public
                                                     Authority)                                                                                                    Consequently, FTA proposes that
                                                                                                             Transportation Agency Safety Plans that
                                                        Comments: Many commenters                            they are charged with overseeing.                     Section 5310, Section 5311, and small
                                                     suggested that if a Transit agency does                 Consequently, FTA is not proposing that               public transportation providers may
                                                     not have a Board of Directors,                          a State Safety Oversight Agency serve as              assign an adequately trained Safety
                                                     ‘‘equivalent entities’’ to a Board of                   an ‘‘Equivalent Authority’’ for purposes              Officer to serve other agency functions.
                                                     Directors generally would be those that                 of this rule.                                         For example, it would be reasonable to
                                                     have authority to make day-to-day                                                                             anticipate that in a very small bus
                                                     policy decisions. In the cases where a                  2. Chief Safety Officer                               transit agency, the general manager or
                                                     transit agency does not have a Board of                    Comments: When asked what other                    operations manager may be the same
                                                     Directors, several commenters suggested                 responsibilities might be combined with               individual as the Safety Officer.
                                                     that FTA should allow a transit agency’s                the Safety Officer role, particularly in                 Notwithstanding this proposal for
                                                     General Manager to certify that it has                  smaller operations where the same                     smaller transit providers, FTA believes
                                                     reviewed a Public Transportation                        individual may function as the general                that it is preferable for larger transit
                                                     Agency Safety Plan through FTA’s                        manager, operations manager, and                      systems to have a Safety Officer who
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                                                     Certifications and Assurances process.                  Safety Officer, many commenters                       focuses exclusively on safety-related
                                                     Other commenters noted that the                         acknowledged that the Safety Officer                  issues, so for rail fixed guideway
                                                     attributes, functions, and authorities of               position could be combined with other                 systems and all other recipients, FTA
                                                     an ‘‘equivalent entity’’ to a Board of                  complementary non-operational                         proposes that the Safety Officer may not
                                                     Directors should be the same as that of                 positions, but these commenters                       also serve in an operational or
                                                     a Board of Directors. A few commenters                  recommended that the Safety Officer                   maintenance capacity, and that the
                                                     suggested that, in some instances,                      position should not be combined with                  Safety Officer must report directly to the
                                                     boards of directors and equivalent                      operational roles because the combined                chief executive officer, general manager,
                                                     entities may be serving in a volunteer                  duties would create a conflict of                     president, or other equivalent officer.


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                                                     6358                     Federal Register / Vol. 81, No. 24 / Friday, February 5, 2016 / Proposed Rules

                                                     E. Coordination of Public                               appropriate venue to ensure that Public               5304 and the proposed regulations
                                                     Transportation Agency Safety Plan With                  Transportation Agency Safety Plan’s                   thereunder at 23 CFR part 450 (see 79
                                                     Other MAP–21 Programs and Plans                         and the Transit Asset Management                      FR 31784, June 2, 2014), States and
                                                     (Questions 8–10, 24, 116–121)                           Plan’s goals, measures, and targets from              MPOs must integrate into the Statewide
                                                        In the ANPRM, FTA discussed the                      individual transit systems are integrated             and metropolitan planning processes
                                                     statutory requirements regarding                        into the metropolitan transportation                  the developed goals, objectives,
                                                     coordination of the Public                              planning process. A small group of                    performance measures, and targets
                                                     Transportation Agency Safety Plan with                  commenters recommended that any                       described in the Public Transportation
                                                     the National Public Transportation                      FTA requirements be as general as                     Agency Safety Plans and Transit Asset
                                                     Safety Plan at 49 U.S.C. 5329(b) and the                possible and not undercut fundamental                 Management Plans, either directly or by
                                                     Transit Asset Management System at 49                   State and local prerogatives.                         reference. Further, in the Statewide
                                                                                                                Response: FTA recognizes that safety               Long Range Plans and Metropolitan
                                                     U.S.C. 5326. FTA also discussed the
                                                                                                             is only one factor in the transit asset               Transportation Plans, States should and
                                                     statutory requirements regarding
                                                                                                             management and statewide and local                    MPOs must (1) describe the safety and
                                                     coordination of the Public
                                                                                                             planning processes, and likewise, that                asset management performance
                                                     Transportation Agency Safety Plan with                  safety programs do not deal exclusively               measures and targets; (2) report on the
                                                     the planning requirements at 49 U.S.C.                  with asset condition and capital                      condition of the transit systems with
                                                     5303 and 49 U.S.C. 5304. These                          investments but rather touch on a wide                respect to the safety and asset
                                                     provisions require Metropolitan                         variety of operational, engineering, and              management performance targets; and
                                                     Planning Organizations (MPOs) and                       maintenance activities. While the                     (3) report on the progress achieved in
                                                     States to coordinate the selection of                   connections between and among safety,                 meeting the safety and asset
                                                     their performance targets with the                      transit asset management, and statewide               management performance targets in
                                                     performance targets set by FTA                          and metropolitan planning may appear                  comparison with the conditions
                                                     recipients for safety and state of good                 tenuous to some commenters, MAP–21                    reported in previous years. 49 U.S.C.
                                                     repair.                                                 makes them a matter of law.                           5303(i)(2)(B) and (C); 49 U.S.C.
                                                        Comments: Commenters generally                       Specifically, Congress authorized a new               5304(f)(7). States and MPOs also must
                                                     opposed FTA issuing prescriptive                        Transit Asset Management Program at                   coordinate in the selection of transit
                                                     criteria for safety, state of good repair,              49 U.S.C. 5326 to establish a system to               safety performance and state of good
                                                     or statewide and metropolitan planning                  monitor, manage, and improve the state                repair targets with the transit agencies to
                                                     processes. To address the law’s                         of good repair of the nation’s public                 the maximum extent practicable. 49
                                                     requirements, commenters generally                      transportation capital assets. Further, in            U.S.C. 5303(h)(2)(B)(ii); 49 U.S.C.
                                                     encouraged FTA to allow transit                         the enhanced requirements for                         5304(d)(2)(B)(ii). Finally, transportation
                                                     agencies to establish their own safety                  Statewide and Metropolitan planning at                improvement programs (TIPs) and
                                                     and state of good repair definitions, and               49 U.S.C. 5303(h)(2)(B)(iii) and                      statewide transportation improvement
                                                     to allow transit agencies to develop their              5304(d)(2)(B)(ii), respectively, Congress             programs (STIPs) must include, to the
                                                     own performance measures in their                       mandated that the performance targets                 maximum extent practicable, a
                                                     Public Transportation Agency Safety                     set in the Metropolitan and Statewide                 discussion of the anticipated effects of
                                                     Plans. Several commenters expressed                     Planning processes be ‘‘coordinate[d] to              the TIP or STIP toward achieving the
                                                     the opinion that state of good repair                   the maximum extent practicable’’ with                 safety and asset management
                                                     considerations should only become                       transit agencies’ performance targets for             performance targets, linking the safety
                                                     relevant when safety issues are                         safety and asset management. In their                 and asset management investment
                                                     identified. These commenters generally                  entirety, the requirements of 49 U.S.C.               priorities to those performance targets.
                                                     recommended that FTA focus the Public                   5329, 5326, 5303 and 5304 support one                 49 U.S.C. 5303(j)(2)(D); 49 U.S.C.
                                                     Transportation Agency Safety Plan and                   another and the coordination of                       5304(g)(4).
                                                     SMS implementation on processes used                    national, State, and local efforts to                    The integration of a transit agency’s
                                                     to ensure the identification of these                   improve transit safety and increase the               safety and asset management
                                                     issues. Other commenters disputed the                   reliability and performance of the                    performance targets into the State and
                                                     existence of a nexus or connection                      nation’s public transportation systems.               MPO planning process would inform
                                                     between state of good repair and safety.                   Pursuant to 49 U.S.C. 5329(b)(2)(B),               States and MPOs in the setting of their
                                                     Several commenters pointed out that                     FTA must develop and implement a                      goals, objectives, and investment
                                                     although safety is an important                         National Public Transportation Safety                 strategies for public transportation. This
                                                     consideration in state of good repair, it               Plan that includes safety performance                 integrated planning process should
                                                     is only one consideration, and existing                 criteria and the definition of state of               result in States and MPOs being able to
                                                     processes and capabilities already                      good repair, which must be defined                    identify investment and management
                                                     account for safety issues in asset                      through a transit asset management                    strategies to improve or preserve the
                                                     management and statewide/MPO                            rulemaking. 49 U.S.C. 5326(b)(1) and                  safety of public transportation systems
                                                     planning processes.                                     (d). Pursuant to 49 U.S.C. 5329(d)(1)(E),             and the condition of transit capital
                                                        Many commenters believed that FTA                    a Public Transportation Agency Safety                 assets.
                                                     should not establish any other                          Plan must include safety performance                     In today’s NPRM, FTA proposes in
                                                     requirements for integrating Public                     targets based on the safety performance               § 673.11(a)(3) that transit agencies must
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                                                     Transportation Agency Safety Plans and                  criteria in the National Public                       include in their Public Transportation
                                                     Transit Asset Management Plan goals,                    Transportation Safety Plan and the state              Agency Safety Plans performance targets
                                                     measures, and targets into each other or                of good repair standards established                  that are based on the safety performance
                                                     the transportation planning process.                    under the National Transit Asset                      criteria and state of good repair
                                                     Other commenters stated that FTA                        Management System. 49 U.S.C.                          standards established by FTA under its
                                                     should not establish any requirements                   5329(b)(2), 49 U.S.C. 5326(b)(1).                     National Public Transportation Safety
                                                     regarding coordination. Some                               Although not required in this                      Plan and the National Transit Asset
                                                     commenters stated that the MPO                          proposed rule, pursuant to the planning               Management System, respectively. In
                                                     Certification process is the most                       requirements at 49 U.S.C. 5303 and                    § 673.15, FTA proposes to require


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                                                                              Federal Register / Vol. 81, No. 24 / Friday, February 5, 2016 / Proposed Rules                                             6359

