# ExxonMobil Chemical Company — Hazardous Materials Safety Interpretation

- **operation:** document
- **citation:** 08-0178
- **title:** ExxonMobil Chemical Company — Hazardous Materials Safety Interpretation
- **source type:** guidance
- **agency:** Pipeline and Hazardous Materials Safety Administration
- **status:** guidance
- **official:** true
- **published on:** 2008-10-03
- **effective on:** Not available
- **summary:** 08-0178 response to ExxonMobil Chemical Company concerning 172.101, 172.704.
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- **markdown:** https://regulus.evalyn.ai/document/phmsa-interpretation-08-0178.md
- **app url:** https://regulus.evalyn.ai/document/phmsa-interpretation-08-0178
- **source url:** https://www.phmsa.dot.gov/sites/phmsa.dot.gov/files/legacy/interpretations/Interpretation%20Files/2008/080178.pdf
**body:**

<<<PAGE 1>>>

U.S. Department
of Transportation
Pipeline and Hazardous Materials
Safety Administration
1200 New Jersey Ave., SE
Washington. DC 20590
Mr. Ronald J. Stokes
ExxonMobil Chemical Company
Intermediates, Synthetics Product Stewardship
P.O. Box 3 140
Edison, New Jersey 088 18
Ref. No. 08-0 1 78
Dear Mr. Stokes:
This responds to your June 25,2008 letter requesting clarification of the classification and
training requirements in the Hazardous Materials Regulations (HMR; 49 CFR Parts 17 1 - 180)
for rail shipments. Specifically, you ask whether the HMR apply to the transportation of
materials that release hydrogen into the vapor space of a tank car.
According to your letter, you ship various products by rail tank car. Some of these products
meet the HMR definition for combustible liquid; others do not meet the definition for any
hazard class. In all cases, however, these products release unincorporated hydrogen into the
vapor space of the tank car. The vapor pressure is less than 40 psi; however, the hydrogen
has been measured at between 2% and 80% concentration. The published flammable limits
(LEL-UEL) of hydrogen are 4% and 75%. You ask how these materials should be classed
and transported.
Under the HMR, hydrogen is classed as a flammable gas irrespective of the pressure it exerts
in its packaging. A material that releases a hazardous amount of hydrogen into the vapor
space of its packaging during transportation must be classed and transported to address the
hazard posed by the hydrogen unless the material is stabilized or inhibited to preclude such a
release. For example, the release of hydrogen during transportation could be inhibited
through the use of a nitrogen blanket, provided the vapor pressure of the nitrogen does not
exceed 40 psi. If the materials you ship are stabilized or inhibited to preclude the release of
hydrogen, they may be transported as unregulated materials or as combustible liquids, as
appropriate.
Alternatively, a material that does not meet the definition of any of the hazard classes defined
in Part 173 of the HMR, but that releases hydrogen into the vapor space of its container or
packaging under the conditions described in your letter may be described as "UN 1049,
Hydrogen, compressed, 2.1" and transported in accordance with all applicable requirements,
including appropriate packaging and hazard communication. A material that meets the
definition for a combustible liquid and releases hydrogen into the vapor space of its container

<<<PAGE 2>>>

or packaging under the conditions described in your letter may be described as "UN 1954,
Compressed gas, flammable, n.o.s., 2.1 ( hydrogen, compressed; combustible liquid)" and
transported in accordance with all applicable requirements, including appropriate packaging
and hazard communication.
You also ask whether a person who loads or unloads non-hazardous materials to or from a
bulk packaging must be trained in accordance with Subpart H of Part 172. The answer is no.
The training requirements in the HMR do not apply to persons who handle unregulated
materials. However, persons who load andlor unload hazardous materials as described in this
letter must be trained.
I hope this answers your inquiry.
Sincerely,
Susan Gorsky
Acting Chief, Standards Development
Office of Hazardous Materials Standards

<<<PAGE 3>>>

ExxonMobil Chemical Company
Intermediates, Synthetics Product Stewardship
P.O. Box 3140
Edison, New Jersey 08818
732 321 6033 Telephone
732 321 6057 Facsimile
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ExonMobil lm~fllflg
Chemical bgfl/78
June 25.2008
U.S. Department of Transportation
Pipeline and Hazardous Materials Safety Admin (PHH- 10)
Office of Hazardous Materials Safety
1200 New Jersey Avenue, SE East Building, 2nd Floor
Washington, DC 20590
Attn: Mr. Edward T. Mazzullo, Director
Office of Hazardous Materials Standards
Dear Mr. Mazzullo:
Two matters recently arose for which we seek your consideration. The first matter deals with a few select
products we produce and ship primarily by rail tankcar. These products vary from being a combustible liquid;
n.0.s. to non-regulated but in all cases these products release unincorporated hydrogen into the vapor space of
the tankcar. While the vapor pressure is less than 40 psi, the hydrogen has been measured from 2% to 80%
concentration in air. The published flammable limits (LEL - UEL) of hydrogen are 4% to 75%. As you can see,
we don't havi'a Division 2.1 issue but we are concerned about the potential flammable and/or explosive issue
surrounding shipment of these products.
1. Question. Based on the information stated above are there any hazardous material regulatory issues
(classification & packaging) we should be concerned with.
2. Question.'Are we correctly classifying our products by limiting the classifications where appropriate to
combustible liquid, n.0.s or non-regulated?
The second isiue deals with thiihiljkeit of no;-regulated and portable tanks.
materkls in sdecification rail tank cars, cargo tanks
3. Question. Are persons who only load and/or unload non-regulated materials to and fiom bulk specification
packagings required to be trained in accordance with Subpart H to Part 172?
Although we have the utmost appreciation for your time and obligations, we seek a prompt response so that we
may ensure only compliant shipments are placed into commerce.
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Sh6uldtheie ti6iaij~~uesti'on's: cbn$ernirig this r'iqhkst, I may be &itacted at the above address or contact
numbers shown below.
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Tharks for your help in this matter.
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Sincerely, ' . ~ . . .
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Fax (732) 321-6057 . * . ..
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Email: ron.j.stokzs@exxonmobil .com
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A Division of Exxon Mobil Corporation
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