Simplified smog in CA

CALIFORNIA PUBLISHES SMOG CHECK CERTIFICATION POLICY
FOR SPECIALLY CONSTRUCTED VEHICLES

Diamond Bar, Calif. (Dec. 6, 2005) - The California Bureau of Automotive Repair (BAR) has published its policy for Smog Check certification of specially constructed vehicles (See attached). Publication was prompted by discussions with SEMA, the Specialty Equipment Market Association, and officials with the state Attorney General's office. For the past year, SEMA had been working with appropriate agencies to dispel rumors and misunderstandings regarding California's vehicle registration and titling process so that specially constructed vehicles, including street rods, kit cars and replicas, can become properly registered, titled and emissions certified in the state. Under the BAR policy, the emissions controls of specially constructed vehicles are determined by one of two separate processes; (1) based on what the vehicle body or engine most resembles, or (2) model year or configuration of the engine installed.

In the first case, under the provisions of the Specially Constructed Vehicle Emission Control Program (commonly known as CA Senate Bill 100), a smog test referee compares the vehicle to those of the era that the vehicle most closely resembles to determine its model year. The vehicle's owner can then choose whether the inspector will certify the vehicle per the year of the body or the engine. If there is no close resemblance, the vehicle is classified as a 1960 model year. The Senate Bill 100 registration program is limited, however, to the first 500 applications for registrations of specially constructed vehicles submitted to DMV per year that meet the criteria. DMV doesn't categorize the vehicles into SB100 or not; the applicant does that.

In the second case, for specially constructed vehicles without a Senate Bill 100 sequence number, the only emissions controls required are those used when the engine was originally manufactured. For example, a Cobra kit-car using a 1968 351C Ford V8 would require all emissions equipment originally required for that model year engine. A dune buggy upgraded with a '91 L79 TPI GM V8 would require all emissions equipment used on that engine. More generally, if a configuration precedes 1966, no exhaust emissions controls would be required. If the configuration precedes 1961, no PCV system would be required. If a range of model years applies to any particular engine configuration, vehicle owners will have the option to select the model year of emissions controls to be used. Further, according to the BAR, new and rebuilt "crate" engines fall into this "range of model years" category. As an example in this category, the use of a Chevrolet 5.7L ZZ4 V8 engine in a replica of a '32 Ford roadster would require emissions equipment used found on the first 5.7L engines used in '67. Finally, and in some instances, vehicle owners may be required to provide engine information to aid in the identification and inspection process.

Currently, the Department of Motor Vehicles (DMV) registers "Specially Constructed Vehicles," which are by definition built for private use, from a kit or some combination of new and used parts. The DMV does not assign a model year to these cars. Rather, the vehicle is assigned the year in which the application for registration is submitted to DMV. A "Specially Constructed Vehicle" application submitted to DMV today would not have a model year, but would have 2005 assigned as an asterisk year [*YR 2005]. However, this designation does not relate to the emission control requirements for the vehicle. The DMV's website has a detailed explanation of the process for registering "Specially Constructed Vehicles" (http://www.dmv.ca.gov/vr/spcnsreg.htm). The website provides general emission control information and also outlines the previously mentioned Specially Constructed Vehicle Emission Control Program (Senate Bill 100 program). Consumers with questions regarding the Smog Check program may contact the Department of Consumer Affairs' Consumer Information Center at (800) 952-5210.

"For too long, misunderstanding of California's complex vehicle registration laws has created confusion among state hobbyists," said SEMA Vice President of Government Affairs Steve McDonald. "Certain hobbyist vehicles, including those that could be classified as specially constructed, may be erroneously titled or registered. Consequently, owners may have paid reduced registration fees and avoided emissions testing requirements. BAR's documented policy for specially constructed vehicles should help clear the way for the many owners who fail to receive one of the 500 yearly Senate Bill 100 sequence numbers to properly title, register and smog check these vehicles."

SEMA has also been actively pursuing a solution that provides these vehicle owners a reasonable period of time to voluntarily retitle their vehicles and pay appropriate fees. The California Legislature will consider legislation to provide amnesty from prosecution to vehicle owners who have mistitled or misvalued their vehicles. This bill will likely be considered in the 2006 legislative session. In the meantime, SEMA has vowed to work with all relevant parties to consider alternative approaches to protect vehicle owners who voluntarily reregister their vehicles, pay appropriate fees and fulfill BAR emissions requirements.

Founded in 1963, SEMA represents the $32 billion specialty automotive industry of 6,466 member companies. It is the authoritative source for research, data, trends and market growth information for automakers and the specialty auto products industry. The industry provides appearance, performance, comfort, convenience and technology products for passenger and recreational vehicles. For more information contact SEMA at 1575 S. Valley Vista Dr., Diamond Bar, CA 91765-0910: call 909/396-0289; or visit www.sema.org and www.enjoythedrive.com.