                                                     transit agencies to coordinate with                     law and other applicable requirements                    This section also proposes a number
                                                     States and MPOs in the selection of                     (such as those for regulatory review). It             of definitions for terms used repeatedly
                                                     State and MPO safety performance                        further proposes FTA’s intent to set                  throughout the other safety programs
                                                     targets.                                                standards for SMS that are flexible and               authorized by 49 U.S.C. 5329. Some of
                                                        In addition, the development of safety               can be tailored to the size and operating             these terms are included in FTA’s
                                                     performance criteria by FTA and safety                  complexity of the recipient.                          proposed State Safety Oversight NPRM
                                                     performance targets by transit agencies                                                                       which was issued prior to this NPRM,
                                                     support FTA’s overall efforts to monitor                § 673.5 Definitions
                                                                                                                                                                   but the wording of the definitions has
                                                     the safety performance of the public                       This section sets forth a number of                been slightly changed in today’s
                                                     transportation industry, in keeping with                proposed definitions, many of which are               rulemaking for sake of clarity. FTA’s
                                                     recommendations made by the U.S.                        based on the principles and methods of                intent is for all terms to have the same
                                                     Government Accountability Office in its                 SMS. For example, readers should refer                definition in all of its safety programs,
                                                     January 2011 report, ‘‘FTA Programs are                 to ‘‘Accountable Executive,’’ ‘‘Hazard,’’             and FTA will reconcile those terms in
                                                     Helping Address Transit Agencies’                       ‘‘Operator of a Public Transportation                 the appropriate rulemakings. Readers
                                                     Safety Challenges, but Improved                         System,’’ ‘‘Safety Assurance,’’ ‘‘Safety              should refer, specifically, to the
                                                     Performance Goals and Measures could                    Management System,’’ ‘‘Safety                         definitions of ‘‘Accident,’’ ‘‘Event,’’
                                                     Better Focus Efforts’’ (http://www.gao.                 Management Policy,’’ ‘‘Safety                         ‘‘Hazard,’’ ‘‘Incident,’’ ‘‘Investigation,’’
                                                     gov/new.items/d11199.pdf).                              Promotion,’’ and ‘‘Safety Risk                        ‘‘Occurrence,’’ and ‘‘Transit Agency.’’
                                                        FTA is providing additional                          Management.’’ In recent years SMS has                    Pursuant to 49 U.S.C. 5329(d)(3)(B),
                                                     information regarding the coordination                  emerged as the preferable practice for                FTA must issue a rule that designates
                                                     of Public Transportation Agency Safety                  enhancing safety in all modes of                      which 49 U.S.C. 5307 small public
                                                     Plans, the Public Transportation Safety                 transportation, and the Secretary of                  transportation providers may have
                                                     Program, National Public Transportation                 Transportation instructed each of the                 States draft Public Transportation
                                                     Safety Plan, and Transit Asset                          Department’s operating administrations                Agency Safety Plans on their behalf.
                                                     Management Plans in separate NPRMs                      to develop rules, plans, and programs to              This section proposes a definition for
                                                     issued to implement the MAP–21                          apply SMS to their grant recipients and               ‘‘Small Public Transportation Provider’’
                                                     provisions codified at 49 U.S.C. 5329(b)                regulated communities. See http://www.                (in accordance with 49 U.S.C.
                                                     and 5326, respectively. FTA and FHWA                    fedeval.net/docs/2012Coplen_1.pdf.                    5329(d)(3)(B)) as a Section 5307
                                                     jointly issued an NPRM on June 2, 2014,                 Many of the definitions for applying the              recipient or subrecipient that does not
                                                     that proposes new requirements for                      principles and methods of SMS in                      operate rail fixed guideway service and
                                                     Metropolitan, Statewide and Non-                        proposed § 673.5 are very similar to                  operates 100 or fewer vehicles in
                                                     Metropolitan Planning to implement the                  those set forth in the FAA’s SMS                      revenue service.
                                                     new MAP–21 provisions codified at 49                    regulation, titled ‘‘Safety Management                   New definitions are proposed for the
                                                     U.S.C. 5303 and 5304, and in the future,                Systems for Domestic, Flag, and                       terms ‘‘National Public Transportation
                                                     FTA and FHWA will issue a joint final                   Supplemental Operations Certificate                   Safety Plan,’’ ‘‘Transit Asset
                                                     rule to guide the new performance-                      Holders,’’ 14 CFR parts 5 and 119, 80 FR              Management Plan,’’ and ‘‘Equivalent
                                                     based approach to planning. See 79 FR                   1308, Jan. 8, 2015.                                   Authority,’’ all of which are consistent
                                                     31784.                                                     In addition, both the Administrator’s
                                                                                                                                                                   with the use of those terms in the
                                                                                                             May 13, 2013 Dear Colleague letter and
                                                     Section-by-Section Analysis                                                                                   statutes and FTA’s related rulemakings
                                                                                                             a set of frequently asked questions about
                                                                                                                                                                   on safety and transit asset management.
                                                     Subpart A—General                                       SMS are available on FTA’s Web site at
                                                                                                             http://www.fta.dot.gov/tso_15177.html.                Subpart B—Public Transportation
                                                     § 673.1 Applicability                                   Finally, FTA has provided its ‘‘Safety                Agency Safety Plans
                                                        This section explains that this                      Management Systems Framework,’’ in
                                                                                                                                                                   § 673.11 General Requirements
                                                     regulation would apply to all States,                   Appendix A to FTA’s State Safety
                                                     local governmental authorities, and                     Oversight NPRM. 80 FR 11002, Feb. 27,                    This section proposes the minimum
                                                     other operators of public transportation                2015 (http://www.gpo.gov/fdsys/pkg/FR-                requirements for the elements to be
                                                     systems that are recipients of Federal                  2015-02-27/pdf/2015-03841.pdf). FTA                   included in a Public Transportation
                                                     financial assistance under 49 U.S.C.                    anticipates that it will be incorporating             Agency Safety Plan. Pursuant to 49
                                                     Chapter 53. In accordance with 49                       these same definitions for applying SMS               U.S.C 5329(d)(1), this section proposes
                                                     U.S.C. 5329(d), a Public Transportation                 to public transportation in its related               that each operator of public
                                                     Agency Safety Plan would be required                    rulemakings for the Public                            transportation that receives Federal
                                                     of all operators of public transportation               Transportation Safety Program and the                 financial assistance under 49 U.S.C.
                                                     systems, whereas in the past, a ‘‘system                Public Transportation Safety                          Chapter 53 must develop and certify a
                                                     safety program plan’’ was only required                 Certification Training Program.                       Public Transportation Agency Safety
                                                     of rail fixed guideway systems,                            FTA proposes to include a definition               Plan. As provided by 49 U.S.C.
                                                     currently codified in 49 CFR 659.17.                    for ‘‘Accountable Executive’’ that                    5329(d)(3)(A), § 673.11(d) proposes that
                                                     This requirement would go into effect                   identifies the person at a transit agency             a State must draft the Public
                                                     one year after the effective date of the                that has the responsibility and                       Transportation Agency Safety Plan for
                                                     final rule.                                             accountability for the implementation of              49 U.S.C. 5310 and 5311 providers, as
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                                                                                                             SMS and control and direction of the                  well as for any small public
                                                     § 673.3 Policy                                          Public Transportation Agency Safety                   transportation providers as defined in
                                                       This section explains that FTA                        Plan and the Transit Asset Management                 today’s NPRM. A State is not required
                                                     proposes the use of principles and                      Plan. FTA proposes to include                         to develop a Public Transportation
                                                     methods of SMS as the basis for this                    definitions for ‘‘Safety Risk                         Agency Safety Plan for a particular
                                                     regulation and all other regulations and                Management,’’ ‘‘Safety Risk,’’ ‘‘Safety               transit agency that receives Federal
                                                     policies FTA will issue under the                       Assurance,’’ and ‘‘Safety Management                  financial assistance under 49 U.S.C.
                                                     authority of 49 U.S.C. 5329, to the                     Policy,’’ all key terms to the                        5310, 49 U.S.C. 5311, or a small public
                                                     extent practicable and consistent with                  implementation of SMS.                                transportation provider, if that agency


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                                                     6360                     Federal Register / Vol. 81, No. 24 / Friday, February 5, 2016 / Proposed Rules

                                                     notifies the State that it will develop its             Transportation Safety Plan, FTA is                    regional, and local officials with roles
                                                     own plan.                                               proposing to adopt four initial safety                and responsibilities for emergency
                                                        Section 673.11(a)(1) proposes that the               performance criteria: (1) Fatalities, (2)             preparedness and response in the transit
                                                     Public Transportation Agency Safety                     Injuries, (3) Safety Events, and (4)                  agency’s service area. FTA understands
                                                     Plan, and any updates, must be signed                   System Reliability.16 These safety                    that a transit agency may have
                                                     by the transit agency’s designated                      performance criteria represent                        developed an emergency preparedness
                                                     Accountable Executive and be approved                   categories of measures that are intended              and response plan that addresses these
                                                     by the transit agency’s Board of                        to reduce safety events, fatalities, and              minimum requirements in accordance
                                                     Directors, or equivalent entity. This                   injuries. These measures are broad so                 with regulations from other Federal and
                                                     proposal is consistent with the statutory               that they will be relevant to all public              State agencies. Notably, FTA currently
                                                     requirement in 49 U.S.C. 5329(d)(1)(A)                  transportation modes, and they are                    requires rail fixed guideway systems to
                                                     that a Board of Directors (or equivalent                intended to focus transit agencies on the             have emergency preparedness plans
                                                     entity) approve the transit agency’s                    development of specific and                           through the State Safety Oversight Rule
                                                     safety plan. In short, under today’s                    measureable targets, as well as the                   at 49 CFR 659.19(k). FTA intends to
                                                     NPRM, accountability for the contents                   actions each agency would implement                   require rail transit systems to continue
                                                     in the Public Transportation Agency                     to improve their own safety outcomes.                 to implement the twenty-one elements
                                                     Safety Plan is formally elevated to the                 Through the SMS process, FTA expects                  of their system safety program plans as
                                                     Accountable Executive and Board of                      transit agencies to develop their own                 currently required under 49 CFR part
                                                     Directors. Section 673.11(a)(7) proposes                performance indicators and regularly                  659; the pillars of SMS cover the
                                                     that this occurs annually to a timeline                 monitor the performance of their                      remaining twenty elements. FTA has
                                                     established by the agency, or State, in                 systems to ensure that they are meeting               developed a crosswalk analysis between
                                                     accordance with 49 U.S.C.                               their targets and improving safety                    each of the twenty-one elements of
                                                     5329(d)(1)(D).                                          outcomes. FTA is proposing to adopt                   system safety program plans and each of
                                                        Pursuant to 49 U.S.C. 5329(d)(1)(B),                 these measures through a separate                     the elements of SMS. FTA is adding this
                                                     (C), (D), (E), (F), and (G), a transit agency           notice and comment process, and FTA                   crosswalk to the docket, and FTA is
                                                     must establish: Methods for identifying                 directs readers to that docket if readers             making the crosswalk available on its
                                                     and evaluating safety risks throughout                  are interested in submitting comments                 Web site at http://fta.dot.gov/tso.html.
                                                     all elements of its public transportation               on the safety performance criteria. FTA                  FTA notes that there are safety models
                                                     system; strategies to minimize the                      expects transit agencies to evaluate their            that include emergency preparedness as
                                                     exposure of the public, personnel, and                  safety performances and determine                     a key element. For example, FAA
                                                     property to hazards and unsafe                          whether they should change their safety               requires certain air carriers to have
                                                     conditions; a process and timeline for                  performance targets at least annually                 emergency preparedness plans. See 14
                                                     conducting an annual review and                         when the transit agencies are reviewing               CFR 5.27. Additionally, FRA is
                                                     update of its safety plan; safety                       and updating their Public                             proposing to require railroads to have
                                                     performance targets; a safety officer who               Transportation Agency Safety Plans. A                 emergency preparedness plans. See 77
                                                     reports directly to the general manager,                State or transit agency must make its                 FR 55403 (Sept. 7, 2012). Recent safety-
                                                     president, or equivalent officer; and a                 safety performance targets available to               related events have demonstrated the
                                                     comprehensive staff training program                    States and Metropolitan Planning                      need for emergency preparedness plans
                                                     for the operations personnel and                        Organizations (MPO) to aid States and                 in improving safety outcomes
                                                     personnel directly responsible for                      MPOs in the selection of their own                    nationally.
                                                     safety. These statutory requirements fit                performance targets.                                     In addition to the above general
                                                     into the four key pillars of SMS, as                       Section 673.11(a)(4) proposes that a               requirements, FTA would expect a
                                                     discussed in more detail above: Safety                  Public Transportation Agency Safety                   transit agency to comply with all other
                                                     Management Policy, Safety Risk                          Plan must address any future standards                applicable Federal, State, and local
                                                     Management, Safety Assurance, and                       or requirements, as applicable, set forth             requirements, laws, regulations, and
                                                     Safety Promotion. Consequently, FTA                     in FTA’s Public Transportation Safety                 codes as they may relate to safety.17
                                                     proposes to require each transit agency                 Program and FTA’s National Public                        Section 673.11(b) proposes that the
                                                     to develop and implement an SMS                         Transportation Safety Plan.                           Public Transportation Agency Safety
                                                     under § 673.11(a)(2); this SMS will                        Section 673.11(a)(5) proposes that                 Plan may include more than one mode
                                                     satisfy the statutory requirements of 49                each transit agency must establish a                  of service. However, if a transit agency
                                                     U.S.C. 5329(d)(1)(B), (C), (D), (E), (F),               process and timeline for conducting an                has a safety plan for its commuter rail
                                                     and (G). In this proposal, FTA                          annual review and update of its Public                service, passenger ferry service, or
                                                     recognizes that a Public Transportation                 Transportation Agency Safety Plan.                    aviation service, then the transit agency
                                                     Agency Safety Plan for a large, multi-                     Proposed § 673.11(a)(6) would require              may not use that plan for purposes of
                                                     modal, complex public transportation                    that each rail transit agency include, or             satisfying 49 CFR part 673; the transit
                                                     system most likely will be more                         incorporate by reference, in its Public               agency must develop a separate Public
                                                     complex than that of a very small bus                   Transportation Agency Safety Plan an                  Transportation Agency Safety Plan
                                                     operator. The scalability of SMS will                   emergency preparedness and response                   consistent with this part. FTA invites
                                                     allow transit agencies to develop safety                plan. FTA intends that each emergency                 specific comment on how FTA could
                                                     plans that will meet the unique needs of                preparedness and response plan would                  support the development of Public
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                                                     their operating environments.                           address, at a minimum: The assignment                 Transportation Agency Safety Plans for
                                                        Proposed § 673.11(a)(3) explains that                of employee responsibilities, as                      Transit Agencies of different sizes and
                                                     each Public Transportation Agency                       necessary and appropriate, during an                  modes.
                                                     Safety Plan must include safety                         emergency; the integration of responses                  Section 673.11(c) proposes that a
                                                     performance targets based on the safety                 to all hazards, as appropriate; and                   transit agency must maintain its Public
                                                     performance criteria and state of good                  coordination with Federal, State,                     Transportation Agency Safety Plan in
                                                     repair measures established by FTA in
                                                     the National Public Transportation                        16 FTA may adopt additional performance criteria      17 See FTA’s State Safety Oversight Rule at 49

                                                     Safety Plan. In the National Public                     through future public comment processes.              CFR 659.19(r) (2015).



