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Chapter 5. Assessment and SolutionThis chapter provides assessment of the current technical challenges of implementing traffic laws and regulations databases, identifies constraints and limitations, and recommends solutions from the perspective of design, deployment, and digital technology systems. AssessmentIt is possible to transform the guiding rules from the Uniform Vehicle Code (UVC) to requisites for automated driving system (ADS) behavior development. However, as explained above, many traffic rules vary by State and by the local authority. It will take a substantial effort to create a comprehensive database of State laws, even using existing compilations—for example, the American Automobile Association (AAA) Digest of Motor Laws—as a starting point. New State Traffic LegislationCurrently, traffic laws are maintained and administered by the presiding jurisdiction. There is no sanctioned central repository for all traffic laws at all jurisdictional levels. The regulations database would need to support inclusion of all new traffic laws that go beyond UVC guidance. There will need to be some version/configuration control, such that it can be determined what version of traffic law is being provided to an ADS. There will need to be procedures to update the database as new legislation is enacted. Many States have adopted new traffic laws that were not necessarily relevant the last time the UVC was updated. For example, in 2019, Florida enacted Act 2019-44, Use of Wireless Communications Devices While Driving, which prohibits texting while driving and prohibits the use of handheld wireless communications devices in school crossings, school zones, or work zones. The law also makes these violations a primary offense. This requirement does not apply to a motor vehicle operator who is “Operating an autonomous vehicle, as defined in s. 316.003, in autonomous mode.”100 Local Traffic LawsThe greatest limitation in creating and maintaining a comprehensive database of all traffic laws relates to local rules. Currently, there is no database that documents all local agency traffic laws. Most States require approval by only their State legislature or department of transportation (DOT) to change local traffic laws. Automated Vehicle State LegislationIn addition to the variation of traffic laws by State, there is also variation and evolution in the autonomous vehicle enacted legislation or executive orders, as shown in Figure 8. The National Conference of State Legislatures (NCSL) regularly updates a database of these actions. Similar to the State traffic laws, the State automated vehicle (AV) legislation could be transformed into a database of requisites for ADS behavior development. This would also take a substantial effort to create and would require routine monitoring to update the database as new legislation is enacted. ![]() Source: National Conference of State Legislatures101 As of the writing of this report, the original equipment manufacturer (OEM) is required to meet Federal Motor Vehicle Safety Standards (FMVSS), and the human driver must pass the State driver’s license requirements and comply with the rules of the road to maintain a license. High-Level NeedsThis section discusses high-level design and deployment needs of the proposed traffic regulation databases. The needs for building digital technology systems are also discussed in terms of system platforms, testing technologies, cybersecurity, and data privacy. Design and DeploymentRegulation Data ModelDeveloping a data model for traffic regulations is essential, but will depend on potential user needs for validation. The model has to express the regulations in terms of settings and behaviors that AVs can perceive and act on for various roadway environments (e.g., work zones and adverse weather conditions). It will need to address both permissible vehicle behaviors and traffic controls and signs—for example, right turns permissible at a red traffic signal, except where signed as not permitted. It will need to address static and dynamic controls, whether by time of day (e.g., a school speed zone) or by local dynamic signal and signage (e.g., ramp metering signals or variable speed limits [VSL]). It will need to address cases where ADS has to depend on perception of physical markings and signage and where controls are provided by infrastructure-to-vehicle/vehicle-to-infrastructure (I2V/V2I) communications, as with a signal phase and timing (SPaT) message. And it will need to address incidents and work zones as well as normal operations. Vehicle Function RegulationsSome traffic laws imply required vehicle equipment or functions. For example, some States require the use of windshield wipers when it rains, which implies that the vehicle must be equipped with wipers. This study assumes that the OEM responsible for the vehicle using the ADS will comply with FMVSS or exemption specifications for safety systems, equipment, and performance as NHTSA requires. However, FMVSS are being updated in response to ADS needsand OEMs will need to continue to track them as changes are made. Regulations Data Access and CollectionAs previously described, State traffic codes are readily available and generally able to be collected from the regulatory sources. Local government codes are unlikely to be so readily available and will present additional challenges for identification and collection. Data on regulatory traffic controls within a jurisdiction are significantly less available in database form, though generally observable in field deployments. Data Format Limitations with Automated Driving System BehaviorTraffic codes are written for human interpretation and application and may face challenges in being adapted for ADS. This is an issue of identifying driving tasks and different roadway environments and scenarios in which the regulations apply, and specifying the operational limits associated with those tasks. For example, how would an ADS be expected to interpret “exercising due care” in avoiding pedestrians and other vulnerable users? Traffic controls are currently deployed as marked or signed indications along roadways. These controls provide data as images and words to be interpreted by human drivers as permitting or precluding specific driving behaviors. ADS will need to acquire the same information as controls derived from its own imaging systems, static controls associated with mapped locations, or static and dynamic control data provided in I2V exchanges. Some agencies may maintain sign or signal databases, but the mapped and dynamic control data are generally not currently available. Coordination across JurisdictionsJust as human drivers need to know the rules of the road in various