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NHTSA campaign 16V934000

2015–2016 HME TYPE-6 Wildland: equipment recall

If there is an incorrect weight rating on the label, the operator may overload the vehicle, possibly resulting in a loss of vehicle control and increasing the risk of a crash.

minor 45 vehicles affected FMVSS 567 100% reported repaired

What was reported

Source: manufacturer filing, 49 CFR Part 573
Problem HME, Inc. (HME) is recalling certain model year 2015-2016 Type-6 Wildland trucks manufactured January 2, 2015, to December 1, 2016. The Certification label on the affected vehicles may incorrectly list the Gross Vehicle Weight Rating (GVWR) as 15,876 kilograms instead of the correct GVWR of 8,845 kg. (The Gross Vehicle Weight Rating of 19,500 lbs is listed correctly on the label.) As such, these vehicles fail to comply with the requirements of 49 CFR Part 567, "Certification." Risk If there is an incorrect weight rating on the label, the operator may overload the vehicle, possibly resulting in a loss of vehicle control and increasing the risk of a crash. Fix HME will mail a corrected certification label to owners free of charge. The recall began on February 6, 2017. Owners may contact HME customer service at 1-616-534-1463.

Reported to NHTSA Dec 27, 2016 by HME, Inc, owners notified Feb 6, 2017.

Which vehicles are covered

Source: NHTSA campaign 16V934000

Vehicles built Jan 2, 2015 to Dec 1, 2016 — a VIN outside that window is not part of this campaign even if the year, make and model match.

Model yearOn WhichTrim
2015 HME TYPE-6 Wildland
2016 HME TYPE-6 Wildland

None of the vehicles this campaign names has a page on WhichTrim: the catalogue covers the cars, trucks and SUVs the EPA certifies from 2016 on, and these vehicles fall outside it — older model years, or motorhomes, trailers, buses, motorcycles and chassis cabs the EPA does not rate. The campaign record above is complete as filed, and whether one specific vehicle is included is settled by its VIN. Other campaigns on vehicles without a page here →

How much of it has been fixed

Source: manufacturer quarterly report, 49 CFR 573.7
Reported repaired 100%

of the campaign

The final figure: the six quarters of reporting that 49 cfr 573.7 requires have closed.

This is the manufacturer's own cumulative count of vehicles it has inspected and repaired, divided by the vehicles the campaign covers. It files that count with NHTSA every quarter for six consecutive quarters, starting from the quarter in which owners were told a remedy was ready, and then the obligation ends — so a figure on an older campaign is where the count stopped, not where it stands today.

It rarely reaches 100%, and not because the work was not done. The same report asks manufacturers to count vehicles they could not reach at all — exported, stolen, scrapped, or simply never located — and those stay in the denominator. A low number means a lot of these vehicles are still out there unrepaired; it does not tell you which ones.

The federal paperwork

Source: nhtsa.gov

Filed documents

NHTSA has not published the scanned filings for this campaign, or has not published them yet. The campaign record itself is on their site.

Check one specific vehicle

A recall applies to a build range, so year, make and model cannot settle it. NHTSA checks a VIN against the manufacturer's own list and tells you whether the repair is still outstanding on that vehicle.

NHTSA VIN recall lookup →

Campaign 16V934000

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Common questions

Source: NHTSA, 49 CFR Part 573

Does this recall repair cost anything?

No. Federal law requires the manufacturer to remedy a safety defect or a compliance failure at no charge, for vehicles up to 15 years old measured from the date of first sale. A dealer that asks you to pay for a recall repair is in the wrong.

How do I know whether my vehicle is included?

By VIN, not by model year. This campaign covers vehicles built Jan 2, 2015 to Dec 1, 2016. The manufacturer files a build range with NHTSA and only vehicles inside it are covered, so two identical-looking cars from the same year can differ. NHTSA's own lookup checks a VIN against the manufacturer's list.

What if the repair is not available yet?

It happens, and often. Manufacturers must notify owners when a defect is found even if the parts or the software are not ready, then notify them a second time once the remedy exists. The remedy filed for this campaign is described above.

What did the manufacturer say was wrong?

The problem, risk and fix quoted on this page are the manufacturer's own words as filed with NHTSA under 49 CFR Part 573. WhichTrim does not paraphrase them.

Who started this recall?

NHTSA's record credits the manufacturer. A recall can begin with the manufacturer's own testing, with a defect investigation, or with a compliance test against a Federal Motor Vehicle Safety Standard.