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                                                                              Federal Register / Vol. 81, No. 24 / Friday, February 5, 2016 / Proposed Rules                                                  6361

                                                     accordance with the recordkeeping                       49 CFR part 674. In accordance with 49                under the first component of SMS,
                                                     requirements of Subpart D of this Part.                 U.S.C. 5329(e)(4)(iv), State Safety                   Safety Management Policy. The success
                                                        Section 673.11(d) proposes that a                    Oversight Agencies must have the                      of a transit agency’s SMS is dependent
                                                     State must draft and certify a Public                   authority to review, approve, oversee,                upon the commitment of the entire
                                                     Transportation Agency Safety Plan on                    and enforce the implementation of the                 organization and begins with the highest
                                                     behalf of any 49 U.S.C. 5310, 49 U.S.C.                 Public Transportation Agency Safety                   levels of transit agency management.
                                                     5311, or small public transportation                    Plans of transit agencies operating rail              FTA expects that the level of detail for
                                                     provider. A State is not required to draft              fixed guideway public transportation                  organizational accountabilities and
                                                     a Public Transportation Agency Safety                   systems.                                              responsibilities would be commensurate
                                                     Plan if a 49 U.S.C. 5310, 49 U.S.C. 5311,                  Section 673.13(b) requires that each               with the size and complexity of the
                                                     or small public transportation provider                 transit agency or State certify                       transit agency.
                                                     notifies the State that it will draft its               compliance with part 673 on an annual                    The Safety Management Policy
                                                     own plan. In either instance, the transit               basis.                                                statement would contain the transit
                                                     agency must carry out the plan.                                                                               agency’s safety objectives. These
                                                        If a State drafts and certifies a Public             § 673.15 Coordination with                            objectives would include a broad
                                                     Transportation Agency Safety Plan on                    Metropolitan, Statewide, and Non-                     description of the agency’s overarching
                                                     behalf of a transit agency, and the transit             Metropolitan Planning Processes                       safety goals, which would be based on
                                                     agency later opts to draft and certify its                This section proposes to require a                  that agency’s unique needs. The Safety
                                                     own Public Transportation Agency                        State or transit agency to make its safety            Management Policy statement also
                                                     Safety Plan, then the transit agency                    performance targets available to States               would include a reference to the
                                                     would be required to notify the State,                  and Metropolitan Planning                             agency’s safety objectives and
                                                     and the transit agency would have one                   Organizations to aid in the planning                  performance targets.
                                                     year from the date of the notification to               process. This section also proposes to                   Under § 673.23(b), a transit agency
                                                     draft and certify a Public Transportation               require, to the maximum extent                        would need to include in its Safety
                                                     Agency Safety Plan that is compliant                    practicable, a State or transit agency to             Management Policy statement a process
                                                     with this part.                                         coordinate with States and Metropolitan               that allows employees to report safety
                                                        Section 673.11(e) proposes that any                  Planning Organizations in the selection               conditions to senior management. This
                                                     rail fixed guideway system that had a                   of State and MPO safety performance                   process would provide protections for
                                                     system safety program plan, as per                      targets.                                              employees who report safety conditions
                                                     requirements set forth in 49 CFR part                                                                         to senior management and a description
                                                     659 as of October 1, 2012, may keep that                Subpart C—Safety Management                           of behaviors that are unacceptable and
                                                     plan in effect until one year after the                 Systems                                               that would not be exempt from
                                                     effective date of the final rule.                       § 673.21     General Requirements                     disciplinary actions. This is a critical
                                                        § 673.11(f) proposes that agencies that                                                                    SMS element for ensuring safety. A
                                                     operate passenger ferries regulated by                     This section outlines the SMS
                                                                                                                                                                   reporting program allows employees
                                                     USCG or commuter rail service                           elements that each transit agency must
                                                                                                                                                                   who identify safety hazards and risks in
                                                     regulated by FRA are not required to                    establish in its Public Transportation
                                                                                                                                                                   the day-to-day duties to directly notify
                                                     develop agency safety plans for those                   Agency Safety Plan. Under today’s
                                                                                                                                                                   senior personnel, without fear of
                                                     modes of service.                                       NPRM, each transit agency would be
                                                                                                                                                                   reprisal, so that the hazards and risks
                                                                                                             required to implement an SMS;
                                                     § 673.13 Certification of Compliance                                                                          can be mitigated or eliminated. NTSB
                                                                                                             however, FTA would require that each
                                                                                                                                                                   has emphasized the need for transit
                                                        Section 673.13(a) provides that not                  transit agency would scale the SMS to
                                                                                                                                                                   agencies to have confidential employee
                                                     later than one year after the effective                 the size, scope, and complexity of the
                                                                                                                                                                   safety reporting programs,18 and this
                                                     date of the final rule, each transit agency             transit agency’s operations. Each transit
                                                     must certify its compliance with the                                                                          need was discussed at length in NTSB’s
                                                                                                             agency would be required to establish
                                                     requirements of this part. For transit                                                                        Investigate Hearing on the WMATA
                                                                                                             its activities to include the four main
                                                     agencies that receive Federal funding                                                                         Smoke and Electrical Arcing Incident in
                                                                                                             pillars of SMS: (1) Safety Management
                                                     under 49 U.S.C. 5310, 49 U.S.C. 5311,                                                                         Washington, DC on June 23 and 24,
                                                                                                             Policy; (2) Safety Risk Management; (3)
                                                     and those identified as small public                                                                          2015.19
                                                                                                             Safety Assurance; and (4) Safety
                                                                                                                                                                      Section 673.23(c) proposes that the
                                                     transportation providers under 49                       Promotion. FTA expects that the scope
                                                                                                                                                                   Safety Management Policy statement is
                                                     U.S.C. 5307, a State must certify                       and detail for each activity will vary
                                                                                                                                                                   communicated throughout the transit
                                                     compliance unless the provider opts to                  based on the size and complexity of the
                                                                                                                                                                   agency, as well as to the Board of
                                                     draft and certify its own safety plan. In               system. FTA anticipates that activities,
                                                                                                                                                                   Directors (or equivalent authority), and
                                                     those cases where a State certifies                     and documentation of those activities,
                                                                                                                                                                   is made readily available to all
                                                     compliance for 49 U.S.C. 5310, 49                       for a small bus transit agency will be
                                                                                                                                                                   employees of the transit agency and
                                                     U.S.C. 5311, or small public                            substantially less than those of a large
                                                                                                                                                                   contractors.
                                                     transportation provider under 49 U.S.C.                 multi-modal system. To help clarify
                                                     5307, this certification must also occur                SMS development and implementation,                      18 NTSB issued Safety Recommendation R–10/02
                                                     within one year after the effective date                FTA intends to provide guidance to the                for the WMATA Metrorail train collision accident
                                                     of the final rule.                                      industry, including templates designed                on June 22, 2009, found at: http://www.ntsb.gov/
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                                                        In addition to certification, Public                 to accommodate the variance in transit                investigations/AccidentReports/Reports/
                                                     Transportation Agency Safety Plans that                                                                       RAR1002.pdf. Through this report, NTSB
                                                                                                             system mode, size and complexity.                     recommends that ‘‘FTA facilitate the development
                                                     are developed by transit agencies with                                                                        of non-punitive safety reporting programs at all
                                                     rail transit systems must also be                       § 673.23     Safety Management Policy
                                                                                                                                                                   transit agencies [in order] to collect reports from
                                                     reviewed and approved by the                              Under proposed § 673.23(a), a transit               employees in all divisions within their agencies.’’
                                                                                                                                                                      19 See the NTSB’s hearing materials at http://
                                                     appropriate State Safety Oversight                      agency would be required to establish
                                                                                                                                                                   www.ntsb.gov/news/events/Pages/2015_WMATA_
                                                     Agency as per the requirements set forth                the organizational accountabilities and               Washington_DC_IHG_Agenda.aspx. and http://dms.
                                                     in 49 CFR part 659, and the future                      responsibilities necessary for                        ntsb.gov/pubdms/search/document.cfm?docID=
                                                     recodification of those requirements at                 implementing SMS and capture these                    432379&docketID=57383&mkey=90596.



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                                                     6362                     Federal Register / Vol. 81, No. 24 / Friday, February 5, 2016 / Proposed Rules

                                                        Section 673.23(d) proposes that the                  reporting trends, and for smaller bus                 safety risk mitigations to correspond to
                                                     transit agency establish its                            systems, it could mean sitting down                   those levels.
                                                     accountabilities and responsibilities                   with a few operators in a room,
                                                                                                                                                                   § 673.27 Safety Assurance
                                                     necessary to meet the established safety                discussing hazards on the system,
                                                     performance targets. In general, a transit              deciding which ones pose the greatest                    Section 673.27(a) proposes that a
                                                     agency would need to describe its                       risk, and then developing mitigation.                 transit agency develop and implement
                                                     organizational structure and the                           A transit agency must apply its                    safety assurance activities that include
                                                     procedures it must adopt in order for it                process for hazard identification and                 safety performance monitoring and
                                                     to meet its safety performance targets. A               analysis to all aspects of its system,                measurement and continuous
                                                     transit agency would describe the                       including but not limited to its                      improvement. FTA would expect that a
                                                     authorities, accountabilities, and                      operational activities, system                        transit agency’s safety assurance
                                                     responsibilities for safety management                  expansions, and state of good repair                  activities would be scaled to the size
                                                     as they relate to the development and                   activities. A transit agency should                   and complexity of its operations, with
                                                     management of the transit agency’s                      consider the results of its asset                     the objective being that a transit agency
                                                     SMS. The level of detail in this section                condition assessments while performing                can accurately determine whether or not
                                                     would be commensurate with the size                     safety hazard identification activities               it is meeting its safety objectives and
                                                     and complexity of transit agency                        within its SMS. The results of the                    safety performance targets, as well as
                                                     operations. At a minimum, a transit                     condition assessments, and subsequent                 the extent to which its SMS is being
                                                     agency would need to identify an                        SMS analysis, will inform a transit                   implemented effectively.
                                                     Accountable Executive, a Chief Safety                                                                            Each transit agency would be required
                                                                                                             agency’s determination as to whether an
                                                     Officer or SMS Executive, and agency                                                                          to conduct an annual review of its safety
                                                                                                             asset meets the state of good repair
                                                     leadership, executive management, and                                                                         risk mitigations. FTA anticipates that
                                                                                                             standards under 49 CFR part 625.
                                                     key staff who would be responsible for                                                                        each transit agency would identify those
                                                                                                                Section 673.25(b)(2) would require a               safety risk mitigations that should be
                                                     the implementation of a transit agency’s                transit agency to include, as a source for
                                                     safety plan.                                                                                                  reviewed each year to ensure they are
                                                                                                             hazard identification and analysis, data              still effective.
                                                     § 673.25 Safety Risk Management                         and information provided by an                           In § 673.27(b), FTA proposes that a
                                                                                                             oversight authority and the FTA.                      transit agency identify the data and
                                                        Section 673.25(a) proposes that each
                                                     transit agency establish and implement                     FTA proposes that hazard                           information that it must collect from its
                                                     its process for managing safety risk,                   identification and analysis activities are            operations, maintenance, and public
                                                     including the identification of hazards,                commensurate with the size of the                     transportation services so that it may
                                                     analysis of hazards, evaluation of safety               transit agency operations. For example,               monitor the agency’s safety performance
                                                     risk, and mitigation of safety risk, in all             FTA would anticipate that the number                  as well as the effectiveness of its SMS.
                                                     elements of its public transportation                   of identified hazards for a small, rural              Under this section, a transit agency
                                                     system, including changes to its public                 bus system may be less than the number                would be responsible for the ongoing
                                                     transportation system that may impact                   of hazards identified for a large, multi-             monitoring of its operations and
                                                     safety performance. At a minimum, FTA                   modal system.                                         maintenance protocols and procedures,
                                                     would expect a transit agency to apply                     Section 673.25(c) proposes that a                  and any safety risk mitigations, to assure
                                                     its safety risk management process to                   transit agency establish activities for the           that they are being implemented as
                                                     the design of a new public                              evaluation and prioritization of safety               planned.
                                                     transportation system, changes to its                   risks related to the potential                           This section proposes that a transit
                                                     existing public transportation system,                  consequences of hazards identified and                agency investigate safety events (as
                                                     new operations of service to the public,                analyzed in § 673.25(b). Transit agencies             defined in this NPRM) and any reports
                                                     new operations or maintenance                           would need to evaluate safety risks in                from non-compliance with applicable
                                                     procedures or organizational change,                    terms of both probability (the likelihood             regulations, standards, and applicable
                                                     and changes to operations or                            of the hazard producing the potential                 legal authority. Finally, the section
                                                     maintenance procedures. Additionally,                   consequences) and severity (the damage,               would require the continuous
                                                     FTA would expect a transit agency to                    or the potential consequences of a                    monitoring of information reported
                                                     develop measures to ensure that safety                  hazard, that may be caused if the hazard              through the employee safety reporting
                                                     principles, requirements, and                           is not eliminated or its consequences are             program.
                                                     representatives are included in the                     not successfully mitigated).                             In § 673.27(c), a transit agency would
                                                     transit agency’s procurement process.20                    A transit agency also would need to                be required to manage changes in its
                                                        Section 673.25(b)(1) would require a                 establish criteria for the development of             system. A transit agency would be
                                                     transit agency to establish a process for               safety risk mitigations that are necessary            required to develop a process for
                                                     hazard identification and analysis,                     based on the results of the agency’s                  identifying and assessing changes that
                                                     including the identification of the                     safety risk evaluation. For example, a                may introduce new hazards or impact
                                                     sources, both proactive and reactive, for               transit agency may decide that the                    the transit agency’s safety performance.
                                                     identifying hazards. Activities for                     criteria for developing safety risk                   If a transit agency determines that a
                                                     hazard identification analysis could                    mitigations could be the identification               change might impact safety, then the
                                                     include formalized processes where a                    of a safety risk, benefit-cost analysis, a            transit agency would need to evaluate
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                                                     transit agency identifies hazards                       system level change (such as the                      the change using Safety Risk
                                                     throughout its entire system, logs them                 addition of new technology on a                       Management activities established
                                                     into a database, performs risk analyses,                vehicle), a change to operational                     under § 673.25.
                                                     and identifies mitigation measures.                     procedures, or the expansion of service.                 In § 673.27(d), a transit agency would
                                                     These activities also could include                     To further illustrate these examples, a               be required to regularly assess its safety
                                                     safety focus groups, reviews of safety                  transit agency may color code different               performance. If a transit agency
                                                                                                             levels of safety risk (‘‘red’’ as high,               identifies any deficiencies during a
                                                       20 See FTA’s State Safety Oversight Rule at 49        ‘‘yellow’’ as medium, and ‘‘green’’ as                safety performance assessment, it would
                                                     CFR 659.19(u).                                          minor) and develop different types of                 be required to develop and carry out,


