No probs. Here's how I understand the situation...
The advice stems from the interpretation of the Rail Vehicle Accessibility Regulations (RVAR) 1998 which goes into a lot of detail on the standards new trains must meet. RVAR is viewable at
http://www.dft.gov.uk/transportfory...ccessibilityregulations19986140?page=19#a1176
RVAR is also discussed in the cycle policy document published by the SRA (when it existed):
http://www.dft.gov.uk/pgr/sustainable/cycling/dftbikeandrailpolicydocument
RVAR in effect creates a watershed at 1998. Different rules can in effect be applied to non-RVAR compliant stock (this includes London Midland's 323s used mainly on Cross City Line). Anything after 1998 (e.g. London Midland's new 350s) absolutely have to be fully RVAR compliant. The interpretation of RVAR suggests that wheelchair space is for wheelchairs only and should not be signed for anything else. On pre-RVAR trains the wheelchair accommodation that is used for bicycles is termed "flexible use" space.
Stemming from RVAR, therefore, is the advice that:
- Cycle logos can only be used on RVAR stock, or stock refurbished to RVAR standards, where there is separate wheelchair and bicycle accommodation provided.
- Cycle logos can be used on non-RVAR vehicles in relation to the "flexible use space" - but from an accessibility view point the preferred approach would be to not use logos.
- Cycle logos should not be used on the exterior of RVAR compliant vehicles where only a wheelchair space is provided - nor should interior signage imply the space is for the use of anyone else.
It appears to have been noted that not all TOCs are following advice.
Hope that explains a bit more. I'd prefer not to be quoted on the subject, though I understand it has been explained to the CTC and other user groups who have enquired.
Thanks for taking the time with this dom.