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Page 1400 Seventh St., S.W. asearch an FEB 1 Washington, D.G. 20590 dimini stration 2002 Mr. Steven Smith 843 Lindenwood Drive Ref. No. 01-0277 Pittsburgh, PA 15234-2536 Dear Mr. Smith: telephone conversations with this office's staff concerning a leaking package of "1, 1, 1- This responds to your October 15, 2001 letter, and November 30 and December 5, 2001 Trichloroethane solution, 6.1, UN 2831, PG III" you found on your truck when you worked for Consolidated Freightways (CF) in 1996. You stated CF's management directed a dock worker to load the package after discovering it was damaged. You asked us if it was CF's responsibility to put the leaking package in another authorized container before loading it on your truck. Although the shipper is primarily responsible for ensuring that a hazardous materials is properly packaged, as stated in § 173.22, if a leaking package is discovered before it is loaded on a motor vehicle, § 177.801 prohibits the carrier from accepting it for transportation. If the leaking package is discovered after it is loaded, § 177.854(b) requires the package to be managed for disposal by the safest practical means as provided in § 177.854(c), (d), and (e). You also stated CF filed a false incident report that incorrectly described the package's condition when loaded. Submitting false, fictitious, or fraudulent written statements to the federal government may be a violation of 18 USCS § 1001. In addition, you stated that CF did not provide you with a material safety data sheet (MSDS) when offering you the load, although in earlier correspondence you stated you carried an emergency response guidebook (ERG) in the cab of your truck. As we stated in our October 5, 2001 letter, provided the information is consistent with the emergency response information requirements in 49 CFR Part 172, Subpart G, use of a separate document, such as an ERG, in a manner that cross references the description of the hazardous material on the shipping paper with the emergency response information contained in the document may be used in place of at MSDS. I hope this satisfies your request. Sincerely, Transportation Regulations Specialist Office of Hazardous Materials Standards HINNIHI |73.22 010277#
Page 2Edmonson $173.22 Shipper's 1 Responsibility John A Gal 01-0277 Langoorateon Regulateon specealel office of sozandau mobiel Stancae. OcT 15 2001 Dea mu Sale dilel oc ourano te aur ellenhing analialed Ireghti) pet thes shirement into a Of you need mare in feinaten pleve Cell me. 412-3437454 your teel Stevent mich Steven Smith ittsbugh, PA 15234-2536 43 Lindenwood Dr#
Page 310/09/2001 14:53 41234374548 PAGE 01 .: 400 Seventh St.. S.W. Research and Washington, D.C. 20500 Special Programs Administration ... OCT 5 2001 Mr. Steven Smith 843 Lindenwood Drive Ref. No. 00-0255 Pittsburgh, PA 15234-2536 Dear Mr. Smith: This is in response to your letter and telephone call with the staff of the Office of Hazardous Materials Standards asking what a shipper's responsibilities are under the Hazardous Materials Regulations (HMR: 49 CFR Parts 171-180) when it has offered a damaged package of hazardous material for transportation. You stated a shipper loaded a leaking package of adhesive described as "1, 1, 1- Trichloroethane solution, 6.1, UN 2831, PG Ill" on your truck, but did not provide you with a material safety data sheet on the material ox salvage packaging to contain the damaged packáge. You also stated you carried an emergency response guidebook (ERG) in the cab of your truck. i apologize for the delay in responding and any inconvenience this may have caused. A shipper is required to ensure that a hazardous material is properly classed, described, packaged, marked, labeled, and in condition for shipment as required under the HMR (see § 173.22). Under § 171.2(a) and (h), no person may accept a hazardous material for transportation or transport a hazardous material in commerce unless it meets these conditions. Further, under § 177.801, no person may accept or transport by motor vehicle a hazardous material unless it conforts to all applicable requirements. A leaking hazardous materials package may not be transported unless it is placed in a salvage drum (see § 173.3(c)). You are cotrect that a shipper must provide emergency response information to accompany a hazardous materials package if a shipping paper is required. The shipper can present the information on the shipping paper; an accompanying document, such as a material safety data sheet (MSDS); or in a separate document, such as the ERG you carried on your truck. The information must be consistent with the provisions in 49 CFR Part 172, Subpart G. j' a dock worker at consolidatio 11 Fightiay was told to load damased shesement ofts management war made in file the the shiren wes comane? aresent to DoT. on hour shipient was loade#
Page 410/09/2001 14:53 41234374548 PAGE 02 Sections 172.700-172.704 of the HMR require all hazmat employees who perform functions subject to requirements in the HMIR be trained. This traiting must cover measures to protect the employee from the hazards associated with the hazardous materials to which they may be exposed in the workplace and specific measures the employer has implemented to protect employees from exposure (see § 172.704(a)(3)(ii)). I hope this satisfies your request. Sincerely, Transportation Regulations Specialist Office of Hazardous Materials Standards#
This material provides agency context. It does not replace binding regulatory text, and its legal effect depends on the underlying authority and facts.