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                                                                              Federal Register / Vol. 81, No. 24 / Friday, February 5, 2016 / Proposed Rules                                          6363

                                                     under the direction of the Accountable                  the section proposes that these                       12866 and 13563. FTA has determined
                                                     Executive, a plan to address the                        documents be made available to FTA,                   that this proposed rule likely is
                                                     identified safety deficiencies. FTA                     State Safety Oversight Agencies in the                ‘‘economically significant’’ under
                                                     would expect a transit agency to                        case of rail transit systems, and other               Executive Order 12866, in that it may
                                                     conduct a safety performance                            Federal agencies as appropriate. A                    lead to transit agencies making
                                                     assessment at least annually, and the                   transit agency would be required to                   investment and prioritization decisions
                                                     safety performance assessment can be                    maintain any of these documents for a                 related to mitigation of safety risks that
                                                     completed in conjunction with the                       minimum of three years.                               would result in economic impacts that
                                                     annual review and update to its overall                                                                       could exceed $100 million in a year.
                                                                                                             § 673.33     Safety Plan Records                      However, as discussed in greater detail
                                                     safety plan in § 673.11(a)(5).
                                                                                                                This section proposes that, in                     below, FTA was unable to quantify the
                                                     § 673.29     Safety Promotion                           addition to the documents indicated                   potential impacts of this rule beyond the
                                                        This section proposes that a transit                 above, a transit agency must maintain,                costs for transit agencies to develop and
                                                     agency establish competencies and                       at a minimum, the following records:                  implement Public Transportation
                                                     training for all agency employees                       safety risk mitigations, results from a               Agency Safety Plans. FTA was able to
                                                     directly responsible for the management                 transit agency’s safety performance                   estimate costs of approximately $86
                                                     of safety, and establish and maintain the               assessment, and records of employee                   million in the first year, and $70 million
                                                     means for communicating safety                          safety training. FTA anticipates that the             per year thereafter. These costs result
                                                     performance and SMS information.                        amount of records maintained by each                  from developing and certifying safety
                                                     Section 673.29(a) would require a                       transit agency would vary based on the                plans, documenting the SMS approach,
                                                     transit agency to establish a                           agency’s size and complexity. For                     implementing SMS, and associated
                                                     comprehensive safety training program.                  example, it is reasonable to expect that              recordkeeping. The estimated costs do
                                                     Through the safety training programs, a                 a smaller agency would have fewer                     not include the costs of actions that
                                                     transit agency would require each                       safety risk mitigations and employee                  transit agencies would be required to
                                                     employee, as applicable, to complete                    training records to maintain, whereas a               take to mitigate risk as a result of
                                                     training to enable the person to meet his               large transit agency may have a robust                implementing this rule, such as vehicle
                                                     or her role and responsibilities for safety             safety management information system                  modifications, additional training,
                                                     management, and to complete refresher                   to track and monitor its safety risk                  technology investments, or changes to
                                                     training, as necessary, to stay current                 mitigations, and perhaps another system               operating procedures. The annualized
                                                     with the agency’s safety management                     dedicated to tracking employee safety                 cost of proposed requirements is
                                                     practices and procedures.                               training. For safety performance                      estimated to be approximately $71
                                                        Section 673.29(b) would require a                    monitoring and measurement, the                       million. FTA requests comment on any
                                                     transit agency to ensure that all                       section proposes that the transit agency              information that could assist in
                                                     employees are aware of any policies,                    maintain documentation that it would                  quantifying the costs, benefits, and
                                                     activities, and procedures that are                     use to determine how well it is meeting               transfers associated with this
                                                     related to their role and safety                        its safety objectives and safety                      rulemaking.
                                                     management responsibilities. Safety                     performance targets, as well as safety                   FTA has placed in the docket a
                                                     communications would include                            performance indicators used to                        Regulatory Impact Analysis (RIA) that
                                                     information on hazards and safety risks                 determine the effectiveness of SMS                    analyzes the benefits and costs of the
                                                     that are relevant to the employee’s role                implementation.                                       proposed regulatory changes in
                                                     and responsibilities; explain reasons                                                                         accordance with Executive Orders
                                                                                                             V. Regulatory Analyses and Notices                    12866 and 13563, and United States
                                                     that a transit agency introduces or
                                                     changes policies, activities or                         Executive Order 12866 (Regulatory                     Department of Transportation (USDOT)
                                                     procedures; and communicates to an                      Planning and Review), Executive Order                 policy.
                                                     employee when actions are taken in                      13563 (Improving Regulation and                          FTA also conducted this analysis to
                                                     response to reports submitted by the                                                                          satisfy the statutory requirement at 49
                                                                                                             Regulatory Review), and USDOT
                                                     employee through an employee safety                                                                           U.S.C. 5329(h)(1) that it take into
                                                                                                             Regulatory Policies and Procedures
                                                     reporting program. FTA expects that                                                                           consideration the costs and benefits
                                                                                                                Executive Orders and 12866 and                     related to each action that it takes under
                                                     each transit agency would define the                    13563 direct agencies to propose or                   49 U.S.C. 5329, including this proposed
                                                     means and mechanisms for effective                      adopt a regulation only upon a reasoned               rule.
                                                     safety communication based on their                     determination that its benefits justify its              The proposed rule would require all
                                                     organization, structure, and size of                    costs (recognizing that some benefits                 operators of public transportation
                                                     operations.                                             and costs are difficult to quantify); tailor          systems that receive Federal financial
                                                     Subpart D—Safety Plan Documentation                     its regulations to impose the least                   assistance under 49 U.S.C. Chapter 53 to
                                                     and Recordkeeping                                       burden on society; assess all costs and               develop and implement Public
                                                                                                             benefits of available regulatory                      Transportation Safety Plans as required
                                                     § 673.31     Safety Plan Documentation                  alternatives; and, if regulation is                   by Section 20021 of the Moving Ahead
                                                       This section proposes that transit                    necessary, to select regulatory                       for Progress in the 21st Century Act
                                                     agencies keep records of their                          approaches that maximizes net                         (MAP–21), now codified at 49 U.S.C.
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                                                     documents that meet the requirements                    benefits—including potential economic,                5329, using the SMS approach.
                                                     of this part. FTA would expect a transit                environmental, public health, and safety                 SMS is a flexible, scalable approach to
                                                     agency to maintain documents that set                   effects, distributive impacts, and equity.            safety that has been widely adopted
                                                     forth its Public Transportation Agency                  Executive Order 13563 also emphasizes                 across multiple modes of transportation
                                                     Safety Plan, including those related to                 the importance of harmonizing rules                   in both the public and private sectors.
                                                     the implementation of its SMS, such as                  and promoting flexibility.                            It employs a systematic, data-driven
                                                     results from SMS processes and                             This proposed rule has been drafted                approach in which risks to safety are
                                                     activities. For the purpose of reviews,                 and reviewed in accordance with the                   identified, then controlled or mitigated
                                                     investigations, audits, or other purposes,              principles set forth in Executive Orders              to acceptable levels. SMS brings


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                                                     6364                     Federal Register / Vol. 81, No. 24 / Friday, February 5, 2016 / Proposed Rules

