# MidAmerican Energy Holdings Company — Hazardous Materials Safety Interpretation

- **operation:** document
- **citation:** 10-0055
- **title:** MidAmerican Energy Holdings Company — Hazardous Materials Safety Interpretation
- **source type:** guidance
- **agency:** Pipeline and Hazardous Materials Safety Administration
- **status:** guidance
- **official:** true
- **published on:** 2010-10-26
- **effective on:** Not available
- **summary:** 10-0055 response to MidAmerican Energy Holdings Company concerning 172.101, 173.115, 173.202, 173.242.
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- **markdown:** https://regulus.evalyn.ai/document/phmsa-interpretation-10-0055.md
- **app url:** https://regulus.evalyn.ai/document/phmsa-interpretation-10-0055
- **source url:** https://www.phmsa.dot.gov/sites/phmsa.dot.gov/files/legacy/interpretations/Interpretations/2010/100055.pdf
**body:**

<<<PAGE 1>>>

U.S. Department of Transportation Pipeline and Hazardous Materials Safety Administration
OCT 26 20m
1200 New Jersey Ave, SE
Washington, D.C. 20590
Mr. Douglas E. Lunstra
Manager, Safety Audit and Compliance
MidAmerican Energy Holdings Company
1200 South Blauvelt Avenue
Sioux Falls, SD 57105
Reference No. 10-0055
Dear Mr. Lunstra:
This is in response to your e-mail to the Pipeline and Hazardous Material Safety
Administration's (PHMSA's) Hazardous Materials Information Center requesting clarification of
the Hazardous Materials Regulations (HMR; 49 CFR Parts 171-180) applicable to packaging.
Specifically, you state your company wants to transport "UN 3336, Mercaptan mixture, liquid,
flammable, n.o.s., 3 (flammable liquid), Packing Group (PG) II" in tightly sealed DOT
Specification 4BW 240 cylinders. You state the product has a strong odor and your company
would like to use these cylinders with a 450 L (119 gallon) capacity to transport this product in
accordance with the HMR.
You state vendors ofthese cylinders have informed you their standard cylinder in this size has a
water capacity of 1,000 pounds. You state that you have always considered this equal to
119 gallons in volume, but have learned the cylinder's liquid capacity is 119.8 gallons. We have
paraphrased your questions and answered them in the order you provided. We apologize for the
delay in responding and any inconvenience this may have caused.
Ql. Is a 1,000 pound water capacity cylinder that is considered a non-bulk packaging for
Division 2.1 (flammable) gases, such as ''UN 1075, Petroleum gases, liquefied," a bulk
packaging when used to transport Class 3 (flammable) liquids?
AI. No. Any cylinder with a water capacity of454 kg (1,000 pounds) or less as a receptacle for
a gas as defined in § 173.115 is a non-bulk packaging under the HMR (see § 171. 8). A
cylinder is considered a bulk or non-bulk packaging based on the capacity ofthe cylinder,
not the weight or volume ofhazardous material contained in the cylinder.
Q2. If a 1,000 pound water capacity cylinder is considered a bulk packaging for flammable
liquids, is this cylinder no longer acceptable as a packaging for PG II flammable liquids
since cylinders are not authorized under § 173.242 in Column (8C) ofthe Hazardous
Materials Table (§ 172.101 Table) as a bulk packaging for these liquids?

<<<PAGE 2>>>

A2. In 2005 (70 FR 34066), PHMSA revised the HMR to set forth both non-bulk and bulk
cylinder packaging authorizations in the packaging sections prescribed for a hazardous
material in Column (8B) ofthe § 172.101 Table, with certain exceptions (see
§ 172.101(i)(5». For "UN 3336, Mercaptan mixture, liquid, flammable, n.o.s., 3, PG II,"
this packaging section is § 173.202. Therefore, as prescribed in § 172.101 (i)(5),
§ 173.202(c) authorizes the use ofnon-bulk and bulk DOT specification cylinders, with the
exception ofDOT Specification 8 and 3HT cylinders, as a packaging for this mercaptan
mixture provided it is prepared and transported in accordance with all applicable
requirements ofthe HMR.
Q3. Does the language in § 173.202 that authorizes DOT specification cylinders prescribed in
the HMR for a compressed gas, other than DOT Specification 8 and 3HT cylinders, allow a
1,000 pound water capacity cylinder to be used as a packaging for PG II flammable liquid?
A3. Yes. See Answer A2.
I hope this satisfies your request.
;7/~~
T. Glenn Foster
Chief, Regulatory Review and Reinvention
Office of Hazardous Materials Standards
2

<<<PAGE 3>>>

Drakeford, Carolyn (PHMSA)
From: Supko, Ben (PHMSA)
Sent: Monday, March 08, 2010 10:10 AM
To: Drakeford, Carolyn (PHMSA)
Subject: FW: Bulk vs. Non-Bulk Packaging
From: Lunstra, Douglas E
Sent: Thursday, November 19, 20098:22 AM
To: 'infocntr@dot.gov'
Subject: Bulk vs. Non-Bulk Packaging
Please provide guidance on the proper packaging application for hazardous materials. We transport Mercaptan
mixture, liquid, flammable, n.o.s., Hazard Class 3, UN3336, PGII, and want to standardize on the appropriate
non-bulk packaging. The material is used as natural gas odorant and is very odoriferous. We plan to use
cylinders to transport this product as it needs to be sealed tightly to avoid escaping odors and the potential
nuisance of erroneous reports of natural gas leaks that escaping odors would create.
The general requirements for packaging for liquid hazardous materials in packing group II at 49CFR 173.202
allows the use of "Cylinders, specification, as prescribed for any compressed gas, except for Specifications 8
and 3HT" for non-bulk packaging. We are in the process of acquiring cylinders and had specified "DOT 4BW
240" with a 119 gallon capacity. Vendors advised us that their standard cylinder in this size is 1,000 pounds
water capacity.
§171.8 provides definitions for bulk and non-bulk packaging:
Bulk packaging means a packaging, ... which has:
(1) A maximum capacity greater than 450 L (119 gallons) as a receptacle for a liquid;
(2) ... ; or
(3) A water capacity greater than 454 kg (1000 pounds) as a receptacle for a gas as defined in §173.115 ofthis
subchapter.
Non-bulk packaging means a packaging which has:
(1) A maximum capacity of 450 L (119 gallons) or less as a receptacle for a liquid;
(2) ... ; or
(3) A water capacity of 454 kg (1000 pounds) or less as a receptacle for a gas as defined in § 173.115 of this
subchapter.
We had always considered the 119 gallon and the 1,000 pound water capacity to be the same volume; however,
the 1,000 pound water capacity cylinder has a liquid capacity of approximately 119.8 gallons.
Questions:
1. 2. Does this 1,000 pound water capacity cylinder that would be non-bulk packaging for Hazardous Class
2.1 material such as propane (Petroleum gases, liquefied) constitute a bulk packaging when used for a
flammable liquid, Hazard Class 3?
If it is considered a bulk packaging, is this cylinder no longer acceptable, as cylinders are not included as
authorized for bulk packagings in § 173.242?
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