{"operation":"document","citation":"10-0127","title":"AT&T — Hazardous Materials Safety Interpretation","source_type":"guidance","agency":"Pipeline and Hazardous Materials Safety Administration","status":"guidance","official":true,"published_on":"2010-10-20","effective_on":null,"summary":"10-0127 response to AT&T concerning 172.301, 172.400.","machine_formats":{"json":"https://regulus.evalyn.ai/document/phmsa-interpretation-10-0127.json","markdown":"https://regulus.evalyn.ai/document/phmsa-interpretation-10-0127.md"},"app_url":"https://regulus.evalyn.ai/document/phmsa-interpretation-10-0127","source_url":"https://www.phmsa.dot.gov/sites/phmsa.dot.gov/files/legacy/interpretations/Interpretations/2010/100127.pdf","body":"<<<PAGE 1>>>\n\nU.S. Deportment of Transportation Pipeline and Hazardous Materials Safety Administration\nOCT 20 2010\n1200 New Jersey Ave, SE\nWashington, D.C. 20590\nMr. Jim La Porte\nAT&T\n1670 Axtell\nTroy, MI 48084\nReference No. 10-0127\nDear Mr. La Porte:\nThis is in response to your letter requesting clarification of certain requirements under the Hazardous\nMaterials Regulations (HMR; 49 CFR Part 171-180) applicable to the transportation of \"Gasoline,\"\nUN1203. Your questions are paraphrased and answered below.\nQl. Are shipments of Gasoline, UN1203 that are transported in packages greater than 8 gallons\nrequired to be marked on one side of the package with \"Gasoline, UN1203\"?\nAI. Non-bulk packages are required to be marked on one side of the package with the proper\nshipping name (Gasoline) and identification number (UNI203) (see § 172.301). Non-bulk\npackages have a maximum capacity of 450 L (119 gallons) or less as a receptacle for a liquid\n(see § 171.8 for non-bulk packaging definition).\nBulk packages are required to be marked on each side and each end if the packaging has a\ncapacity of 3,785 L (1,000 gallons) or more, and on two opposing sides if the packaging has\na capacity of less than 3,785 L (1,000 gallons) for a liquid (see § 172.302). Bulk packages\nhave a maximum capacity greater than 450 L (119 gallons) as a receptacle for a liquid (see §\n171.8 for bulk packaging definition).\nQ2. Is the package required to be labeled with a Class 3, flammable liquid label?\nA2. As specified in § 172.400, the following packages are required to be labeled: (1) A non-bulk\npackage; (2) A bulk packaging, other than a cargo tank, portable tank, or tank car, with a\nvolumetric capacity of less than 18 m\n3 (640 cubic feet), unless placarded in accordance with\nsubpart F of this part; (3) A portable tank of less than 3785 L (1000 gallons) capacity, unless\nplacarded in accordance with subpart F of this part; (4) A DOT Specification 106 or 110\nmulti-unit tank car tank, unless placarded in accordance with subpart F of this part; and (5)\nAn overpack, freight container or unit load device, of less than 18 m3 (640 cubic feet), which\ncontains a package for which labels are required, unless placarded or marked in accordance\n\n<<<PAGE 2>>>\n\nwith § 172.512 of this part. Exceptions from the labeling requirements are specified in\n§ 172.400a.\nQ3. Are shipping papers required to be transported along with a material safety data sheet\n(MSDS) for gasoline?\nA3. Unless otherwise excepted, shipments of hazardous materials must be accompanied by\ndocuments meeting the shipping paper requirements as specified in Subpart C of Part 172 of\nthe HMR. An MSDS is not required by the HMR and is a Department of Labor's\nOccupational Safety and Health Administration (OSHA) requirement. However, shippers\nmay use the MSDS to satisfy certain HMR requirements, such as the shipping paper\nrequirements and the emergency response information requirements in § 172.602. If the\ninformation on the MSDS meets the HMR requirements for shipping papers, including that\nthe required information must be either entered first, entered in a clearly contrasting color, or\nidentified by an \"X\" placed before the basic shipping description in a column captioned\n\"HM\" (see § 172.201), the MSDS may be used to satisfy those requirements. As defined in\n§ 171.8, a shipping paper means a shipping order, bill of lading, manifest, or other shipping\ndocument serving a similar purpose and prepared in accordance with Subpart C of Part 172\nof the HMR.