                                                     business-like methods and principles to                 such as the number, types, benefits, and              estimated breakeven threshold for the
                                                     safety, similar to the ways in which an                 costs of such actions.                                proposed State Safety Oversight and
                                                     organization manages its finances,                         With respect to State and MPO                      Safety Training Rules (RINs 2132–AB19
                                                     through safety plans, with targets and                  performance target setting, FTA                       and 2132–AB25 respectively), to which
                                                     performance indicators, and continuous                  forecasted benefits based on the                      the rail agencies also will be subject
                                                     monitoring of safety performance                        estimated impact of the SMS approach                  when finalized.
                                                     throughout an organization.                             on reducing transit crashes and their                    Under the performance management
                                                        In addition to responding to the                     associated societal costs, including fatal            framework established by MAP–21,
                                                     specific legislative mandate, the                       and non-fatal injuries, property damage,              States, MPOs, and transit providers
                                                     proposed rule responds to National                      and other costs. Safety benefits were                 must establish targets in key national
                                                     Transportation Safety Board (NTSB)                      calculated for both bus and rail modes.               performance areas to document
                                                     recommendations about expanding the                     However, since the rail agencies are                  expectations for future performance.
                                                     use of SMS to reduce the risks of transit               subject to additional safety rules,                   Pursuant to 49 U.S.C. 5303(h)(2)(B)(ii)
                                                     crashes. From 2004 to 2013, NTSB                        analysis also was undertaken excluding                and 5304(d)(2)(B)(ii), States and MPOs
                                                     reported on nine transit accidents that,                the rail modes. Benefits were monetized               must coordinate the selection of their
                                                     collectively, resulted in 15 fatalities, 297            using information on transit crash costs,             performance targets, to the maximum
                                                     injuries, and over $30 million in                       including direct costs and USDOT-                     extent practicable, with performance
                                                     property damages. Although transit                      standard statistical values for fatality              targets set by transit providers under 49
                                                     systems have historically been among                    and injury prevention. Although many                  U.S.C. 5326 (transit asset management)
                                                     the safest means of surface                             other sectors report reductions in safety             and 49 U.S.C. 5329 (safety), to ensure
                                                     transportation, the transit industry is                 incident after adopting SMS, it is not                consistency.
                                                     facing increased pressures at a time                    possible to transfer that experience to                  In the joint FTA and FHWA Planning
                                                     when ridership is growing,                              the transit industry due to the                       NPRM, both agencies indicated that
                                                     infrastructure is aging, and large                      differences in organizational structures              their performance-related rules would
                                                     numbers of the workforce are retiring.                  and practices.                                        implement the basic elements of a
                                                     During that same 2004–2013 time                            FTA could not estimate the benefits of             performance management framework,
                                                     period, transit agencies reported over                  this proposed rule. To estimate safety                including the establishment of measures
                                                     40,000 incidents, more than 2,000                       benefits, one would need to understand                and associated target setting. Because
                                                     fatalities, and over 76,000 injuries to                 the exact causes of the accidents and the             the performance-related rules
                                                     FTA’s National Transit Database.                        factors that may cause future accidents.              implement these elements and the
                                                        This RIA provides quantitative                       This information is generally unknown                 difficulty in estimating costs of target
                                                     estimates of the expected compliance                    in this sector, given the infrequency and             setting associated with unknown
                                                     costs associated with the proposed rule.                diversity of the type of safety incidents             measures, the joint FTA and FHWA
                                                     Costs for transit agencies were estimated               that occur. Instead, FTA conducted a                  Planning NPRM did not assess these
                                                     based on the staff labor costs associated               breakeven analysis that compares the                  costs. Rather, FTA and FHWA proposed
                                                     with implementing the requirements of                   costs that FTA was able to estimate                   that the costs associated with target
                                                     the proposed rule, with adjustments for                 (absent the cost of mitigations) to a pool            setting at every level would be captured
                                                     agency size and for agencies’ existing                  of potential safety benefits. The pool of             in each agency’s respective
                                                     level of maturity with SMS approaches.                  safety benefits is an estimate of the cost            ‘‘performance management’’ rules. For
                                                     Three main cost areas were estimated:                   of bus and rail incidents over a future               example, FHWA’s second performance
                                                     (1) Developing and certifying safety                    20-year period. The estimate is an                    management rule NPRM, published
                                                     plans; (2) implementing and                             extrapolation based on the cost of bus                after the joint FTA and FHWA Planning
                                                     documenting the SMS approach; and (3)                   and rail incidents that occurred from                 NPRM, assumes that the incremental
                                                     associated recordkeeping. Staff time was                2010 to 2014.                                         costs to States and MPOs for
                                                     monetized using data on wage rates and                     As the table below shows, the amount               establishing performance targets reflect
                                                     benefits in the transit industry. Over the              of incident reduction needed to                       the incremental wage costs for an
                                                     20-year analysis period, total costs are                breakeven with the costs of the                       operations manager and a statistician to
                                                     estimated at $752 million in present                    proposed rule that were estimated is                  analyze performance-related data.
                                                     value (using a 7% discount rate), or the                low. However, benefits of SMS                            The RIA that accompanied the joint
                                                     equivalent of $71 million per year.                     primarily will result from mitigating                 FTA and FHWA Planning Final Rule
                                                        As previously stated, FTA was unable                 actions. As previously stated, the                    captured the costs of the effort by States,
                                                     to estimate the cost of actions that                    benefits and costs of such actions are                MPOs, and transit providers to
                                                     agencies would take to mitigate or                      not accounted for in this analysis. FTA               coordinate in the setting of State and
                                                     eliminate safety problems identified                    has not estimated the benefits of                     MPO transit performance targets for
                                                     through implementation of their safety                  implementing SMS without mitigating                   state of good repair and safety. FTA
                                                     plans. This is because FTA is unaware                   actions, but expects such benefits are                believes that the cost to MPOs and
                                                     of information sources or methods to                    unlikely to be large. Estimated costs for             States to set transit performance targets
                                                     predict with sufficient confidence the                  the Public Transportation Agency Safety               is included within the costs of
                                                     number or type of safety problems                       Plans include certain activities that                 coordination. FTA requests comments
                                                     agencies will identify through                          likely will yield safety improvements,                on this point. Will there be any
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                                                     implementation of their safety plans, or                such as improved communication,                       additional costs for States and MPOs in
                                                     the number, type, and cost of actions                   identification of hazards, and greater                target setting beyond the coordination
                                                     that agencies will take to address such                 employee awareness. It is plausible that              costs included in the planning rule? If
                                                     problems. For similar reasons, FTA also                 these changes alone could produce                     so, what would those costs be? To the
                                                     is unable to estimate the benefits of                   accident reductions that surpass                      extent that responses to these questions
                                                     these actions. FTA seeks information                    estimated costs.                                      cause the agency to adjust any of its cost
                                                     from the public for analyzing the                          This analysis assumes that benefits                assumptions, those changes will be
                                                     benefits and costs of actions by agencies               are realized from reducing both rail and              reflected in the final rule and any
                                                     to mitigate or eliminate safety problems                bus incidents after adjusting for the                 related information collections.


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                                                                                  Federal Register / Vol. 81, No. 24 / Friday, February 5, 2016 / Proposed Rules                                                                             6365

                                                       A summary of the benefits and costs                            Table 3 below, which also is included
                                                     of this proposed rule is provided in                             in Table 1 above.

                                                            TABLE 3—REDUCTION IN COST OF BUS AND RAIL INCIDENTS NEEDED TO BREAKEVEN WITH ESTIMATED COSTS 21
                                                                                                                                                        Current Dollar value                  7% Discounted value              3% Discounted value

                                                     Bus Incidents (20-Year Estimate) ............................................................     $86,999,489,120 .......                $40,894,178,605 .......          $58,084,884,054.
                                                     Rail Incidents (20-Year Estimate) ............................................................    $37,680,410,444 .......                $17,711,706,703 .......          $25,157,185,334.
                                                     Total Pool of Benefits (20-Year Estimate) ...............................................         $124,679,899,564 .....                 $58,605,885,309 .......          $83,242,069,388.
                                                     Estimated Costs (20-Year Estimate) .......................................................        $1,407,680,883 .........               $752,319,890 ............        $1,050,876,643.
                                                     Benefits and Costs of Mitigating Actions .................................................        Not Estimated ............             Not Estimated ............       Not Estimated.
                                                     Estimated Cost (Annualized) ...................................................................   ....................................   $71,013,675 ..............       $70,635,417.
                                                     Breakeven Threshold Including Bus and Rail .........................................              ....................................   1.28% ........................   1.26%.



                                                     Regulatory Flexibility Act                                       proposing to adopt the SMS approach to                                  13132, and FTA has determined that
                                                        In compliance with the Regulatory                             safety, which is scalable and tailored for                              this proposed rule will not have
                                                     Flexibility Act (Pub. L. 96–354, 5 U.S.C.                        the specific needs of a particular transit                              sufficient Federalism implications to
                                                     601–612), FTA has evaluated the effects                          agency.                                                                 warrant the preparation of a Federalism
                                                     of this proposed rule on small entities                             Overall, while the proposed rule                                     assessment. FTA has also determined
                                                     and has determined that the proposed                             would affect a substantial number of                                    that this proposed rule will not preempt
                                                     rule will not have a significant                                 small entities, these impacts would not                                 any State law or State regulation or
                                                     economic impact on a substantial                                 be significant due to the low magnitude                                 affect the States’ abilities to discharge
                                                     number of small entities.                                        of the costs. Moreover, FTA has                                         traditional State governmental
                                                        The proposed rule would affect                                designed the proposed rule to allow                                     functions.
                                                     roughly 2,125 small entities, most of                            flexibility for small entities. FTA is
                                                                                                                      providing additional analysis of the                                    Executive Order 12372
                                                     which are small government entities                                                                                                      (Intergovernmental Review)
                                                     and small non-profit organizations that                          Regulatory Flexibility Act’s application
                                                     operate public transportation systems in                         to this proposed rule in Regulatory                                       The regulations effectuating Executive
                                                     non-urbanized areas. Compliance costs                            Impact Analysis posted to the docket.                                   Order 12372 regarding
                                                                                                                                                                                              intergovernmental consultation on
                                                     will vary according to agency size and                           Unfunded Mandates Reform Act of                                         Federal programs and activities apply to
                                                     complexity, the extent of current SMS                            1995                                                                    this proposed rule.
                                                     practices, and the extent of current asset                          This proposed rule will not impose
                                                     management practices. Costs are                                  unfunded mandates as defined by the                                     Paperwork Reduction Act (PRA)
                                                     illustrated by an example calculation for                        Unfunded Mandates Reform Act of 1995                                      In compliance with the Paperwork
                                                     a small operator of a public                                     (Pub. L. 104–4, March 22, 1995, 109                                     Reduction Act of 1995 (44 U.S.C. et seq.)
                                                     transportation system that receives                              Stat. 48; codified at 2 U.S.C. 1501 et                                  (PRA), and the White House Office of
                                                     Formula Grants for Rural Areas under                             seq.).                                                                  Management and Budget’s (OMB)
                                                     49 U.S.C. 5311, for which compliance                                Pursuant to 2 U.S.C. 1501(8), one of                                 implementing regulation at 5 CFR
                                                     costs range from an average of $12,000                           the purposes of the Unfunded Mandates                                   1320.8(d), FTA is seeking approval from
                                                     per Section 5310 agency, to roughly                              Reform Act is to consider ‘‘the effect of                               OMB for the Information Collection
                                                     $31,000 per small Section 5307 agency                            . . . Federal statutes and regulations                                  Request abstracted below. FTA
                                                     (these estimates exclude the cost of                             that impose Federal intergovernmental                                   acknowledges that this NPRM entails
                                                     mitigating actions). For the sake of                             mandates.’’ The term ‘‘Federal                                          the collection of information to
                                                     comparison, while transit agency                                 intergovernmental mandate’’ is defined                                  implement the Public Transportation
                                                     operations budgets vary significantly,                           at 2 U.S.C. 658(5)(A)(i) to mean ‘‘any                                  Agency Safety Plan requirements of 49
                                                     the average for small Section 5307                               provision in legislation, statute, or                                   U.S.C. 5329(d). Specifically, an operator
                                                     agencies is around $6.3 million per year,                        regulation that would impose an                                         of a public transportation system would
                                                     and Section 5311 agencies average $1                             enforceable duty upon State, local, or                                  do the following: (1) Develop and certify
                                                     million per year. Thus, the estimated                            tribal governments, except . . . a                                      a Public Transportation Agency Safety
                                                     costs of the rule are around 0.5% to                             condition of Federal assistance.’’                                      Plan; (2) implement and document the
                                                     1.5% of agency budgets. FTA proposes                                Given the fact that FTA’s authorizing                                SMS approach; and (3) associated
                                                     to mitigate the costs for smaller                                statute at 49 U.S.C. 5329(d) makes the                                  recordkeeping.
                                                     operators of public transportation                               development and implementation of                                         FTA seeks public comment to
                                                     systems by requiring the States in which                         Public Transportation Agency Safety                                     evaluate whether the proposed
                                                     they are located to draft and certify                            Plans a condition of FTA Federal                                        collection of information is necessary
                                                     Public Transportation Agency Safety                              financial assistance, and given that FTA                                for the proper performance of FTA’s
                                                     Plans on their behalf, unless the                                is proposing to require transit agencies                                functions, including whether the
                                                     operator chooses to develop and certify                          to annually certify that they have safety                               information will have practical utility;
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                                                     its own plan. Additionally, to mitigate                          plans consistent with this rule as a                                    whether the estimation of the burden of
                                                     the costs for smaller operators of public                        condition of that Federal financial                                     the proposed information collection is
                                                     transportation systems, FTA is                                   assistance, this proposed rule will not                                 accurate, including the validity of the
                                                                                                                      impose unfunded mandates.                                               methodologies and assumptions used;
                                                       21 The costs and breakeven threshold in this table                                                                                     ways in which the quality, utility, and
                                                     do not account for actions by agencies to mitigate               Executive Order 13132 (Federalism)                                      clarity of the information can be
                                                     or eliminate safety risks identified through
                                                     implementation of their safety plans other than
                                                                                                                        This final rule has been analyzed in                                  enhanced; and whether the burden can
                                                     those mitigation actions prescribed in the rule, such            accordance with the principles and                                      be minimized, including through the
                                                     as training.                                                     criteria established by Executive Order                                 use of automated collection techniques


