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Monday, January 03, 2011 10:24:13 PM
For instance, the HOS forms that the EOBR's must mimic have been redacted from the final regulation. I just think NVSR can't finalize a whole lot until the regulations themselves are finalized.
My main conern was with the software. As long as NVSR can capture all the information that will be required, the rest can be handled when needed. FMCSA has given companies another year to ensure compliance with the rule, so I'm guessing most EOBR companies will be making adjustments once the FMCSA tells everyone what they want.
This post is my opinion and should not be used as investment advice.
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