Effects Of Having A Hole In Car's Muffler And Exhaust System Of Car

The muffler is the basic and one of the most critical and important components of the automobile exhaust system. The main function of the muffler is to improve the performance of the car by silencing the noise of the car which is placed in the exhaust line. The muffler is also essential because it can improve the efficiency of the engine. Therefore, even a small problem with a car’s muffler, such as a hole in the muffler, can damage the vehicle and clearly be identified by the sound of the car.

When holes start to appear in the muffler of your car, you need to pay attention to a few warning signs as it can damage other systems too. Once these types of symptoms are found, the muffler or other exhaust components should be replaced immediately.

Effects Of Having A Hole In Car's Muffler And Exhaust System Of Car

 One of the main problems most people face is that a hole in the muffler. If your car’s muffler is not working properly, then it can cause some major problems with its operation. There are many faults that come in the silencer, which is must be analyzed and checked as soon as possible to eliminate them and prevent major damage to the car.  

What is the function of the muffler?  

The automobile muffler has mainly three uses. The first purpose of an automobile muffler is to reduce the amount of noise generated by the exhaust system of an engine of a car. The muffler redirects this noise so that it can pass through the exhaust pipe. In this manner, passengers and others who are in the vicinity of the vehicle will not be disturbed by these noises.  

Effects Of Having A Hole In Car's Muffler And Exhaust System Of Car

The second purpose of the muffler of the exhaust system is that it allows the exhaust gases from the engine of a car to flow out of the engine. This not only protects the passengers from dangerous engine-generated exhaust gases but also allows the exhaust gases to cool through the expansion and prevents the engine sparks or flames from escaping the exhaust gases.  

And the third purpose of an automobile muffler is to improve and maximize engine performance. Correct combustion of fuel and air in the combustion chamber is the main cause of power generation. The function of the exhaust system and muffler is to keep the exhaust gas flowing so the engine can draw in more fresh air/oxygen to generate more power. 

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What is the reason for the muffler hole?
 

As we have better know that, salt is the main enemy of mufflers and exhaust systems of the engines of vehicles, whether it comes from using road salt or living near the ocean area where the humidity level is so high. This can lead to corrosion and weaken the surface and thus holes occur. But there is another danger. Frequent driving through bad road conditions and potholes or driving too fast on speed bumps can damage your car's muffler and other parts too.

The longer your vehicle is left in these types of conditions, the more likely your vehicle's muffler will be affected. This can result in small dents, cracks, or actual break holes in the exhaust part. Once this happens, it will not work properly as in its original condition.


Top 5 Holes in Muffler Symptoms


When holes start to appear in your car's muffler or other exhaust systems, you just need to pay attention to a few warning signs about the exhaust system of the car. Once these types of symptoms are found, the muffler or other exhaust components should be replaced immediately as it prevents major damage. These are the five most common signs.  

1-Loud noise  

Noise is generated while driving a vehicle obviously; so the main symptom of a hole in the muffler is noise. Since an appropriately working muffler should decrease noise level, a muffler with a hole will not function appropriately as it creates noise.

It means that the noise that would normally be decreased is now louder and louder. If you couldn't replace the muffler as early as possible, the hole in the muffler will continuously expand and become gets larger. So these rumbles the sound will become gets louder at the same time.  

2-Carbon monoxide
 

The muffler prevents carbon monoxide in the exhaust gas from entering the cabin area of the vehicle where everyone sits in the car. However, if there is a hole in the muffler, there will be exhaust gas leakage and carbon monoxide will be able to enter the cabin area of the vehicle which is hazardous to the passenger sitting inside the cabin.

The scary thing which will happen is that you can’t smell, see, or taste this CO poisonous gas. On the other hand, you will only feel the effect of that gas. Some of these effects include that dizziness, headache, fatigue, and shortness of breath. If inhaled for a long time, it may cause death.  

3-Emission test failed  

The main thing is that you cannot see the carbon emissions coming from the exhaust pipe, but they do exist. Every time white smoke comes in the exhaust outlet does not necessarily mean that excessive emission. 

The only way to know if you are going to reduce carbon emissions is then you must pass an emissions test. Most of the states required that you to take these exams, while other states do not. If you are living in a state that requires you to take a test but fails in the test, it clearly means that this may be happening due to a hole in the muffler.  

4-Rust holes  

Rusting hole in the exhaust hole mufflers usually has small holes called “drain holes”. The main purpose of these holes is to allow water to drain from the muffler to prevent the rusting of the muffler body. However, if you see rust in the holes formed near the exhaust pipe, then there are no drainage holes. Whenever you see a rust hole, you need to worry about the muffler.  

5-Engine Misfire  

Engine cylinder misfire causes that the entire exhaust system to function properly to ensure that smooth engine operation is very important to point taken into consideration. If only one component in the exhaust system is damaged or worn, then it will cause the engine to misfire. A hole in the muffler is one possible way for the engine failure. 

Effects Of Having A Hole In Car's Muffler And Exhaust System Of Car

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Effect of the hole on the muffler 

Car muffler mainly has two functions, that reduce the noise of the exhaust system and allow exhaust gas to be discharged directly from the engine, the effect of a hole on the muffler can vary from small to extreme level. Some of them are very common, and some of them can be very severe. 

