# University of Wisconsin Radiation Calibration Laboratory — Hazardous Materials Safety Interpretation

- **operation:** document
- **citation:** 10-0040
- **title:** University of Wisconsin Radiation Calibration Laboratory — Hazardous Materials Safety Interpretation
- **source type:** guidance
- **agency:** Pipeline and Hazardous Materials Safety Administration
- **status:** guidance
- **official:** true
- **published on:** 2011-01-28
- **effective on:** Not available
- **summary:** 10-0040 response to University of Wisconsin Radiation Calibration Laboratory concerning 173.302, 173.306, 173.310.
- **machine formats:** - **json:** https://regulus.evalyn.ai/document/phmsa-interpretation-10-0040.json
- **markdown:** https://regulus.evalyn.ai/document/phmsa-interpretation-10-0040.md
- **app url:** https://regulus.evalyn.ai/document/phmsa-interpretation-10-0040
- **source url:** https://www.phmsa.dot.gov/sites/phmsa.dot.gov/files/docs/standards-rulemaking/hazmat/interpretations/61806/100040.pdf
**body:**

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U.S. Department of Transportation Pipeline and Hazardous Materials Safety Administration
1200 New Jersey Ave, SE
Washington, D.C. 20590
JAN 2 8 2011
Ms. Wendy S. Kennan
Radiation Safety Officer
Brachytherapy Calibrations
University of Wisconsin Radiation Calibration Laboratory
Accredited Dosimetry and Calibration Laboratory
B 1 002 Wisconsin Institutes for Medical Research
1111 Highland Avenue
Madison, WI 53705-2275
Reference No. 10-0040
Dear Ms. Kennan:
This is in response to your letter and subsequent telephone conversation with a member of my
staff concerning radiation detectors your organization receives annually for recalibration from a
number of clients and returns back to them. You state the detectors, some of which are
permanently sealed, contain air or "UN 1008, Argon, compressed, 2.2 (non-flammable)" gas in
an internal chamber or cylinder at a pressure that meets or exceeds 40.6 psia (25.9 psig or 1.8
atm) with no release device. You also state some clients ask if these detectors are unregulated
when transported by motor vehicle or rail transport. You further ask at what pressure the
detectors are regulated as a non-flammable compressed gas under the Hazardous Materials
Regulations (HMR; 49 CFR Parts 171-180).
This agency previously authorized radiation detectors containing pressurized gas to be
transported in Department of Transportation (DOT) specification and non-specification cylinders
under the terms of a special pennit and in conformance with §§ 173.302 or 173.306. We revised
the HMR, effective October 1,2010, to permit radiation detectors that contain Division 2.2 gas
to be transported in non-specification packagings and, unless transported by aircraft, excepted
from the hazard communication labeling and placarding requirements provided the devices are
designed, packaged, and transported in accordance with the provisions prescribed in new
§ 173.310. (See Docket No. PHMSA-2009-0289 (HM-233A; 75 FR 27205)). Specifically,
§ 173.310 requires the radiation detectors to: 1) be single-trip, hennetically-sealed, welded,
metal inside containers that will not fragment upon impact; 2) have a design pressure of4.83
MPa (700 psig) or less and a capacity of 641 cubic inches (355 fluid ounces) or less; 3) have a
burst pressure that is three times the design pressure or more if equipped with a pressure relief
device and four times the design pressure or more if not equipped with a pressure relief device;
4) be shipped in a strong outer packaging capable ofwithstanding a 1.2 meter (4 foot) drop test
without breaking the radiation detector or rupturing the outer package; and 5) be packed in a
strong outer packaging or in equipment that provides a level ofprotection equivalent to that of a

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strong outer packaging when shipped as part of other equipment. In addition, § 173.310 requires
that each shipment of radiation detectors must be accompanied by emergency response
information, and respondents at each emergency response telephone number for these devices
must identifY the receptacles that are not fitted with a pressure relief device and provide
appropriate guidance on how to manage these devices when exposed to fire.
If the provisions of § 173.310 are not appropriate for the radiation detectors, the detectors must
meet the DOT specification packaging requirements for the hazardous material they contain or
meeting the Division 2.2 hazard class must be properly described, packaged in DOT
specification packagings authorized for the hazardous material they contain, and marked and
labeled in conformance with the requirements prescribed in the HMR for a non-flammable gas
when intended or offered for transportation in commerce. Section 173 .1IS(b) defines a Division
2.2, non-flammable, non-poisonous compressed gas as a liquefied or cryogenic gas that exerts in
a packaging a gauge pressure of200 kPa (29.0 psig/43.8 psia) or greater at 20°C (68 OF).
Radiation detectors that do not meet the definition of a DOT hazard class under the HMR are not
regulated as a hazardous material.
I hope this satisfies your request.
Sincerely,
r4/~
T. Glenn Foster
Chief, Regulatory Review and Reinvention Branch
Standards and Rulemaking Division
2

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MEDICAL RADIATION RESEARCH CENTER
6100Z WIMR 1111 HIGHLAND AVE MADISON, WI 53705-2275
TEL: 608.262.6320 FAX: 608.262.5012 uwmrrc.wisc.edu
January 29,2010
U.S. DOT PHMSA
Office ofHazardous Materials Standards
Attn: PHH-lO East Building
1200 New Jersey Avenue, SE
Washington, DC 20590-001
I just finished the FedEx Dangerous Goods Shipper's Seminar. While there, I asked for
clarification on a shipping issue, and the instructor suggested I contact Patrick Oppenheimer,
Senior Manager-Safety Programs at FedEx Express.
He delegated my question to a Senior Federal Express Hazardous Materials Manager,
Thomas Leech.
His interpretation follows with a caveat:
"In accordance with the Hazardous Materials Regulations (HMR 49 CFR
Part 173.22), it is the shippets responsibility to properly. classify and
describe. haz~dous_ I)lat~n$.ls7d.~g~.rous gp94s... ff9~eve.t, based on the
information provided, your interPretation is correct. Radiation' detectors
are subject to Class 2, Division 2.2 requirements when the pressure in the
tube or chamber exceeds 300kPa (43.5 psia). "
I am asking for your interpretation on this matter.
" , , . ,,~
. Our
laboratory receives8;I).clships ou~ i~~~~ents u~e4~~ detect and measure radiation.
Some ofthese instruments aieperinaiiently sealed ahd cdntain either airor Argon under
pressure.
We have followed 49CFR173.115 to define which instruments must be shipped as dangerous
goods. As we understand it, an instrument which contains air or Argon under a pressure of
40.6 psia (25.9 psig or 1.8 atm) or more should be shipped as a dangerous good. [I have
included the conversion to atmospheres because most ofthe manufacturers ofthese devices
report pressure in atmospheres. We follow the information we can obtain from
manufacturers regarding the pressure ofthese instruments.]
UNIVERSITY OF WISCONSIN • RADIATION CALIBRATION LABORATORY

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Again. these instruments are designed to hold the gas they contain-there is no release device.
Could you please help either confirm that we are shipping these devices correctly, or explain
what we should be doing?
Thank you very much,
Wendy
Wendy S. Kennan
Brachytherapy Calibrations
University of Wisconsin Radiation Calibration Laboratory
Accredited Dosimetry and Calibration Laboratory
B1002 Wisconsin Institutes for Medical Research
1111 Highland Avenue
Madison WI 53705-2275
PH 608/265-9748
FAX 6081262-5012
wskennan@wisc.edu
UNIVERSITY OF WISCONSIN
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