\nQ4. When is the driver of a hazardous materials shipment required to obtain a commercial drivers\nlicense (CDL) with a hazardous materials endorsement?\nA4. DOT's Federal Motor Carrier Safety Administration (FMC SA) issues the regulations that\nrequire a driver who transports hazardous material shipments to obtain a hazmat endorsement\non a CDL, however, the requirement for a hazmat endorsement applies only to shipments for\nwhich a placard is required under the HMR. CDLs and hazardous materials endorsements\nare regulated by FMC SA in 49 CFR Part 383. Questions regarding FMCSA regulations\nshould be directed to the appropriate FMCSA field office. A list of FMCSA field offices and\ncontact information is available at\nhttp://www.fmcsa.dot.gov/about/contact/offices/displayfield\nroster.asp. or you may contact them at their headquarters offices in Washington, D.C. at 202366-6121.\nQ5. Is a vehicle that is transporting Gasoline, UN1203 required to be placarded?\nAS. Unless otherwise excepted from the placarding requirements, the answer is yes. Placarding\nrequirements can be found in Subpart F of Part 172. In § 172.504(e), Table 2 specifies a\nflammable placard for Class 3 materials. Section 172.504( c) provides an exception from\nplacarding for Table 2 materials for shipments of non-bulk packages under I,OOllbs (454kg)\ntransported by highway or rail, however, the appropriate placard may be displayed regardless\nof the exception.\nQ6. Must \"transporters\" complete DOT hazardous materials training?\n\n<<<PAGE 3>>>\n\nA6. As specified in § 172.702, a hazardous materials employee that performs any function\nsubject to the HMR must meet the training requirements. You are not specific with your use\nof the word \"transporters,\" but a detailed definition of \"Hazmat employee\" may be found in §\n171.S and includes a person who operates a vehicle used to transport hazardous materials.\n07. What packagings are authorized for Gasoline, UN1203?\nA7. The HMR sections that authorize packagings for Gasoline, UN1203 may be found in the\n§ 172.101 Hazardous Materials Table (HMT) under the entry for Gasoline, UN1203 in\nColumn (SB) for non-bulk packagings (§ 173.202), Column (SC) for bulk packagings\n(§ 173.242) and Column (SA) for packaging exceptions (§ 173.150).\nI hope this information is helpful. Please contact this office if you need additional information.\nSincerely,\nr-7~\nT. Glenn Foster\nChief, Regulatory Review and Reinvention\nOffice of Hazardous Materials Standards\n\n<<<PAGE 4>>>\n\nDrakeford, Carolyn (PHMSA)\nFrom: LA PORTE, JAMES J (ATTSI) [j17454@att.com]\nSent: Wednesday, May 12, 20109:38 AM\nTo: Drakeford, Carolyn (PHMSA)\nCc: Boothe, Deborah (PHMSA)\nSubject: RE: Section 173.220, portable generators request for letter of clarification\nYou have been a big help. I have another item I would like to submit as a question with a written answer.\nCarolyn,\nGasoline\nFor ground transport of gasoline the following conditions would apply.\nGasoline carried in quantities per container greater than 8 gallons per container must comply with the following:\n1. The package/container must be marked on one side as follows: Gasoline, UN1203\n2. The package/container must be labeled with a class 3, flammable liquid label.\n3. Shipping Papers must be carried along with an MSDS sheet for gasoline.\nGasoline carried in excess of 119 gallons must comply with items 1-3 above as well as the following:\n1. The driver must obtain a Commercial Drivers License with a hazardous materials endorsement.\n2. The vehicle must be placarded with the appropriate placard.\nAdditionally transporters must complete DOT HAZMAT training. What container specification exist?\nPlease advise.\nJim La Porte\nAT&T\n1670 Axtell\nTroy, MI48084\nFrom: carolyn.drakeford@dot.gov [mailto : carolyn .drakeford@dot.gov]\nSent: Thursday, July 02, 2009 2:26 PM\nTo: LA PORTE, JAMES J (ATTSI)\nCc: deborah.boothe@dot.goY\nSubject: FW: Section 173.220, portable generators request for letter of clarifcation\nFrom: Boothe, Deborah (PHMSA)\nSent: Thursday, July 02, 20092:19 PM\nTo: Drakeford, Carolyn (PHMSA)\nSubject: FW: Section 173.220, portable generators request for letter of clarifcation\n1","truncated":false,"body_characters":7651}