[Federal Register Volume 85, Number 31 (Friday, February 14, 2020)]
[Proposed Rules]
[Pages 8516-8520]
From the Federal Register Online via the Government Publishing Office [www.gpo.gov]
[FR Doc No: 2020-02843]


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ARCHITECTURAL AND TRANSPORTATION BARRIERS COMPLIANCE BOARD

36 CFR Part 1192

[Docket No. ATBCB-2020-0002]
RIN 3014-AA42


Americans With Disabilities Act Accessibility Guidelines for 
Transportation Vehicles; Rail Vehicles

AGENCY: Architectural and Transportation Barriers Compliance Board.

ACTION: Advance Notice of Proposed Rulemaking.

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SUMMARY: We, the Architectural and Transportation Barriers Compliance 
Board (hereafter, ``Access Board'', ``Board'', or ``we''), are issuing 
this Advance Notice of Proposed Rulemaking (ANPRM) to begin the process 
of updating our existing accessibility guidelines for rail vehicles 
covered by the Americans with Disabilities Act (ADA). By this ANPRM, 
the Access Board invites public comment on the substance of 
recommendations contained in the report issued by its Rail Vehicles 
Access Advisory Committee (RVAAC) and poses related questions. The 
Board will consider comments received in response to this ANPRM, along 
with the recommendations in the RVACC report, to develop proposed 
updates to our rail vehicle accessibility guidelines in a future 
rulemaking.

DATE: Submit comments by May 14, 2020.

ADDRESSES: You may submit comments, identified by docket number (ATBCB-
2020-0002), by any of the following methods:

[[Page 8517]]

     Federal eRulemaking Portal: http://www.regulations.gov. 
Follow the instructions for submitting comments.
     Email: board.gov">docket@access-board.gov. Include docket number 
ATBCB-2020-0002 in the subject line of the message.
     Fax: 202-272-0081.
     Mail or Hand Delivery/Courier: Office of Technical and 
Information Services, U.S. Access Board, 1331 F Street NW, Suite 1000, 
Washington, DC 20004-1111.
    Instructions: All submissions must include the docket number 
(ATBCB-2020-0002) for this regulatory action. All comments received 
will be posted without change to http://www.regulations.gov, including 
any personal information provided.
    Docket: For access to the docket to read background documents or 
comments received, go to www.regulations.gov/docket?D=ATBCB-2020-0002.

FOR FURTHER INFORMATION CONTACT: Technical information: Juliet Shoultz, 
(202) 272-0045, Email: board.gov">shoultz@access-board.gov. Legal information: 
Wendy Marshall, (202) 272-0043, board.gov">marshall@access-board.gov.

SUPPLEMENTARY INFORMATION: 

I. Legal Authority

    The Americans with Disabilities Act (ADA) charges the Access Board 
with developing and maintaining minimum guidelines to ensure the 
accessibility and usability of covered transportation vehicles, 
including rail passenger cars, for persons with disabilities. See 42 
U.S.C. 12204; see also 29 U.S.C 792(b)(3)(B) & (b)(10) (authorizing the 
Access Board to ``establish and maintain'' minimum guidelines for 
standards issued pursuant to titles II and III of the ADA). These 
Access Board guidelines serve as the basis for legally enforceable 
accessibility standards issued by the Department of Transportation 
(DOT), which is the federal entity responsible for implementing and 
enforcing the ADA's non-discrimination provisions related to 
transportation vehicles. See, e.g., 42 U.S.C. 12149(b), 12163, 12186(c) 
(accessibility standards in DOT regulations implementing ADA titles II 
and III must be ``consistent with'' the Access Board's minimum 
guidelines).