The hole in the muffler will not only reduce the performance of the car but also make it difficult for these basic functions to work properly. Are you interested in learning about some other effects of holes in car mufflers? Here I mention some of them:

1. Degraded engine performance  

The main effect of the hole on the muffler is that it degrades the engine performance. Various components of the car engine will begin to work in a very compatible manner and eventually destroy the expected performance. 

This is not about all engines with muffler holes will often start to misfire. This will be further because of a series of car engine failures, which will never allow the engine to run at the expected performance. Car engine performance degradation can also cause the engine to misfire and slowdowns engine. 

 2. Unbearable noise from the exhaust system  

One of the major loopholes in the muffler symptoms is the unbearable noise that comes from the exhaust system of the car. If the exhaust system of a car produces unbearable noise, then you can easily judge by hearing sound that the muffler of your car is damaged. 

Most of the time, when your car starts to make strange and odd noises, it may happen due to damage or problems with the car muffler. These unbearable noises are mostly caused by the holes in the car’s muffler. Inside the muffler contains many chambers through which the exhaust gas passes after the exhaust manifold. 

These usable chambers in the muffler eliminate the vibration of the exhaust gas coming from the engine outlet, thus reducing the noise generated by the exhaust system. However, if there is a hole in the muffler then at that time these vibrations are not eliminated, resulting in an unbearable noise. 

3. Condensation exhaust system  

The holes in the muffler can also cause condensation in the exhaust system of the car. The muffler hole can also cause moisture to gather in the muffler chamber and condense it inside the muffler. Excessive moisture in the muffler room can even cause the immediate failure of the muffler and other fatal consequences. 

After the muffler is damaged, the moisture cannot be discharged or removed, so it stays inside as it is. Frequently heating and condensation happening inside the muffler can also damage the surface and other bodies of the muffler. If condensation problems occur in the summer season, it means that the car muffler is damaged or malfunctioning.  

4. Peculiar smell  

The peculiar or odd smell is also a loophole in the muffler symptoms and also indicates that the muffler has failed in efficiency. Even if the smell is a little small, at that time you should take effective actions immediately. 

If this problem remains as it is, then it can lead to some critical and serious issues in the overall performance of the car. If the greater the peculiar smell, then the more serious the car muffler problem.  

5. Toxic fumes  

A hole in the muffler can also cause a major problem which is that the emission of toxic fumes. The muffler hole allows those harmful gas to enter the car while traveling. This is really bad for the people who travel by car. 

These toxic fumes, such as nitrogen oxides (NOs) and carbon monoxide (CO), are extremely dangerous to health and can cause some serious illnesses to the people who are traveling by that car. Holes in the muffle will also result in an increased emission of those toxic and harmful fumes, which will have a greater destructive impact on the environment and the surrounding environment. 

Is there any hole in the muffler for driving?  

If you suspect that there is a hole in your car's muffler or any other part of the exhaust system, you should immediately contact a certified mechanic to inspect it. Driving a car with a damaged muffler puts you and your loved ones in any dangerous situation, so don’t take any risks for your lives. 

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(Obsolete article) Automation Levels for Vehicle Testing

(This article is for archival purposes only. A newer take on this topic is here:  
https://safeautonomy.blogspot.com/2021/11/regulating-AVs-with-human-drivers.html)

Debunking AV Industry Positions on Standards and Regulations

(This is the expanded version of: Philip Koopman, "Autonomous Vehicle Myths: The Dirty Dozen," EE Times, Oct. 22, 2021.)

https://www.pexels.com/photo/cars-on-road-in-city-during-night-time-3849167/

Too often, I’ve read documents or listened to panel sessions that rehash misleading or just plain incorrect industry talking points regarding autonomous vehicle standards and regulations. The current industry strategy seems to boil down to “Trust us, we know what’s best,” “Don’t stifle innovation,” and “Humans are bad drivers, so computers will be better.”

As far as I can tell, what’s really going on is that automated-vehicle companies are saying what they say both to avoid being regulated and to avoid having to follow their own industry safety standards. That strategy has not yielded long-term safety in other industries that have tried it, however, and I predict that in the long term it will not serve the automotive industry well either. It certainly does not encourage trust. 

In this essay, I address the usual industry talking points and provide summary rebuttals. I’m intentionally simplifying and generalizing each talking point for clarity. It is my hope that other stakeholders, policymakers, and regulators can use this information to encourage AV companies to talk about the things that matter, such as ensuring the safety of all road users. We need more transparency and honest discussion — not a continuation of the current, empty rhetoric.

It is important to be clear that, from everything I’ve seen, the rank-and-file engineers, and especially the safety professionals — if the company has any — are trying to do the right thing. It is the government relations and policy people, not the engineers, who are providing the facile talking points. And it is the high-level managers — the ones who set budgets, priorities, and milestones — who affect whether safety teams have sufficient resources and authority to build an AV that will in fact be acceptably safe. So this essay is directed at them, not at the engineers.

For more detailed guidance to state and municipal DOT and DMV regulators, see this blog post.

(I've numbered these points for easier reference. Making yourself a bingo card and bringing it to the next regulatory/policy panel session you attend to keep score is optional.)

  • Myth #1: 94% of crashes are due to human driver error, so AVs will be safer.
I’ve seen this myth stretched to suggest that 94% of crashes are due not just to human error but to “bad driver choices” (implying driving drunk and texting, perhaps). Sometimes, the cited percentage is 90%. Regardless of the particular spin, the usual, unstated implication is that AVs will be about 10 to 20 times safer by not making those same mistakes.

