09-0221
09-0221
Page 1u.s. Department 1200 New Jersey Ave., SE of Transportation Washington. DC 20590 Pipeline and Hazardous Materials Safety Administration FEB 5 2010 Mr. Tom Ferguson Technical Consultant The Council on Safe Transportation of Hazardous Articles, Inc. 7803 Hill House Court Fairfax Station, VA 22039 Ref. No.: 09-0221 Dear Mr. Ferguson: This responds to your September 24, 2009 letter regarding requirements for oxidizers and compressed oxygen when cylinders are transported by air under the Hazardous Materials Regulations (HMR; 49 CFR Parts 171-180). Specifically, you ask whether oxygen cylinders transported by an airline for use by cabin crews in the event of smoke or depressurization in the cabin are eligible for the exceptions provided in § 175.501(e). The answer is no. Section 175.501(e) applies only to medical-use compressed oxygen that is either owned or leased by the air carrier for passenger use during flights or offered for transportation by a passenger needing it for personal medical use at a destination. Oxygen cylinders transported by an airline to be used in the event of an emergency on board the aircraft must be transported in accordance with the requirements in § 175.8(a) regarding airworthiness and items of replacement (company material (COMAT)). I trust this satisfies your inquiry. Please contact us if we can be of further assistance. Sincerely, 1~----- Hattie L. Mitchell Chief, Regulatory Review and Reinvention Office of Hazardous Materials Standards#
Page 2September 24, 2009 President Robert Heinr'ich Novartis Pharmauuticals Robert.Heinrich@novanis.com First Vice Presideot Donald Bossow JobnsonDiver"Sey,lltc. donald.bossow@johnoondiversey.com Second Vice Pr'esidentIT reasurer John D1Aloia Mary Kay, Inc. john.d'alaia@mkcorp.com Secretary Jeanne Z-mich Labelmaster JEANNEZ@a1c-net.com Executive Committee Member Richard Lattimer Eli Lilly and Company KLattimer@lilly.oom Boa .. d ofDirectors Jeanette DeGennaro Thermo Fisher Scientific jeanette.degennaro@fuermofisher.com Steven Dishion Procter &: Gamble dishion.sl@pg.com David Evans Purolator Courier Ltd. devans2@purolator.com Amy Fischesser Sun Chemical COl'por'ation amy.fischesser@na.sunchem.com Alicia Gaines Abbott Laboratories aJicia.gaines@abbott.com Dave Madsen Autoliv, Inc. Dave.Madsen@autoliv.com ruth Moskowitz Amel'ican Trucking Association~ Inc. rmoskowitz@trucking.org - Christopher Palabl'ica, CPM, CHMM Mays Oemital Co. chrisp@mayschem.com General Counsel Richard Schweitzer, PLLC Office of Hazardous Materials Safety Pipeline and Hazardous Materials Safety Administration U.S. Department of Transportation • 1200 New Jersey Avenue, SE N I e..keJs East Building, 2nd Floor ~ 115.g Washington, DC 20590 ~ f15 . ~() I Via: infocntr@dot.gov Ii .It f ndet!.., I ~ Oq.. 01.JA-I The Council on Safe Transportation of Hazardous Articles (COSTHA) includes within its membership a number of air carriers that serve both domestic and internationl:ll destinations. These carriers are subject to both 14 CFR and 49 CFR requirements when transporting or shipping hazardous materials, including company materials (COMAT). In PHMSA Docket No. RSPA-04-17664 (HM-224B) Final Rule effective October 1,2007, amendments were made to Parts 173 and 175, 49 CFR. Among those amendments included the requirement of specific, performance-based packaging for oxygen and oxidizer cylinders. As you are aware, commercial aircraft operate in a pressure-reduced atmosphere when at altitude. Therefore, many carriers offer medical oxygen for use by passengers who require it for proper respiratory functions above 8,000 feet. In addition, carriers are required by the Federal Aviation Administration (FAA) to maintain additional oxygen cylinders on board for emergency oxygen for the 'flight and cabin crew in the case of smoke in the cabin or depressurization. Thus, this rule has the potential to impact both passenger medical oxygen as well as a carrier's emergency medical oxygen programs. Per 49 CFR 175.8(a){2), oxygen cylinders installed or carried within the aircraft and used specifically for emergency crew oxygen are not subject to the Hazardous Materials Regulations (HMR) because such materials are required under airworthiness requirements and operating regulations. Paragraph (a)(3) of 49 CFR 175.8 also details that items of replacement are subject to HMR, and must be handled and transported accordingly. However, the HMR does provide conditions which allow the transportation of oxygen cylinders in the cabin of the aircraft within 49 CFR 175.501 (e). Specifically, 175.501 (e) states: The Council on Safe Transportation of Hazardous Articles, Inc. 7803 Hill House Court Fairfax Station, VA 22039 Phone: 703/451-4031 Fax: 703/451-4207 mail@costha.com www.costha.com#
Page 3(e) A cylinder containing medical-use compressed oxygen, owned or leased by an aircraft operator or offered for transportation by a passenger needing it for personal medical use at destination, may be carried in the cabin of a passengercarrying aircraft in accordance with the following provisions: ... The paragraph goes on to specify quantity, size, and minimal packaging standards that must be met. The definition of medical-use compressed oxygen is of particular importance given the new requirements of HM-224B. Does oxygen required for emergency medical use, owned or leased by the air carrier, and transported as company materials qualify for this exception detailed in 175.510(e)? The wording "owned or leased by an aircraft operator or offered for transportation by a passenger needing it for personal medical use at destination [bold and italics added for emphasis]" suggests that emergency medical oxygen bottles that are subject to the HMR (not installed for airworthiness requirements) but transported as company materials are indeed eligible for transport under 175.51 O(e). Any clarification with this issue would be greatly appreciated by our membership. Sincerely, 7~'9~ PG, CHMM, DGSA Technical Consultant#
This material provides agency context. It does not replace binding regulatory text, and its legal effect depends on the underlying authority and facts.