# Moeller Marine Products, Inc. — Hazardous Materials Safety Interpretation

- **operation:** document
- **citation:** 09-0097
- **title:** Moeller Marine Products, Inc. — Hazardous Materials Safety Interpretation
- **source type:** guidance
- **agency:** Pipeline and Hazardous Materials Safety Administration
- **status:** guidance
- **official:** true
- **published on:** 2009-06-10
- **effective on:** Not available
- **summary:** 09-0097 response to Moeller Marine Products, Inc. concerning 173.24, 178.503.
- **machine formats:** - **json:** https://regulus.evalyn.ai/document/phmsa-interpretation-09-0097.json
- **markdown:** https://regulus.evalyn.ai/document/phmsa-interpretation-09-0097.md
- **app url:** https://regulus.evalyn.ai/document/phmsa-interpretation-09-0097
- **source url:** https://www.phmsa.dot.gov/sites/phmsa.dot.gov/files/legacy/interpretations/Interpretations/2009/090097.pdf
**body:**

<<<PAGE 1>>>

U.S. Department of Transportation
Pipeline. and Hazardous Materials
Safe A rn' i tration
JQ 1t !kg
1200 New Jersey Ave, S.E.
Washington, D.C. 20590
Mr. Earnie Cook
Director of Technical Services
Moeller Marine Products, Inc.
North Spring Street
Sparta, TN 38583
Ref. No. 09-0097
Dear Mr. Cook:
This responds to your April 28,2009 email requesting clarification of the applicability of
certain requirements under the Hazardous Materials Regulations (HMR; 49 CFR Parts 17 1 -
180). You provide results of your product packaging tested in accordance with the non-bulk
performance-oriented packaging testing requirements in Part 178, Subpart M. Your
questions are paraphrased and answered as follows:
Q1. Is a special permit required for a packaging that has successfully passed the tests
prescribed in Part 178, Subpart M of the HMR?
Al. No. A special permit is not required for a packaging successfully tested in accordance
with Part 178, Subpart M and capable of conforming to the general packaging requirements
of 5 173.24 while in transportation.
Q2. Does PHMSA issue a certificate indicating successful testing in accordance with Part
178, Subpart M of the HMR?
A2. No. In accordance with $ 178.503, it is the manufacturer's responsibility to properly
mark every packaging that is represented as being manufactured to meet a UN standard. This
marking is the manufacturer's certification that the packaging conforms to the applicable UN
standard. We note that for the 29-gallon container, the packaging identification code in the
marking presented in the test results should not include a " W unless required by an approval
under 5 178.601 (h). Additionally, for both the 14- and 29-gallon containers, the marking
must include the year of manufacture as required by 5 178.503.
43. Are our employees required to be trained?
A3. Yes. Those employees considered hazmat employees as defined in 5 17i .8 must be
trained in accordance with Part 172, Subpart H of the HMR. Hazmat employees include
individuals who design, manufacture, fabricate, inspect, mark, maintain, recondition, repair,
or test a package that is represented, marked, certified, or sold as qualified for use in
transporting hazardous material in commerce.

<<<PAGE 2>>>

44. If a special permit is not required and PHMSA does not issue a certificate, can we begin
manufacturing once training of our hazmat employees is complete?
A4. PHMSA does not place restrictions on when you may or may not manufacture
packaging. However, no person may, by marking or otherwise, represent that a container or
package for transportation of a hazardous material is safe, certified, or in compliance with the
HMR unless it meets all applicable regulations (9 171.2G)). Additionally, each hazmat
employee who performs a h c t i o n subject to the HMR (such as those described in A3) may
not perform that function unless instructed in the requirements of the HMR that apply to that
function. A hazmat employee may perform a job function prior to completion of training
provided the employee performs the function under the direct supervision of a properly
trained and knowledgeable hazmat employee and the training is completed within 90 days
after employment or a change in job function. See 5 172.702(b).
Sincerely.
Charles E. Betts
Chief, Standards Development
e of Hazardous Materials Standards

<<<PAGE 3>>>

Page 1 of 2
&r Krnderevl
Drakeford,
2178. LOO: 6b9 a P a r S M
Carolyn cPHMSA>
- - %**\ 3
From: Betts, Charles <PHMSA>
Sent: Tuesday, April 28,2009 12:37 PM
To: Drakeford, Carolyn <PHMSA>
Cc: Mazzullo, Ed <PHIVISA>; Gorsky, Susan <PHMSA>
Subject: FW: Product Review Group I1 Container tested under 49 CFR 178 Subpart M
Importance: High
Attachments: MM220-Gas Walker Sell Sheet.pdf; 18390-1 GW14 Test Report.pdf; 18381-1 29GW Test
Report. pdf
Carolyn please log in for assignment this request for interpretation.
Thanks,
Charles
From: ECook@moellermarine.com [mailto:ECook@moellermarine.com]
Sent: Tuesday, April 28, 2009 12:07 PM
To: INFOCNTR <PHMSA>
Cc: Betts, Charles <PHMSA>; Mazzullo, Ed <PHMSA>
Subject: Product Review Group I1 Container tested under 49 CFR 178 Subpart M
Good Day Mr. Ed Mazzullo and Mr. Charles Betts,
I have a few questions related to a new product my organization is preparing to produce. I hope this e-
mail is directed to the correct parties within US DOT.
We recently purchased a company named Tempo Products, which produced a 14 gallon & 29 gallon
portable gas dock, A.K.A - "Gas Walkers" It was our understanding these products complied with the 49
CFR 178 Subpart M. In order to cover our internal liability on new product introduction we
manufactured a limited production run of 14 gallon & 29 gallon Gas Walkers, for 3rd party testing.
Those test reports are attached to this e-mail for US DOT review.
The questions are:
Since our 14 & 29 gallon Gas Walkers passed the 49 CFR 178 Subpart M, is a Special Permit
Required?
Does USDOT issue a certificate indicating our product meets the 49 CFR 178 Subpart M?
We will be required to train our employees to the " Hazmat Employee" requirements within 49
CFR?
If a Special Permit is not required and USDOT does not issue a certificates, if training is required
-once completed Moeller can begin manufacturing ?
See the attached product sell sheet and test reports performed.
(See attachedfile: MM220 Gas Walker Sell Sheet.pdJ (See attachedjile: 18390-1 G W14 Test
Report.pdJ (See attached file: 18381 -1 29G W Test Report.pdJ

<<<PAGE 4>>>

Page 2 of 2
Please advise as soon as possible. Thank you for your time..
Earnie Cook
Director of Technical Services
Moeller Marine Products
Sparta , TN Facility
Phone. 1.800.432.8344 ext. 248
Cell 1.931.434.5161
e-mail. ecook@moellermarine.com
This message and any files transmitted with it contain privileged and confidential information. This
message is intended only for the use of the individual or entity to whom it is addressed. If you are not
the intended recipient, or an employee or agent responsible for delivering this message to the intended
recipient, you are hereby notified that any disclosure, dissemination, distribution, copying, or
exploitation of, or taking any action in reliance on the contents of this message is strictly prohibited. If
you have received this message in error, please notify the sender by email reply and delete this message
from your system. Thank you.
- **truncated:** false
- **body characters:** 6386
