# Lighting Eliminators & Consultants, Inc. — Hazardous Materials Safety Interpretation

- **operation:** document
- **citation:** 09-0253
- **title:** Lighting Eliminators & Consultants, Inc. — Hazardous Materials Safety Interpretation
- **source type:** guidance
- **agency:** Pipeline and Hazardous Materials Safety Administration
- **status:** guidance
- **official:** true
- **published on:** 2009-12-02
- **effective on:** Not available
- **summary:** 09-0253 response to Lighting Eliminators & Consultants, Inc. concerning 173.220.
- **machine formats:** - **json:** https://regulus.evalyn.ai/document/phmsa-interpretation-09-0253.json
- **markdown:** https://regulus.evalyn.ai/document/phmsa-interpretation-09-0253.md
- **app url:** https://regulus.evalyn.ai/document/phmsa-interpretation-09-0253
- **source url:** https://www.phmsa.dot.gov/sites/phmsa.dot.gov/files/legacy/interpretations/Interpretations/2009/090253.pdf
**body:**

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U.S. Deportment of Transportation Pipeline and Hazardous Materials
Safety Administration
DEC i 2009
1200 New Jersey Avenue, SE
Washington, DC 20590
Mr. Lee Howard
Program Manager
Lighting Eliminators &
Consultants, Inc.
6687 Arapahoe Road
Boulder, Colorado 80303
Ref. No.: 09-0253
Dear Mr. Howard:
This responds to your letter dated November 2,2009, regarding the requirements in the
Hazardous Materials Regulation (HMR; 49 CFR Parts 171-180) applicable to a small
electric powered generator run by gasoline in a fuel tank having a capacity of less than
one gallon. According to your letter, the motor or internal combustion engine within the
generator is similar to that of a lawn mower. The generator operates test equipment used
to perform surveys in remote locations. You plan to ship the generator on/in a standard
wooden pallet or a shipping case on a commercial freight truck (e.g., DHL, Fed EX, etc.)
for transportation by highway.
Mechanical equipment containing an internal combustion engine and a flammable liquid
fuel tank, such as your motorized small electric powered generator, is subject to the
requirements ofthe HMR when transported as cargo on a motor vehicle, rail car, vessel
or aircraft (see § 173.220(a)). For transportation by motor vehicle or rail car, provided
the fuel tank is securely closed, the mechanical equipment is not subject to any other
requirements under the HMR (e.g., shipping papers, labeling, marking, placarding, or
emergency response information). Fuel may remain in engines and fuel tanks when
transported by highway or rail (see § 173.220(b)(4) and (g)(l) and (2)).
I hope this information is helpful. Ifwe can be of further assistance, please contact us.
Sincerely, { ;'\
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il):H .. 'n ".(';L~
j iiCharles
E. Betts
tChief, Standards Development
Office of Hazardous Materials Standards
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Page 1 of2
Drakeford, Carolyn (PHMSA)
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From:
INFOCNTR (PHMSA)
Sent:
Monday. November 02, 2009 2: 10 PM
To: Drakeford, Carolyn (PHMSA)
Subject: FW: Request for Formal Letter
From: Lee Howard [mailto:LEE@LightningEliminators.com]
Sent: Monday, November 02,20099:38 AM
To: INFOCNTR (PHMSA)
SUbject: Request for Formal Letter
Dear reader,
Recently I have been in discussion with members ofthe Hazardous Materials Information Center office to
answer/clarify a question I had regarding the transportation of gasoline within a electric power generator.
have a small electric power generator that runs on gasoline - the fuel tank's capacity is less than 1 gallon. The
motor within the generator would be similar to that of a lawn mower. I am an electrical engineer and the
generator will be used to run test equipment when I am performing surveys in remote locations. The question I
have regards the shipping of the generator to the test sites with fuel in the tank. At this point I would like to
place the generator on/in a standard wood pallet, or a shipping case and ship it, over the road, via a freight truck
i.e. DHL, Fed Ex, etc, to the sites.
In reviewing 49 CFR, I believe part 173.220 is relevant: "Internal combustion engines, self-propelled vehicles,
mechanical equipment containing internal combustion engines, and battery powered vehicles or equipment."
My question, more directly, is section (b) "Requirements", paragraph (4) "Modal exceptions": where it generally
states that quantities of flammable liquid fuel greater than 500 ml may remain in the mechanical equipment
( i.e. I do not need to drain the fuel tank and fuel lines) when being transported by motor vehicle or rail car.
The definition of }}motor vehicle" then became important and was found in part 171" General information,
regulations and definitions•••" in short the definition states "Motor vehicle includes a vehicle, machine, tractor,
trailer, or semitrailer, or any combination thereof, propelled or drawn by mechanical power and used upon the
highways in the transportation of passengers or property..."
It is my interpretation then, that the over the road shipment of the generator, in a pallet or case, via a national
carrier such as DHL, with or without fuel in the fuel tank meets 49 CFR and is therefore permissible. I reviewed
my interpretation with a Hazardous Materials Information Center representative, named Victoria, when I called
800.447.4922. Victoria came to the same conclusion I had and our conversation ended. The Logistics Manager
of our company was surprised and asked me to get it writing... So, after another phone call and receipt of an email
address, here I am asking you to review the sections listed above in anticipation of a formal letter from your
office essentially stating that based on the method of shipping, that a freight truck is considered a "motor
vehicle" and that shipment of the generator with or without fuel, via a freight truck is permissible.
I thank you for your patience in reading my long-winded explanation and I look forward to your response.
Oq~0253
Regards,
Lee Howard
Program Manager
11/2/2009

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R&D I Smart Ground
Direct: (303) 951-3124
LeeH@LECgiobal.com
Lightning Eliminators & Consultants, Inc.
6687 Arapahoe Road. Boulder. Colorado 80303. USA
Phone: +1 (303) 447-2828
FAX: +1 (303) 951-3224
:w"(w.LJ:C.gIQl1aL~Qm
1112/2009
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