# Hazmat Transportation Training Requirements

- **operation:** document
- **citation:** PHMSA Guidance, Hazmat Transportation Training Requirements
- **title:** Hazmat Transportation Training Requirements
- **source type:** guidance
- **agency:** Pipeline and Hazardous Materials Safety Administration
- **status:** guidance
- **official:** true
- **published on:** 2016-10-01
- **effective on:** 2016-10-01
- **summary:** Hazmat Transportation Training Requirements Document Hazmat-Transportation-Training-Requirements-0158-1016.pdf (338.3 KB) This brochure describes the training requirements in 49 CFR §172.700-704, including security awareness and in-depth security training requirements for hazmat employers and employees. Frequently asked questions are answered and specific regulations are cited. Issued Date: Saturday, October 1, 2016
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- **app url:** https://regulus.evalyn.ai/document/phmsa-guidance-hazmat-transportation-training-requirements-a1aefe41
- **source url:** https://www.phmsa.dot.gov/training/hazmat/hazmat-transportation-training-requirements
**body:**

Hazmat Transportation Training Requirements

Document

 Hazmat-Transportation-Training-Requirements-0158-1016.pdf (338.3 KB)

        This brochure describes the training requirements in 49 CFR §172.700-704, including security awareness and in-depth security training requirements for hazmat employers and employees. Frequently asked questions are answered and specific regulations are cited.

          Issued Date: Saturday, October 1, 2016

<<<PAGE 1>>>

HAZMAT TRANSPORTATION
TRAINING REQUIREMENTS
An Overview of 49 CFR PARTS 172-173
WWW.PHMSA.DOT.GOV
PHMSA | PIPELINE AND HAZARDOUS MATERIALS SAFETY ADMINISTRATION
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In this guide you will find details
on training regulations as well as
definitions of terminology found in
the HMR, such as hazmat employer
and hazmat employee. There are also
answers to the most frequently asked
questions about hazmat transportation
training requirements. Complying with
these regulations can help you transport
hazmat more safely, and avoid
unnecessary penalties.
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IT'S THE LAW
Training is the best means of preventing, or reducing, hazardous
materials (hazmat) incidents in transportation that are caused by
human error.
The Federal hazardous materials transportation law (49 U.S.C. 5101,
et seq.) is the statute pertaining to the transportation of hazmat in the
United States, and requires the training of ALL hazmat employees.
The purpose of this training is to increase a hazmat employee’s safety
awareness and to be an essential element in reducing hazmat incidents.
The Hazardous Materials Regulations (HMR) includes training
requirements in several sections of Title 49 Code of Federal Regulations
(CFR) as follows:
•
•
•
GENERAL §173.1
SPECIFIC §172.704
MODAL
◊ Air §175.20
◊ Vessel §176.13
◊ Highway §§177.800, 177.816
Receiving the required training enhances employee safety and security,
and increases employee productivity and skills. Effective training also
reduces incidents and accidents thereby reducing operating costs and
losses from property damage, thus increasing profits.
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HMR TRAINING REQUIREMENTS
Each hazmat employer must train and test their hazmat employees,
certify their training, and develop and retain records of current training.
Hazmat training must include, or be:
•
•
•
•
•
•
general awareness/familiarization;
function-specific;
safety;
security awareness;
in-depth security training, if a security plan is required; and
driver training (for each hazmat employee who will operate
a motor vehicle).
FREQUENCY OF TRAINING
Initial training of new hazmat employees, or an employee who changes
job functions, must be completed within 90 days of employment or
change in job function. A new employee may perform hazmat job
functions before completing training provided the employee does so
under the direct supervision of a properly trained and knowledgeable
hazmat employee.
Recurrent training is required at least once every three years. The three-
year period begins on the actual date of training. Relevant training
received from a previous employer or source may be used to satisfy the
requirements provided a current record of training is obtained from the
previous employer or other sources.
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Training conducted by OSHA, EPA, and other Federal or international
agencies may be used to satisfy the training requirements in §172.704(a)
to the extent that such training addresses the components specified
in paragraph (a) of this section (general awareness/familiarization;
function-specific; safety; security awareness; in-depth security training,
if a security plan is required; and driver training for each hazmat
employee who will operate a motor vehicle).
TRAINING RECORDS
Training records must be kept by the hazmat employer for each hazmat
employee, and must include the following:
•
•
•
•
•
the hazmat employee’s name;
the completion date of the most recent training;
training materials used (copy, description, or location);
the name and address of the hazmat trainer; and
certification that the hazmat employee has been trained and tested.
Training records must be retained for each hazmat employee for three
years from the date of the last training, and for 90 days after the
employee leaves.
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The following terms are defined in
section 171.8 of the HMR. They will
help you better understand the hazmat
transportation training requirements—
particularly your responsibilities.
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DEFINITIONS
Training - a systematic program (consistent approach, testing, and
documentation) that ensures a hazmat employee has knowledge of
hazmat and the HMR, and can perform assigned hazmat functions
properly. See §172.700 through §172.704.
Hazmat employer - a person who uses one or more employees
regarding:
•
•
•
transporting hazmat in commerce;
causing hazmat to be transported or shipped in commerce; or
designing, manufacturing, fabricating, inspecting, representing,
marking, certifying, selling, offering, reconditioning,
testing, repairing, or modifying packagings as qualified for use in
the transportation of hazmat.
The term “hazmat employer” also includes any department, agency,
or instrumentality of the United States, a State, a political subdivision
of a State, or Native American Indian tribe engaged in offering or
transporting hazmat in commerce. This term includes a person who
is self-employed, including an owner-operator of a motor vehicle that
transports hazmat in commerce.
Hazmat employee - a person employed by a hazmat employer,
or person who is self-employed, and who directly affects hazmat
transportation safety including:
•
•
an owner-operator of a motor vehicle that transports hazmat;
a person who:
◊ loads, unloads, or handles hazmat;
◊ designs, manufactures, fabricates, inspects, tests, reconditions,
repairs, modifies, marks, or otherwise represents packagings
as qualified for use in the transportation of hazmat;
◊ prepares hazmat for transportation;
◊ is responsible for safety of transporting hazmat; or
◊ operates a vehicle used to transport hazmat.
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FREQUENTLY ASKED QUESTIONS
Q: A: Q: A: Q: A: Q: A: May hazmat employers/employees train and test themselves (an
owner-operator)?
Yes, self-training is acceptable provided that all training
requirements of §172.704 are met.
Who certifies that an instructor is qualified to train, test, and
certify in accordance with §172.704?
Except for certain FAA-required 14 CFR training, the U.S. DOT
does not review or certify training programs for pre-approval
purposes. The employer must determine a trainer’s
qualifications based on the employer’s needs.
Does the trainer who teaches and tests the hazmat employee
certify that the hazmat employee is trained and tested?
It is the hazmat employer’s responsibility to ensure that a
hazmat employee is properly trained and tested; however, the
hazmat employer may designate an outside source to train, test,
and certify on his/her behalf that the employee has been trained
and tested.
If a designated outside source trains but does not test the
employee, must the employee be tested to complete this training?
Yes. The employee must be tested in order for the training to
meet the requirements of the HMR. The hazmat employer is
responsible for ensuring each hazmat employee is trained and
tested.
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Q: A: Q: A: Q: A: Q: A: Must the test be in a written format or may a skill demonstration
be used?
Any test that ensures that the employee can perform the
assigned duties in compliance with the HMR is acceptable.
Training and testing may be accomplished in a variety of ways:
performance, written, verbal, or a combination of these.
Must the employee “pass” a test?
The requirements do not state that the employee must “pass” a
test; however, an employee may only be certified in areas in
which he/she can successfully perform his/her hazmat duties.
Does IMDG Code, ICAO Technical Instructions, OSHA, or EPA
training fulfill the HMR requirements?
This training may be used to the extent that the general
awareness, function-specific, safety, and security training
and testing requirements of the HMR are met. Areas not
covered will require additional training.
Who will enforce the training requirements in §172.704?
Enforcement is the responsibility of each U.S. DOT modal
administration. Compliance or noncompliance with the training
rule will be determined during safety and compliance reviews of
shippers, carriers, and package manufacturers.
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Q: A: Q: A: Q: A: Q: A: Q: A: 10
What type of fines would be involved?
Violations of any hazmat regulations including training may
be subject to a civil penalty of up to $77,114 for each violation.
If the violation results in death, serious illness, or severe injury
to any person or substantial destruction of property, the
maximum civil penalty is $179,933. The minimum civil penalty
amount for a training violation is $463. Criminal violations
may result in fines, imprisonment, or both. (See 49 CFR §107.329
and §107.333.)
An office secretary types the required hazmat description on a
shipping paper at the direction of another, item by item. Is the
secretary considered to be a hazmat employee requiring
training?
Yes. Any person who performs a function subject to the
HMR must be trained, except for special circumstances
addressed by §172.704(e).
Do the hazmat training regulations apply to foreign flag vessels
carrying hazmat?
Yes. The regulations apply to each non-bulk domestic and
foreign vessel while operating in navigable waters of the United
States.
Do the hazmat training regulations apply to hazmat employers
and/or employees who operate a bulk vessel transporting
hazmat?
No. Except for transportation in bulk packagings, the bulk
carriage of hazmat by water is governed by 46 CFR Chapter I,
Subchapters D, I, N, and O. See 49 CFR §176.5(d).
Is a ship’s master a hazmat employer?
No. The ship master is a hazmat employee; the operator of the
vessel is the hazmat employer.

