# URS Corporation — Hazardous Materials Safety Interpretation

- **operation:** document
- **citation:** 10-0186
- **title:** URS Corporation — Hazardous Materials Safety Interpretation
- **source type:** guidance
- **agency:** Pipeline and Hazardous Materials Safety Administration
- **status:** guidance
- **official:** true
- **published on:** 2010-10-29
- **effective on:** Not available
- **summary:** 10-0186 response to URS Corporation concerning 171.8, 173.241, 173.35.
- **machine formats:** - **json:** https://regulus.evalyn.ai/document/phmsa-interpretation-10-0186.json
- **markdown:** https://regulus.evalyn.ai/document/phmsa-interpretation-10-0186.md
- **app url:** https://regulus.evalyn.ai/document/phmsa-interpretation-10-0186
- **source url:** https://www.phmsa.dot.gov/sites/phmsa.dot.gov/files/legacy/interpretations/Interpretations/2010/100186.pdf
**body:**

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U.S. Department of Transportation Pipeline and Hazardous Materials Safety Administration
ocr 29 2010
1200 New Jersey Ave, SE
Washington, D.C. 20590
Ms. Erin N. Jannan
DRS Corporation
1600 Perimeter Park Drive, Suite 400
Morrisville, NC 27560
Reference No.: 10-0186
Dear Ms. Jannan:
This responds to your September 1, 2010 letter regarding packaging requirements for diesel fuel
under the Hazardous Materials Regulations (HMR; 49 CFR Parts 171-180). Your questions are
paraphrased and answered as follows:
Q1. Is it possible for a packaging to be tested and dual-marked as both an Intermediate Bulk
Container (IBC) and a portable tank?
AI. The answer is no. An IBC is defined by the HMR as a rigid or flexible portable packaging,
other than a cylinder or specification portable tank, that is designed for mechanical handling
(see § 171.8).
Q2. If an !BC has not been tested according to the retest requirements set forth in 49 CFR Part
178, Subpart 0, must the UN marking be removed or obliterated to continue to be used?
°
A2. The requirements applicable to IBC retesting are set forth in 49 CFR Part 178, Subpart
and
reference specifically Part 180, Subpart D. As provided by § 173.35, when an IBC is
identified as an UN specification container by the specification plate, it must meet the
specification and be retested in accordance with Part 180, Subpart D regardless ofwhether
the materi~l is hazardous or not. Ifan IBC has not been retested, one must obliterate, cover,
or make illegible the specification identification on the specification plate in order for the
!BC to continue to be used as a non-specification container without being retested.
Q3. By removing or obliterating the UN Marking of the IBC, it is our understanding based on
DOT interpretation Letter Ref No. 08-0286 that this packaging could be considered a nonspecification
bulk packaging. Is that correct?
A3. The answer is yes. The previously issued interpretation (Ref. No. 08-0286) you cite in your
inquiry remains valid. Because the specification markings are destroyed, removed, or

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covered, the packaging no longer meets the standards of an IBC in accordance with the
HMR. The packaging in your scenario is a non-specification bulk packaging.
Q4. If the answer to Q3 is yes, could this non-specification bulk packaging satisfy the' packaging
requirements found in § 173.241, which permits the use ofnon-specification portable tanks
for the transportation of high flashpoint diesel fuel?
A4. The answer is yes. If the specification markings are destroyed, removed, or covered, the
packaging no longer meets the standards of a specification packaging in accordance with the
HMR. Therefore, the packaging is a non-specification bulk packaging and can be considered
a non-specification portable tank. In accordance with § 172.102 special provision B 1, a
material with a flash point at or above 38° C (100° F) and below 93° C (200° F) can use the
bulk packaging requirements in § 173.241, which allow for the use of non-specification
portable tanks.
I hope this satisfies your inquiry. Please contact us if we can be of further assistance.
Sincerely,
~rff~~~
T. Glenn Foster
Chief, Regulatory Review and Reinvention
Office of Hazardous Materials Standards

<<<PAGE 3>>>

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September 1, 2010
Mr. Charles E. Betts
Director, Office of Hazardous Materials Standards
U.S. DOT/PHMSA (PHH-lO)
1200 New Jersey Avenue, SE East Building, 2nd Floor
Washington, DC 20590
Dear Mr. Betts:
I am writing to you with regards to the packaging requirements for diesel fuel under 49 CFR §172.1 02,
Special Provision B I. Specifically, Special Provision B 1 states the fo\1owing:
"Ifthe material has a flash point at or above 38° C (100° F) and below 93° C (200° F), then the bulk
packaging requirements of §173.241 ofthis subcbapter are applicable."
In addition to other types of packaging, 49 CFR §173 .241 permits the use of non-DOT specification
portable tanks suitable for the transport of liquids. It also permits the use of various intermediate bulk
container (JBC) types.
Per the definition for "intermediate bulk container" found in 49 CFR §172.1 0 1, the term specifically
excludes portable tanks, however the definition of "portable tank" in that same section seems to describe
typical JBCs that are used in industry, since many of them are "equipped with skids, mountings, or
accessories to facilitate handling ofthe tank by mechanical means."
My questions are as follows:
I) Is it possible for a packaging to be tested and dual marked as both an IBC and a portable tank?
2) Ifan JBC has not been tested according to the retest requirements set forth in 49 CFR Part 178, Subpart
0, must the UN marking be removed or obliterated to continue being used?
3) By removing or obliterating the UN marking of the JBC, it is our understanding based on DOT
Interpretation Letter Ref. # 08-0286 that this packaging would then be considered a non-specification
bulk packaging. Is that correct?
4) If the answer to Question 3 is YES, could this non-specification bulk packaging satisfy the packaging
requirements found in § 173 .241 which permits the use of non-specification portable tanks for the
transportation of high flash point diesel fuel?
Thank you in advance for your assistance. I look forward to your response.
Sincerely,
Erin N. Jarman
Environmental Scientist
URS Corporation
1600 Perimeter Park Drive, Suite 400
Morrisville, NC 27560
Tel: 919-461-1478
Erin_Jarman@urscorp.com
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