However, the 94% number is a misrepresentation of the original source. A vocal proponent of this myth, notably under the previous administration, has been the U.S. DOT, which ironically was the source of the study being misrepresented.

What the study data actually shows is that 94% of the time, a human driver might have helped avoid a bad outcome. The source explicitly says that this is not 94% “blame” on the human driver. (Not discussed is the astonishing effectiveness of human drivers in mitigating technical failures. It is more about pointing out that about once in a while, they don’t get it right.)

Sometimes, the bad outcome is due to an overt mistake or to driving impaired or distracted. Often, failure to wear a seatbelt turns what would otherwise be an injury crash into a fatality. 

But some crashes occur simply because the human driver incorrectly guessed the intent of another road user or misunderstood an unusual situation in the roadway. Those are mistakes an AV can make as well. The 94% number also ignores the possibility that roadway and other infrastructure improvements could increase safety even for human drivers.

Beyond the 94% number being more complex than just “driver error,” AVs will make different mistakes. This should be abundantly clear to anyone who’s watched automation road test videos. Yes, the technology will improve. But there is no evidence I’ve seen that proves an AV will be safer than a human driver anytime soon. The safety benefit is aspirational for now. And Tesla data doesn’t count, because Tesla blames the human driver for crashes, and a deployed fully automated vehicle does not have a human driver to blame. (See: "A Reality Check on the 94 Percent Human Error Statistic for Automated Cars")

To be sure, with something like $100 billion of investment chasing the problem, we could get there. Hardworking engineers at the AV companies are trying to make sure we do get there. But we’re still on the journey, not at the destination.

  • Myth #2: You can have either innovation or regulation, not both.

This is a false dichotomy. You can easily have both innovation and regulation, if the regulation is designed to permit it.

To consider a simple example, you could regulate road testing safety by requiring conformance to SAE J3018. That standard is all about making sure that the human safety driver is properly qualified and trained. It also helps ensure that testing operations are conducted in a responsible manner consistent with good engineering validation and road safety practices. It places no constraints on the autonomy technology being tested. (Adaptation would be needed for a safety driver in a chase car if it was deemed impractical to have a safety driver sit in a prototype vehicle for road testing;  see this blog post.) 

For more general approaches, you can switch from the current approach of track and road testing to more goal-based testing. For example, a regulation that tells you what symbol to put on a dashboard to tell the driver sitting in a driver seat that there is low tire pressure (Federal Motor Vehicle Safety Standard [FMVSS] 138) does indeed constrain design by requiring a light, a dashboard, a driver seat, and a driver. But the lighted symbol isn’t the point; getting the low tire pressure addressed is the point, and regulations can focus on that instead (see this blog post).  To be sure, this requires a change in regulatory structure. But the choice isn’t between innovation and regulation; it is between old regulation and new regulation, and that is a far different matter — especially if the new elements of the regulatory approach are based on conforming to standards the industry itself wrote.

The primary industry standards for deployed AVs in the  U.S. are ISO 26262 (functional safety), ISO 21448 (safety of the intended function, or SOTIF), and ANSI/UL 4600 (system-level safety). Indeed, the current  US DOT proposal for regulation as of this writing is to get the AV industry to conform to precisely those standards. None of the standards stifle innovation. Rather, they promote a level playing field so companies can’t skimp on safety to gain a competitive timing advantage while putting other road users at undue risk.

If a company states that safety is their #1 priority, how can that possibly be incompatible with regulatory requirements to follow industry consensus safety standards written and approved by the industry itself?

  • Myth #3: There are already sufficient regulations in place (for example in California).

Existing regulations (with one exception) do not require conformance to any industry computer-related safety standard, and do not set any level of required safety. At worst, it is the "Wild West." At best, there are requirements for driver licensing, insurance, and reporting. But requirements on assuring safety, if any, are little more than taking the manufacturer's word for it.

The one exception is the New York City DOT’s rule to require the SAE J3018 road testing safety standard, and to attest that road testing will not be more dangerous than a normal human driver. (See: https://rules.cityofnewyork.us/rule/autonomous-self-driving-vehicles/ . For bonus points, see if you can find any of these myths in the comments submitted in response to that standard, or in responses to the DOT proposal referenced under Myth #2.)

  • Myth #4a: We don't need proactive AV regulation because of existing safety regulations.

The current Federal Motor Vehicle Safety Standard (FMVSS) regulations do not cover computer-based functionality safety. They are primarily about whether brakes work, whether headlights work, tire pressure, seat belts, airbags, and other topics that are basic safety building blocks at the vehicle behavior level. As the National Highway Traffic Safety Administration would tell you, merely passing FMVSS mandates is not enough to ensure safety on its own; it is simply a useful and important check to weed out the most egregious safety problems based on experience. 

There are no FMVSS or other regulatory requirements for automotive software safety in general, let alone for AV-specific software safety.

Safety regulators should think hard about an approach in which “safety” means requiring insurance to compensate the next of kin after a fatality. With multi-billion dollar development war chests, a few million dollars of payout after a mishap might not be sufficient deterrent to taking safety shortcuts in the race to autonomy.

