# Dart Container Corporation — Hazardous Materials Safety Interpretation

- **operation:** document
- **citation:** 03-0124
- **title:** Dart Container Corporation — Hazardous Materials Safety Interpretation
- **source type:** guidance
- **agency:** Pipeline and Hazardous Materials Safety Administration
- **status:** guidance
- **official:** true
- **published on:** 2003-05-30
- **effective on:** Not available
- **summary:** 03-0124 response to Dart Container Corporation concerning 172.800.
- **machine formats:** - **json:** https://regulus.evalyn.ai/document/phmsa-interpretation-03-0124.json
- **markdown:** https://regulus.evalyn.ai/document/phmsa-interpretation-03-0124.md
- **app url:** https://regulus.evalyn.ai/document/phmsa-interpretation-03-0124
- **source url:** https://www.phmsa.dot.gov/sites/phmsa.dot.gov/files/legacy/interpretations/Interpretation%20Files/2003/030124.pdf
**body:**

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400 Seventh St, S.W.
Research and
Washington, D.C. 20590
Special Programs
Administration
MAY 3 O 2003
Ms. Amanda Bishop
Dart Container Corporation
Ref. No. 03-0124
P.O. Box 309
Horse Cave, KY 42749
Dear Ms. Bishop:
This responds to your April 24, 2003 email to Ms. Donna O'Berry in the Research and Special
Programs Administration's Office of the Chief Counsel concerning hazardous materials transportation
ecurity requirements adopted under a final rule published March 25, 2003. Specifically, you ask if th
security plan requirements established in the final rule apply to shipments of Class 9 materials.
The Hazardous Materials Regulations (HMR; 49 CFR Parts 171-180), as amended by the HM-232
of hazardous materials to develop and implement security plans:
final rule, require persons who offer for transportation or transport the following classes and quantities
(1) A highway route-controlled quantity of a Class 7 (radioactive) material;
(2) More than 25 kg (55 pounds) of a Division 1.1, 1.2, or 1.3 (explosive) material;
criteria for Hazard Zone A;
(3) More than one L (1.06 qt) per package of a material poisonous by inhalation that meets the
(4) A shipment of a quantity of hazardous materials in a bull packaging having a capacity equal
to or greater than 13,248 L (3,500 gallons) for liquids or gases or more than 13.24 cubic
meters (468 cubic feet) for solids;
(5) A shipment in other than a bulk packaging of 2,268 kg (5,000 pounds) gross weight or
more of one class of hazardous materials for which placarding of a vehicle, rail car, or freight
container is required for that class;
(6) A select agent or toxin regulated by the Centers for Disease Control and Prevention under
42 CFR part 73; and
11756°
030124

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(7) A quantity of hazardous material that requires placarding under the provisions of subpart F
of this part.
You are correct that a placard is not required for domestic shipments of Class 9 materials; however,
international shipments of Class 9 materials may need to be placarded in accordance with international
regulations. If a CLASS 9 placard is not required for the domestic portion of transportation, the
security plan requirements in Subpart I do not apply to such shipments, even if a CLASS 9 placard is
required for the international portion of transportation. Note, however, that a person who offers or
transports a Class 9 material in a bulk packaging having a capacity equal to or greater than 13,248 L
(3,500 gallons) for liquids or gases or more than 13.24 cubic meters (468 cubic feet) for solids must
develop and implement a security plan, irrespective of placarding requirements.
The HM-232 final rule also includes new security training requirements. Section 172.704(a)(4)
requires all hazmat employees, defined in § 171.8 of the HMR, to receive security awareness training.
Thus, even though your Class 9 shipments may not be subject to security plan requirements, your
hazmat employees must receive security awareness training. We have developed a computer-based
security awareness CD-ROM that can be used to satisfy the security awareness training requirements in
§ 172.704(a)(4). The training CD-ROM is available to the public at no charge; it can be downloaded
from our website (http://hazmat.dot.gov/hmt_security.htm) or ordered from our Training and Initiatives
Office at 202-366-4900.
I hope this information is helpful. If you have further questions, please do not hesitate to contact this
office.
Sincerely,
Office of Hazardous Materials Standards

<<<PAGE 3>>>

Gorsky
5172.800(7)
To: Donna Q'Berry
From: Amanda Bishop, Dart Container Corporation
Subject: 49 CFR 172.704-804 "Security Plans"
Date: April 24, 2003
lacardino
13-0124
Per our conversation this afternoon, I am submitting this question regarding the new Department
of Transportation "Security Plan" rule that went into effect earlier this year.
According to 49 CPR. 172.504 (f) 9, a placard is not required for domestic Class 9 shipments of
expandable polystyrene bead; therefore this would exempt Dart Container Corporation from 49
CFR 172.704-804. However, because we ship expandable polystyrene internationally to
Common Carriers to the load in Kentucky; which would cause applicability under 172.800 (7).
Mexico and Canada, placards are needed for Class 9 shipments and therefore applied by
circumstance? And would a Security Plan be needed?
Would Dart Container Corporation be exempt from 172 CFR 704-804 for this special
If you have any questions regarding this matter, please call me at 270-786-2183.
Thanks for your help in the matter.
Sincerely,
Amanda Bishop
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