II. Background: Rulemaking History and Rail Vehicles Access Advisory 
Committee

    In 1991, the Access Board first issued accessibility guidelines for 
ADA-covered transportation vehicles, which addressed minimum 
requirements for buses, vans, and rail vehicles. 56 FR 45756 (Sept. 6, 
1991) (codified at 36 CFR part 1192) (hereafter, ``ADA Accessibility 
Guidelines for Transportation Vehicles''). That same day, DOT adopted 
the Board's ADA Accessibility Guidelines for Transportation Vehicles as 
enforceable accessibility standards applicable to new, used, or 
remanufactured ADA-covered vehicles. See 56 FR 45584, 45619-20 (Sept. 
6, 1991) (codified at 49 CFR part 38).
    Over the ensuing years, while the Access Board has issued updates 
to the ADA Accessibility Guidelines for Transportation Vehicles for 
non-rail vehicles, the Board has not yet revised the accessibility 
requirements applicable to rail vehicles since their initial 
promulgation.\1\ The existing guidelines for rail vehicles thus need to 
be updated to, among other things, incorporate new accessibility-
related technologies that did not exist nearly three decades ago and to 
ensure consistency with the Board's other subsequently issued 
regulations. Indeed, in 2016, when the Board revised the accessibility 
guidelines for non-rail vehicles, we expressly noted that our existing 
guidelines for transportation vehicles that operated in fixed guideway 
systems (e.g., rapid rail, light rail, commuter rail, and intercity 
rail), which similarly needed updating, would be addressed in a future 
rulemaking. See Final Rule, 81 FR at 90600.
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    \1\ For example, in 1998, the Access Board and DOT issued a 
joint final rule specifying new accessibility requirements for over-
the-road buses. See 63 FR 51670 (Sept. 28, 1998). Also, in 2016, the 
Access Board updated its existing guidelines for buses, over-the-
road buses (OTRBs), and vans. These updated guidelines incorporated 
new accessibility-related technologies, such as automated 
announcement systems and level boarding bus systems, as well as 
additional changes to ensure that the Board's transportation vehicle 
guidelines remained consistent with its other regulations issued 
since 1998. See 81 FR 90600 (Dec. 14, 2016) (codified at 36 CFR 
1192.21 & App. A). DOT has not yet adopted these updated 
accessibility guidelines for non-rail vehicles as enforceable 
standards.
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    In May 2013, as a first step in the process to update our existing 
rail vehicles guidelines, the Access Board convened the Rail Vehicles 
Access Advisory Committee (RVAAC or Committee). See Notice of 
Establishment; Appointment of Members, Rail Vehicles Access Advisory 
Committee, 78 FR 30828 (May 23, 2013). RVAAC was charged with 
``mak[ing] recommendations to the Board on matters associated with 
revising and updating our [rail vehicle] accessibility guidelines.'' 
Id. at 30829. The Committee was comprised of manufacturers of 
transportation vehicles that operate on fixed guideway systems, 
transportation providers that operated fixed guideway systems, 
organizations representing individuals with disabilities, and other 
entities whose interests may be affected by the accessibility 
guidelines.\2\ Id. Due to time constraints, the Committee decided to 
focus only on recommendations for new rail vehicles.
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    \2\ The full list of organizations represented on the Rail 
Vehicles Access Advisory Committee is available at https://www.access-board.gov/guidelines-and-standards/transportation/vehicles/rail-vehicles-access-advisory-committee/advisory-committee-members.
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    The RVAAC organized itself into the following four subcommittees: 
Communications; Boarding and Alighting; Onboard Circulation and 
Seating; and Rooms and Spaces. Committee members spent most of their 
time working in the subcommittees, which reported to the full 
Committee. The full Committee met seven times. The Committee adopted 
the following guiding principles to develop its recommendations:
     Features providing access for people with disabilities 
must be equivalent to those provided to others in terms of 
functionality and aesthetics, and must not segregate individuals with 
disabilities;
     Accessible features should be the norm for everyone;
     There may not be restrictions on using any facilities or 
features until the train is stopped;
     Safety concerns must be balanced with the underlying civil 
rights principles of the ADA;
     Establishing policy mandates will drive the development of 
improved generations of technology;
     All train cars should be accessible;
     Access Board guidelines should promote the development of 
technology, and not freeze current technology in place; and
     ``[G]rowing demographics (graying of America)'' must be 
considered when establishing scoping for accessible features.
    In July 2015, the Committee formally presented its final report 
(hereinafter RVAAC Report) to the Access Board. The RVAAC Report, which 
totals 71 pages, consists of a ``main'' report that is broken down into 
five chapters (which, except for the introductory chapter, mirror the 
topics covered by the four subcommittees) and several accompanying 
appendices. The full RVAAC Report is available at https://www.access-board.gov/guidelines-and-standards/transportation/vehicles/rail-vehicles-access-advisory-committee.
    In sum, the Report provides the Committee's recommendations for

