# Duratek Training Services — Hazardous Materials Safety Interpretation

- **operation:** document
- **citation:** 05-0052
- **title:** Duratek Training Services — Hazardous Materials Safety Interpretation
- **source type:** guidance
- **agency:** Pipeline and Hazardous Materials Safety Administration
- **status:** guidance
- **official:** true
- **published on:** 2005-04-13
- **effective on:** Not available
- **summary:** 05-0052 response to Duratek Training Services concerning 173.25.
- **machine formats:** - **json:** https://regulus.evalyn.ai/document/phmsa-interpretation-05-0052.json
- **markdown:** https://regulus.evalyn.ai/document/phmsa-interpretation-05-0052.md
- **app url:** https://regulus.evalyn.ai/document/phmsa-interpretation-05-0052
- **source url:** https://www.phmsa.dot.gov/sites/phmsa.dot.gov/files/legacy/interpretations/Interpretation%20Files/2005/050052.pdf
**body:**

<<<PAGE 1>>>

.S. Departmer
f Transportatic
Washington, D.C. 20590
400 Seventh Street, S.W.
Pipeline cind
Hazardous Materials Safety
Administration
APR 1 3 2005
Ms. Kathryn Pacha
Ref. No. 05-0052
Training Services Manager
Duratek Training Services
140 Stoneridge Drive, Suite 500
Columbia, South Carolina 29210
Dear Ms. Pacha:
This is in response to your letter dated March 2, 2005 regarding the overpacking of packages of
Class 7 (radioactive) material under the Hazardous Materials Regulations (HMR; 49 CFR Parts
171-180).
In your letter you describe a scenario where multiple drums have been placed onto a pallet.
Specifically, you state that two packages of limited quantity Class 7 (radioactive) material and
two packages of Class 7 (radioactive) material that are appropriately labeled RADIOACTIVE
YELLOW-II have been place onto a pallet. Based on your scenario you ask the following
questions, which are paraphrased and answered below:
Q1)
For the above described scenario, would multiple drums placed on a pallet for shipment
be considered an overpack?
A1)
The answer is yes. An overpack, as defined in § 171.8, means an enclosure used by a
single consignor to provide protection or convenience in handling of a package or to
conso idate two or more packages. Each inner packaging must be marked and labeled ir
accordance with the HMR. In addition, when an overpack is used, it must be marked with
the proper shipping name and identification number, and labeled for each hazardous
material it contains unless the markings and labels representative of each hazardous
material in the overpack are visible. When the markings and labels representative of each
hazardous material in the overpack are not visible, and the overpack contains one or more
packages of Class 7 (radioactive) material, then in addition to the labels for any other
hazard classes present, a single radioactive label is required to be placed on the overpack
in accordance with the requirements of § 172.403(h). The overpack must also be marked
with the word "OVERPACK" when specification packagings are required, unless
specification markings on the inside packages are visible. Alternatively, until October 1,
2007, the overpack may be marked with a statement indicating that the "inside (inner)
packages comply with prescribed specifications."
173.25
050052

<<<PAGE 2>>>

Q2) If the answer to question Ql is yes, would the dose rate apply to the individual drums?
A2)
The ariswer is yes, with the caveat that if a radioactive label is needed for the overpack,
the category of the overpack radioactive label may depend on individual package dose
rates as well. Paragraphs 172.203(d)(4) and (d)(5) require both the category of radioactive
label and the transport index (TI) to be listed in the shipping description for each
individual package on the shipping paper. Package dose rates are used to determine the
(TI) ard category of radioactive label for individual packages. (The TI is the
dimensionless number equivalent in numerical value to the maximum dose rate in
mrem/hour at one meter from the package.) The category of label for an individual
package is determined from a combination of its maximum surface dose rate and its TI
Note that for the example in the above scenario, you must identify the presence of the two
RADIOACTIVE YELLOW - II labeled packages on the shipping paper, but are not
required to do so for the two limited quantity packages, unless these contain a hazardous
substance or a hazardous waste.
In addition, when the markings and labels representative of each hazardous material in
the overpack are not visible, and the overpack contains one or more packages of Class 7
(radioactive) material, a single radioactive label must be placed on the outside of the
overpack. In accordance with § 172.403(h), the category of label for the overpack is
determined on the basis of the maximum surface dose rate of the overpack and either the
sum of the individual package TIs or, in the case of a rigid overpack, one has the option
of mezsuring the 11 of the overpack. Therefore, if the choice is made to measure the TI of
the overpack, one need not know any individual package dose rates in order to determine
the category of radioactive label for the overpack.
Q3) When a rigid overpack is used, would the issue of what label to apply become applicable?
A3) The answer is yes. Section 172.403 requires that the category of the Class 7 label for the
overpack must be determined from the table in § 172.403(c) using the TI derived
according to the maximum radiation at the surface and the following:
• The TI must be determined by adding together the transport indices of the
Class 7 (radioactive) materials packages contained therein (see Q2 above),
except
• For a rigid overpack, the TI may alternatively be determined by direct
measurement as prescribed in § 173.403 under the definition for
"transport index," taken by the person initially offering the packages
contained within the overpack for shipment.
Q4)
If a non-rigid overpack is used, would the option of applying a label and determining a
new dose rate be non-applicable, as long as the markings and labels are visible?
A4)
The answer is yes.

<<<PAGE 3>>>

I hope this information is helpful.
Sincerely,
Susan Gorsky
Acting Director Hazardous Materials Standards
Office of Hazardous Materials Standards

<<<PAGE 4>>>

Betts
8/73.25
Gale, John <PHMSA>
Drerpacks
Sent:
From:
Kathryn Pacha [kwpacha@duratekinc.com]
05-0052
Subject:
To:
Wednesday, March 02, 2005 4:47 PM
Ferate, Fred <PHMSA>
Request for Clarification
Hope this finds you well. I would like a clarification on the use of overpacks and TIs,
if you would be so kind.
are placed or stacked onto a load board
Definition of Overpack in 49CFR171.8 states that an overpack is "one or more packages that
wrapping, stretch wrapping, or other suitable means"
such as a pallet and secured by strapping, shrink
an overpack? By defintion it would.
Question: If I have multiple drums and place them on a pallet for shipment would this be
dose rates still
still apply to individual containers if I use a non-rigid overpack?
So, the drums are the individual
packages and the
this a correct interpretation?
In the scenerio above lets say I have 2 LQ's and 2 Yellow Il's and put them on a pallet
for shipment and this is now an overpacked shipment.
the Ll's would be affected by the presence of the Yellow II's on the pallet and since this
The dose rates for the overpack for
is an overpack would it change my DOT characterization for shipment?
new dose rate is
Again, if I use a non-rigid overpack then the option of applying a label and determinig a
narkings and labels are visible
non-applicable.
through the method/material used for overpacking.
Each package remains a separate package as long as the
then need to re-evaluate my characterization or do I apply labels in conformance with the
If I use a rigid overpack, then the issue of what label to apply becomes applicable.
packages that
are labeled and include the required statement "All in packages comply...."
I would appreciate any guidance. Thank you.
Kathryn Pacha, CET, CIT
Training Services Manager
803-758-1870
Duratek Training Services
kwpacha@duratekinc.com
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