This section of the Toolkit provides an overview of rider assistance and sensitivity requirements under the U.S. Department of Transportation (DOT) Americans with Disabilities Act (ADA) regulations, as well as good customer service practices and tips for serving riders with various disabilities. The information is organized into the following subsections:
Unless stated otherwise, the information in this section is based on U.S. Department of Transportation regulation
49 CFR Part 37 - Transportation Services for Individuals with Disabilities (ADA),
FTA Circular 4710.1, Americans With Disabilities Act (ADA): Guidance, and the National Aging and Disability Transportation Center’s (NADTC)
Transit Operator’s Pocket Guide.
Customer service and sensitivity are very important when serving persons with disabilities. The U.S. DOT ADA regulations include specific training requirements for assisting these riders. From
Section 37.173 – Training Requirements:
“Each public or private entity which operates a fixed route or demand responsive system shall ensure that personnel are trained to proficiency, as appropriate to their duties, so that they operate vehicles and equipment safely and properly assist and treat individuals with disabilities who use the service in a respectful and courteous way, with appropriate attention to the difference among individuals with disabilities.”
For example, drivers need to be able to properly operate wheelchair lifts, ramps, and securement equipment, and know what to do in emergencies when serving riders with disabilities. Some disabilities may be hidden or not easy to see. Personnel also must be trained on how to assist these riders respectfully and with sensitivity to their different abilities and needs. While not intended to be a substitute for training, the Customer Service Guidelines section below includes helpful information and resources related to serving riders with a broad range of disabilities.
The training requirement applies to all public and private transportation providers. Transit agencies that contract for services need to ensure that the employees of contractors are trained to proficiency.
Section 2.9.1 of FTA ADA Circular 4710.1 provides examples of personnel training topics appropriate for different responsibilities. The following examples are related to rider assistance and sensitivity:
As discussed in Section 2.9.2 of FTA ADA Circular 4710.1 and Appendix D to 49 CFR Part 37, FTA encourages transit agencies to collaborate with local disability organizations for assistance with employee training. Involving individuals with disabilities in agency training programs helps to demonstrate appropriate types of assistance and provides a forum for discussion of what does and does not work in practice.
ADA driver training resources with a focus on rider assistance and sensitivity include:
Here are some important customer service guidelines for serving riders with disabilities, adapted from the National Aging and Disability Transportation Center’s
Transit Operator’s Pocket Guide unless otherwise noted.
As stated in the Transit Operator’s Pocket Guide, communication with people with disabilities follows the basic rules of customer service and good manners.
Addressing Transportation and Accessibility for All, Invisible Disabilities: Seeing the Unseen, TR News, Number 346. (July-August 2023) describes the challenges of many individuals who have disabilities that are not visible and can pose significant transportation accessibility challenges. Full accessibility requires public transit staff and the traveling public to be aware of invisible disabilities and to understand how to accommodate them. To help achieve this, the following actions are suggested:
The
United Spinal Association’s
Disability Etiquette Guide: Tips on Interacting Respectfully with People with Disabilities (2023) provides examples and helpful communication tips for riders with a variety of disabilities.
The following
Top Ten Disability Etiquette Tips are adapted from the
United Spinal Association’s Disability Etiquette (2023) web site to be of use to transit staff.
There are also specific guidelines that personnel should be trained on for assisting individuals with different types of disabilities. Here are some tips for staff to keep in mind when serving the following populations, adapted from the Transit Operator’s Pocket Guide except where otherwise noted.
Easterseals Project Action’s Sensitivity Training for Bus Drivers (see Personnel Training Requirements Section above) also includes the following communication tips for serving riders whose speech is difficult to understand.
See
Effective Communications with Travelers who are Deafblind, a 26-minute training video for frontline transit personnel, on effective communications with riders who are deafblind from Sound Transit from Seattle, WA.
For more information, see the Accommodating Riders Who Use Mobility Devices page of this Toolkit .
For more information, see the Service Animals section of this Toolkit.
The following communication tips are adapted from the Job Accommodation Network’s Communication Tips for Working with Individuals with Intellectual Disabilities:
The Job Accommodation Network’s web page on autism spectrum disorder (ASD) describes ASD as a neurodevelopmental disorder that is characterized by persistent deficits in social communication and social interaction across multiple contexts, including deficits in social reciprocity, nonverbal communicative behaviors used for social interaction, and skills in developing, maintaining, and understanding relationships. This site also contains communication tips that may be adapted for specific use with to public transportation customers with autism.
