# AllChem Industries — Hazardous Materials Safety Interpretation

- **operation:** document
- **citation:** 02-0077
- **title:** AllChem Industries — Hazardous Materials Safety Interpretation
- **source type:** guidance
- **agency:** Pipeline and Hazardous Materials Safety Administration
- **status:** guidance
- **official:** true
- **published on:** 2002-04-25
- **effective on:** Not available
- **summary:** 02-0077 response to AllChem Industries concerning 173.152.
- **machine formats:** - **json:** https://regulus.evalyn.ai/document/phmsa-interpretation-02-0077.json
- **markdown:** https://regulus.evalyn.ai/document/phmsa-interpretation-02-0077.md
- **app url:** https://regulus.evalyn.ai/document/phmsa-interpretation-02-0077
- **source url:** https://www.phmsa.dot.gov/sites/phmsa.dot.gov/files/legacy/interpretations/Interpretation%20Files/2002/020077.pdf
**body:**

<<<PAGE 1>>>

:
.5. Departmen
of Transportatio
400 Seventh St., S.W.
Washington, D.C. 20590
APR 25 2002
Mr. Alex Olcese
Ref. No. 02-0077
Allchem Industries
Gainesville, FI 32607
6010 NW First Place
Dear Mr. Olcese:
This is in response to your letter requesting confirmation of
Materials Regulations (HMR;49 CFR Parts 171-180) concerning
your understanding of the requirements under the Hazardous
• "Consumer commodity," ORM-D and the exceptions in SS 173.152 and
173.156.
"Trichloroisocyanuric acid, dry," PG II and is in tablet form.
You state that your product was initially classified 'as
cellophane inner packaging.
Each tablet weighs seven ounces and is wrapped in a heat-sealed
pound capacity plastic pail (strong outer packaging) and the
The tablets are placed in à five-.
by ground.
pails are placed into a fiberboard box (overpack) and transported
Your questions are paraphrased and answered below.
plastic pail strong outer packaging considered a non-
Q1. Is the heat-sealed cellophane inner packaging and the
specification combination packaging under the HMR?
Al.
meet the "inner packaging" and "strong outside container"
Provided the heat-sealed cellophane and the plastic pail
definitions,
S$ 173.24 and 173.24a, the answer is yes.
respectively, in § 171.8, and the requirements in
02. Is the fiberboard box considered an overpack under the HMR?
"overpack" in § 171.8 and the requirements in SS 173.24 and
A2. Provided the fiberboard box meets the definition for
173.24a, it is authorized as an overpack under the HMR.
03.
173.152 (b), the 66 pound gross weight limit
My understanding is that if the packaging conforms to
limit does not apply.
packaging conforms to § 173.156 (b) (1), the 66 pound gross weight
Is this correct?
A3. Yes.
173.152
020077

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Q4. What additional exceptions are authorized?
A4.
Irom the 66 pound
As provided in $ 173.156 (b) (1), in addition to the exception
excepted Irom the strong outer packaging requirement and the
gross
weight limitation, ORM-D materials are
marking requirements in
are: 1) unitized
subpart D of part 172 when the materials
offered for transportation or transported by a private or
in cages, carts, boxes or similar overpacks; 2)
contractor motor carrier or a common carrier vehicle under
manufacturer to a distribution center, or from a manufacturer or
exclusive use for such service; and 3) transported from a
distribution center to a retail outlet or return.
materials being transported by ground excepted from the
Q5. Based on the information in my letter, are the ORM-D
• marking requirements?
specification packaging, labeling, placarding, shipping paper and
A5.
the answer is yes.
Provided the provisions in SS 173.152 and 173.156 are met,
if we can be of further assistance.:
I hope this information is helpful.. Please contact this office
Sincerely,
Hattie I. Mitchell, Chief
Regulatory Review and Reinvention
Office of Hazardous Materials Standards

<<<PAGE 3>>>

MIntyre
≤ 173.152 (9)
$173.156
Consumer commoditi
6010 NW FIRST PLACE • GAINESVILLE, FL 32607 • TEL: (352) 378-9696 FAX: (352) 338-0400
ORM-S
02-0077
March 11, 2002
Via E-Mail
Mr. Edward T. Mazzullo
Director, Office of Hazardous Materials Standards
(DHM-10)
Research and Special Programs Administration
Department of Transportation
Washington, D.C. 20590
Dear Mr. Mazzullo:
provided on March 7, 2002. According to our interpretation of the DOT Hazardous Materials
This letter requests written confirmation of an interpretation the DOT Hotline
Regulations (HMR) (49 C.F.R. Parts 171-180), and consistent with the Hotline staff view, we
seek written confirmation that tablets of a chemical used to chlorinate swimming pools may be
shipped as "Consumer Commodity, ORM-D" under the conditions described below.
Each tablet weighs seven ounces. Tablets are individually heat sealed in cellophane, then placed
The material is classified as "trichloroisocyanuric acid, dry." It is in tablet form.
in plastic pails fitted with secure childproof lids. Each pail holds up to five pounds of product.
The pails are vented to prevent harmful build-up of gases, but the design will not allow tablets to
Passphan hath to leven them. Closed pain only are crushed in trance ed he necked
3. Closed pails are placed in a crushproof fiberboard box
172.101, in the entry "trichloroisocyanuric acid, dry" provides a packaging exception at Section
|73.152. The consumer commodity exception is found at Section 173.152(c). As one condition
of using the consumer commodity exception, all requirements for the limited quantity exception
all other conditions for the consumer commodit
xception are met. the exceptions provided in Section 173.156 are also available for th
shipments.
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<<<PAGE 4>>>

CAl Chem
dustles:
Mr. Edward T. Mazzullo
March 11, 2002
Page 2
above in the following way:
We interpret these provisions, acting together, to apply to the shipments described
(1)
The heat-sealed cellophane protecting each tablet is an inner packaging of
a combination packaging.
(2)
The five-pound capacity plastic pail is the strong outer packaging
required, and acting with the inner packaging described in (1), constitutes
a non-specification combination packaging.
(3)
The fiberboard box is an overpack that provides an extra measure of safety
in transportation.
(4)
The 66 pound gross weight limit found in Section 173.152(b) applies to
each pail.
If a shipment conforms to all requirements of Section
applies.
173.156(b)(1), however, the 66 pound gross weight limit no longer
(5)
Conditions for additional exceptions allowed by Section 173.156(b)(1) are
net. when a contract motor carrier transports pails, overpacked in
(6)
Using the exceptions cited above, the shipment is not subject to labeling,
specification packaging, placarding, shipping papers, or marking.
questions concerning the facts, please contact me at (352) 333-7321.
We would appreciate your written confirmation of this interpretation. If you have
Sincerely,
Alex Olcese
Alex Olcese
Chief Operating Officer
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