# Compliance and Response Management — Hazardous Materials Safety Interpretation

- **operation:** document
- **citation:** 00-0159
- **title:** Compliance and Response Management — Hazardous Materials Safety Interpretation
- **source type:** guidance
- **agency:** Pipeline and Hazardous Materials Safety Administration
- **status:** guidance
- **official:** true
- **published on:** 2000-08-15
- **effective on:** Not available
- **summary:** 00-0159 response to Compliance and Response Management concerning 173.22.
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- **markdown:** https://regulus.evalyn.ai/document/phmsa-interpretation-00-0159.md
- **app url:** https://regulus.evalyn.ai/document/phmsa-interpretation-00-0159
- **source url:** https://www.phmsa.dot.gov/sites/phmsa.dot.gov/files/legacy/interpretations/Interpretation%20Files/2000/000159.pdf
**body:**

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of Transportation
U.S. Department
400 Seventh St., S.W.
Washington, D.C. 20590
Research and
Special Programs
Administration
AUG 1 5 2000
Mr. Henry Renfrew
Ref. No. 00-0159
Compliance and Response Management
25 Audette Drive
Wallingford, CT 06492
Dear Mr. Renfrew:
This is in response to your letter dated May 12, 2000, requesting assistance in selecting an appropriate
proper shipping name and packaging requirements for a mixture of Liquefied Petroleum Gases (LPG),
80% Butane and 20% Isobutane (which are expelled from 2Q inner containers, 8 oz. - 227 gm, and
used for heat/flame in small portable cooking appliances), under the Hazardous Materials Regulations
(HMR; 49 CFR Parts 171-180). The 2Q inner containers are packaged in an outer packaging
containing approximately 12 cans. Your questions are paraphrased and answered as follows:
Q1. Are the following descriptions the preferred or appropriate proper shipping name(s) for LPG
containing 80% Butane and 20% Isobutane: "Petroleum gases", " Liquefied petroleum gas";
or "Liquefied petroleum gases"?
A1.
When a material is not specifically listed by name in the § 172.101 Hazardous Materials Table
(§ 172.101 HMT), selection of a proper shipping name must be made from the general
description entries corresponding to the specific hazard class, packing group, and subsidiary
hazards of the material. In accordance with the § 172.101 HMT, the most appropriate proper
shipping name(s) for the LPG blend would be: "Petroleum gases, liquefied" or "Liquefied
petroleum gas" or " gases". Proper shipping names may be used in either the singular or plural
(see § 172.101(c)(1) and (12)).
Q2.
Can the "Aerosols" description in the § 172.101 HMT be used for the LPG blend (expelled as
a vapor from the container) and shipped under the limited quantity exceptions in
§ 173.306(a)(3) when it originates and is distributed in the United States by highway?
A2.
No. The exception in § 173.306(a)(3) is limited to aerosol containers not exceeding one liter
capacity in which one or more gases are used to expel other material that is a liquid, paste or
powder. A liquefied compressed gas (e.g., LPG blend) packaged without a liquid, paste, or
powder in the container, is not eligible for the exception, and may not be described under the
"Aerosols" description when shipped solely in domestic transportation by highway or rail.
000159
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•
For aircraft and vessel shipments, except as provided for limited quantities of compressed gases
in containers of not more than 4 fluid ounces capacity under § 173.306(a)(1), aerosols must
meet the definition for "Aerosol" in § 171.8 (See §§ 171.11(d)(14) and 171.12(b)(17)).
Q3.
Are the packagings in § 173.304(d)(3)(ii) acceptable for the LPG blend (packaged in inner 2Q
containers having less than a maximum capacity of 31.83 cubic inches and less than the
maximum charging pressure of 45 p.s.i.g. at 70 degrees F. and 105 p.s.i.g. at 130 degrees F.)?
A3.
The containers in § 173.304(d)(3)(ii) are authorized for the LPG blend and may be used within
the limits of quantity and pressures specified in the table shown in this paragraph. Such
containers must be equipped with safety relief devices which will prevent rupture of the
containers and dangerous projection of the closing devices when the containers are exposed to
the action of fire.
