# New York State Police — Hazardous Materials Safety Interpretation

**Citation:** 99-0087  
**Type / status:** guidance / guidance  
**Agency:** Pipeline and Hazardous Materials Safety Administration  
**Effective:** Not stated  
**Published:** 2000-03-10

99-0087 response to New York State Police concerning 177.834.

## Document text

<<<PAGE 1>>>

of Transportation
J.S. Department
MAR IO 2000
400 Seventh Street. S.W
Washington, D.C. 20590
Research and
Special Program:
Administratior
Ref. No. 99-0087
Trooper George Okst
New York State Police
Troop F
55 Crystal Run Rd.
Middletown, NY 10941
Dear Trooper Okst:
This is in
response to your request for clarification of
49 CFR 177.834 (İ) regarding the closure of manholes and valves
on an MC 307 multi-cargo tank motor vehicle.|
Your request is
based on a letter we received from Mr. Bob Bonich of Suttles
Truck Leasing, Inc.
Specifically, you ask whether a manhole
closure on an individual cargo tank that has been emptied and
cleaned must be securely closed if the other cargo tanks
contain hazardous materials.
The answer is no.
A cargo tank motor vehicle as defined in
§ 171.8, means a
motor vehicle with one or more cargo tanks
permanently attached to or forming an integral part of the
motor vehicle.
Each "cargo tank" is a bulk packaging. In
accordance with $ 173.29 (b), an empty packaging that has been
cleaned of residue and purged of vapors and that meets the
provisions in
subparagraphs (b) (1) and (b) (3) is excepted from
all other requirements of the Hazardous Materials Regulations
(HMR; 49 CFR Parts 171-180). In the case of a multi-cargo
tank motor vehicle, each individual cargo tank is a separate
packaging.
Therefore, the manhole closure on an empty and
clean cargo tank meeting the requirements of § 173.29 (b) need
not be securely closed.
I hope this information is helpful.
Please contact this
office if you need additional assistance.
Sincerely,
Hatle z. mithell
Hattie I. Mitchell, Chief
Regulatory Review and Reinvention
Office of Hazardous Materials Standards
990087
177.834
- —

<<<PAGE 2>>>

SUTTLES TRUCK LEASING, INC.
AMERICA'S BEST
(334) 289-0670
1-800-445-1989 * AL Wats 1-800-821-8051
P.O. Box 129 * Highway 43 South * Demopolis, Alabama 36732
mack
March 29, 1999
8177.834
99-0087
David LeMaster
Hazardous Material Specialist
Office of Motor Carrier
500 East Blvd, Suite 200
Montgomery, AL 36117
Re: Interpretation
Dear Mr. LeMaster,
On 03/18/99 our driver Jeff Reeves had a roadside inspection conducted by the New
York State Department of Transportation and cited for the violation of 177.834(J)
"manhole not closed compartment 4" to which we are seeking an interpretation.
The tank inspected has our unit # ST163 and is a 1991 Brenner MC307 (5)
compartment tank. (See exhibit I.) This trailer when inspected contained non-
hazardous products in compartments #1 and #5. Compartments #2 and #3 contained
hazardous products (corrosive). The #4 compartment contained no product and was
empty and cleaned. Since this is a (5) compartment tank, each compartment is a
"cargo" tank, and each compartment (cargo) must meet the regulation requirements.
The officer cited us for violation of 177.834(J). (See copy.) This section refers to
manholes and valves closed when driving a cargo tank or drive a cargo tank motor
vehicle, containing a hazardous material. Compartment #4 or cargo tank #4 had no
hazardous material in it. The compartment was empty, and had been cleaned. We
contend that 177.834(J) does not apply to compartment #4 and we should not have
been cited. I am enclosing copies of the paper verifying that compartment 1, 2, 3, and
5 had product in them. (See exhibit II.)
-

<<<PAGE 3>>>

David LeMaster
March 29, 1999
Page 2
This tank (all compartments) was cleaned at Calumet Tank Wash, Chicago, IL and then
ticket for "manhole not secure". (See exhibit II.) We plan to defend our position with
driver went to Albright-Wilson, Blue Island, IL and loaded. Our driver received a traffic
New York DOT and would appreciate an interpretation as soon as possible.
Respectfully,
SUTTLES TRUCK LEASING, INC.
Bob Bonich
V.P. Human Resources
BB/rj
enclosure

## Provenance

- Official: Yes
- Source: <https://www.phmsa.dot.gov/sites/phmsa.dot.gov/files/legacy/interpretations/Interpretation%20Files/1999/990087.pdf>
- Source ID: `phmsa`
- SHA-256: `fa65fb401a16d88cee58c89fd01cbdaa1d21bfc243fa953df36ee0c8a55c8cf0`
- Retrieved: 2026-08-20T00:59:31.977Z
- Exported: 2026-08-22T07:19:36.385Z
- Document slug: `phmsa-interpretation-99-0087`

### Source metadata

```json
{
  "materialSubtype": "interpretation",
  "interpretationArea": "hazardous_materials",
  "representation": "full_text_from_official_pdf",
  "companies": [
    "New York State Police"
  ],
  "individuals": [
    "Trooper George Okst"
  ],
  "refIds": [
    "99-0087"
  ],
  "catalogDates": [
    "2000-03-10"
  ],
  "catalogParts": [
    177
  ],
  "catalogRowCount": 1,
  "sourceRecordUrls": [
    "https://www.phmsa.dot.gov/node/64281"
  ],
  "linkedAttachmentUrls": [],
  "unavailableResponseUrls": [],
  "duplicateRepresentationUrls": [],
  "citedSections": [
    "177.834",
    "171.8",
    "173.29"
  ],
  "catalogPageUrls": [
    "https://www.phmsa.dot.gov/regulations/title49/section/177834"
  ],
  "pdfUrls": [
    "https://www.phmsa.dot.gov/sites/phmsa.dot.gov/files/legacy/interpretations/Interpretation%20Files/1999/990087.pdf"
  ],
  "representations": [
    {
      "viewUrl": "https://www.phmsa.dot.gov/sites/phmsa.dot.gov/files/legacy/interpretations/Interpretation%20Files/1999/990087.pdf",
      "detailUrl": null,
      "detailHtmlPath": null,
      "pdfUrl": "https://www.phmsa.dot.gov/sites/phmsa.dot.gov/files/legacy/interpretations/Interpretation%20Files/1999/990087.pdf",
      "pdfArtifactPath": "data/sources/phmsa-interpretations/99-0087-6c3f414959.pdf",
      "pdfArtifactSha256": "6b127abe604da754c94a4d8b2ef32bbbfbd9fcdea702ca0964d73a5573ea766d",
      "extractedTextPath": "data/sources/phmsa-interpretations/99-0087-6c3f414959.v2.txt",
      "extractedTextSha256": "c2b5778a3e11b40ffa47755086e69f2644156c9d38ef0452e47a768d116df368",
      "pageCount": 3,
      "extractionVersion": 2
    }
  ],
  "caveat": "Interpretations apply regulations to the facts presented and do not create independently enforceable requirements.",
  "jurisdiction": "US"
}
```
