# Lapoint Industries — Hazardous Materials Safety Interpretation

- **operation:** document
- **citation:** 00-0158
- **title:** Lapoint Industries — Hazardous Materials Safety Interpretation
- **source type:** guidance
- **agency:** Pipeline and Hazardous Materials Safety Administration
- **status:** guidance
- **official:** true
- **published on:** 2000-09-21
- **effective on:** Not available
- **summary:** 00-0158 response to Lapoint Industries concerning 178.801.
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- **app url:** https://regulus.evalyn.ai/document/phmsa-interpretation-00-0158
- **source url:** https://www.phmsa.dot.gov/sites/phmsa.dot.gov/files/legacy/interpretations/Interpretation%20Files/2000/000158.pdf
**body:**

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f Transportatio
S. Departmer
400 Seventh St., S.W.
Special Programs
Research anc
Washington, D.C. 20590
Administration
DEC
8 2004
Mr. John H. Lapoint
Ref. No.: 00-0158
President
Pao. Box dustries
Lewiston, Maine 04241-1667
48 Commercial Street
Dear Mr. Lapoint:
This is in further reference to your letter dated May 23, 2000 and our reply dated September 21,
2000, regarding the proper description and marking of a composite intermediate bulk container
(IBC) under the Hazardous Materials Regulations (HMR; 49 CFR Parts 171-180). Specifically,
you asked whether your packaging as described meets the definition of a "11HH2" composite
Upon further evaluation, we have determined that the packaging referenced in your
May 23, 2000 letter does not conform to the specification for a composite IBC, and, thus, may
not be marked with the IBC code designation, "11HH2." As specified in
§ 178.706(b), rigid plastic IBCs consist of a rigid plastic body, which may have structural
equipment, together with appropriate service equipment. The outer plastic material of your
packaging acquires its rigidity only when it is bonded to a rigid, multi-wall, corrugated support.
It is the opinion of this Office that a flexible plastic material bonded to fiberboard is not a rigid
plastic material as specified in § 178.706, and does not exhibit strength relative to its capacity
level of safety equivalent to the United Nations (UN) 11HH2 specification, or another IBC
and the service it is required to perform. If you can demonstrate that your packaging provides a
applying for an exemption are found in § 107.105 of the HMR.
specification, you may wish to apply for an exemption for your packaging. The procedures for
I hope this information is helpful.
Sincerely,
lilian 7. Magall
Edward T. Mazzullo
Director, Office of Hazardous
Materials Standards
ИННИИ IN
178.801 (1)
000158

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Lapnaisties
P.O. Box 1667
Lewiston, Maine
48 Commercial Street
May 23, 2000
04241-1667
fax: 207-777-3177
tel: 207-777-3100
Mr. Edward Mazzallo
www.lapointindustries.com
Research and Special Programs Administration
U.S. Department of Transportation
Stecens.
Office of Hazardous Materials Safety
400 Seventh Street.SW
$178 801(1)
United States of America
Washington, DC 20590
00-0158
Dear Mr. Mazzullo,
The purpose of this letter is to follow up my recent visit with several of your colleagues
believe our container line fits the requirements for composite packaging (11HH2).
Therefore, we desire to mark our products as such.
Lapoint Industries, Inc. is a manufacturer of both rigid and flexible intermediate bulk
rigid containers differ significantly in use, design and application. The product selling
containers (FIBC), designed to meet the specific needs of our valued customers. The
prices differ greatly as well, depending on configuration and intended use.
The "Waste Wrangler" product is a stand-alone, rigid container. Once filled, the
container will form a rectangular facing, which markedly resembles a box. Although this
ome, we believe our packaging accurately and explicitly meets every definition of
roduct might not meet the traditional or stereotypical perception of a box, according to
"composite packaging, plastic, rigid and box." We base this on our understanding of the
language used in the IMDG Code and 49CFR.
When I came to Washington, I hoped that bringing an actual container to demonstrate
this would bring about greater clarity and enlightenment to those unfamiliar with how our
would give everyone at the meeting a hands-on experience with our product. Hopefully,
product performs in the field. We have found that an actual unit aids one to
conceptualize and visualize the product's intended use in the field, as well as to reveal the
significant differences in design, function and application from FIBCs. These other
containers are known as "supersacks" or "bulk bags," as compared to our "Waste
Wrangler".
www.ufstrainrite.cor
J.F. Strainrite Inc
Wrangler Corporation
www.wranglerzone.com

