The Entry Level Driver Training (ELDT) rule was introduced to improve safety and raise standards for new commercial drivers. The intent was right. The execution wasn’t.

Since ELDT went into effect, the Federal Motor Carrier Safety Administration (FMCSA) has relied heavily on self-certification, allowing truck driving schools to attest that students are “proficient” without requiring proof of meaningful, hands-on training. According to recent industry commentary and federal reviews, this gap has created a system that prioritizes volume over quality.

The Core Issue: A Registry Without Real Oversight

When FMCSA launched the Training Provider Registry (TPR), it removed several proposed safeguards before implementation—including minimum drive-time requirements, verified instructor qualifications, and routine inspections.

The result:

  • Tens of thousands of training providers added to the registry in a short time
  • Schools operating from locations that cannot realistically support CDL training
  • No standardized way to verify that drivers received adequate behind-the-wheel instruction

Independent reviews and federal investigations have since found that a significant percentage of registered schools fail to meet basic compliance standards. This isn’t just a regulatory issue—it’s a public safety issue.

Recent Cleanup Is a Start, Not a Solution

FMCSA has begun removing fraudulent or non-compliant schools from the registry. Thousands have already been flagged or removed, which is a necessary step.

But removing bad actors after the fact doesn’t solve the larger problem: there is still no performance-based way to measure whether a school produces safe, competent drivers.

A Smarter Approach: Tie Safety Outcomes to Training Providers

Industry experts have pointed out that FMCSA already has the data needed to improve oversight—it simply isn’t using it effectively.

Every CDL issued under ELDT is tied to a registered training provider. FMCSA also maintains detailed crash and fatality data involving commercial drivers. Connecting those two datasets would allow regulators to identify patterns and answer a critical question:

Which schools are consistently producing drivers involved in serious safety incidents?

This approach shifts oversight from paperwork to outcomes.

Why Outcome-Based Oversight Matters

Linking training providers to real-world safety results would:

  • Allow FMCSA to focus enforcement where risk is highest
  • Encourage schools to invest in quality instruction, not shortcuts
  • Give prospective students transparency when choosing a school
  • Raise standards across the entire industry
  • Improve safety for everyone on the road

Instead of treating all schools equally on paper, this model rewards proven performance and accountability.

Where 160 Driving Academy Stands

At 160 Driving Academy, we support higher standards, measurable outcomes, and meaningful enforcement. CDL training should be rigorous, transparent, and focused on producing safe, job-ready drivers—not just checking regulatory boxes.

Using safety data to evaluate training providers isn’t punitive. It’s responsible. It protects students, carriers, and the public—and it strengthens the long-term future of the trucking industry.

The data already exists. Now it’s time to use it.