  • Myth #4b: We don’t need proactive regulation because of liability concerns and NHTSA recalls.

The National Highway Traffic Safety Administration generally operates reactively to bad events. Sometimes, car companies voluntarily disclose a problem. Other times, a number of people have to die or be seriously injured before NHTSA forces some action (for example, eleven crashes involving Tesla driver assistance "autopilot" with emergency vehicles occurred over a 3.5-year period before action was initiated, with an expectation of many months to resolution). For mature technology, maybe this is OK — if one makes the assumption that the industry is populated with only good faith actors. But even with that assumption, it isn’t enough for immature AV technology and manufacturers new to automotive safety.

Aircraft safety regulation used to wait for crashes, but air travel got a lot safer when FAA and airlines became proactive. Most importantly, a regulatory policy that waits for loss of life and limb before taking action can result in a process that takes years to solve problems, even as the loss events continue.

It would be better if companies voluntarily commit to follow their own industry’s safety standards. If not, we might be only one big news event from a regulatory hammer coming down.

  • Myth #5: Existing safety standards aren't appropriate because (pick one or more):
    • they are not a perfect fit;
    • no single standard applies to the whole vehicle;
    • they would reduce safety because they prevent the developer from doing more;
    • they would force the AV to be less safe;
    • they were not written specifically for AVs.

These statements misrepresent how the real standards work. ISO 26262, ISO 21448, and ANSI/UL 4600 all permit significant flexibility to be used in a way that makes sense. All three work together to fit any safe AV. 

ISO 26262 can apply to any light vehicle on the road for the parts that aren’t the machine-learning–based mechanisms. Cars still have motors, brakes, wheels, and other non-autonomous features that have to be safe. The hardware on which the autonomy software runs can still conform to ISO 26262. All of these are covered by ISO 26262, and the standard specifically permits extension to additional scope.

ISO 21448 is explicitly scoped for AVs in addition to ADAS. Its origin story includes being proposed as an addition to ISO 26262, and it is written to be compatible with that standard.

ANSI/UL 4600 is specifically written for AVs. It applies to the whole vehicle as well as support infrastructure. The voting committee includes experts on ISO 26262 and ISO 21448, so it is compatible with those standards, and in fact it leads naturally to using all three of these standards and not just a “single” standard. (Anyone who knows standards knows it is improbable that any safety-critical system would involve use of just a single standard.)

There is no reason not to conform to these standards, and U.S. DOT has already proposed this set for the United States. All of these standards allow developers to do more than required. All of them are flexible enough to accommodate any AV. None of them force a company to be less safe (really, that argument is laughable). None of the standards constrain the technical approach used.

  • Myth #6: Local and state regulations need to be stopped to avoid a “patchwork” of regulations that inhibits innovation.
A significant reason that local and state regulations are a so-called patchwork is that in each jurisdiction, the AV companies play hardball to minimize regulation. Typically these negotiations involve statements that if regulation is too stringent, companies will take their jobs and spending elsewhere, and the jurisdiction in question will get a reputation for being hostile to innovation and technology. The outcome of each negotiation is different, resulting in somewhat different regulations or voluntary guidance from place to place.

If the industry changed its stance on avoiding regulation at all costs, the patchwork could be resolved via the same uniform state law-making mechanism that standardizes other driving laws. That would make things as uniform as is practical (“right turn on red” rule differences were around before AVs).

Moving to regulation based on industry standards would actually help in this regard, because national and international standards don’t change from city to city. 

A federal regulation that requires conformance to standards would help address this issue. A federal regulation that prevents states from acting but does not itself ensure safety would be worse than nothing.

  • Myth #7: We conform to the “spirit” of ISO 26262, etc.

AV developers typically justify their “in the spirit of” statements by advancing the theory that there might be a need for deviation from the standard (beyond any deviations that the standards already permit). The statements never specify what the possibly required deviations might be, and I’ve never heard a concrete example at any of the many standards meetings I have attended. (I’m on the U.S. voting committees for all the standards listed in this essay.)

I’ve never heard an AV company argue, when making its case, that it conforms to the intent of a standard, just to the spirit of the standard — whatever that means. Indeed, any “in the spirit” statement is meaningless, because the standards I’ve mentioned are all flexible enough that if you actually conform to the spirit and intent of the standard, you can conform to the standard. The standards explicitly permit not doing things that don’t apply and deviating from inapplicable clauses with appropriate decision processes. Doing that still permits conformance to the actual standard.

I worry that AV companies’ “spirit” claims are really code for cutting corners on safety when they think it is economically attractive to do so, or they’re in a hurry, or both.

A reasonable alternative explanation is simply that lawyers might want to avoid committing to something if nobody is forcing them to do so. That is understandable from their point of view, but it impairs transparency. The dark side of the strategy is that it provides cover for companies that are not the best actors to hide cutting corners. If companies are worried that they’ll be called out for not following a standard after a crash, they should spend the resources to actually follow the standard. Or they should not spend so much effort making public claims about safety being their top priority.

Companies that are truly doing their best on safety should be transparent about conforming to consensus standards to raise the bar for others.

Consider whether you would ride in an airplane whose manufacturer said, “We conform to the spirit of the aviation safety standards, but we’re very smart and our airplane is very special so we skipped some steps. It will be fine. This aircraft type hasn’t killed anyone yet, so trust us.” 