[[Page 8518]]

updated accessibility requirements applicable to newly acquired rail 
vehicles, which are written using regulatory-style language 
interspersed with occasional textual discussion. The appendices provide 
supplementary information in the form of a reference copy of ADA 
provisions relating to transportation vehicles (Appendix A), a list of 
operational matters for DOT consideration that arose during committee 
deliberations but fall outside the Board's jurisdiction (Appendix B), 
and minority reports submitted by three Committee members (Appendix C).
    It is important to emphasize that the RVAAC Report merely sets 
forth the Committee's non-binding recommendations for consideration by 
the Access Board. The Committee's recommendations should not be viewed 
as the Board's own proposed revisions to our existing rail vehicle 
accessibility guidelines. While we will consider the RVAAC Report when 
formulating proposed updates to the rail vehicle guidelines, other 
pertinent sources, including public comment received in response to 
this ANPRM, will be considered.

III. Areas for Public Comment

    Considering the significant public interest in the RVAAC Report and 
in anticipation of a future rulemaking to ``refresh'' the accessibility 
guidelines for rail vehicles, the Access Board issues this ANPRM. 
Specifically the Board seeks public comment in two areas: (a) The 
substance of the recommendations in the RVAAC Report; and (b) related 
questions about the feasibility or potential impact of specific 
recommendations (e.g., design, operations, cost), as well as current 
research, data, and technologies relating to the improvement of rail 
vehicle accessibility. The Access Board encourages all interested 
parties to provide comment, including governmental agencies, private 
entities that own or operate rail vehicles, individuals with 
disabilities, and advocacy organizations. Comments submitted in 
response to this ANPRM will be considered by the Access Board when 
developing any forthcoming notice of proposed rulemaking.
    In reviewing and commenting on the RVAAC Report, we strongly 
encourage commenters to focus on the substance of the Committee's 
recommendations, rather than the specific wording of particular 
recommendations. In any future proposal to update the existing 
accessibility guidelines for rail vehicles, the Access Board will 
develop its own regulatory text and ensure consistency with the 
formatting used in other accessibility guidelines.
    While this notice highlights certain sections of the RVAAC Report 
and poses related questions, the Access Board seeks comments on all 
recommendations presented in the RVAAC Report. More broadly, we also 
seek comment on cross-cutting issues including the potential impact of 
the Report's recommendations on the safety of rail passengers and 
personnel, implementation costs, and the ways that such costs might be 
minimized while still achieving an appropriate level of access for 
persons with disabilities.

IV. Discussion of RVAAC Recommendations and Questions for Public 
Comment

    Discussed below are some of the recommendations posed in the RVAAC 
Report that, if implemented, would represent changes from the Access 
Board's existing requirements for rail vehicles in the ADA 
Accessibility Guidelines for Transportation Vehicles (36 CFR part 
1192). The Board highlights these recommendations and poses related 
questions to the public for the purpose of obtaining additional 
information about recent research and current technology relevant to 
these recommended changes, and the potential costs of implementing such 
changes.

A. Application

    The Access Board's existing rail vehicle guidelines apply to all 
ADA-covered new, used, and remanufactured rail vehicles. However, due 
to time constraints, the RVAAC only addressed and provided 
recommendations pertaining to new rail vehicles. This limited scope of 
the RVAAC Report does not mean that, when the Access Board issues a 
proposed rule to update our existing accessibility guidelines, we will 
similarly limit our scope to new rail vehicles.
    Question 1: Would it be feasible for remanufactured rail cars to 
meet the accessibility requirements recommended in the RVAAC Report? 
What would be the challenges and costs of applying the RVAAC's proposed 
accessibility requirements to remanufactured rail cars? For each 
challenge and or cost that you raise, please indicate the type of rail 
vehicle affected.
    Question 2: What is the typical lifespan of different types of rail 
vehicles? How often is each type of existing rail vehicle replaced with 
a new or remanufactured vehicle?
    Question 3: We are not aware of any small governmental 
jurisdictions that currently operate rail transportation systems 
covered by the ADA. With respect to small businesses, are there any 
specific issues or concerns that the Access Board should consider when 
developing any proposed regulatory updates to its existing 
accessibility guidelines for rail vehicles?

