FMCSA’s recent removal of multiple electronic logging devices from its registered ELD list is another reminder that compliance does not stop when a carrier buys a device.
On May 20, 2026, FMCSA removed 12 ELDs from its registered list after determining the devices failed to meet the minimum federal requirements in 49 CFR Appendix A to Subpart B of Part 395. On July 09, 2026, FMCSA removed an additional 10 ELDs from the approved list. FMCSA stated that carriers using the affected devices must stop using them, maintain required hours-of-service records through paper logs or approved logging software during the transition period, and replace the devices with compliant registered ELDs by July 20, 2026.
FMCSA also stated that it has removed 79 ELDs from the registered list since January 2025 for failure to meet federal standards.
For motor carriers, owner-operators, and small fleets, this is not just a technology issue. It is a compliance, inspection, dispatch, and operational risk issue.
The 22 ELDs Removed by FMCSA
FMCSA identified the following revoked devices:
| ELD Provider | Device Name | Model Number | ELD Identifier |
| ONTIME LOGS INC | Ontime Logs iosix | OTL101 | 24b11f |
| Last Minute ELD | LAST MINUTE ELD | 360-LM | LMN932 |
| Porter ELD | Porter ELD | Porter 1 | POR247 |
| Zee App | Zee HOS Compliance | TTELD101 | F594EF |
| Ev ELD Inc. (f/k/a Evo ELD Inc.) | EV ELD IOSIX (f/k/a EVO ELD IOSIX) | EV 2 (f/k/a EVO 2) | G711H3 |
| LIGHT AND TRAVEL LLC | Light and Travel ELD | LNTRA | LNT780 |
| PREMIERRIDE LOGS LLC | PREMIERRIDE LOGS | 1RIDE | PRD391 |
| TWO BRO SECURITY & IT SOLUTIONS | 2BRO ELD | 2BRO002 | 2BRELD |
| TWO BRO SECURITY & IT SOLUTIONS | 305 ELD | 305002 | 2BR305 |
| TT ELD Inc | TT ELD 40 | PT40 | TTAH49 |
| MAUMAU LLC | 888 ELD | EIG8T | 8RS262 |
| Dragon ELD | DRAGON E | DRA | DRA782 |
| ACTION ELD | ACTION ELD | ACT | ACT282 |
| MONDOTRACKING SOLUTIONS LLC | Mondo ELD HOS | MND-APL16 | MNEL21 |
| FIRST ELD LLC | FIRST ELD | FRST | FRS185 |
| FIRST ELD | FIRST ELD V2.0 | FRST | FRS200 |
| POWER ELD LLC | MTL ELD | MRS | MRS272 |
| POWER ELD LLC | USPower ELD | USPower1 | USPWR1 |
| Sam Freight management LLC | Sam Freight ELD | SFR8 | SRS166 |
| DSG TRACKING LLC | DSGELOGS | DSGELOGS1 | DSGEL1 |
| Cobra Connect LLC | COBRA ELD | COBR | COB980 |
| GT ELD | GT USA ELOGS | 2.17.1 or up | GTU882 |
Carriers using any of these devices should confirm their current logging process, preserve required hours-of-service records, and move to a compliant registered ELD before the enforcement deadline.
What FMCSA Told Carriers to Do
FMCSA’s direction to carriers using these revoked devices is straightforward.
Carriers should discontinue use of the revoked ELD, use paper logs or approved logging software during the transition period to maintain hours-of-service records, replace the revoked device with a compliant ELD from FMCSA’s registered list before July 20, 2026, train drivers on the replacement process, and preserve supporting records so the carrier can show what happened during the transition.
Before July 20, 2026, FMCSA encouraged safety officials not to cite drivers using one of the revoked devices for “No record of duty status” or “Failing to use a registered ELD” if the driver can produce valid paper logs, logging software records, or ELD display data for hours-of-service review.
After July 20, 2026, carriers that continue using the revoked devices may be treated as operating without a compliant ELD. That can lead to citations and possible out-of-service enforcement.