Now ask yourself if you’d want to share the road with a test AV whose developer has said it wants the flexibility of not conforming to the industry standards for road testing that the developer itself helped write.
  • Myth #8: Government regulators aren’t smart enough about the technology to regulate it, so there should be no regulations. Industry is smarter and should just do what it thinks is best.

Following the proposed  U.S. DOT plan to invoke the industry standards mentioned earlier makes sense, because it addresses precisely this concern. Even two years ago, the standards weren’t really there, but now they are. Industry decided which standards made sense, and then they created them.

If we could trust industry — any industry — to self-police safety in the face of short-term profit incentive and organizational dysfunction, we wouldn’t need regulators. But that isn’t the real world. Trusting the automotive industry to regulate development with immature, novel technology is unlikely to work. It’s possible, and important, for the industry to achieve a healthy balance between taking responsibility for safety and accepting regulatory oversight. Near-zero regulatory influence until after the crashes start piling up is not the right balance.

Near-zero regulatory influence until after the crashes start piling up is not the right balance.

It’s difficult to understand why it is a bad idea for government regulators to say to the AV industry: We want you to follow your own safety standards, just as all the other industries do.

  • Myth #9: Disclosing testing data gives away the secret sauce for autonomy.

Road testing safety is all about whether a human safety driver can effectively keep a test vehicle from creating elevated risk for other road users. That has nothing to do with the secret-sauce autonomy intellectual property. It is about the effectiveness of the safety driver.

Companies sometimes say it would be too difficult or expensive to get or provide data. If companies don’t have data to prove that they are testing safely, they shouldn’t be testing. If they think that providing testing safety data is too expensive, they can’t afford the price of admission for using public roads as a testbed.

Testing data need not include anything about the autonomy design or performance. An example would be revealing how often test drivers fall asleep while testing. A non-zero result might be embarrassing, but how does that divulge secret autonomy technology data?

By the same token, regulators should not be asking for autonomy performance data such as how often the system “disengages” because of an internal fault or software issue. They should be asking how often other road users are placed at risk, which is an entirely different story. So the miles and locations tested, along with the collisions and near-miss situations that occur, make sense as measures of public exposure to risk. But metrics related to the quality of the autonomy itself do not, unless and until that data is being used to justify testing without a safety driver.

  • Myth #10: Delaying deployment of AVs is tantamount to killing people.
The safety benefits of AVs are aspirational and targeted for sometime in the future. Every year, that “sometime” seems to get further away. Given the track record of promises and delays, nobody really knows how far in the future. Moreover, there is no real proof to show that AVs will ever be safer than human-driven vehicles, especially with human-driven vehicles becoming safer via active safety systems such as automated emergency braking (AEB). 

With something like $100 billion being spent on AV technology, it seems likely they will eventually be safer for appropriately restricted operational design domains (ODDs). But the “when” still remains a question mark.

Ignoring industry best practices to put vulnerable road users at risk today should not be permitted in a bid to maybe, perhaps, someday, eventually save potential later victims if the technology proves viable.

Even the famous RAND study urging early deployment was careful to say that AVs should be safer than human drivers initially. The discussion is not about whether AVs should be safer than humans when deployed, but rather how much safer (or, as RAND puts it, deploying while good rather than waiting for nearly perfect.) Deploying vehicles that aren’t clearly shown to be safer than an unimpaired human driver in a similar ODD violates this principle. So does adopting test practices that result in risk worse than that presented by an unimpaired human driver operating on the same roads.

If saving lives on the road today is indeed the No. 1 priority, then a small fraction of the tens of billions of dollars being spent on AVs could be spent on reducing the drunk driving rate (embarrassingly high in the U.S. compared with Europe), improving roadway infrastructure, improving speed limit strategies, installing safer pedestrian crossings and bikeways, and so on — not on increasing near-term risk via premature deployment or irresponsible testing.

Don’t forget that bad press from a high-profile mishap can easily sets the whole industry back. No company should be rolling the safety-shortcut dice to hit a near-term funding milestone while risking both people’s lives and the reputation of the entire industry.
  • Myth #11: We haven't killed anyone, so that must mean we are safe.
Often this amounts to arguing, “We’ve gotten lucky so far, so we plan to get lucky in the future.” If there is no evidence of robust, systematic safety engineering and operational safety practices, this amounts to a gambler on a winning streak claiming they will keep winning forever. 

Think about the implications of accepting this argument. That means that every AV tester gets to operate however they like until they kill someone. This was effectively the dynamic in at least parts of the AV industry until  when a pedestrian was killed during a testing mishap in Tempe Arizona. We should not be giving developers a free pass on safety, looking into the matter only after they have killed someone.

The one possible exception to this argument might be claimed if the company has a statistically significant basis for showing safety. For fatalities, that is perhaps 300 million miles of operation with zero fatalities against a 100 million-mile average fatality rate. In practice, however, even this argument doesn’t really work, because it requires nothing to change for a vehicle that is still being tested. Changes to vehicle software, changes to roads, different operational environments, different driver demographics, and so on all reset the test odometer, so to speak, and invalidate any safety claims being made. In reality, an argument based on history alone does not prove safety. And it begs the question of how safety can be ensured while 300 million miles of operational evidence are accumulated to support the claim.
  • Myth #12: Other states/cities let us test without any restrictions; you should too.
Whether regulators are willing to put their constituents at increased risk in exchange for some economic benefit is a decision they are permitted to make for themselves. But the hard reality is that any tester who is not at least doing as well as SAE J3018 for road testing safety is not following accepted practices and is likely putting the local population at unnecessary risk.