I hope this satisfies you inquiry. If we can be of further assistance, please contact us.
Sincerely,
Duhan Ho'llings
Delmer F. Billings
Chief, Standards Development
Office of Hazardous Materials Standards

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From: Henry Refrew. EMall hrenfrew@aol.com Fax: 203-284-2675 Voice: 203-265-7511 at DOT RSPA Haz Mat Standards To: Ed Muzzullo, Director
Page 1 of 6 Monday, May 22, 2000 10:48:15 AM
Henry Renfrew
Compliance and Response Management
25 Audette Drive Wallingford, Connecticut 06492
Phone (203) 265-7511 Fax (203) 284-2675
Email hrenfrew@aol.com
May 12, 2000
Engrum
U.S. Department of Transportation
$173.22
Research and Special Programs Administration
Office of Hazardous Material Safety
00 - 0159
Office of Hazardous Materials Standards (DHM-10)
Mr. Edward T. Mazzullo, Director
400 Seventh Street, S.W.
Washington, D.C. 20690-0001
Ref: Proper Shipping Name and Packaging Requirements
LP Gas Blend (Butane and Isobutane) - Expelling Vapor - 2Q container
Dear Director Mazzullo:
The purpose of this letter is to request assistance from DOT RSPA in determining
(1)
the preferred proper shipping name, per 172.101(a), and
(2) packaging requirements, per 173
for a mixture or blend of two liquefied petroleum gases containing approximately
80% Butane and 20% Isobutane in 2Q containers with a relief device (8 oz - 227 gm
average). The LP-Gases vapors in the containers are expelled and used for heat /
flame in small portable cooking appliances. These containers are usually
packaged in outer packaging containing approximately 12 cans or containers.
(1) PROPER SHIPPING NAME
Both Butane and Isobutane are listed in the Table and both contain the phrase see
also Petroleum gases, liquefied
Packaging 173*
Haz Mat Description and
HC
ID#
Special
Exception
Nonbulk
Proper Shipping Name
Provision
2
3
4
7
8A
8B
Butane, see also
21
UN1011
19
306
304
Petroleum gases,
liquefied
Isobutane, see also
2.1
UN1969
19
306
304
Petroleum gases,
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From: Henry Restrew, EMal hrentrew@aol.com Fax 203284-2675 Voice: 203-265-7511 at DOT RSPA Haz Mat Standards To: Ed Muzzullo, Director
Page 2 0f6 Monday, May 22, 2000 10:49:20 AM
:
•
H. Renfrew Letter to DOT RSPS Dated May 12, 2000
liquefied
The entry in the table for Petroleum gases, liquefied is:
Packaging 173*
Haz Mat Description and
Special
Exception
Nonbulk
Proper Shipping Name
Provision
2
3
4
7
8A
Petroleum gases,
2.1
UN1075
306
304
liquefied or Liquefied
petroleum gas
In trying to determine the most appropriate shipping description, the following
Proper Shipping Names (PSNs) were also considered and rejected.
PSNs from HM Table
Rejected / Reason
Flammable compressed gas, see
Refers you to Liquefied gas
Compressed or Liquefied gas, flammable,
etc.
Liquefied gas, flammable, n.o.s.
PSN - Petroleum gases, liquefied or
Liquefied petroleum gas is more specific
(See Table)
Flammable compressed gas (small
Not sure what the meaning of
receptacles not fitted with a dispersion
"dispersion device is.
device, not refillable), See Receptacles, etc.
See comment Receptacles
Receptacle, small, containing gas (gas
By design, the 2Q containers have a
cartridges) flammable, without release
safety relief device per 173.304 (d)(i)
device, non refillable and not exceed 1 L
Note 2. Rejected because of the release
capacity
device.
PSN "Butane". - Comment: 172.101(c)(14) states "A proper shipping name that
describes all isomers of a material may be used to identify any isomer of that material if the
isomer meets criteria for the same hazard class or division, subsidiary risks) and packing
group, unless the isomer is specifically identified in the Table". Because Isobutane is listed
in the table, 172.101 (c)(14) prohibits using just "Butane" as a shipping name.