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DEPARTMENT OF CONSUMER AFFAIRS
BUREAU OF AUTOMOTIVE REPAIR
10240 SYSTEMS PARKWAY, SACRAMENTO, CA 95827
www.autorepair.ca.gov
www.smogcheck.ca.gov



SMOG CHECK INSPECTION REQUIREMENTS FOR SPECIALLY CONSTRUCTED VEHICLES

Section 580 of the California Vehicle Code says:
A “specially constructed vehicle” is a vehicle which is built for private use, not for resale, and is not constructed by a licensed manufacturer or remanufacturer. A specially constructed vehicle may be built from (1) a kit; (2) new or used, or a combination of new and used, parts; or (3) a vehicle reported for dismantling.…which, when reconstructed, does not resemble the original make of the vehicle dismantled. A specially constructed vehicle is not a vehicle which has been repaired or restored to its original design by replacing parts.”

Specially Constructed Vehicles are commonly known as “Kit Cars”. Upon initial registration, the DMV assigns a vehicle make abbreviation of “SPCNS” to identify a Specially Constructed Vehicle, and an Asterisk Year (*Year) instead of a model year. The “*Year” assigned by DMV will be the year in which the initial DMV registration transaction took place.

In determining emission control requirements for Specially Constructed Vehicles there are two inspection processes:

In the conventional process, the emission control requirements are based on the model year and configuration of the engine installed in the vehicle.
Under the Specially Constructed Vehicle Emission Control Program (commonly known as the Senate Bill 100 requirements), the vehicle owner may choose to have the vehicle configuration inspected based on what the body most resembles, or what the engine most resembles. Section 44017 of the California Health & Safety Code (as amended in 2002) provides a procedure for the registration of up to 500 Specially Constructed Vehicles annually.
See the chart that compares the two sets of requirements for emission controls on Specially Constructed Vehicles.

Below are some general emission control requirements for Specially Constructed Vehicles under the conventional inspection process.

Emission control requirements shall be based on the engine model year, certification type (California or Federal) and classification (Passenger Car, Light Duty Truck, etc.). Any model year engine (as determined by engine numbers or other means) can be installed.
Vehicle and engine classifications (Passenger Car, Light Duty Truck, etc.) must be certified to the same or a more stringent new vehicle standard. Typically, passenger car standards are more stringent than light-duty truck standards, which are more stringent than medium-duty truck standards, which are more stringent than heavy-duty truck standards. For example, a light-duty truck engine certified to less stringent standards cannot be installed in a Specially Constructed passenger car.
All emission controls for the previously certified configuration must be in place and functioning, including engine & chassis components.
The final configuration must pass an official Smog Check inspection at a Referee station before a Certificate of Compliance or a Referee label can be issued.

COMPARISON OF REQUIREMENTS FOR SPECIALLY CONSTRUCTED VEHICLES
(Identified as “SPCNS” by the Department of Motor Vehicles)

Specially Constructed Vehicle Emissions Inspection Process
Condition Conventional (Non-SB 100) SB 100
Vehicle type limitations No limitation Limited to passenger vehicles & pickup trucks
Allowed quantity No limit 500 per calendar year. Owner must be issued a sequence number by DMV to qualify for this process.
Basis for emission control requirements Emission controls are based on the engine installed in the vehicle. BAR Referee inspects engine to determine model year & configuration using engine or casting numbers. When not available, Referee relies on existing emission controls and customer information to find a model year that matches the existing configuration. Emission Controls are based on the model year. The vehicle owner may choose the model year determination by what the vehicle body most resembles, or by what the engine most resembles. Default is model year 1960.
If the identification results in a range of possible model years, the customer must choose a configuration & equip the vehicle accordingly. New or rebuilt “crate engines” often apply to a range of model years.
Specific emission control requirements Engine must meet a known emission certification configuration of any model year. It must have all engine & chassis systems operational, including all required computer-controlled systems. Requirements are based on the determined model year and are limited to what the engine or vehicle will accommodate.
Final result Once the vehicle passes an inspection, Referee attaches label identifying the engine and required emission controls, and transmits a Certificate of Compliance to DMV. Once the vehicle passes an inspection, Referee attaches label identifying the determined model year, any required emission controls, and transmits Exempt information to DMV.
Future Smog Check status Smog Check Program requirements (Biennial and/ or change-of-ownership) apply, depending on location where vehicle is registered. Vehicles become exempt from further Smog Check inspections.

Smog Check inspection requirements do not currently apply to motorcycles, diesel-powered, electric-powered, or hybrid vehicles.
 
I guess for California, that actually is simplified. I am told that similar SEMA-backed legislation is pending here in Massachusetts. I hope so, because our current replicar registration process is unclear at best, draconian at worst. I have not really paid any attention to smog requirements yet, figuring that I'll cross that bridge when I come to it.
 
The interesting thisngs here are the things that indicate you may not actually have to have an old engine block for an engine to be considered (e.g.) a 289:

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(2) model year or configuration of the engine installed.

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Further, according to the BAR, new and rebuilt "crate" engines fall into this "range of model years" category.

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But... If the block says it is a 302, can you build it as a 289 and call it a '65 for emissions purposes? And can you run Webers (not strictly part of the engine by my reckoning), or are you limited to the factory induction options if you take this route?
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If a range of model years applies to any particular engine configuration, vehicle owners will have the option to select the model year of emissions controls to be used.

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My car is registered as a 66 because even though everything related to my engine was new, it resembled what was available in 1966. The people at the California State Test Station were very considerate and easy to work with.
 
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