# EnergySolutions — Hazardous Materials Safety Interpretation

- **operation:** document
- **citation:** 06-0238
- **title:** EnergySolutions — Hazardous Materials Safety Interpretation
- **source type:** guidance
- **agency:** Pipeline and Hazardous Materials Safety Administration
- **status:** guidance
- **official:** true
- **published on:** 2007-01-17
- **effective on:** Not available
- **summary:** 06-0238 response to EnergySolutions concerning 173.403.
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- **app url:** https://regulus.evalyn.ai/document/phmsa-interpretation-06-0238
- **source url:** https://www.phmsa.dot.gov/sites/phmsa.dot.gov/files/legacy/interpretations/Interpretation%20Files/2006/060238.pdf
**body:**

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f Transportation
I.S. Departmen
JAN 17 2007
Washington, D.C. 20590
400 Seventh Street, S.W.
Pipeline and
Hazardous Materials Safety
Administration
Mr. James H. Portsmouth
45 Hills Stree
EnergySolutions
Ref. No.: 06-0238
Richland, Washington 99354-5507
Dear Mr. Portsmouth:
This is in response to your October 17, 2006 letter regarding the requirements for
ransporting Class 7 (radioactive) material under the Hazardous Materials Regulations
(HMR; 49 CFR Parts 171-180). Your questions are summarized and answered as
follows:
Q1: The definition of LSA-II material in § 173.403 includes "other radioactive material
exceed 10 4 Az/g for solids and gases, and 10 5 Az/g for liquids." What methods may be
in which the activity is distributed throughout and the average specific activity does not
used to demonstrate that the activity of radioactive material is "distributed throughout"
for the purpose of classifying a material as LSA-II? Is the guidance in NUREG-1608 for
determining if the activity is "distributed throughout," still applicable since it was
published in 1998?
Al: The HMR do not specifically define the phrase "distributed throughout" as it applies
qualitative or quantitative techniques to determine if radioactivity is "distributed
to the detinition of LSA-ll or LSA-Ill material. Furthermore, the HMR do not specity
Nuclear Regulatory Commission published a guidance document titled, "Categorizing
throughout a material. In July of 1998, the Department of Transportation and the
and Transporting Low Specific Activity Materials and Surface Contaminated Objects;"
NUREG-1608. The guidance in NUREG-1608 remains applicable for classifying
material in accordance with the current regulations. The guidance in NUREG-1608
clarifies that the term "distributed throughout" may include non-homogeneous materials
and states that both qualitative and quantitative methods may be used to determine if the
activity of the radioactive material is considered to be distributed throughout. The
naidance states that in gatives less than mAy, bueral aeries for at marrie
exceeding 1 A2, quantitative techniques are more appropriate. This determination can be
nethod to quantitatively determine if a material's radioactivity is "distributed
made through reasoned argument, reference, calculation, or measurement. An acceptable
"For distributed throughout, the material can be divided into ten or more equal
volumes.
The volume of each portion should be no greater than 0.1m'. The
173.403
060238

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specific activity of each volume should then be assessed (through measurements,
calculations, or process knowledge) and compared. Specific activity differences
between any two volumes should not vary by more than a factor of 10."
Q2: Because of the Department of Energy radioactive materials safety considerations for
keeping worker exposure to radioactive materials As Low As Reasonably Achievable
(ALARA), it is not always feasible to make extensive direct radiation or contamination
expectations for a shipper of LSA materials to document that they have in fact met the
measurements. When using the NUREG-1608 techniques, what are the DOT
requirement of showing that the specific activity in the waste matrix does not vary by
more than a factor of ten from one portion to another in the total volume of waste?
in accordance with the HMR. The recommended techniques in NUREG-1603 for
A2: It is the shipper's responsibility to properly class and describe a hazardous material
HMR do not require that these techniques be applied. Alternative methods of
determining if radioactivity is "distributed throughout" a material are guidance only; the
determining if radioactivity is "distributed throughout" a material may be acceptable for
the purpose classing an LSA material, provided the determination is adequately justified.
The techniques described in NUREG-1608 provide a conceptual framework for
determining whether the radioactivity is "distributed throughout" a given LSA. material.
In applying those techniques, the shipper may use any information available to estimate
whether the criteria stated there are satisfied. In most cases it would not be expected that
the shipper physically divide up the material in 0.1 m? (or smaller) volumes and measure
the average specific activity in each. However, if the total activity of the material
exceeds 1 A2, some quantitative analysis is expected.
question? Must it be included in the quantitative calculation of radioactivity?
Q3: How is "void space" in a waste matrix of LSA material considered in the above
calculation of activity distribution for the purpose of determining if a material is LSA
A4: Under the method described in A1, void space does not have to be included in the
under the HMR.
contact this office.
I hope this information is helpful. If you have further questions, please do not hesitate to
Sincerely,
Chief, Standards Development
Office of Hazardous Materials Standards

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D Duratek
ENERGYSOLUTIONS
Federal Services
Eschenlaub
$173.703
RAM Definitions
October 17, 2006
06-0238
JHP-06-4455
Mr. Edward T. Mazzuillo, Director
Pipeline and Hazardous Materials Safety Administration
Office of Hazardous Materials Standards, PHH-1-
U.S. Department of Transportation
REQUEST FOR CLARIFICATION OF THE HAZARDOUS MATERIALS
REGULATIONS
Dear Mr. Mazziullo:
The purpose of this letter is to request for clarification of the Hazardous Materials
solids and gases and 10°% Az/g for liquids".
somewhat ambiguous as used in the definition of LSA II. Could you please provide
. The term "distributed throughout" is
naterials to determine if a waste matrix of low level radioactive material could be
provide clarification on the methods that could be used by a shipper of radioactive LSA
homogenous in nature.
more than a factor of 10."
cubic meters. Specific activity differences between any two volumes should not vary by
Please address each of the questions delineated below:
Question # 1: Does the previous guidance given in NUREG 1608 for the definition of
"distributed throughout" still apply since this document was published in July 1998?
509-376-7055 • Fax: 509-372-1435 • www.energysolutions.com
345 Hills Street • Richland, Washington 99354-5507

<<<PAGE 4>>>

Duratek
ENERGYSOLUTIONS
Federal Services
considerations for keeping worker exposure to radioactive materials As Low As
Question # 2: Because of Department of Energy radioactive materials safety
a the waste matrix is less than a factor of ten in each portion of the volume of waste
ocument that they have in fact met the requirement of showing that the specific activit
Question # 3: How is "void space" in a waste matrix of LSA material considered in the
abume of cach perion ote was matis has a specie activil difirene or to or
If you need any additional information regarding this request for interpretation, please
contact me at (509) 376-7164 or by e-mail at JHPortsmouth@energysolutions.com
Sincerely,
Jamea H. Portamouth
Traffic Manager
James H. Portsmouth
afs
EnergySolutions:
JHP file/LB
509-376-7055 • Fax: 509-372-1435 • www.energysolutions.com
345 Hills Street • Richland, Washington 99354-5507
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