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                                                     6366                            Federal Register / Vol. 81, No. 24 / Friday, February 5, 2016 / Proposed Rules

                                                     or other forms of information                                            Please see FTA’s currently approved                              closed to the general public and only
                                                     technology.                                                              collection, 2132–0558, available at                              available for a particular clientele. The
                                                        Readers should note that the                                          http://www.reginfo.gov/public/do/                                total number of respondents is 561. This
                                                     information collection would be specific                                 PRAMain.                                                         figure includes 242 respondents that are
                                                     to each operator of a public                                               Type of Collection: Operators of                               States, rail fixed guideway systems that
                                                     transportation system in an effort to                                    public transportation systems.                                   receive Urbanized Area Formula
                                                     facilitate and record the operator’s                                       Type of Review: OMB Clearance. New                             Program funds under 49 U.S.C. 5307,
                                                     safety responsibilities and activities.                                  Information Collection Request.                                  and large bus systems that receive
                                                                                                                                Summary of the Collection: The                                 Urbanized Area Formula Program funds
                                                     The paperwork burden for each operator
                                                                                                                              information collection includes (1) the                          under 49 U.S.C. 5307. This figure also
                                                     of a public transportation system would
                                                                                                                              development and certification of a                               includes 319 respondents that would
                                                     be proportionate to the size and
                                                                                                                              Public Transportation Agency Safety                              have their Public Transportation Agency
                                                     complexity of its operations. For
                                                                                                                              Plan; (2) the implementation and                                 Safety Plans drafted and certified by the
                                                     example, an operator of both a rail fixed
                                                                                                                              documentation of the SMS approach;                               State in which they are located,
                                                     guideway system and a bus system may
                                                                                                                              and (3) associated recordkeeping.                                including small public transportation
                                                     need to generate more documentation                                        Need for and Expected Use of the
                                                     than an operator of a bus system only.                                                                                                    providers that receive Urbanized Area
                                                                                                                              Information to be Collected: Collection                          Formula Program funds under 49 U.S.C.
                                                        Also, readers should note that FTA                                    of information for this program is
                                                     already requires rail fixed guideway                                                                                                      5307, operate one hundred or fewer
                                                                                                                              necessary to ensure that operators of
                                                     public transportation systems to                                                                                                          vehicles in revenue service, and do not
                                                                                                                              public transportation systems are
                                                     develop System Safety Program Plans                                                                                                       operate rail fixed guideway service;
                                                                                                                              performing their safety responsibilities
                                                     and System Security Plans in                                                                                                              recipients of Formula Grants for Rural
                                                                                                                              and activities required by law at 49
                                                     accordance with the requirements of 49                                                                                                    areas under 49 U.S.C. 5311; and
                                                                                                                              U.S.C. 5329(d). Without the Public
                                                     CFR part 659. FTA collects information                                                                                                    operators of public transportation
                                                                                                                              Transportation Agency Safety Plan
                                                     from States and State Safety Oversight                                                                                                    systems that receive Formula Grants for
                                                                                                                              reporting requirements, FTA would be
                                                     Agencies regarding these plans, and                                                                                                       the Enhanced Mobility of Senior and
                                                                                                                              unable to determine each State’s
                                                     FTA anticipates that operators of rail                                                                                                    Individuals with Disabilities under 49
                                                                                                                              compliance with 49 U.S.C. 5329(d).
                                                     fixed guideway systems will utilize                                        Respondents: Respondents include                               U.S.C. 5310.
                                                     some of this documentation for                                           operators of public transportation as                               Frequency: Annual.
                                                     purposes of developing Public                                            defined under 49 U.S.C. 5302(14),                                   Estimated Total Annual Burden of
                                                     Transportation Agency Safety Plans.                                      which do not provide service that is                             Costs and Hours on Respondents:

                                                                             TIER I RESPONDENTS (OPERATING OVER 100 VEHICLES AND RAIL FIXED GUIDEWAY SERVICE)
                                                                                                                                [Total annualized burden hours and costs 22]

                                                                                                                                                                                             Annual burden                      Total annual
                                                                                                                                                                              Number of                          Total annual
                                                                Agency type                                      Agency safety plan item                                                       hours per                            cost
                                                                                                                                                                             respondents                         burden hours
                                                                                                                                                                                              respondent                             ($)

                                                     States .................................    Development/Certification ...............................                              55               111            6,082        210,010
                                                                                                 Implementation/Documentation ......................                                    55                 0                0              0
                                                                                                 Recordkeeping ................................................                         55                 0                0              0
                                                     5307      Rail ..........................   Development/Certification ...............................                              60                48            2,862        255,660
                                                                                                 Implementation/Documentation ......................                                    60               699           41,956      3,893,019
                                                                                                 Recordkeeping ................................................                         60               238           14,274      2,051,779
                                                     5307      Large Bus ...............         Development/Certification ...............................                             127                48            6,123        583,332
                                                                                                 Implementation/Documentation ......................                                   127               771           97,943      6,856,950
                                                                                                 Recordkeeping ................................................                        127               232           29,520      3,290,570

                                                           Total Tier I ...................      .........................................................................             242               821          198,760     17,141,321


                                                                    TIER II RESPONDENTS (OPERATING 100 OR FEWER VEHICLES AND NO RAIL FIXED GUIDEWAY SERVICE)
                                                                                                                                [Total Annualized burden hours and costs 23]

                                                                                                                                                                                             Annual burden                      Total annual
                                                                                                                                                                              Number of                          Total annual
                                                                Agency type                                      Agency safety plan item                                                       hours per                            cost
                                                                                                                                                                             respondents                         burden hours
                                                                                                                                                                                              respondent                             ($)

                                                     5307      Small Bus ...............         Development/Certification ...............................                             94                 19            1,773       $170,092
                                                                                                 Implementation/Documentation ......................                                  625                355          221,601     11,724,615
                                                                                                 Recordkeeping ................................................                       625                242          150,938      8,714,824
                                                     5311      Bus ..........................    Development/Certification ...............................                            195                 14            2,767        265,343
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                                                                                                 Implementation/Documentation ......................                                 1300                279          362,875     19,199,240
                                                                                                 Recordkeeping ................................................                      1300                190          247,163     14,270,660
                                                     5310      Bus ..........................    Development/Certification ...............................                             30                 11              319         30,617
                                                                                                 Implementation/Documentation ......................                                  200                227           45,463      2,405,367
                                                                                                 Recordkeeping ................................................                       200                 21            4,129        238,386



                                                       22 The total annual cost includes labor and non-

                                                     labor costs for travel and information technology.


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                                                                                  Federal Register / Vol. 81, No. 24 / Friday, February 5, 2016 / Proposed Rules                                                                  6367

                                                         TIER II RESPONDENTS (OPERATING 100 OR FEWER VEHICLES AND NO RAIL FIXED GUIDEWAY SERVICE)—Continued
                                                                                                                            [Total Annualized burden hours and costs 23]

                                                                                                                                                                                         Annual burden                      Total annual
                                                                                                                                                                          Number of                          Total annual
                                                              Agency type                                    Agency safety plan item                                                       hours per                            cost
                                                                                                                                                                         respondents                         burden hours
                                                                                                                                                                                          respondent                             ($)

                                                          Total Tier II ..................   .........................................................................           2125                488        1,037,026     57,019,144
                                                       The total PRA cost of the rule would be approximately $74.2 million per year averaged over the first three years and $31,110 per respondent
                                                     per year on average.


                                                     National Environmental Policy Act                                    would be subjected to                                            Concerning Regulations That
                                                       The National EnvironmentalPolicy                                   disproportionately high and adverse                              Significantly Affect Energy Supply,
                                                     Act of 1969 (42 U.S.C. 4321 et seq.),                                human health or environmental effects                            Distribution, or Use (May 18, 2001).
                                                     requires Federal agencies to analyze the                             of a public transportation project,                              FTA has determined that this proposed
                                                     potential environmental effects of their                             policy, or activity; and (3) how to avoid,                       rule is not a significant energy action
                                                     proposed actions either through a                                    minimize, or mitigate these effects. This                        under that Executive Order because it is
                                                     Categorical Exclusion, an                                            proposed rule will not cause adverse                             not likely to have a significant adverse
                                                     Environmental Assessment, or an                                      environmental impacts, and as a result,                          effect on the supply, distribution, or use
                                                     Environmental Impact Statement. This                                 minority populations and low-income                              of energy. Therefore, a Statement of
                                                     proposed rule is categorically excluded                              populations will not be                                          Energy Effects is not required.
                                                     under FTA’s NEPA implementing                                        disproportionately impacted.
                                                                                                                                                                                           Privacy Act
                                                     regulations at 23 CFR 771.118(c)(4),                                 Executive Order 12630 (Taking of                                   Any individual is able to search the
                                                     which covers planning and                                            Private Property)                                                electronic form of all comments
                                                     administrative activities that do not
                                                                                                                            This proposed rule will not affect a                           received on any FTA docket by the
                                                     involve or lead directly to construction,
                                                                                                                          taking of private property or otherwise                          name of the individual submitting the
                                                     such as the promulgation of rules,
                                                                                                                          have taking implications under                                   comment (or signing the comment, if
                                                     regulations, directives, and program
                                                                                                                          Executive Order 12630, Governmental                              submitted on behalf of an association,
                                                     guidance. FTA has determined that no
                                                                                                                          Actions and Interference with                                    business, labor union, or other entity).
                                                     unusual circumstances exist and that
                                                                                                                          Constitutionally Protected Property                              You may review USDOT’s complete
                                                     this Categorical Exclusion is applicable.
                                                                                                                          Rights.                                                          Privacy Act Statement in the Federal
                                                     Executive Order 12898 (Federal Actions                                                                                                Register published on April 11, 2000
                                                                                                                          Executive Order 12988 (Civil Justice
                                                     To Address Environmental Justice in                                                                                                   (65 FR 19477).
                                                                                                                          Reform)
                                                     Minority Populations and Low-Income
                                                                                                                             This proposed rule meets applicable                           Statutory/Legal Authority for This
                                                     Populations)
                                                                                                                          standards in sections 3(a) and 3(b)(2) of                        Rulemaking
                                                        Executive Order 12898 directs every
                                                                                                                          Executive Order 12988, Civil Justice                               This rulemaking is issued under the
                                                     Federal agency to make environmental
                                                                                                                          Reform, to minimize litigation,                                  authority of section 20021 of MAP–21,
                                                     justice part of its mission by identifying
                                                                                                                          eliminate ambiguity, and reduce                                  which requires public transportation
                                                     and addressing the effects of all
                                                                                                                          burden.                                                          agencies to develop and implement
                                                     programs, policies, and activities on
                                                                                                                          Executive Order 13045 (Protection of                             comprehensive safety plans. This
                                                     minority populations and low-income
                                                                                                                          Children)                                                        authority was reauthorized under the
                                                     populations. The DOT’s environmental
                                                                                                                                                                                           FAST Act. The authority is codified at
                                                     justice initiatives accomplish this goal                                FTA has analyzed this proposed rule                           49 U.S.C. 5329(d).
                                                     by involving the potentially affected                                under Executive Order 13045,
                                                     public in developing transportation                                  Protection of Children from                                      Regulation Identification Number
                                                     projects that fit harmoniously within                                Environmental Health Risks and Safety                              A RIN is assigned to each regulatory
                                                     their communities without sacrificing                                Risks. FTA certifies that this proposed                          action listed in the Unified Agenda of
                                                     safety or mobility. FTA has developed a                              rule will not cause an environmental                             Federal Regulations. The Regulatory
                                                     program circular addressing                                          risk to health or safety that may                                Information Service Center publishes
                                                     environmental justice in transit projects,                           disproportionately affect children.                              the Unified Agenda in April and
                                                     Circular 4703.1, Environmental Justice                                                                                                October of each year. The RIN set forth
                                                     Policy Guidance for Federal Transit                                  Executive Order 13175 (Tribal
                                                                                                                          Consultation)                                                    in the heading of this document can be
                                                     Administration Recipients. The Circular                                                                                               used to cross-reference this action with
                                                     is designed to provide a framework to                                   FTA has analyzed this proposed rule                           the Unified Agenda.
                                                     assist recipients as they integrate                                  under Executive Order 13175 (Nov. 6,
                                                     principles of environmental justice into                             2000), and has determined that it will                           List of Subjects in 49 CFR Part 673
                                                     their transit decision-making process.                               not have substantial direct effects on                             Mass transportation, Safety.
                                                     The Circular contains recommendations                                one or more Indian tribes; will not
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                                                     for State DOTs, MPOs, and transit                                    impose substantial direct compliance                             Public Transportation Agency Safety
                                                     providers on (1) how to fully engage                                 costs on Indian tribal governments; and                          Plan
                                                     environmental justice populations in                                 will not preempt tribal laws. Therefore,                           Issued in Washington, DC, under authority
                                                     the transportation decision-making                                   a tribal summary impact statement is                             delegated in 49 CFR 1.91.
                                                     process; (2) how to determine whether                                not required.                                                    Therese McMillan,
                                                     environmental justice populations                                    Executive Order 13211 (Energy Effects)                           Acting Administrator.
                                                       23 The total annual cost includes labor and non-                     FTA has analyzed this proposed rule                              For the reasons set forth in the
                                                     labor costs for travel and information technology.                   under Executive Order 13211, Actions                             preamble, and under the authority of 49