B. Communication Access

    Currently, the only provisions regarding communication for rail 
vehicles in the existing guidelines specify that each vehicle be 
equipped with a public address system permitting transportation system 
personnel, or recorded or digitized human speech messages, to announce 
stations and provide other information, with some exceptions. See 36 
CFR 1192.61, 1192.87, 1192.103 & 1192.121.
    The RVAAC Report recommended a robust expansion of requirements for 
accessible communications, including provisions for variable message 
signage (VMS) and hearing induction loops. It also recommended 
requiring VMS and real-time route map tracking (where provided) to be 
located in at least two locations in each car, so that every seat has a 
view of one or more of the accessible signs. RVAAC Report, Chap. 2, 
Sec. Sec.  I-XI.
    Question 4: What solutions or technologies are commercially 
available that, if implemented, would be capable of providing access to 
public communications onboard rail vehicles?
    Question 5: What solutions or technologies are commercially 
available that, if implemented on rail vehicles, would provide 
accessible emergency information to passengers in real-time?
    Question 6: What are the design and cost impacts of the RVAAC's 
proposed requirement for variable messaging systems on rail cars?
    Question 7: What are the design and cost impacts of the RVAAC's 
proposed requirement for hearing induction loops on rail cars?

C. Boarding and Alighting

    The RVACC Report stressed that ``full-length level or near level 
boarding should be the highest priority and most preferred method of 
boarding on all fixed guideway (e.g. rail) modes.'' RVAAC Report, Chap. 
3, Sec.  I.A. But, when not required or possible, ``boarding should be, 
as often as possible, by ramp or bridge-plate as the primary means for 
boarding'' and mechanical lifts should only be used as a back-up 
alternative. See id. Sec.  I.B.

[[Page 8519]]