We all know what happened in the 2018 Tempe Arizona testing fatality. The NTSB chair pointed out at that investigation hearing that other companies didn’t need to have a similar crash to learn the lessons of this one. One result of learning those lessons was the starting document that became the newest revision of SAE J3018 for road testing safety. If testers won’t follow that consensus industry standard, they haven’t really taken that lesson to heart.

The responsibility of safety regulators is to promote safety. Vulnerable road users should not act as unwitting test subjects for AV road testers who can’t even be bothered to commit to following accepted industry safety practices. Regulators should not feel inhibited from merely asking developers to follow the industry safety standards that, in most cases, they themselves helped write.

Bonus myths beyond the "Dirty Dozen" -- but still problematic:
  • Myth #13: Testing deaths are a regrettable, but necessary price to pay for improved safety.
Usually this argument is accompanied by an observation that approximately 100 people die per day on US roads from human-driven vehicles. However, the proper risk comparison is not the number of deaths, but rather fatality rate per mile.

In the US, fatal car crashes happen approximately once every 100 million miles. The entire industry has not yet accumulated 100 million miles of AV road testing, but we’ve already seen a testing fatality (Uber in 2018). It’s unlikely that AV test fleets will rack up more than 100 million miles anytime soon, so the industry has already spent its fatality “budget” for AV testing deaths. There is no justifiable reason to road test in a way that is likely to result in further testing-related fatalities. Following industry standards for safe testing is the very least that testers should be doing.
  • Myth #14: Self-certification has served the industry well, so it should not be changed.

Victims and their families involved with numerous wide-scale safety and environmental issues might think that self-certification has not served them well, even if the industry is happy with the situation. Exercise: Pick your favorite automotive industry safety or emissions scandal. Be sure to include class actions and death and injury suits, as well as criminal proceedings, verdicts, and settlements.

It is important to remember that industry “self-certification” is not required to address any functional or software safety standard, despite automotive-specific guidelines and standards describing how to do such safety in detail going back more than 25 years. So companies are not really required to certify anything except conformance to FMVSS, which is not about software and computer-based system safety.

Other industries actually follow their own safety standards (aviation, rail, chemical, power, mining, factory robotics, and HVAC are examples). As far as we can tell, most automotive original equipment manufacturers (OEMs) — the companies that actually sell cars, rather than those companies’ suppliers — do not. (The nuances are significant. Supply chains often follow safety standards if OEMs pay accordingly. And it is difficult to judge the validity of an OEM claim that it does something “similar to” or “better than” an industry standard. I haven’t found a single OEM statement that unambiguously reports conformance to ISO 26262 for their vehicle, which is the bedrock automotive safety standard, but go ahead and look for one. If you find one, tell me the source of that statement, and I’ll happily put a link right here: <none so far> ). (In fairness, it seems some organizations conform to ISO 26262 process chapters, but not (yet) the chapters regarding hardware and software design. The example I'm aware of is GWM, for parts 2, 3, 4, 7, 8, 9 but not parts 5 & 6.)

Automotive is the one life-critical equipment industry that does not even claim to follow its own industry safety standards. 

Let that sink in.

Meanwhile, the industry rarely talks about the profound effect that removing the human driver is going to have on safety. For decades, the industry has promoted a driver-error narrative (see this paper for the history). Once there is no driver to blame, that narrative falls apart. It is time for the industry to stop the cycle of safety opacity and embrace safety standards.

A core concept of safety standards and safety is independence. Without independence, it is in practice impossible to get sustainable safety. Just ask Boeing. Yet car makers continually push back on any external oversight as well as conforming to standards that permit non-external but substantively independent checks and balances.

  • Myth #15: Safety standards must be based on vehicle testing, via using "performance based safety standards."

Currently, FMVSS is based on vehicle testing, for a variety of reasons. The advantage is that test results can, at least in principle, be reproduced independently. However, the narrow testing parameters (for example, pavement temperature, air temperature, speed, tire pressure) mean FMVSS tests are a narrow check on minimum capability, not a robust characterization of safety across a full range of real-world conditions. That’s OK for what they do — which is to make sure certain features are present, not to ensure that features work across full environmental and usage conditions.

It has been known for decades that for computer-based systems such as AVs, you don’t get safety by testing. You get safety by following best practices and, where available, consensus industry safety standards. Testing is a way to spot check that you got safety right. Tests without required standards conformance won’t ensure safety.

Ironically, the FMVSS test-based regulations that the industry insists are the only ones we should have are probably the most unfriendly to innovation (see Myth #2).

When you hear someone say we should be using "performance based safety standards," that tends to be code for a testing-only approach (FMVSS-style) and avoiding process standards. It also implies rejecting conformance to industry safety standards and any requirement to perform accepted safety engineering practices.

  • Myth #16: Following standards would not be cost effective, or would force inferior approaches compared to "superior" internal proprietary standards.

I can’t think of anything in these standards that forces companies to be less safe than any internal standard I’ve seen. Remember that the companies themselves participate in writing these standards and would specifically complain if the standards were to break existing industry practices. Industry standards are written to be compatible with industry practices.