Why This Matters for Carriers
ELDs are part of the hours-of-service compliance system. A revoked device can create risk even if the carrier believed it was using an approved product.
For carriers, this creates several practical concerns.
Roadside Inspection Risk
Drivers must be able to produce valid hours-of-service records during inspection. If a revoked ELD is still being used after the transition deadline, the driver may be cited or placed out of service.
A driver stopped at roadside should know which device is being used, whether the device remains registered, how to present logs, how to provide backup records, and what to do if the device is no longer compliant. Small fleets should not assume the driver or vendor will manage this automatically.
Audit and Recordkeeping Risk
Hours-of-service records are not only reviewed roadside. They can also be reviewed during audits, investigations, insurance reviews, and internal safety reviews. If a carrier transitions from a revoked device to a new system, the company should preserve prior records, document the date of transition, and ensure records remain accessible. A poorly documented ELD transition can create confusion months later.
Dispatch and Revenue Risk
For a small carrier, a compliance issue can quickly become a revenue issue. One truck delayed at roadside can affect load delivery, driver hours, customer service, broker relationships, repair or technology costs, administrative time, safety scores, and insurance conversations. A large carrier may absorb that disruption. A small fleet often feels it immediately.
Vendor Risk
This development also shows that ELD compliance is not set-and-forget.
A device may appear on the registered list at one point and later be removed if FMCSA determines it no longer meets technical specifications. Carriers should periodically check whether their ELD provider remains registered and whether any FMCSA notices affect their equipment. The carrier remains responsible for compliance, even when a vendor fails.
What Carriers Should Review Now
Carriers should treat this news as a prompt to review their broader hours-of-service and compliance process.
A practical review should include confirming whether any truck is using one of the revoked ELDs, checking the exact device name, model number, and ELD identifier, verifying the device against FMCSA’s registered and revoked ELD lists, confirming the replacement deadline, preserving existing hours-of-service records, making sure drivers know how to use paper logs or approved logging software during the transition, choosing a compliant registered ELD replacement, training drivers on the new device, updating internal policies and compliance files, reviewing whether any roadside inspection, log issue, or out-of-service event has already occurred, and confirming that driver files, drug and alcohol testing, Clearinghouse requirements, and company records remain current.
ELD compliance does not stand alone. It is connected to driver management, hours-of-service, vehicle records, inspections, SAFER data, and audit readiness.
Part of a Broader Compliance Trend
FMCSA has removed 79 ELDs from the registered list since January 2025. That number matters because it shows this is not an isolated incident.
The trucking compliance environment is becoming more active across multiple areas, including ELD verification, hours-of-service enforcement, MCS-150 and SAFER accuracy, MOTUS registration modernization, Drug and Alcohol Clearinghouse oversight, identity verification, English proficiency enforcement, driver qualification files, UCR filings, DOT activation, and DOT deactivation.
For carriers, the practical takeaway is that compliance systems need recurring review. A filing, device, or registration that was correct last year may require attention this year.
Why Small Fleets Should Pay Attention
Small fleets and owner-operators are often hit hardest by compliance disruptions.
A revoked ELD may seem like a vendor problem, but roadside enforcement, recordkeeping, and driver availability fall on the carrier. A missed transition deadline can stop a truck, delay a load, and create public record concerns. The best approach is to handle the issue before it shows up during inspection. That means reviewing records, confirming device status, replacing revoked systems, and making sure drivers are prepared.
FMCSA.com Can Help
FMCSA’s ELD removals are another reminder that carriers need a complete compliance process, not just individual filings or one-time setup.
FMCSA.com helps motor carriers, owner-operators, private fleets, brokers, and commercial vehicle businesses manage DOT and FMCSA compliance paperwork, including MOTUS support, MCS-150 filings, UCR, SAFER reviews, DOT activation, DOT deactivation, Drug and Alcohol Testing Management, Clearinghouse support, reasonable suspicion training, and related trucking compliance needs.
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