# Allied Universal Corp. — Hazardous Materials Safety Interpretation

- **operation:** document
- **citation:** 03-0057
- **title:** Allied Universal Corp. — Hazardous Materials Safety Interpretation
- **source type:** guidance
- **agency:** Pipeline and Hazardous Materials Safety Administration
- **status:** guidance
- **official:** true
- **published on:** 2003-05-27
- **effective on:** Not available
- **summary:** 03-0057 response to Allied Universal Corp. concerning 178.345.
- **machine formats:** - **json:** https://regulus.evalyn.ai/document/phmsa-interpretation-03-0057.json
- **markdown:** https://regulus.evalyn.ai/document/phmsa-interpretation-03-0057.md
- **app url:** https://regulus.evalyn.ai/document/phmsa-interpretation-03-0057
- **source url:** https://www.phmsa.dot.gov/sites/phmsa.dot.gov/files/legacy/interpretations/Interpretation%20Files/2003/030057.pdf
**body:**

<<<PAGE 1>>>

•
U.S. Department
of Transportation
400 Seventh St., S.W.
Research and
Washington, D.C. 20590
Sandal praiones
MAY 27 2003
Ms. Robin J. Eddy Bolte
Safety and Regulatory Compliance Manager
Ref No.: 03-0057
Allied Universal Corp.
3901 N. W.115th Avenue
Miami, Florida 33178
Dear Ms. Eddy Bolte:
This is in response to your letter dated January 23,2003, concerning cargo tank requirements in the
Hazardous Materials Regulations (HMR; 49 CFR Parts 171-180). Specifically, you request
clarification on the use of MC 312 or 412 cargo tankers for transporting hypochlorite solutions and
other hazard class 8 hazardous materials.
Q1. What is the definition of a lading retention system?
Al.
Although the HMR does not currently define "lading retention system", it is our opinion that a
"lading retention system" consists of the basic containment (e.g., tank) and any associated
appurtenances or equipment (e.g., piping and valves) that, if seriously damaged, could result in
the release of the contents of the package.
Q2.
Is the use of non-metallic (PVC) piping, connections and valves permitted after the first valve
outside of the cargo tanker. Your understanding is that piping, connections, and valves before
the first valve must be as strong as the material used in the body of the cargo tanker. In your
example you stated that your fiberglass cargo tanker's pipe, connections and valves up to the
first valve outside of the body of the cargo tanker must be made of fiberglass or similar strength
material. After the first valve, PVC piping, connections and valves, could the fiberglass fittings
be used provided it meets all other regulatory and material compatibility requirements?
A2.
Performance requirements for pumps, piping, hoses, and connections on cargo tanks intended
to contain liquids are located in §178.345-9. The equipment used in the loading and unloading
process is part of a DOT specification 406, 407, or 412 cargo tank and must meet all the
requirements set forth in §178.345-9. Non-metallic pipes, valves or connections used on these
specification cargo tanks must be as strong and heat resistant as the cargo tank. If not, these
attachments must be located outside of the lading retention part of the cargo tank
(§178.345-9(h)). Requirements for piping, valves, hoses and fittings on cargo tanks intended
to contain compressed gasses such as MC 331 and MC 338 cargo tanks are found under the
cargo tank specifications (§178.337-9 for MC 331, and §178.338-8 for MC-338).
HIH HIM
17834
030057