The United Spinal Association’s Disability Etiquette Guide: Tips on Interacting Respectfully with People with Disabilities (2023) includes ways to be present for people with neurodivergent brains: People Whose Brains Develop or Work Differently. This list offers tips for communicating with a broad category of neurodivergence that includes autism, ADHD, brain injury, mental health, Tourette’s syndrome and similar disabilities or conditions. The adapted list follows:
Additional transportation related resources and training to consider:
The National Center for Mobility Management (NCMM), FTA, and U.S. DOT’s webinar,
Transportation and Mobility Options to Support Postschool Transition for Youth with Autism. This webinar focuses on transportation and mobility services for youth with autism transitioning out of high school.
As discussed in the introduction to Rider Assistance and Customer Service section above, riders with invisible disabilities, like epilepsy, may not be readily identifiable. Transit staff should be trained to recognize the signs of a seizure and be prepared to assist, as appropriate. The following resources will help transit staff understand epilepsy and how persons with epilepsy are covered under the ADA.
The Job Accommodation Network offers the following considerations for interacting with individuals with psychiatric disabilities:
The
Social Security Administration considers Post Traumatic Stress Disorder (PTSD) a disability. PTSD is a mental disorder that can develop after a person of any age directly experiences or witnesses a traumatic event, such as exposure to war, threatened or actual physical assault, threatened or actual sexual violence, a violent crime or serious accident, or a natural disaster. Transit personnel should treat persons with PTSD with sensitivity.
While not specific to homeless populations with disabilities, TCRP Research Report 242, Homelessness: A Guide for Public Transportation (2024), is a good starting place for learning more about the issue of homelessness and how the transit industry has come to see this challenge as one that they must partner with other community services such as law enforcement, non-profit organizations, and social service providers to resolve. The focus of the guide is to relay information on how public transportation agencies and stakeholders can work collaboratively to support homeless individuals and mitigate impacts on public transportation services and facilities. It uses a U.S. Department of Housing and Urban Development (HUD) and the U.S. Department of Education (ED) definition of “chronically homeless” which includes people with disabling conditions (mental illness, substance use disorders, and physical disabilities). Chapter Six: Supporting People Experiencing Homelessness includes interviews with staff at nine transit agencies to highlight specific outreach and supportive services programs aimed at lessening the impacts of homelessness while supporting efforts to aid people experiencing homelessness. The detailed descriptions of current approaches and best practices from the agencies interviewed include providing information, building relationships with people experiencing homelessness, connecting people to services, employing outreach services, providing services on-site, adopting alternative policing and emergency responses, and de-emphasizing minor infractions. This report also updates TCRP Synthesis 121: Transit Agency Practices in Interacting with People Who Are Homeless (2016).
APTA’s Public Transit and Social Responsibility: Homelessness (2018) report includes summarizations of interviews with transit leaders and social service personnel as well as transit security officers, police officers, crisis intervention officers, and staff at social service agencies and volunteer organizations.
The TRB Webinar: Respectful Response to People Experiencing Homelessness in Transit (March 25, 2024) presents TCRP Research Report 242, Homelessness: A Guide for Public Transportation (2024) and highlights efforts by the Southeastern Pennsylvania Transportation Authority (SEPTA) and the National Transit & Vulnerable Populations workgroup (an informal workgroup created in 2021 by individuals at more than a dozen transit agencies across the United States who meet to discuss issues of safety and homelessness at their transit systems. SEPTA has been an active partner with local and regional homeless service providers in addressing homelessness. SEPTA, the City of Philadelphia’s Office of Homeless Services, the Department of Behavioral Health and Intellectual Disabilities, and the Philadelphia Police Department work together to coordinate homeless outreach, services, and enforcement.
An article on
ECHO, Austin/Travis County’s Homelessness Response System (HRS) website,
Free bus rides: How to get your permanent free fare card from CapMetro (November 2023) describes how local bus service, Capital Metro, in Austin and Travis County, Texas, is free for anyone experiencing homelessness with a new fare card. Plastic cards provide no-cost rides to people who’ve engaged in some way with HRS.
