# Air Liquide America Specialty Gases LLC — Hazardous Materials Safety Interpretation

- **operation:** document
- **citation:** 10-0183
- **title:** Air Liquide America Specialty Gases LLC — Hazardous Materials Safety Interpretation
- **source type:** guidance
- **agency:** Pipeline and Hazardous Materials Safety Administration
- **status:** guidance
- **official:** true
- **published on:** 2010-12-28
- **effective on:** Not available
- **summary:** 10-0183 response to Air Liquide America Specialty Gases LLC concerning 171.23, 173.301.
- **machine formats:** - **json:** https://regulus.evalyn.ai/document/phmsa-interpretation-10-0183.json
- **markdown:** https://regulus.evalyn.ai/document/phmsa-interpretation-10-0183.md
- **app url:** https://regulus.evalyn.ai/document/phmsa-interpretation-10-0183
- **source url:** https://www.phmsa.dot.gov/sites/phmsa.dot.gov/files/legacy/interpretations/Interpretations/2010/100183.pdf
**body:**

<<<PAGE 1>>>

U.S. Department ofTransportation Pipeline and Hazardous Materials Safety Administration 1200 New Jersey Ave, SE
Washington, D.C. 20590
DEC 2 8 2010
Mr. Ralph Diaz
Air Liquide America Specialty Gases LLC
2700 Post Oak Blvd., Suite 1800
Houston, TX 77056
Reference No.: 10-0183
Dear Mr. Diaz:
This is in response to your letter requesting clarification of the Hazardous Materials Regulations
(HMR; 49 CFR Parts 171-180) applicable to the filling of non-DOT, non-UN/ISO compressed
gas cylinders for export. Specifically, you ask for verification that the requirement found in
§ 171.23(a)(4)(ii) specifying that non-DOT, non-UN/ISO compressed gas cylinders for export
must be equipped with a pressure relief device (PRD) is the intention of the United States
Department of Transportation and not an error.
On August 8, 2002, the Research and Special Programs Administration (the predecessor
organization to the Pipeline and Hazardous Materials Safety Administration (PHMSA» issued a
final rule under Docket No. HM-220D [67 FR 51625] to amend various requirements related to
the maintenance, requalification, use, and repair of DOT specification cylinders. As part of this
rulemaking, § 173.301(1) was added and specified the "requirements for filling foreign cylinders
for export." As you noted in your incoming letter, as recently as 2003-2004, § 173.301(1)
allowed "A cylinder not manufactured, inspected, tested and marked in accordance with part 178
of this subchapter, or a cylinder manufactured to other than a DOT specification or exemption,
may be filled with a gas in the United States and offered for transportation and transported for
export" under certain conditions, none of which required the cylinder to be equipped with a
PRD. On May 3,2007, PHMSA published a final rule under Docket No. HM-215F [72 FR
25161] which revised and consolidated the requirements applicable to the use of the authorized
international standards. As part of this rulemaking, PHMSA moved the cylinder import/export
requirements from paragraphs (k) and (1) in § 173.301 to a new § 171.23. These sections were
not intended to be modified, only moved from one location in the regulations to a new location.
This issue will be addressed in a future rulemaking.
Thank you for identifying this need for clarification and bringing it to our attention.
Sincerely,
T. Glenn Foster
Chief, Regulatory Review and Reinvention Branch
Standards and Rulemaking Division

<<<PAGE 2>>>

~ AIR LlQUIDE J
2700 Post Oak Blvd.
Suite 1800
Houston, IX 77056
August 12,2010
Mr. Charles,Bett~. Director
PHMSA Office ofHazardous Materials Standards
U.S. Depa~entoflransportation
EastBuilding, PHH-20
1200 New Jersey Avenue, SE
Washington, D.C. 20590-0001
Dear Mr. Betts:
We bring to the attention of U.S. DOT, a requirement within the regulations that appears to be in error.
Title 49 CFR 171.23 pertains to "Requirements for specific materials and packagings transported under
the lCAO Technical Instructions, IMDG Code, Transport Canada TOG Regulations, or the IAEA
Regulations". As subparagraph 171.23(a)( 4)(ii) pertains to a pressure relief device requirement, the
regulation states, "Filling ofcylinders for export or for use on board a vessel: A cylinder not
. manufactured, inspected, tested and marked in accordance with part 178 ofthis subchapter, or a cylinder
manufactured to other than a UN standard, DOT specification, exemption or special pennit, may be filled
with a gas in the United States and offered for transportation and transported for export or alternatively,
for use on board a vessel, ifthe ..... maximum filling density, service pressure, and pressure relief
device for each cylinder confonn to the requirements .... for the gas involved; ...".
Note that 171.23(a)( 4)(ii) is a relatively new change to the previous regulation, 49 CFR 173.301(1)(2)
which required (as recently as 2003 2004), that a non-DOT cylinder, as described above, could be filled
for export provided " ... the maximum filling density and service pressure for each cylinder confonn to
the requirements ofthis part for the gas involved." There was no requirement for the non-DOT package
to comply with pressure relief device requirements in the U.S. Note that the previous version in 49 CFR
173.301(1)(2) was in harmony with the policy overseas where a cylinder valve is not equipped with, and
does not require, a pressure relief device except for certain products (i.e., liquefied gaseous products).
The compressed gas industry periodically encounters requests to fill non-DOT, non-UNIISO compressed
gas cylinders for export purposes only; however, because ofthe change to the regulations circa 2005,
cylinders manufactured to other than a UN standard or DOT specification that are shipped as empty
cylinders to the USA for the purpose of filling AND EXPORTINU back to the customer overseas can no
longer be filled and exported to customers globally.
1

<<<PAGE 3>>>

~ AIR LlGUIOE J
2700 Post Oak Blvd.
Suite 1800
Houston, TX 77056
In our opinion, the change that was made to the regulations in 49 CPR 171.23(a)( 4)(ii), that pertains to
filling and exporting non-DOT or non-UN/ISO standard cylinders and mandates the use of a pressure
relief device, was in error and not the intent ofU.S. DOT.
Please respond to Air Liquide with any regulatory relief from, or a clarification or explanation for, 49
CFR 171.23(a)(4)(ii).
Sincerely,
Ra::?:n~~7
Air Liquide America Specialty Gases LLC
2700 Post Oak Blvd, Suite 1800
Houston, TX 77056
(713) 499-6867
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