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                                                     6368                     Federal Register / Vol. 81, No. 24 / Friday, February 5, 2016 / Proposed Rules

                                                     U.S.C. 5329(d), 5334, and the                           public transportation system and the                  damage to facilities, equipment, rolling
                                                     delegations of authority at 49 CFR 1.91,                environment in which it operates.                     stock, or infrastructure that disrupts the
                                                     FTA hereby proposes to amend Chapter                                                                          operations of a transit agency.
                                                     VI of Title 49, Code of Federal                         § 673.5   Definitions.                                   Investigation means the process of
                                                     Regulations by adding part 673 to read                     As used in this part:                              determining the causal and contributing
                                                     as follows:                                                Accident means an Event that                       factors of an accident, incident, or
                                                                                                             involves any of the following: A loss of              hazard, for the purpose of preventing
                                                     Title 49—Transportation                                 life; a report of a serious injury to a               recurrence and mitigating risk.
                                                                                                             person; a collision of public                            National Public Transportation Safety
                                                     PART 673—PUBLIC                                         transportation vehicles; a runaway train;
                                                     TRANSPORTATION AGENCY SAFETY                                                                                  Plan means the plan to improve the
                                                                                                             an evacuation for life safety reasons; or             safety of all public transportation
                                                     PLANS                                                   any derailment of a rail transit vehicle,             systems that receive Federal financial
                                                     Subpart A—General                                       at any location, at any time, whatever                assistance under 49 U.S.C. Chapter 53.
                                                     Sec.
                                                                                                             the cause.                                               Occurrence means an Event without
                                                     673.1 Applicability
                                                                                                                Accountable Executive means a                      any personal injury in which any
                                                     673.3 Policy                                            single, identifiable person who has                   damage to facilities, equipment, rolling
                                                     673.5 Definitions                                       ultimate responsibility and                           stock, or infrastructure does not disrupt
                                                                                                             accountability for the implementation                 the operations of a transit agency.
                                                     Subpart B—Safety Plans                                  and maintenance of the Safety                            Operator of a public transportation
                                                     673.11 General requirements                             Management System of a public                         system means a provider of public
                                                     673.13 Certification of compliance                      transportation agency; responsibility for             transportation as defined under 49
                                                     673.15 Coordination with metropolitan,                  carrying out the agency’s Transit Asset
                                                         statewide, and non-metropolitan                                                                           U.S.C. 5302(14), and which does not
                                                         planning processes
                                                                                                             Management Plan; and control or                       provide service that is closed to the
                                                                                                             direction over the human and capital                  general public and only available for a
                                                     Subpart C—Safety Management Systems                     resources needed to develop and                       particular clientele.
                                                     673.21 General requirements                             maintain both the agency’s Public                        Performance criteria means categories
                                                     673.23 Safety management policy                         Transportation Agency Safety Plan, in                 of measures indicating the level of safe
                                                     673.25 Safety Risk Management                           accordance with 49 U.S.C. 5329(d), and                performance within a transit agency.
                                                     673.27 Safety assurance                                 the agency’s Transit Asset Management                    Performance target means a specific
                                                     673.29 Safety promotion                                 Plan in accordance with 49 U.S.C. 5326.               level of performance for a given
                                                     Subpart D—Safety Plan Documentation and                    Chief Safety Officer means an                      performance measure over a specified
                                                     Recordkeeping                                           adequately trained individual who has                 timeframe.
                                                     673.31 Safety plan documentation                        responsibility for safety and reports                    Public Transportation Agency Safety
                                                     673.33 Safety plan records                              directly to a transit agency’s chief                  Plan means the documented
                                                       Authority: 49 U.S.C. 5329(d), 5334; 49 CFR            executive officer, general manager,                   comprehensive agency safety plan for a
                                                     1.91.                                                   president, or equivalent officer. A Chief             transit agency that is required by 49
                                                                                                             Safety Officer may not serve in other                 U.S.C. 5329 and this part.
                                                     Subpart A—General                                       operational or maintenance capacities,                   Rail transit agency means any entity
                                                     § 673.1   Applicability.                                unless the Chief Safety Officer is                    that provides services on a rail fixed
                                                                                                             employed by a transit agency that is a                guideway public transportation system.
                                                       This part applies to any State, local                 small public transportation provider as                  Risk mitigation means a method or
                                                     governmental authority, and any other                   defined in this part, or a public                     methods to eliminate or reduce the
                                                     operator of a public transportation                     transportation provider that does not                 effects of hazards.
                                                     system that receives Federal financial                  operate a rail fixed guideway public                     Safety Assurance means processes
                                                     assistance under 49 U.S.C. Chapter 53.                  transportation system.                                within a transit agency’s Safety
                                                     § 673.3   Policy.                                          Equivalent Authority means an entity               Management System that functions to
                                                                                                             that carries out duties similar to that of            ensure the implementation and
                                                       The Federal Transit Administration                    a Board of Directors, for a recipient or              effectiveness of safety risk mitigation,
                                                     (FTA) has adopted the principles and                    subrecipient of FTA funds under 49                    and to ensure that the transit agency
                                                     methods of Safety Management Systems                    U.S.C. Chapter 53, including sufficient               meets or exceeds its safety objectives
                                                     (SMS) as the basis for enhancing the                    authority to review and approve a                     through the collection, analysis, and
                                                     safety of public transportation in the                  recipient or subrecipient’s Public                    assessment of information.
                                                     United States. All rules, regulations,                  Transportation Agency Safety Plan.                       Safety Management Policy means a
                                                     policies, guidance, best practices, and                    Event means any Accident, Incident,                transit agency’s documented
                                                     technical assistance administered under                 or Occurrence.                                        commitment to safety, which defines
                                                     FTA’s safety authority will, to the extent                 FTA means the Federal Transit                      the transit agency’s safety objectives and
                                                     practicable and consistent with legal                   Administration, an operating                          the accountabilities and responsibilities
                                                     and other applicable requirements,                      administration within the United States               of its employees in regard to safety.
                                                     follow the principles and methods of                    Department of Transportation.                            Safety Management System (SMS)
                                                     SMS. This part sets standards for the                      Hazard means any real or potential                 means the formal, top-down,
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                                                     Public Transportation Agency Safety                     condition that can cause injury, illness,             organization-wide approach to
                                                     Plan, which will be responsive to FTA’s                 or death; damage to or loss of the                    managing safety risk and assuring the
                                                     Public Transportation Safety Program,                   facilities, equipment, rolling stock, or              effectiveness of a transit agency’s safety
                                                     and reflect the specific safety objectives,             infrastructure of a public transportation             risk mitigation. SMS includes
                                                     standards, and priorities of each transit               system; or damage to the environment.                 systematic procedures, practices, and
                                                     agency. Each Public Transportation                         Incident means an event that involves              policies for managing risks and hazards.
                                                     Agency Safety Plan will incorporate                     any of the following: a personal injury                  Safety Management System (SMS)
                                                     SMS principles and methods tailored to                  that is not a serious injury; one or more             Executive means a Safety Officer or an
                                                     the size, complexity, and scope of the                  injuries requiring medical transport; or              equivalent.


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                                                                              Federal Register / Vol. 81, No. 24 / Friday, February 5, 2016 / Proposed Rules                                                  6369

                                                        Safety performance target means a                    asset inventories and condition                       Safety Plan for each mode of service not
                                                     Performance Target related to safety                    assessments, decision support tools, and              subject to safety regulation by another
                                                     management activities.                                  investment prioritization.                            Federal entity.
                                                        Safety Promotion means a                             Subpart B—Safety Plans                                   (c) A transit agency must maintain its
                                                     combination of training and                                                                                   Public Transportation Agency Safety
                                                     communication of safety information to                  § 673.11    General requirements.                     Plan in accordance with the
                                                     support SMS as applied to the transit                      (a) A transit agency must within one               recordkeeping requirements in subpart
                                                     agency’s public transportation system.                  calendar year after publication of the                D of this part.
                                                        Safety risk means the assessed                       final rule, establish a Public
                                                     probability and severity of the potential                                                                        (d) A State must draft and certify a
                                                                                                             Transportation Agency Safety Plan that
                                                     consequence(s) of a hazard, using as                                                                          Public Transportation Agency Safety
                                                                                                             meets the requirements of this part and,
                                                     reference the worst foreseeable, but                                                                          Plan on behalf of any transit agency that
                                                                                                             at a minimum, consists of the following
                                                     credible, outcome.                                                                                            receives Federal financial assistance
                                                                                                             elements:
                                                        Safety risk evaluation means the                                                                           under 49 U.S.C. 5310, 49 U.S.C. 5311,
                                                                                                                (1) The Public Transportation Agency
                                                     formal activity whereby a transit agency                                                                      and any small public transportation
                                                                                                             Safety Plan, and subsequent updates,
                                                     determines Safety Risk Management                       must be signed by the Accountable                     provider located in that State. A State is
                                                     priorities by establishing the                          Executive and approved by the agency’s                not required to draft a Public
                                                     significance or value of its safety risks.              Board of Directors, or an entity                      Transportation Agency Safety Plan for a
                                                        Safety Risk Management means a                       equivalent to a Board of Directors.                   particular transit agency that receives
                                                     process within a transit agency’s Safety                   (2) The Public Transportation Agency               Federal financial assistance under 49
                                                     Management System for identifying                       Safety Plan must document the                         U.S.C. 5310, 49 U.S.C. 5311, or a small
                                                     hazards and analyzing, assessing, and                   processes and activities related to Safety            public transportation provider, if that
                                                     mitigating safety risk.                                 Management System (SMS)                               agency notifies the State that it will
                                                        Serious injury means any injury                      implementation, as required under                     draft its own plan. In each instance, the
                                                     which:                                                  Subpart C of this Part.                               transit agency must carry out the plan.
                                                        (1) Requires hospitalization for more                                                                      If a State drafts and certifies a Public
                                                                                                                (3) The Public Transportation Agency
                                                     than 48 hours, commencing within 7                                                                            Transportation Agency Safety Plan on
                                                                                                             Safety Plan must include performance
                                                     days from the date of the injury was                                                                          behalf of a transit agency, and the transit
                                                                                                             targets based on the safety performance
                                                     received;                                                                                                     agency later opts to draft and certify its
                                                                                                             criteria established under the National
                                                        (2) Results in a fracture of any bone                                                                      own Public Transportation Agency
                                                                                                             Public Transportation Safety Plan, and
                                                     (except simple fractures of fingers, toes,                                                                    Safety Plan, then the transit agency
                                                                                                             the state of good repair standards
                                                     or noses);                                                                                                    must notify the State. The transit agency
                                                        (3) Causes severe hemorrhages, nerve,                established in the regulations that
                                                                                                             implement the National Transit Asset                  has one year from the date of the
                                                     muscle, or tendon damage;                                                                                     notification to draft and certify a Public
                                                        (4) Involves any internal organ; or                  Management System and are included
                                                                                                             in the National Public Transportation                 Transportation Agency Safety Plan that
                                                        (5) Involves second- or third-degree                                                                       is compliant with this part.
                                                     burns, or any burns affecting more than                 Safety Plan.
                                                     5 percent of the body surface.                             (4) The Public Transportation Agency                  (e) Any rail fixed guideway public
                                                        Small public transportation provider                 Safety Plan must address all applicable               transportation system that had a System
                                                     means a recipient or subrecipient of                    requirements and standards as set forth               Safety Program Plan compliant with 49
                                                     Urbanized Area Formula Program funds                    in FTA’s Public Transportation Safety                 CFR part 659 as of October 1, 2012, may
                                                     under 49 U.S.C. 5307 that has one                       Program and the National Public                       keep that plan in effect until [one year
                                                     hundred (100) or fewer vehicles in                      Transportation Safety Plan. Compliance                after the effective date of the final rule].
                                                     revenue service and does not operate a                  with the minimum safety performance                      (f) Agencies that operate passenger
                                                     rail fixed-guideway public                              standards authorized under 49 U.S.C.
                                                                                                                                                                   ferries regulated by the United States
                                                     transportation system.                                  5329(b)(2)(C) is not required until
                                                                                                                                                                   Coast Guard (USCG) or commuter rail
                                                        State means a State of the United                    standards have been established through
                                                                                                                                                                   service regulated by the Federal
                                                     States, the District of Columbia, Puerto                the rulemaking process.
                                                                                                                                                                   Railroad Administration (FRA) are not
                                                     Rico, the Northern Mariana Islands,                        (5) Each transit agency must establish
                                                                                                                                                                   required to develop agency safety plans
                                                     Guam, American Samoa, and the Virgin                    a process and timeline for conducting
                                                                                                                                                                   for those modes of service.
                                                     Islands.                                                an annual review and update of the
                                                        State of Good Repair means the                       Public Transportation Agency Safety                   § 673.13    Certification of compliance.
                                                     condition in which a capital asset is                   Plan.
                                                                                                                (6) A rail transit agency also must                   (a) Each transit agency, or State as
                                                     able to operate at a full level of
                                                                                                             include in its Public Transportation                  authorized in § 673.11(d), must certify
                                                     performance.
                                                        State Safety Oversight Agency means                  Agency Safety Plan an emergency                       that it has established a Public
                                                     an agency established by a State that                   preparedness and response plan or                     Transportation Agency Safety Plan
                                                     meets the requirements and performs                     procedures that addresses, at a                       meeting the requirements of this part by
                                                     the functions specified by 49 U.S.C.                    minimum, the assignment of employee                   [one year after the effective date of the
                                                     5329(e) and the regulations set forth in                responsibilities during an emergency;                 final rule]. A State Safety Oversight
                                                                                                                                                                   Agency must review and approve a
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                                                     49 CFR part 674.                                        and coordination with Federal, State,
                                                        Transit agency means an operator of                  regional, and local officials with roles              Public Transportation Agency Safety
                                                     a public transportation system that                     and responsibilities for emergency                    Plan developed by rail fixed guideway
                                                     receives Federal financial assistance                   preparedness and response in the transit              system, as authorized in 49 U.S.C.
                                                     under 49 U.S.C. Chapter 53.                             agency’s service area.                                5329(e) and its implementing
                                                        Transit Asset Management Plan                           (b) A transit agency may develop one               regulations at 49 CFR part 674.
                                                     means a plan developed by a recipient                   Public Transportation Agency Safety                      (b) On an annual basis, a transit
                                                     or Group Plan pursuant to 49 CFR part                   Plan for all modes of service, or may                 agency or State must certify its
                                                     625 that includes, at minimum, capital                  develop a Public Transportation Agency                compliance with this part.