PSN "Butane Mixture or Solution" - Comment: Section 172.101 (c)(10)(ii) addresses
mixtures or solution with two or more hazardous materials in the same hazard class
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From: Henry Rentrew. EMail hrentrew@aol.com Fax 203-284-2675 Volce: 203-255-7511 at DOT RSPA Haz Mat Standards To: Ed Muzzullo, Director
Page 3016 Monday. May 22, 2000 10:49:59 AM
H. Renfrew Letter to DOT RSPS Dated May 12, 2000
requiring use of the most appropriate shipping description. Butane and Isobutane are both
Hazard Class 2.1.
Most appropriate Proper Shipping Name
With both Butane and Isobutane in the HM Table, referring the user to "Petroleum gases,
liquefied", it would appear that this entry in the table is the most appropriate or would be
DOT's preferred proper shipping name per Section 172.101 (c)(10)iii).
Packaging 173*
Haz Mat Description and
HC
ID #
Special
Exception
Nonbulk
Proper Shipping Name
Provision
2
3
4
7
8A
Petroleum gases,
2.1
UN1075
306
304
liquefied or Liquefied
petroleum gas
It is unclear if this entry is intended to represent a mixture or solution of two LP-Gases.
However, 172.101(e)(1) states the proper shipping name may be used in the singular or
plural.
172.101(c)(10)(iii) states that additional information from subparts C and D (technical
names of at least two components most predominately contributing to the hazards) may be
required for mixtures or solutions. Per 172.203(k)(1) "containing Butane and Isobutane"
would be required as part of the proper shipping name, however, per 172.203(k)(iii) Butane
and Isobutane would not be required as part of the PSN if LP-Gases was considered by
DOT as the name of the "Chemical Element or Group" which is primarily responsible for
the material being included in the hazard class.
The National Fire Protection Association Standard NFPA 58 entitled the "LP-Gas Code"
dated 1998 defines Liquefied Petroleum Gas(LP-Gas) as "Any Material having a vapor
pressure not exceeding that allowed for commercial propane composed predominantly of
the following hydrocarbons, either by themselves or as mixtures: propane, propylene,
butane (normal butane or isobutane), and butylenes".
Questions #1
Therefore, based on the requirement in 172.101(a) to determine the preferred
proper shipping name, I am asking DOT if based on the above information
regarding this blend of LP-Gases, if the following proper shipping names are in
fact the DOT preferred proper shipping names:
Petroleum gases, or
Liquefied petroleum gas, or
Liquefied petroleum gases (plural per 172.101(e)(1))
DO00512.DOC
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From: Henry Rentrew, EMall hrentrew@aol.com Fax 203284-2675 Voice: 203-265-7511 at DOT RSPA Haz Mat Standards To: Ed Muzzullo, Director
Page 1 of 6 Monday, May 22, 2000 10:50:42 AM
H. Renfrew Letter to DOT RSPS Dated May 12, 2000
appropriate and acceptable to DOT.
If the above shipping names are not, what other proper shipping name(s) would be
(2)
PACKING REQUIREMENTS
Packaging 173*
Haz Mat Description and
HC
ID#
Special
Exception
Nonbulk
Proper Shipping Name
Provision
2
3
4
7
8A
8B
Butane, see also
2.1
UN1011
19
306
304
Petroleum gases,
liquefied
Isobutane, see also
2.1
UN1969
19
306
304
liquefied
Petroleum gases,
:
Petroleum gases,
21
UN1075
306
304
liquefied or Liquefied
petroleum gas
PACKING EXCEPTION - 49 CFR 173.306
Limited quantities of compressed
gases.
The Haz Mat Table for all three entries refers the user to 173.306 for Packaging
exceptions
Based on a review of the 173.306, this mixture or solution appears to not qualify for any of
these exceptions.