There are rider scenarios that may be challenging for drivers. FTA encourages transit agencies to make reasonable attempts to resolve issues with riders or, if appropriate, personal care assistants (PCAs), caregivers, or guardians, before refusing service to an individual with a disability. For tips for helping riders in challenging situations, see National RTAP’s Problem Passengers: Managing Difficult Passengers & Situations Learner's Guide. Some specific scenarios are described below along with the applicable ADA requirement(s).
Transportation providers are not required to provide service to an individual with a disability if that individual engages in violent, seriously disruptive or illegal conduct, or who represents a direct threat to the health or safety of others [Section 37.5(h) of 49 CFR Part 37]. Transit agencies should have policies and procedures in place to address disruptive riders and enforce the procedures consistently among all riders.
A transit agency cannot require that an individual with a disability be accompanied by a personal care attendant (PCA) [Section 37.5(e)]. However, the transit agency is not required to provide attendant services and may refuse service to someone who engages in violent, seriously disruptive, or illegal conduct. If a PCA would be able to stop such conduct, the transit agency could require an attendant as a condition of providing service it otherwise had the right to refuse [Discussion of Section 37.5(e) in Appendix D to Part 37]. Make sure there is a real issue here based on actual experience. If there is (and it is beyond the normal transit-related duties of a bus driver), the transit agency can speak to the rider and explain that they cannot continue to ride unless there is a PCA available. The PCA must ride for free when accompanying the eligible rider. If not accompanying the ADA eligible rider, the PCA must pay a fare [Section 37.131(c)(3)].
Service cannot be refused solely because the individual's disability results in appearance or involuntary behavior that may offend, annoy, or inconvenience others. Transit agencies should consider having a policy about hygiene that is simple to implement by bus drivers, applies to all riders, and reflects the overarching nondiscrimination regulatory language [Section 37.5(h) of 49 CFR Part 37]. For example:
A personal care attendant (PCA) is someone hired by a person with a disability to assist in certain activities of daily living. The role of a PCA is highly individualized to the person they are assisting. The existence of a PCA does not release the transit system from providing boarding assistance or assistance with securements. The paratransit eligibility process may note whether an individual travels with a PCA but may not require a PCA or insert itself into the process of selecting the PCA or determining the PCA’s duties or functions. For space considerations, the transit agency may ask the rider if they will be traveling with a PCA for a particular trip. Paratransit service must be provided to a (PCA) traveling with an eligible rider with no fare charged for the PCA [Section 37.123(f)].
Under Department of Transportation (DOT) Americans with Disabilities Act (ADA) regulations at 49 C.F.R. Section 37.131(c)(3), a personal care attendant (PCA) may not be charged a fare for complementary paratransit service. Under 49 C.F.R. Section 37.123(f)(1)(ii), a companion (i.e., friend or family member) does not count as a PCA unless the companion is actually acting in the capacity of a PCA. PCAs may be charged a fare on fixed route service. While some transit systems go beyond the minimum requirements of the ADA and allow PCAs to ride for free, there is no requirement that they do so.
National Aging and Disability Transportation Center's (NADTC)
Caregivers and Transportation (October 2023) speaks to the reasons why transportation providers should focus outreach directly to caregivers, especially in underserved communities. The section entitled Lack of Awareness of Transportation Options is of particular interest. It describes how older adults and younger adults with disabilities and their family caregivers frequently do not have experience with the transportation options available in their area. The brief notes that terms related to eligibility requirements, fare reductions based on age or disability, ADA regulations, Title VI, service boundaries, fixed route vs. demand-response vs. on-demand, and Medicaid NEMT, may sound like restrictions that prevent older adults and younger adults from getting where they need and want to go.
The U.S. Access Board’s webinar, Enhancing Accessibility Through Customer Experience, held on September, 24, 2024, explains and demonstrates how customer experience (CX) can improve accessibility. The webinar described the key aspects of the federal government’s Federal Customer Experience (CX) initiative, including its relationship to Section 508 of the Rehabilitation Act of 1973. The presentation and accompanying handouts will be of value to rural and Tribal transit agencies who want to learn more about moving beyond ADA accessibility compliance regulations moving beyond ADA accessibility compliance regulations and toward a more accessible design. According to the webinar, a CX approach is to enhance customer experience by:
Also related is
Executive Order 14058: Transforming Federal Customer Experience and Service Delivery to Rebuild Trust in Government (December 13, 2021).
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