# Minnesota Department of Transportation — Hazardous Materials Safety Interpretation

- **operation:** document
- **citation:** 06-0223
- **title:** Minnesota Department of Transportation — Hazardous Materials Safety Interpretation
- **source type:** guidance
- **agency:** Pipeline and Hazardous Materials Safety Administration
- **status:** guidance
- **official:** true
- **published on:** 2006-11-15
- **effective on:** Not available
- **summary:** 06-0223 response to Minnesota Department of Transportation concerning 172.400, 172.514.
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- **app url:** https://regulus.evalyn.ai/document/phmsa-interpretation-06-0223
- **source url:** https://www.phmsa.dot.gov/sites/phmsa.dot.gov/files/legacy/interpretations/Interpretation%20Files/2006/060223.pdf
**body:**

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of Transportation
U.S. Department
NOV 15 2006
Washington, D.C. 20590
400 Seventh Street, S.W.
Pipeline and
Administration
Hazardous Materials Safety
Mr. Michael Ritchie
Ref. No.: 06-0223
Minnesota Department of Transportation
Office of Freight & Commercial
Vehicle Operations
395 John Ireland Blvd., MS 460
St. Paul, MN 55155
Dear Mr. Ritchie:
requirements for bulk packagings under the Hazardous Materials Regulations (HMR; 49
This is in response to your September 22, 2006 letter regarding labeling and placarding
of a liquefied petroleum gas (LPG) storage container that is constructed to the American
CFR Parts 171-180). Specifically, you ask a series of questions regarding transportation
Society of Mechanical Engineers (ASME) Code and is for permanent installation on
consumer premises. You state that the tanks generally have a capacity of 500 or 1,000
include pictures of these bulk propane storage containers loaded on tank setting trailers
gallons and satisfy the conditions of § 173.315(j) for LPG storage containers. You
and flat bed trucks. Your questions are summarized and answered as follows:
Q1: Does an LPG bulk storage container meet the definition of "portable tank" as defined
in § 171.8 or "other bulk packaging" as referenced in §§ 172.331 and 172.514?
Al: An LPG bulk storage container that meets the conditions of § 173.315(j) and is built
in compliance with section VIII of the ASME Code is not considered a portable tank as
defined in § 171.8. A bulk storage container meeting the conditions set forth in
§ 173.315(j) is considered a non-specification bulk packaging, or "other bulk packaging"
for hazard communication requirements of Part 172.
Q2: Is an LPG bulk storage container subject to labeling requirements for a bu k
packagings specified in § 172.400(a)(2). See Al.
A2: The LPG bulk storage container is subject to the labeling requirements for bulk
Q3: Is an LPG bulk storage container required to be labeled if the tank setting trailer is
placarded in accordance with Subpart F of Part 172?
172.400
060223
172.514

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volumetric capacity of less than 18m' (640 cubic feet) is required to be labeled in
A3: Yes. A bulk packaging, other than a cargo tank, portable tank, or tank car, with a
accordance with § 172.400(a)(2) unless the packaging itself is placarded in accordance
with Subpart F of Part 172.
Q4: Is an LPG bulk storage container eligible for the placarding exception in
§ 172.514(c)(1) applicable to portable tanks; or, is it eligible for the exception in
§ 172.514(c)(3) for a bulk packaging, other than a portable tank, cargo tank, or tank car?
A4: The LPG bulk storage container is eligible for the exception in § 172.514(c)(3) for a
bulk packaging, other than a portable tank, cargo tank, or tank car. See A1.
storage container than a 1,000 gallon LPG bulk storage container?
Q5: Are the labeling and placarding requirements different for a 500 gallon LPG bulk
18m° (640 cubic feet).
A5: No. Provided the volumetric capacity of each LPG bulk storage container is below
Q6: Is the LPG bulk storage container required to be placarded if it is loaded on a tank
setting trailer or flat bed truck that is placarded?
A6: The LPG bulk storage container must be placarded, unless it is labeled on two
trailer or flat bed truck do not preclude the requirement to label or placard the bulk
opposing sides in accordance with § 172.400(a)(2). Placards displayed on a tank setting
packaging.
Q7: Is it permissible to display placards and identification numbers when transporting an
empty LPG bulk storage container?
packaging or transport vehicle unless the bulk packaging or transport vehicle contains a
A7: The HMR prohibit the display of labels, placards or identification numbers on a bulk
material that meets the definition of a hazardous material under the HMR. However, a
packaging or transport vehicle that contains a residue of a hazardous material must
display the appropriate labels, placards, and identification numbers unless otherwise
excepted under § 173.29.
I hope this information is helpful. If you have further questions, please do not hesitate to
contact this office.
Sincerely,
Chief, Standards Development
Office of Hazardous Materials Standards

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Minnesota Department of Transportation
Office of Freight and Commercial Vehicle Operations
395 John Ireland Blvd.
St. Paul, MN 55155-1899
Eichenlaub
5172. 400
8172-514
September 22, 2006
Labeling@ Placarding
Pipeline and Hazardous Materials
US Department of Transportation
01-0223
Safety Administration PHH-10
Mr. John Gale
400 Seventh Street S.W.
Washington, D.C. 20590
transportation.
RE: Labeling and Placarding requirements for Propane Storage Containers during
Dear Mr. Gale:
labeling and placarding of propane storage tanks and the tank setting trailers used for
We have received questions from industry and enforcement personnel concerning
gulations have been interpreted differently in different States, and has requested writte
ansportation and installation of the tanks. A propane industry representative says the
clarification.
These tanks are those referenced in 49 CFR 173.315 (i). Photographs of the tanks and the
tank setting trailers are included with this letter. Most tanks used in this area are either
500 gallons or 1000 gallons capacity.
A clarification letter from RSPA to Kamps Propane, dated August 26, 1994, indicates
other than portable tanks and cargo tanks. In a letter to Level Propane on December 22
hese tanks should be marked in accordance with 49 CFR 172.331 for bulk packagings
1999, Ref. No. 99-0262, RSPA references an exception provided in 49 CFR 172.514 (›
allowing labeling instead of placarding on certain bulk packagings.
Labeling
• Are these storage tanks for installation on a consumers premises "portable tanks"
as defined in 49 CFR 171.8 or "other bulk packaging" as referenced in 49 CFR §S
172.331 and 172.514 and other sections?
• While in transportation, are they subject to the labeling requirements of 49 CFR
subparagraph (3) for portable tanks?
172.400 (a) (2) for bulk packaging other than portable tanks or cargo tanks or
• Is labeling required on these tanks during transportation, if the trailer is
placarded?
An equal opportunity employer

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Placarding
• Are these tanks covered by the placarding exception in 49 CFR 172.514 (c) (1)
for portable tanks or by subparagraph (3) for "other bulk packaging?
• Are the requirements different for a 500-gallon tank and a 1000-gallon tank?
• When transporting these tanks on a tank setting trailer or on a flat bed truck, are
placards required on the storage tank if the truck or trailer is displaying the correct
placards and ID numbers?
• Must placards and ID numbers be removed when transporting an empty tank
setting trailer?
telephone or e-mail address listed below.
Thank you for your assistance. If you have any questions, you can contact me at the
Yours truly,
Michael Ritchie
Hazardous Materials Specialist
Minnesota Department of Transportation
Office of Freight & Commercial
Vehicle Operations
395 John Ireland Blvd., MS 460
(651) 215-6326
St. Paul, MN 55155
Michael.Ritchie@dot.state.mn.us
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