Any responsible company is already following internal standards, which should be at least as rigorous as published consensus industry standards. (If not, how is that a good thing?) They say their standards are better, so those standards should be more rigorous and therefore more expensive to accomplish. If companies think that conforming to industry standards is too expensive, what does that say about the resources they spend conforming to their purportedly superior internal standards?

One could speculate that the way their own internal standards are “superior” is that they permit cutting corners on safety procedures to reduce cost and speed up time to market. This would be consistent with an argument that following industry standards is too expensive and “stifles innovation.” But if we can’t see their standards, we can’t know for sure. And doing less than is required by the industry’s consensus safety standards sounds like a bad idea.

  • Myth #17: Regulations should be "standards neutral" to level the playing field.

That's ridiculous. The standards define the consensus level playing field.

All the standards mentioned go through an open industry-consensus process. Thousands of work-hours (at least) and multiple rounds of comments and balloting are spent making sure that all the stakeholders have their say. I can tell you from personal experience that the meetings are numerous and lengthy, and everyone who wants to have a say gets one. (At the end of the day, this is a good thing, even if those days are long.)

Anyone saying that regulations should be “standards neutral” more likely means they don’t want to have to follow standards at all. 

All the standards mentioned are “technology neutral.” None of them require using a LiDAR, or a radar, or a camera, or whatever. What they do require is that whatever you decide to build into your vehicle ends up being acceptably safe.

  • Myth #18: ANSI/UL 4600 <is broken or says something awful>.
Grossly inaccurate statements about ANSI/UL 4600 are being circulated, apparently as part of a classic FUD (fear, uncertainty, and doubt) campaign. What’s being said often ranges from highly misleading to blatantly false. If you are told by an AV company or industry organization that ANSI/UL 4600 will cause problems, you should contact the author of this essay for more information (koopman@cmu.edu).

As an example, here is a response sent to the Washington State DOT at its specific request.

merokok

Merokok, diabetes, tekanan darah tinggi: semuanya buruk bagi jantung , tetapi mungkin lebih buruk bagi jantung wanita daripada pria, penelitian baru menunjukkan. Melihat data 472.000 warga Inggris usia 40 hingga 69 tahun, para peneliti menemukan bahwa ketiga faktor risiko penyakit jantung ini meningkatkan kemungkinan serangan jantung bagi kedua jenis kelamin. Penyakit jantung bukan hanya 'pria' Tetapi peningkatan risiko bahkan lebih tinggi terjadi pada wanita daripada pria. Sebagai contoh, sementara perokok pria memiliki lebih dari dua kali risiko serangan jantung daripada pria yang tidak pernah merokok, wanita perokok memiliki lebih dari tiga kali risiko serangan jantung daripada mereka yang tidak pernah merokok, penelitian menemukan. Tren yang sama berlaku untuk tekanan darah tinggi dan diabetes, menurut tim yang dipimpin oleh Elizabeth Millett dari University of Oxford. Tekanan darah tinggi dikaitkan dengan risiko lebih dari 80% lebih tinggi untuk risiko serangan jantung pada wanita daripada pria; diabetes tipe 1 dikaitkan dengan risiko hampir tiga kali lebih tinggi pada wanita dibandingkan pada pria; dan diabetes tipe 2 dengan risiko 47% lebih tinggi pada wanita dibandingkan pada pria. Satu faktor risiko - kelebihan berat badan atau obesitas - dikaitkan dengan peningkatan risiko serangan jantung yang serupa pada wanita dan pria, para peneliti melaporkan dalam The BMJ . "Secara keseluruhan, lebih banyak pria mengalami serangan jantung daripada wanita," Millett, seorang ahli epidemiologi di Oxford's George Institute for Global Health, mengatakan dalam rilis berita universitas. "Namun, beberapa faktor risiko utama meningkatkan risiko pada wanita lebih dari peningkatan risiko pada pria, sehingga wanita dengan faktor-faktor ini mengalami kerugian relatif." Pentingnya penyaringan universal Dua ahli jantung di Amerika Serikat mengatakan temuan itu menyoroti bahwa penyakit jantung jelas bukan penyakit "khusus pria". "Apa yang membuat penelitian ini penting, adalah bahwa lebih dari setengah populasi yang diteliti adalah wanita - sebagian besar studi kardiovaskular memiliki mayoritas pria," kata Dr Satjit Bhursri, yang berpraktik di Lenox Hill Hospital di New York City. "Juga benar bahwa perempuan lebih kecil kemungkinannya untuk mendapatkan skrining dan pencegahan yang serupa dibandingkan laki-laki," katanya. "Studi ini menyoroti pentingnya skrining untuk penyakit kardiovaskular bersifat universal, seperti hasilnya." Dr Cindy Grines mengarahkan kardiologi di Long Island Jewish Medical Center di New Hyde Park, New York. Dia menekankan bahwa penyakit jantung tetap menjadi pembunuh nomor satu wanita Amerika, terutama karena efek kardio-protektif dari estrogen memudar setelah menopause. Apa yang dimaksud dengan studi baru ini adalah bahwa faktor risiko tradisional seperti tekanan darah tinggi, merokok dan diabetes perlu ditangani sesegera mungkin, "bahkan sebelum menopause," kata Grines.Merokok, diabetes, tekanan darah tinggi: semuanya buruk bagi jantung , tetapi mungkin lebih buruk bagi jantung wanita daripada pria, penelitian baru menunjukkan. Melihat data 472.000 warga Inggris usia 40 hingga 69 tahun, para peneliti menemukan bahwa ketiga faktor risiko penyakit jantung ini meningkatkan kemungkinan serangan jantung bagi kedua jenis kelamin. Penyakit jantung bukan hanya 'pria' Tetapi peningkatan risiko bahkan lebih tinggi terjadi pada wanita daripada pria. Sebagai contoh, sementara perokok pria memiliki lebih dari dua kali risiko serangan jantung daripada pria yang tidak pernah merokok, wanita perokok memiliki lebih dari tiga kali risiko serangan jantung daripada mereka yang tidak pernah merokok, penelitian menemukan. Tren yang sama berlaku untuk tekanan darah tinggi dan diabetes, menurut tim yang dipimpin oleh Elizabeth Millett dari University of Oxford. Tekanan darah tinggi dikaitkan dengan risiko lebih dari 80% lebih tinggi untuk risiko serangan jantung pada wanita daripada pria; diabetes tipe 1 dikaitkan dengan risiko hampir tiga kali lebih tinggi pada wanita dibandingkan pada pria; dan diabetes tipe 2 dengan risiko 47% lebih tinggi pada wanita dibandingkan pada pria. Satu faktor risiko - kelebihan berat badan atau obesitas - dikaitkan dengan peningkatan risiko serangan jantung yang serupa pada wanita dan pria, para peneliti melaporkan dalam The BMJ . "Secara keseluruhan, lebih banyak pria mengalami serangan jantung daripada wanita," Millett, seorang ahli epidemiologi di Oxford's George Institute for Global Health, mengatakan dalam rilis berita universitas. "Namun, beberapa faktor risiko utama meningkatkan risiko pada wanita lebih dari peningkatan risiko pada pria, sehingga wanita dengan faktor-faktor ini mengalami kerugian relatif." Pentingnya penyaringan universal Dua ahli jantung di Amerika Serikat mengatakan temuan itu menyoroti bahwa penyakit jantung jelas bukan penyakit "khusus pria". "Apa yang membuat penelitian ini penting, adalah bahwa lebih dari setengah populasi yang diteliti adalah wanita - sebagian