1. Car-Borne Ramps, Bridge Plates, and Lifts
    Currently, the existing guidelines for rail vehicles permit 
station-based ramps, bridge plates, and lifts for use in boarding and 
alighting in certain situations. See 36 CFR 1192.83, 1192.95 & 
1192.125. The Committee recommended requiring car-borne ramps, bridge 
plates, and lifts in certain instances. RVAAC Report, Chap. 3, Sec.  
I.B. Were this recommendation included in a proposed rule, it would, in 
most circumstances, prohibit the use of station-based lifts, and would 
instead require rail vehicles to provide car-borne ramps, bridge 
plates, and lifts. In a minority report, the Metropolitan 
Transportation Authority of the State of New York raised concerns with 
this recommendation, asserting that the new gap recommendations will 
require that the bridge plates installed on the cars be capable of 
traversing the largest vertical and horizontal gap at any station. The 
station with the largest gap will dictate the bridge plate design for 
all new cars. Consequently, the bridge plates carried on the cars may 
be very long to accommodate the largest gaps. These long bridge plates 
may create a safety hazard when deployed in confined areas at a 
station. Id. at App. C (MTA-SNY Minority Report, pp. 62-63).
    Question 8: Please identify research studies or data that address 
the impact of car-borne ramps, bridge plates, or lifts on rail vehicle 
operation, maintenance, or rider safety.
    Question 9: What would be the cost implications if ramps, bridge 
plates, and lifts were required to be mounted on rail vehicles instead 
of being based at stations?
2. Lift Design Load
    The RVAAC Report recommended increasing the lift design load from 
the existing requirement of 600 pounds to 800 pounds. See RVAAC Report, 
Chap. 3, Sec.  IV.A; see also 36 CFR 1192.83(b), 1192.95(b) & 
1192.125(b) (existing Access Board specifications for design loads of 
rail vehicle-based lifts). In the Access Board's final rule 
promulgating updated accessibility requirements for non-rail vehicles, 
we retained the 600-pound design load for vehicle lifts based on the 
National Highway Traffic Safety Administration's Federal Motor Vehicle 
Safety Standards for public use lifts, which are codified at 49 CFR 
571.403 and 571.404. See 36 CFR 1192.21, Appendix A, T402.2. However, 
the Federal Motor Vehicle Safety Standards address lifts used on motor 
vehicles, not rail cars. The Access Board thus seeks additional 
information regarding design loads on rail vehicles.
    Question 10: What would be the design and cost impacts if the 
design load requirement for rail vehicle-based lifts was increased to 
800 pounds minimum? Are there any types of rail vehicles requiring a 
lift to board for which an 800-pound minimum design load would not be 
feasible?
    Question 11: What is the current design load of newly manufactured 
lifts used for rail vehicles?
3. Platform Lift Service Size
    Currently, the Access Board's rail vehicles guidelines require lift 
platforms to have a minimum clear width of 30 inches and a minimum 
clear length of 48 inches, as measured from 2 inches above the platform 
surface to 30 inches above the surface. The minimum clear width as 
measured at the platform surface to a height of 2 inches is permitted 
to be 28\1/2\ inches instead of 30 inches to accommodate the structure 
and frame of doors on some rail vehicles. See 36 CFR 1192.83(b)(6), 
1192.95(b)(6) & 1192.125(b)(6). The RVAAC Report recommended increasing 
the size of lift platform surfaces to a clear width of 32 inches 
minimum and a clear length of 54 inches minimum, both measured from the 
platform surface to 40 inches above the platform surface. See RVAAC 
Report, Chap. 3, Sec.  IV.B.
    Currently available research and the RVAAC's recommendations 
demonstrate a potential need to increase the size of the lift platform 
to accommodate larger wheeled mobility devices and advancement in their 
engineering and design. See Center for Inclusive Design and 
Environmental Access, Anthropometry of Wheeled Mobility Project--Final 
Report (Dec. 2010), available at http://www.udeworld.com/documents/anthropometry/pdfs/AnthropometryofWheeledMobilityProject_FinalReport.pdf.
    Question 12: What would be the design impacts on rail vehicles if 
the required size of platforms on rail vehicle-based lifts was 
increased to a clear width of 32 inches minimum and clear length of 54 
inches minimum?
4. Bi-Parting Side Doors
    The existing guidelines require that accessible passenger doorways 
have a clear opening width of 32 inches. See 38 CFR 1192.53(a)(1), 
1192.73(a)(1), 1192.93(a)(1) & 1192.113(a)(1). The RVACC Report 
recommends that bi-parting side doors should have one leaf that 
provides a clear width opening of at least 32 inches. The purpose of 
this proposal is to ensure passengers can readily board and alight from 
vehicles, especially during high capacity periods and when alternative 
doorways are not available, including when one of the bi-parting doors 
fails to open. However, the Committee recommended this as a best 
practice and not a requirement because it recognized that larger panels 
can create unintended consequences and it did not want to inhibit more 
efficient, reliable, and safe designs. RVACC Report, Chap. 4, 
Sec. Sec.  I.A & I.B(1)-(2).
    Question 13: How prevalent is the situation where a single leaf of 
a bi-parting side door on a rail vehicle fails to open, thereby 
restricting the clear width to less than 32-inches?
    Question 14: What would be the design implications of a requirement 
that one leaf of bi-parting doors on rail vehicles provide a clear 
width of 32 inches minimum?
5. Between-Car Barriers
    The existing guidelines for rail vehicles require between-car 
barriers for light and rapid rail systems and certain commuter rail 
systems. 36 CFR 1192.63, 1192.85 & 1192.109. This requires that a 
device or system be provided to prevent, deter, or warn individuals 
from inadvertently stepping off the platform between cars. Id.
    The RVAAC Report recommends that between-car barriers also be 
required for rail vehicles used in intercity and high-speed rail 
systems. RVAAC Report, Chap. 4, Sec.  V.A. Amtrak raised concerns about 
this proposal in a minority report, asserting that while between-car 
barriers are appropriate for high-platform, level-boarding, ``[b]i-
level long intercity trains will see no benefit from adding the 
barriers, will add cost and may in fact create a safety hazard to 
railroad employees responsible for coupling and uncoupling cars.'' 
RVAAC Report, Appendix C (Amtrak Minority Report, p. 53).
    Question 15: What data or other evidence supports a need for 
between-car barriers on rail vehicles used for intercity or high-speed 
rail service, if any?
    Question 16: If requirements for between-car barriers were extended 
to rail vehicles used for intercity or high-speed rail service, should 
there be a specified minimum between-car gap that would trigger 
application of such a requirement? If so, what size gap should be used 
to trigger any such requirement?
    Question 17: What would be the cost of requiring between-car 
barriers on rail vehicles used for intercity or high-speed rail 
service?