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Q: A: Q: A: Q: A: Does a Commercial Driver’s License (CDL) with HM/tank
vehicle endorsement satisfy requirements?
A hazmat employer must determine applicability of CDL to
the specific functions the employee performs and provide
training for functions not covered by the endorsement.
Does an individual (non-business/private citizen) need hazmat
training to ship via common carrier (UPS, Fed EX, etc.)?
No. Individuals shipping hazmat by common carrier are not
required to meet the training requirements under 49 CFR Part
172 Subpart H unless they are a “hazmat employee” as defined
in §171.8; however, they are responsible for ensuring that the
shipment is prepared in accordance with the Hazardous
Materials Regulations.
Our hazmat employees have training to ship materials by
ground. Are they authorized to ship packages by air or water,
also?
No. Hazmat employees that usually prepare shipments for
transportation via highway may not have sufficient training
to ship hazmat via other modes of transportation. Trained
hazmat employees should be generally aware of the requirements
for shipping hazmat via all modes of transportation, but may
need additional function-specific training (i.e., modal-specific
training) in order to comply with the HMR.
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For additional information contact:
The Hazardous Materials Info Center
1-800-HMR-4922
(1-800-467-4922)
Email: infocntr@dot.gov
http://hazmat.dot.gov
Pipeline and Hazardous Materials Safety Administration
Outreach, Training, and Grants Division
East Building, 2nd Floor
1200 New Jersey Ave., SE
Washington, DC 20590
Email: training@dot.gov
202-366-4900
202-366-7342 (Fax)
PHH50-0158-1016
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