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Page 2
inner and outer packaging form an integral and inseparable bond. This construction
To further clarify the difference between these types of containers, the "Waste Wrangler"
protects the inner packaging from deformation and failure, making the inner and outer
components co-dependent. The Waste Wrangler's self-standing and rigid frame affords
the customer the ability to fill the container without any support equipment. Once filled,
the trame will form a rigid outer shell. This sharply contrasts to a flexible intermediate
rounds out like a balloon or sack.
bulk container, which requires structural support to fill the container and, once filled,
After our team of packaging experts delved into the definitions of "a composite
packaging, box, rigid and plastic," we believe our research supports our position in
calling the Waste Wrangler a composite packaging.
In order to clarify our stance further, I would like to quote these definitions directly from
either the IMDG Code or 49CFR. The following definition underscores the basis for
which we arrived at calling our container a composite packaging, as follows:
As 1 previously stated, our packaging consists of an inner lightweight plastic material
The IMDG Code defines an "Outer Packaging" as follows:
materials, cushioning and any other components necessary to contain and protect inner receptacles or inner
"... is the outer protection of a composite or combination packaging together with any absorbent
packagings."
We believe the combination of our heavyweight outer plastic material, coupled with the
rigid, multi-wall corrugation support meets this criterion.
The next definition we turned to was the definition of a box. A box, as defined in the
IMDG Code - page 0507 and confirmed in 49CFR 171.8, means
reconstituted wood, fiberboard, plastic, or other suitable material. Holes appropriate to the size and use of
..a packaging with complete rectangular or polygonal faces, made of metal, wood, plywood,
permitted as long as they do not compromise the integrity of the packaging during transportation, and are
the packaging, for purposes such as ease of handling or opening, or to meet classification requirements, are
not otherwise prohibited in this subchapter."

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Page 3
The IMIDG Code uses similar language when defining a box. Not only does our
square when full.
packaging have a rectangular face when empty, the packaging is unmistakably rigid and
The definition of a plastic means "polymeric materials" (i.e., plastic or rubber). This
material used in our products.
definition is also used in defining an FIBC, so we believe that this definition covers the
Finally, the compelling piece of information solidifying our position was based on the
following IMDG Code statement under "Equivalences". Quoting directly, it says
use of packagings having specifications different from those recommended in this Code, provided
"In order to take into account progress in science and technology, there is no objection to the
that they are at least equally effective, acceptable to authorities concerned and able successfully to
withstand the tests described in Annex 1 to this Code. Moreover, methods of testing, other than
those described in Annex 1 to this Code, are acceptable provided that they be at least equally
Our packaging experts interpret this to mean that the governing bodies of DOT and
Instead, they focus their efforts in creating performance standards all containers must
IMDG recognize the importance of encouraging innovation and do not stifle creativity.
conform to and allowing the container manufacturers the latitude to determine the design
type based on the definitions outlined above.
promulgating creative thought to ultimately meet the future needs of global markets. We
We concur with the DOT and IMDG Code position in promoting, fostering and
have witnessed first-hand the efforts to reduce packaging waste all over the world and, in
particular, the United States of America. The disposal cost for spent packaging is
climbing at unprecedented rates, and the urgency to reuse packagings has heightened
exponentially. Our patented products meet this future need right now and exceed the
packaging standards for a composite and flexible IBC. We look to you to give us your
concurrence with this very important issue.
plan our next move. Thank you very much for your thoughtful consideration. We look
We would appreciate your formal, written response as soon as possible, so that we can
forward to hearing from you very soon.
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