jurisdictions through which they travel, ADS will need to be aware of its current location and the applicable regulations. In practice, much of the local variability will take the form of signed controls on the roadway. But there may still be a need for a higher level set of behavior principles—like no right turn on red—to be more generally encoded into the AV control algorithms. Funding IssuesObtaining and rendering traffic regulations into a database form are somewhat simplified by the general online availability of State traffic codes. There may be costs associated with the digest of the regulations into actionable ADS input. Costs of providing traffic control data to ADS are largely unknown at this point. Those costs will depend on yet-to-be-determined factors including the agency’s own controls databases, availability of local high-definition maps, and the agency’s intent for implementing dynamic controls to be provided over the air in real time. Digital Technology SystemsCurrently, the private industry has taken different approaches to addressing this issue. For example, in a speech at the Automated Vehicle Symposium 2019,102 Chris Urmson, cofounder and chief executive officer (CEO) of Aurora, emphasized the criticality of accounting for variations in traffic regulations, which may have an impact on ADS behavior and safety. One solution he mentioned is to include the information in Aurora’s high-definition maps developed for the on-road testing regions, and in some cases modified algorithms need to be implemented. Another solution, using a concept similar to this approach is a cloud-based database solution. The INRIX® Road Rules™ tool103 is one such example that uses the SharedStreets open data format.104 These kinds of tools, however, focus on points-of-interest data entry for the placement of control devices and other traffic related information such as signage, parking restrictions, and turn lanes. While it is a reductive task to create a Google Maps™ web mashup interface to manually enter municipal transportation features, the goal of this task is to explore ways to maximize automatic data sharing with regard to ADS mobility governance. Which digital technology systems infrastructure owner-operators (IOO) may use to implement traffic regulation databases would depend on agency capability to address changing traffic environments, particularly considering that more traffic regulations can be dynamic in the future, and the proposed traffic regulation database will be closely tied to other components of dynamic traffic management (e.g., VSL systems). Emerging active demand and traffic management technologies and new data sources (e.g., those from connected and automated vehicles [CAV] and advanced perception and monitoring systems) are impacting agencies . They have realized the necessity of capacity building for fully leveraging the benefits of the new technologies and data sources. Agency capability in terms of technology systems is discussed from the following three perspectives: system platforms, technology deployment and testing, and cybersecurity and data privacy. System PlatformsThe technology supporting big data and cloud scale systems continues to evolve, offering many choices to agencies. Historically, the primary technology choices for agencies have been hosting data and systems on-premise, in the cloud, across multiple clouds, or using a hybrid approach; other possible choices include computational platforms:
The ability to deploy and migrate systems and data across a variety of platforms allows agencies to build solutions based on business needs without the constraint of utilizing a single cloud vendor or technology stack. Technology TestingTechnology testing is an integral part of the deployment of new technologies. Technology testing is the process of analyzing a system or a component by providing defined inputs and comparing them with the desired outputs. Testing can be divided into two categories: manual testing or automated testing. Manual testing, as the name suggests, is done manually and requires human input, analysis, and evaluation. Automated testing is the automated version of manual testing; using automation in testing helps avoid human errors, which can occur due to human fatigue of performing repeated processes. Automated testing programs will not miss a test by mistake. The automated test program will also provide the means of storing the test results accurately. The results can be automatically fed into a database, which can be used to provide necessary statistics on how the new data system is performing. Automated testing can detect errors in the database, which may have a major impact on ADS traffic law compliance and affect ADS behavior and safety. Objectives of automated testing are as follows:
Cybersecurity and Data PrivacyFor any advanced data system, many ownership and maintenance (O&M) considerations involve management and security of data. The Federal Highway Administration (FHWA) Reliability Data Guide’s Data Ownership and Maintenance section105 presents a sample list of fundamental considerations likely to govern O&M levels of effort and expense:
The Real-Time Data Capture and Management State of the Practice Assessment and Innovations Scan106 addressed issues related to data capture, management, archiving, and sharing to encourage collaboration, research, and operational development and improvement. The scan documented the following best practices for access, security, and privacy:
The scan documented the following best practices for data storage and backup:
The scan documented the following best practices for operations and maintenance:
The scan documented the following best practice for critical failures:
100 2019 FL H 107 enacted as Act No. 2019-44, available at http://laws.flrules.org/node/7818. [ Return to note 100. ] 101 “Autonomous Vehicles – Self-Driving Vehicles Enacted Legislation”. Accessed on May 19, 2020, https://www.ncsl.org/research/transportation/autonomous-vehicles-self-driving-vehicles-enacted-legislation.aspx. [ Return to note 101. ] 102 https://www.automatedvehiclessymposium.org/program. [ Return to note 102. ] 103 http://inrix.com/products/road-rules/. [ Return to note 103. ] 104 https://sharedstreets.io/. [ Return to note 104. ] 105 https://www.fhwa.dot.gov/goshrp2/Solutions/Reliability/L02_L05_L07_L08_C11/Reliability_Data_and_Analysis_Tools. [ Return to note 105. ] 106 SAIC (2011), Real-Time Data Capture and Management State of the Practice Assessment and Innovations Scan: Lessons from Scan of Current Practices, Report prepared for the Federal Highway Administration. [ Return to note 106. ] |
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United States Department of Transportation - Federal Highway Administration |