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                                                     6370                     Federal Register / Vol. 81, No. 24 / Friday, February 5, 2016 / Proposed Rules

                                                     § 673.15 Coordination with metropolitan,                necessary, to address substandard                        (2) A transit agency must establish
                                                     statewide, and non-metropolitan planning                performance in the agency’s SMS. The                  criteria for the development of safety
                                                     processes.                                              Accountable Executive may delegate                    risk mitigations that are necessary based
                                                       (a) A State or transit agency must                    specific responsibilities, but the                    on the results of the agency’s safety risk
                                                     make its safety performance targets                     ultimate accountability for the transit               evaluation.
                                                     available to States and Metropolitan                    agency’s safety performance cannot be
                                                     Planning Organizations to aid in the                    delegated and always rests with the                   § 673.27    Safety assurance.
                                                     planning process.                                       Accountable Executive.                                   (a) Safety assurance process. A transit
                                                       (b) To the maximum extent                                (2) Chief Safety Officer or Safety                 agency must develop and implement a
                                                     practicable, a State or transit agency                  Management System (SMS) Executive.                    safety assurance process, consistent
                                                     must coordinate with States and                         The Accountable Executive may                         with this subpart.
                                                     Metropolitan Planning Organizations in                  designate a Chief Safety Officer or SMS                  (b) Safety performance monitoring
                                                     the selection of State and MPO safety                   Executive who may be given authority                  and measurement. A transit agency
                                                     performance targets.                                    and responsibility for day-to-day                     must establish activities to:
                                                                                                             implementation and operation of an                       (1) Monitor its system for compliance
                                                     Subpart C—Safety Management Systems
                                                                                                             agency’s SMS. The Chief Safety Officer                with, and sufficiency of, the agency’s
                                                     § 673.21   General requirements.                        or SMS Executive must hold a direct                   procedures for operations and
                                                       Each transit agency must establish                    line of reporting to the Accountable                  maintenance;
                                                     and implement a Safety Management                       Executive. A transit agency may allow                    (2) Monitor its operations to identify
                                                     System under this part. A transit agency                the Accountable Executive to also serve               hazards not identified through the
                                                     Safety Management System must be                        as the Chief Safety Officer or SMS                    Safety Risk Management process
                                                     appropriately scaled to the size, scope                 Executive.                                            established in § 673.25 of this subpart;
                                                     and complexity of transit agency and                                                                             (3) Monitor its operations to identify
                                                                                                                (3) Agency leadership and executive
                                                     include the following elements:                                                                               any safety risk mitigations that may be
                                                                                                             management. A transit agency must
                                                       (a) Safety Management Policy as                                                                             ineffective, inappropriate, or were not
                                                                                                             identify those members of its leadership
                                                     described in § 673.23 of this subpart;                                                                        implemented as intended;
                                                                                                             or executive management, other than an
                                                       (b) Safety Risk Management as                                                                                  (4) Investigate safety events to identify
                                                                                                             Accountable Executive, Safety Officer,
                                                     described in § 673.25 of this subpart;                                                                        causal factors; and
                                                                                                             or SMS Executive, who have authorities
                                                       (c) Safety Assurance as described in                                                                           (5) Monitor information reported
                                                                                                             or responsibilities for day-to-day
                                                     § 673.27 of this subpart; and                                                                                 through any internal safety reporting
                                                                                                             implementation and operation of an
                                                       (d) Safety Promotion as described in                                                                        programs.
                                                                                                             agency’s SMS.                                            (c) Management of change. (1) A
                                                     § 673.29 of this subpart.
                                                                                                                (4) Key staff. A transit agency may                transit agency must establish a process
                                                     § 673.23   Safety management policy.                    designate key staff, groups of staff, or              for identifying and assessing changes
                                                        (a) A transit agency must establish its              committees to support the Accountable                 that may introduce new hazards or
                                                     organizational accountabilities and                     Executive, Chief Safety Officer, or SMS               impact the transit agency’s safety
                                                     responsibilities and have a written                     Executive in developing, implementing,                performance.
                                                     statement of safety management policy                   and operating the agency’s SMS.                          (2) If a transit agency determines that
                                                     that includes the agency’s safety                       § 673.25    Safety Risk Management.                   a change may impact its safety
                                                     objectives and safety performance                                                                             performance, then the transit agency
                                                     targets.                                                   (a) Safety Risk Management process.
                                                                                                                                                                   must evaluate the proposed change
                                                        (b) A transit agency must establish a                A transit agency must develop and
                                                                                                                                                                   through its Safety Risk Management
                                                     process that allows employees to report                 implement a Safety Risk Management
                                                                                                                                                                   process.
                                                     safety conditions to senior management,                 process for all elements of its public                   (d) Continuous improvement. (1) A
                                                     protections for employees who report                    transportation system. The Safety Risk                transit agency must establish a process
                                                     safety conditions to senior management,                 Management process must be comprised                  to assess its safety performance.
                                                     and a description of employee behaviors                 of the following activities: Identification              (2) If a transit agency identifies any
                                                     that may result in disciplinary action.                 of safety hazards, analysis of safety                 deficiencies as part of its safety
                                                        (c) The safety management policy                     hazards, safety risk evaluation, and                  performance assessment, then the
                                                     must be communicated throughout the                     safety risk mitigation.                               transit agency must develop and carry
                                                     agency’s organization.                                     (b) Safety hazard identification and               out, under the direction of the
                                                        (d) The transit agency must establish                analysis. (1) A transit agency must                   Accountable Executive, a plan to
                                                     the necessary authorities,                              establish a process for hazard                        address the identified safety
                                                     accountabilities, and responsibilities for              identification and analysis.                          deficiencies.
                                                     the management of safety amongst the                       (2) A transit agency must include, as
                                                     following individuals within its                        a source for hazard identification and                § 673.29    Safety promotion.
                                                     organization, as they relate to the                     analysis, data, and information provided                 (a) Competencies and training. A
                                                     development and management of the                       by an oversight authority and the FTA.                transit agency must establish a
                                                     transit agency’s Safety Management                         (c) Safety risk evaluation and                     comprehensive safety training program
                                                     System (SMS):                                           mitigation. (1) A transit agency must                 for all agency employees and
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                                                        (1) Accountable Executive. The transit               establish activities to evaluate and                  contractors directly responsible for the
                                                     agency must identify an Accountable                     prioritize the safety risk associated with            management of safety in the agency’s
                                                     Executive. The Accountable Executive                    the potential consequences of safety                  public transportation system. The
                                                     is accountable for ensuring that the                    hazards. Safety risks must be evaluated               training program must include refresher
                                                     agency’s SMS is effectively                             in terms of probability and severity and              training, as necessary.
                                                     implemented, throughout the agency’s                    take into account mitigations already in                 (b) Safety communication. A transit
                                                     public transportation system. The                       place to reduce the probability or                    agency must communicate safety and
                                                     Accountable Executive is accountable                    severity of the potential consequence(s)              safety performance information
                                                     for ensuring action is taken, as                        analyzed.                                             throughout the agency’s organization


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                                                                              Federal Register / Vol. 81, No. 24 / Friday, February 5, 2016 / Proposed Rules                                                6371

                                                     that, at a minimum, conveys                             Management System (SMS), and results                  § 673.33    Safety plan records.
                                                     information on hazards and safety risks                 from SMS processes and activities. A                     In addition to any documents or
                                                     relevant to employees’ roles and                        transit agency must maintain documents                records required elsewhere in this part,
                                                     responsibilities and informs employees                  that are included in whole, or by                     a transit agency must maintain records
                                                     of safety actions taken in response to                  reference, that describe the programs,                of the following items:
                                                     reports submitted through an employee                   policies, and procedures that the agency                 (a) Safety risk mitigations developed
                                                     safety reporting program.                               uses to carry out its Public                          in accordance with § 673.25;
                                                     Subpart D—Safety Plan Documentation and                 Transportation Agency Safety Plan.                       (b) Results from the transit agency’s
                                                     Recordkeeping                                           These documents must be made                          safety performance assessments as
                                                                                                             available upon request by the Federal                 required under § 673.27; and
                                                     § 673.31   Safety plan documentation.                                                                            (c) Employee safety training taken for
                                                                                                             Transit Administration or other Federal
                                                       At all times, a transit agency must                   entity, or a State Safety Oversight                   purposes of compliance with this part
                                                     maintain documents that set forth its                   Agency having jurisdiction. A transit                 and the Public Transportation Agency
                                                     Public Transportation Agency Safety                     agency must maintain these documents                  Safety Training Certification Program.
                                                     Plan, including those related to the                    for a minimum of three years.                         [FR Doc. 2016–02017 Filed 2–4–16; 8:45 am]
                                                     implementation of its Safety                                                                                  BILLING CODE 4910–57–P
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Document Created: 2016-02-05 00:17:37
Document Modified: 2016-02-05 00:17:37
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 (NPRM): request for comments.
DatesComments must be received by April 5, 2016. Any comments filed after this deadline will be considered to the extent practicable.
ContactFor program matters, contact Brian Alberts, Office of Transit Safety and Oversight, (202) 366-1783 or [email protected] For legal matters, contact Michael Culotta, Office of Chief Counsel, (212) 668-2178 or [email protected]
FR Citation81 FR 6343 
RIN Number2132-AB23
CFR AssociatedMass Transportation and Safety

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