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D. On Board Accessibility

1. Mobility Aid Seating Location Size
    The Access Board's existing guidelines require clear floor space 
for mobility aid seating locations of 48 inches by 30 inches. See 36 
CFR 1192.83(a)(1), 1192.57(b), 1192.125(d)(2) & 1192.95(d)(2). In the 
RVAAC Report, the Committee recommended increasing required clear floor 
space to 54 inches by 32 inches where the space is confined on no more 
than two sides, and 59 inches by 32 inches where the space is confined 
on three sides. RVAAC Report, Chap 4, Sec.  IV.A. See also Center for 
Inclusive Design and Environmental Access, Anthropometry of Wheeled 
Mobility Project--Final Report (Dec. 2010), available at http://www.udeworld.com/documents/anthropometry/pdfs/AnthropometryofWheeledMobilityProject_FinalReport.pdf. The Metropolitan 
Transportation Authority of the State of New York raised concerns in a 
RVAAC Minority Report about the loss of additional seats with the 
increased floor space. RVAAC Report, Appendix C (MTA-SNY Minority 
Report, p. 68).
    Question 18: What would be the effect on the design and operation 
of rail cars if the required size of mobility aid seating locations 
were increased from 48 inches by 30 inches to a requirement of (1) 54 
inches by 32 inches where the space is confined on no more than two 
sides and (2) 59 inches by 32 inches where the space is confined on 
three sides?
2. Vertical Access
    There is no requirement in the existing guidelines to provide 
vertical access on rail cars. In the RVAAC report, the committee 
recommended adding a requirement for vertical access in new intercity 
bi-level lounge cars. The Committee explained that a lounge ``means any 
car with a primary function that is to enhance the passenger experience 
beyond the purchased coach or sleeper accommodation and is so designed 
to enhance viewing from the second level.'' Such lounge cars include 
open platform observation areas that are accessible to passengers, 
whether or not an extra fare is charged, and single level cars (known 
as ``dome cars) that offer an elevated area designed for viewing 
scenery. The Committee explained that the goal is to expand the full 
rail travel experience for passengers who might otherwise miss out on 
key features of the travel. This would include providing a lift, an 
accessible restroom (if an upper level restroom is provided), and 
accessible wheelchair spaces on the upper level. RVAAC Report, Chap 4, 
Sec.  IX.
    Question 19: Should vertical access be required on new intercity 
bi-level lounge cars? If so, should such a requirement apply only to 
certain types of intercity bi-level cars (such as those that provide a 
viewing dome on the upper level)?
    Question 20: Is it technically feasible for platform lifts to serve 
the upper levels of bi-level rail cars?
    Question 21: What are the likely costs, including both one-time 
equipment installation costs and ongoing maintenance, if vertical 
access was required on intercity bi-level rail cars?
3. Handrails and Stanchions for Onboard Circulation
    The Access Board's existing guidelines require that handrails and 
stanchions not encroach on the accessible routes and permit safe 
boarding, onboard circulation, seating and standing assistance, and 
alighting by persons with disabilities. 36 CFR 1192.57, 1192.77, 
1192.97 & 1192.115. The RVAAC recommended retaining the existing 
requirement for the diameter of the interior handrails and stanchions 
with additional specifications that (a) handrails or handholds be 
included on transverse passenger seats in all rail cars, and (b) in 
light and rapid rail systems, vertical stanchions be provided adjacent 
to, or as part of, seats on alternate rows and sides of the aisle. 
RVAAC Report, Chap. 4, Sec.  VI.B. The current regulation does not 
address the visibility of handholds, handrails, and stanchions. The 
Access Board is interested in obtaining public comment on any potential 
need for visual contrast for handholds, handrails, or stanchions.
    Question 22: Are additional types of handholds, handrails, or 
stanchions needed on rapid, light rail, intercity or commuter rail 
vehicles beyond those currently required? If so, please describe.
    Question 23: Are handholds, handrails, or stanchions for rail 
vehicles currently designed with visual contrast?
    Question 24: Is there a need for visual contrast on handholds, 
handrails, or stanchions? If so, please explain.

E. Dining Cars

    Regarding accessible seating in dining cars, the RVAAC proposed to 
increase the required wheelchair spaces and transfer seating at tables 
from one to two spaces. The Committee also noted that this requirement 
could be met with convertible spaces. RVAAC Report, Chap. 5, Sec.  
II.A. In response to this suggested requirement, Amtrak, in a minority 
report, indicated that when they attempted to use convertible spaces 
during the development of their new dining cars, the convertible spaces 
were criticized as ``making a spectacle'' of the arrival of someone 
using a wheelchair. RVAAC Report, Appendix C (Amtrak Minority Report, 
p. 54).
    Question 25: What would be the advantages and disadvantages of 
having convertible/readily removable seating in dining cars on rail 
vehicles to accommodate passengers using wheelchairs.

David M. Capozzi,
Executive Director.
[FR Doc. 2020-02843 Filed 2-13-20; 8:45 am]
 BILLING CODE 8150-01-P