<<<PAGE 2>>>

Q3. What is the definition of a slip joint?
The slip joint referred to in 49 CFR. $178.345-9(d) is described as follows. A slip joint in a
piping system is an expansion device wherein the end of one pipe is closely fitted into another
pipe or sleeve of slightly larger diameter, but no threaded or welded connection of the pipes is
made. This allows the smaller pipe to slide inside the larger one to relieve or prevent stress in
the pipe system due to expansion or contraction. Fluid flow between the pipes is prevented by
use of a gasket or packing material.
Q4.
With no bottom damage protection as outlined in 49 CFR$178.337-10 and §178.345-8(b),
must the piping system on the cargo tanker be emptied, containing only residual of the lading
material during transportation?
A4.
Yes. DOT specification cargo tanks used for the transportation of any material that is a
Division 6.1 (poisonous liquid) material, oxidizer liquid, liquid organic peroxide or corrosive
liquid (corrosive to skin only) may not be transported with hazardous materials lading retained
in the piping, unless the cargo tank motor vehicle is equipped with bottom damage protection
devices meeting the requirements of §178.337-10 or §178.345-8(b), or the accident damage
protection requirements of the specification under which it was manufactured. This requirement
does not apply to a residue which remains after the piping is drained. A sacrificial device (see
§178.345-1) may not be used to satisfy the accident damage protection requirements of this
paragraph.
Q5.
Can a cargo tanker be transported under pressure as long as the sum of the vapor pressure,
head pressure of liquid and air padding pressure is below the cargo tanker design pressure or
maximum allowable working pressure?
A5.
Yes. In accordance with §173.33 (c) (i) thru(vi), prior to loading and offering a cargo tank
motor vehicle for transportation with material that requires the use of a specification cargo tank,
the person must confirm that the cargo tank motor vehicle conforms to the specification
required for the lading and that the MAWP of the cargo tank is greater than or equal to the
largest pressure obtained under the following conditions:
(1) For compressed gases and certain refrigerated liquids that are not cryogenic liquids,
the pressure prescribed in §173.315.
(2) For cryogenic liquids, the pressure prescribed in §173.318.
(3) For liquid hazardous materials loaded in DOT specification cargo tanks equipped
with a 1 psig normal vent, the sum of the tank static head plus 1 psig. In addition, for
hazardous materials loaded in these cargo tanks, the vapor pressure of the lading at
115° F must not be greater than 1 psig, except for gasoline transported in accordance
with Special Provision B33 in §172.102(c)(3).

<<<PAGE 3>>>

•
(4) Fox liquid hazardous materials not covered in paragraph (c)(1)(i), (ii), or (iii) in
§173.33, the sum of the vapor pressure of the lading at 115° F, plus the tank static
head exerted by the lading, plus any pressure exerted by the gas padding, including air
in the ullage space or dome.
(5) The pressure prescribed in subpart B, D, E, F, or G, of Part 173, as applicable.
(6) The maximum pressure in the tank during loading or unloading.
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 4>>>

elersona
Carte
5178.345
03-0057
ALLIED UNIVERSAL CORP,, 3901 N.W. 115* Avenue, Miami, Florida 33178
Fax 305-885-4671
305-888-2823
Mr. Edward Mazzullo, Director for Hazardous Materials Standards
400 Seventh Street, S.W., DHM-10
U.S. Department of Transportation
Washington, D.C. 20580-0001
February 24. 2002
Subject: Interpretation, various rules and regulations for MC 312 or 412 cargo tankers
Dear Mr. Mazzullo:
After several discussions with a Research and Special Programs Administration Engineer (Phil Olson), it
has been decided that a written interpretation is needed in order to resolve several questions regarding
hazardous materials.
the use of MC 312 or 412 cargo tankers to transport hypochlorite solutions and other hazard class eight
Question 1, 49 CFR §178.345-8[g][h]: please provide us with a definition of the lading retention system.
permitted after the first vaive outside of the cargo tanker. Our understanding is that piping, connections,
Question 2, 49 CFR $178.345-9[h]: is the use of non-metallic (PVC) piping, connections and valves
valves before the first valve must be as strong as the material used in the body of the cargo tanker. For
the body of the cargo tanker must be made of fiberglass or similar strength material. After the first
example, our fiberglass cargo tankers, the pipe, connections and valves up to the first valve outside of
valve, PVC piping, connections and valves could be used provided it meets all other regulatory and
material compatibility requirements.
please indicate whether or not a slip joint refers to a style of connection for pipe fittings or some other
Question 3, 49 CFR §178.346-9[d]: please provide us with a definition of a slip joint. In the definition
type of joint that is designed to control expansion and contraction of piping systems.
Question 4, 49 CFR §173.33[e): with no bottom damage protection as outlined in 49 CFR §178.337-10
lading during transport.
and 345-8[b), the piping system on the cargo tanker must be emptied, containing only rosidual of the
sum of the vapor pressure, head pressure of liquid and air padding pressure was below the cargo tanker
Question 5, 49 CFR §173.33[c][lv]: may a cargo tanker be transported under pressure as long as the
design pressure or maximum allowable working pressure.
If you should have any questions, please call me at 800-437-8715, exiension 183.
Thank you.
sincerer, y
Allied Universal Corp.
Safety and Regulatory Compliance Manager
cc:
1. Palmer, COO/General Manage
T. Tucker, S. Rogional Operations Managel
. Bunkley. N. Rogional Operationa Monoan
P. Brunette, Carporede Engineal
1
20 d
6662-908-616
80-92 - q
- **truncated:** false
- **body characters:** 8616