Everything You Need to Know About the Glass Repairing Service

It brings a feeling of shock when you understand that your vehicle's windshield has broken. If the harm is an excess of that it can't be improved through the fix, then the least difficult arrangement will supplant the windshield. 

The significance of a windshield is legitimized since it adds essential security to your vehicle. It can carry a feeling of disarray to the driver to choose whether the windshield must be fixed or supplanted. The breaks on the glass of the vehicle can show up because of many reasons. 

Indeed, even slight harm on the windshield can go about as a blockage to the permeability while you are driving. More breaks can create in with regards to seven days if there has been a previous break. 

In such cases, it would be better if a specialist glass fixing administration is counseled to tackle the issue. By and large, looking for proficient assistance to get your windshield fixed will be the best answer for the issue.

Everything You Need to Know About the Glass Repairing Service

Identifying the need for windshield repair

A windshield fix is less expensive than a substitution. One necessity is to distinguish when the windshield needs fix. The fixing of the windshield relies upon the thickness, size, area of the break. 

On the off chance that the imperfection is with the end goal that it is far away from the driver's side, it will be adequately outstanding to go for maintenance than a substitution in such cases.

Why should you opt for a repair quickly?

It is desirable to go for maintenance as ahead of schedule as could be expected. A few breaks can turn out to be highly expanded in a couple of days. So it is smarter to stay away from any deferrals in fixing the minor gaps. 

The early the maintenance, the more are the odds of diminishing the expense for something similar! Any deferrals can build the odds of going for a glass substitution which can set you back additional.

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When to choose for a replacement of the windshield?

At the point when the gaps become so huge that maintenance can't fix the issue, it is about time for a substitution of the glass to be finished. There will be many cases where you should select an immediate substitution of the windshield. 

For instance, if a stone harms the whole windshield in a go, maintenance probably won't have the option to do a lot of help to the numerous breaks that have been created.

Everything You Need to Know About the Glass Repairing Service

What happens when your windshield gets damaged?

At the point when a windshield creates breaks, it is smarter to tackle them rapidly and supplant the harmed glass to try not to make one more arrangement of issues. Breaks can debilitate the whole surface of the windshield. 

A minor gap can prompt more crevices following up, preparing for a substitution. A harmed windscreen can even damage individuals inside the vehicle and influence the total working of the airbags sent in it.

When to consult a repair service?

Here and there it won't be feasible to choose whether the glass needs maintenance or substitution. It can begin with a minor break just to track down that the whole glass sheet can be influenced by the minor crevice. 

The Sooner the substitution of the glass, the better will be the well-being of the vehicle and the travelers. A specialist administration can assist you with fixing the issue in a brief time frame. It is smarter to counsel an expert fixing administration to get solid and ensured administration. 

Be it the maintenance or the substitution of the glass, it should not be deferred for quite a while. It can prompt extra issues springing up. Expert help can serve you inside and out and can guarantee premium administrations in a brief time frame. So it is smarter to pay special mind to a confided in assistance in the event that you need promising administrations for your vehicle.

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