09-0054
09-0054
Page 1U.S. Department of Transportation Pipeline and Hazardous Materials Safety Administration 1200 New Jersey Ave. S.E. Washington. D.C. 20590 APR 1 6 2009 Mr. Loren K. Lowry Director of Quality Assurance and Regulatory Affairs Ricca Chemical Company LLC 448 West Fork Drive Arlington, TX 7601 2 Ref. No.: 09-0054 Dear Mr. Lowry, This is in response to your March 12,2009 letter requesting clarification of the Hazardous Materials Regulations (HMR; 49 CFR Parts 100- 185). Specifically, you request confirmation that a product containing 0.1 % Picric Acid (2,4,6-Trinitrophenol) dissolved in acetone may appropriately be described as Acetone, CTN 1090. Under 5 173.22, it is the shipper's responsibility to class and describe a hazardous material. This Office does not normally perform this function. Picric acid (UN0154) is explosive when dry and requires approval from the Associate Administration prior to transport of the material. However, it is the opinion of this Office that a 0.1% concentration of picric acid is sufficiently diluted in solution so that the solution is not regulated as a Class 1 explosive or as a Class 3 desensitized explosive liquid. Therefore, "UN 1090, Acetone, 3,II" is appropriate to describe the product. I hope this information is helpful. If you have further questions, please do not hesitate to contact this office. Hattie L. Mitchell Chief, Regulatory Review and Reinvention Office of Hazardous Materials Standards#
Page 23172, 101 . proper Shippin Drakeford, Carolyn <PHMSA> s --- *-- - -- .-- -- ** .-%-- --%-- - . -v - --- - --- em ---- 0 9 A c > 5 --- . From: INFOCNTR <PHMSA> Sent: Thursday, March 12,2009 12:32 PM To: Drakeford, Carolyn <PHMSA> Subject: FW: Request for Interpretation From: Loren Lowy [mailto:llowy@riccachemical.com] Sent: Thursday, March 12,2009 11:15 AM To: PHMSA HM Infocenter Subject: Request for Interpretation This is a request for interpretation concerning the intent of 49 CFR parts 171 - 180 with respect to the selection of a proper shipping name for Trinitrophenol solutions that are dissolved in Acetone or other solvents. Attached is a letter of interpretation from 2000 that agreed with the requestor that a solution of 1.3% Trinitrophenol in water did not meet the definition of a hazardous material and therefore was not covered by the regulations. This request for interpretation concerns a solution of 0.1% Trinitrophenol in Acetone or other solvents. Am I correct in the reasoning that if 1.3% Trinitrophenol in water is not regulated due to the Trinitrophenol, then a solution of 0.1% Trinitrophenol in Acetone would not be regulated due to the Trinitrophenol but would be regulated with the proper shipping name of Acetone solution UN1090? The hazards of this solution are solely based on the Acetone and not the Trinitrophenol. Thank you for your consideration. Loren K. Lowy Director of Quality Assurance and Regulatory Affairs Ricca Chemical Company LLC 448 West Fork Drive Arlington, TX 7601 2 81 7-701 -3305 Fax 81 7-795-8848 e-mail: ~lowy@riccachemical.com#
This material provides agency context. It does not replace binding regulatory text, and its legal effect depends on the underlying authority and facts.