Specifically, 173.06(a)(3) applies only to expelling liquid, paste or powder. See DOT letter
from Director Mazzullo to a Mr. Shaw of Claire Manufacturing Company (pdf file 07701)
dated May 18, 1995 which states -
"this exception was never intended to address one or more gases packaged by
themselves. For a given container size, liquefied gases packaged by themselves would
pose greater stored energy and, when flammable, a greater fire risk than smaller volume of
gases used to expel a liquid, paste or solid. Liquefied compressed gases (see 173.115(e)
are not "liquids" for purposes of paragraph 173.306(a)(3) exception, regardless of the fact
that they may be present in both a gaseous and liquid phase when contained under
pressure. A compressed or liquefied gas, packaged without a liquid, paste or powder in the
container, is not eligible for this exception"
Please Note: I was recently informed that the ICAO and/or IMDG includes GASES being
expelled in addition to liquid, paste and solids and therefore international shipments would
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From: Henry Renfrew, EMall hrenfrew@aol.com Fax 203-284-2675 Voice: 203-265-7511 at DOT RSPA Haz Mat Standards To: Ed Muzzullo. Director
Page 5 of Monday, May 22, 2000 10.51:22 AM
H. Renfrew Letter to DOT RSPS Dated May 12, 2000
apparently qualify under some condition for and be considered Aerosols whereas domestic
International shipments into the United States under the Aerosol definition can be shipped
shipments can not use 173.306(a)(3) because "gases" is not included. Apparently,
to their final destination via ground transportation and warehoused. When these
"packages" using the Aerosol Shipping Name are warehoused and then shipped
domestically to users, the Aerosol Shipping Name can not be used for domestic highway
shipment.
Questions #2
Therefore, based on these 2Q containers expelling an LP-Gas blend as vapor, I am
asking DOT if domestic highway shipments originating and distributed within the
United States can use the Aerosol shipping name and qualify for 173.306.
PACKING NONBULK - 49 CFR 173.304
Charging of cylinders with liquefied
compressed gas.
Based on filling density, other chemical properties and pressure of the LP-Gas blend
section (d)(3)(ii) of 173.304 applies:
173.304(d) Requirements for liquefied petroleum gas.
(3)
Liquefied petroleum gas must be shipped in specification containers
as follows:
(i)
Additional containers may be used within the limits of quantity
and pressure as follows:
Maximum capacity
Type of container
Cubic
Gallons
Maximum charging pressure-p.s.i.g.
inches
DOT-2P or DOT-2Q 31.83
45 p.sig. at 70° F. and 105 p. sig. at 130°
(see Note 1)
F. (see Note 2).
Note 1: Containers must be packed in strong wooden or fiber boxes of such design as to
protect valves from injury or accidental functioning under conditions incident to
transportation. Each completed container filled for shipment must have been heated until
contents reached a minimum temperature of 130° F., without evidence of leakage,
distortion, or other defect. Each outside shipping container must be plainly marked
"INSIDE CONTAINERS COMPLY WITH PRESCRIBED SPECIFICATIONS."
Note 2: Containers must be equipped with safety relief devices which will prevent rupture
of the containers and dangerous projection of the closing devices when the containers are
exposed to the action of fire.
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From: Henry Reptrew, Email hrentrew@aol.com Fax 203-284-2675 Voice: 203-265-7511 at DOT RSPA Haz Mat Standards To: Ed Muzzulfo. Director
Page 6 o1 6 Monday. May 22, 2000 10:52:04 AM
H. Renfrew Letter to DOT RSPS Dated May 12, 2000
Questions #3
inches and less than the maximum charging pressure - p.s.i.g. in the table above, I
Therefore, based on a LP-Gas blend in fhese 2Q containers less than 31.83 cubic
am asking DOT if the packaging requirements are in fact 173.304(d)(3)(ii).
If closing, 1 am asking for help from DOT in answering these three important
technical information in order to answer these questions, please feel free to
questions to ensure compliance with DOT regulations. If you need any general or
contact me by phone, fax or email.
Sincerely,
Henry Reufsca
Henry Renfrew
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