# Arkansas Children's Hospital — Hazardous Materials Safety Interpretation

- **operation:** document
- **citation:** 03-0018
- **title:** Arkansas Children's Hospital — Hazardous Materials Safety Interpretation
- **source type:** guidance
- **agency:** Pipeline and Hazardous Materials Safety Administration
- **status:** guidance
- **official:** true
- **published on:** 2003-06-16
- **effective on:** Not available
- **summary:** 03-0018 response to Arkansas Children's Hospital concerning 175.10.
- **machine formats:** - **json:** https://regulus.evalyn.ai/document/phmsa-interpretation-03-0018.json
- **markdown:** https://regulus.evalyn.ai/document/phmsa-interpretation-03-0018.md
- **app url:** https://regulus.evalyn.ai/document/phmsa-interpretation-03-0018
- **source url:** https://www.phmsa.dot.gov/sites/phmsa.dot.gov/files/legacy/interpretations/Interpretation%20Files/2003/030018.pdf
**body:**

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400 Seventh St., S.W.
Washington, D.C. 20590
dministration
JUN 16 2003
Mr. Wes Ware, BS, RRT, NREMT
Arkansas Children's Hospital
Ref No.: 03-0018
Angle One Transport
800 Marshall Street
Little Rock, Arkansas 72202
Dear Mr. Ware:
This is in response to your letter requesting clarification of the Hazardous Materials Regulations (HMR;
49 CFR Parts 171-180), regarding the transportation of compressed gases cylinders by aircraft.
Specifically, you request confirmation that cylinders of compressed gases, necessary to protect the life
and treat patients who are being transported on a stretcher in an ambulance, may be transported under
the provisions in § 175.10(a)(14).
The answer to your question is no. As specified in § 175.10(a)(14), a transport incubator unit
from the HMR provided: (1) the compressed gas used to operate the unit is in an authorized DOT
specification cylinder and is marked, labeled, filled and maintained as prescribed by the HMR; (2) each
battery used in the operation of the unit is of the non-spillable type; (3) the unit is constructed so that
valves, fittings, and gauges are protected from damage; (4) the pilot in command is advised when the
unit is on board, and when it is intended for use; (5) the unit is accompanied by a person qualified to
operate it; (6) the unit is secured in the aircraft in a manner so as not to restrict access to or use of any
required emergency or regular exit or of the aisle in the passenger compartment and; (7) there is no
smoking within 10 feet of the unit.
It is the opinion of this office that a patient that is being transported aboard an air ambulance on
stretcher, is not being transported in a transport incubator, and, therefore the exception in
§ 175.10(a)(14) does not apply. However, § 175.10(a)(7) excepts from the HMR oxygen, or any
hazardous material used for the generation of oxygen, for medical use by a passenger, which is
175.10(a)(14)
030018

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furnished by the aircraft operator in accordance with 14 CFR §§121.574 or 135.91. Thereforc,
cylinders of supplemental oxygen for medical use by a passenger, which are furnished by the aircraft
operator in accordance with § 175.10(a)(7), are not subject to the HMR.
I hope this information is helpful. Please contact us if you require additional assistance
Sincerely,
Delmer F. Billings
Chief, Standards Development
Office of Hazardous Materials Standards

<<<PAGE 3>>>

Relerford
8175.10()(14)
Air
Exceptions
03 - 0018
800 Marshall "St • Litle Rock, AR 72202-3591 • 501/320-1100 or TDD 501/320-1184 • www.archildrens.org
TAIN •ALI
Mr. Bchvard Mazzullo
Offoe of Hazardous Materials Standards
Dear Sir,
I have been conversing with the people at the Hazardous Materials Information Contex, as
questions and pointing me in the right direction. They informed me that I need to talk to
well as the people al the Exemptions Brauch. They were very helpful in answering my
you or someone in your office and get a lettes of clarification.
I would like a clarification interpretation on Tidle 49 CFR 175.10 soction A(14). This
life. It goes on to talk about using compressed gases that are ased to operate that
exemption deals with using a transport incubator on an aircraft that is necessary to protect
incubator and in turn provide modical treatment to the patient.
and freal patients in an air ambulance. The difference is that not all the palients ave
The clarification I am seeking deals with using compressed gases necessary to protect life
aircraff the same syay an incubator is. Does Title 49 CFR 175.10 section a (1.4) also
transport are in an incubator. Many of them are on a stretcher that is socured inside the
apply to stretchers?
We do not transport compressed gasses for commerce. We transport compressed gases in
critically ill people.
the cabin of our air ambulances and ground ambulances for the purpose of treating
If you need more information or bave other questions please contact the.
Thank You
Arkausas Children's Hospital
Wes Ware, BS, RRT, NREMT
800 Marshall Street
Angel One Transport
501-766-0643
Littic Rock, Arkansas 72202
Rax 501-364-6431•
WeslcyW732@aol.com
Warewo@anchildrens.org
• -.
A maior carding office of the Winemy of Artarsa for Maccal sciences
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