# American Veterinary Medical Association — Hazardous Materials Safety Interpretation

- **operation:** document
- **citation:** 10-0188
- **title:** American Veterinary Medical Association — Hazardous Materials Safety Interpretation
- **source type:** guidance
- **agency:** Pipeline and Hazardous Materials Safety Administration
- **status:** guidance
- **official:** true
- **published on:** 2011-01-30
- **effective on:** Not available
- **summary:** 10-0188 response to American Veterinary Medical Association concerning 171.1, 172.704, 173.134, 173.199.
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- **app url:** https://regulus.evalyn.ai/document/phmsa-interpretation-10-0188
- **source url:** https://www.phmsa.dot.gov/sites/phmsa.dot.gov/files/legacy/interpretations/Interpretations/2010/100188.pdf
**body:**

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U.S. Department of Transportation 1200 New Jersey Ave, SE
Washington. D.C. 20590
Pipeline and Hazardous Materials
Safety Administration
Kristi Henderson, DVM
Assistant Director, Scientific Activities
American Veterinary Medical Association
1931 North Meacham Road, Suite 100
Schamburg, IL 60173
Reference No. 10-0188
Dear Dr. Henderson:
This is in response to your e-mail requesting clarification ofthe Hazardous Materials Regulations
(HMR; 49 CFR Parts 171-180) applicable to training requirements. Specifically, you request
guidance on what type of hazardous materials (hazmat) training and documentation is required to
ship veterinary medical samples. You also ask if the statements posted on your website pertaining
to this subject are correct, or need to be revised or supplemented. We have paraphrased your
statements and responded in the order you provided.
Q I: Is specific formal hazmat training and documentation ofthis training required for all staff,
including veterinarians, who package and/or transport Category A, Division 6.2 (infectious)
materials?
AI: The staff and veterinarians who package and transport Category A infectious substances are
required to have hazmat training. These requirements are prescribed in 49 CFR Part 172,
Subparts H (training) and I (security) of the HMR, and apply to all hazmat employers,
including those who are selfemployed, and hazmat employees who transport hazardous
materials in commerce. See § 171.1 (c) for the "transportation functions" description and
§ 171.8 for the definitions of"hazmat employer," "hazmat employee," and "hazardous
material." A hazmat employer must ensure that each of its hazmat employees has been
trained and tested, and create and retain a record oftheir current training as specified in
§§ 172.702 and 172.704(d). Hazmat employees must be retrained at least every three years.
The HMR are available at "www.ecfr.gov" under Title 49, Parts 1 00-180, or through the
regulations portion of our web site at ''http://hazmat.dot.gov.''
The standard hazmat training requirements of the HMR consist of five parts: (1) general
awareness; (2) function-specific; (3) safety; (4) security awareness training; and, when
transporting certain high hazard materials such as select agents, 5) in-depth security training
(see § 172.704(a»). Additional training requirements or exceptions to this training are
prescribed throughout the HMR based on the risks a hazardous material poses in
transportation and other safety factors, such as its packaging, employee knowledge of the

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material, or operational effects on a material or packaging that may occur in a specific mode
of transportation.
On October 1,2010, the Pipeline and Hazardous Materials Safety Administration (PHMSA)
revised the requirements for in-depth security training (see Docket Nos. PHMSA-06-25885
(HM-232F; 75 FR 10974) and PHMSA-201O-0195 (HM-244C; 75 FR 53593). These
changes include requiring that in-depth training contain information on organizational
security structure; specific security responsibilities for each employee; specific actions to be
taken by each employee if a security breach occurs; and expanded the list of materials that
require a security plan. They also include requiring that the plan contains an assessment of
the site and location-specific risks at the facilities where these materials are being prepared,
stored, or unloaded in transportation. Further, they expand the information that must be
included in the plan, require it to be reviewed annually, and require that all employees
responsible for implementing the plan be notified when the plan is updated or revised. See
§§ 172.704(a)(5), 172.800(b), and 172.802. If this in-depth security plan is revised within
the three-year recurrent training period, hazmat employees must receive training on the
revised plan within 90 days of its implementation (see § 172.704(c)(2».
Q2: Is informal hazmat training and documentation of this training required for all staff,
including veterinarians, who package and/or transport Category B, Division 6.2 (infectious)
materials?
A2: A "UN 3373, Biological substance, Category B" infectious substance must be transported in
conformance with the requirements prescribed in §§ 173.134 or 173.199 of the HMR. A
Category B infectious substance that meets the exceptions prescribed in § 173.134(b), such
as patient samples transported for research, or human or animal samples transported for
routine testing, is excepted from all other requirements of the HMR, including those for
hazmat training, provided the package conforms with the conditions required for the
material in § 173 . 134(b ). A hazmat employee that offers or transports a waste culture or
stock of a Category B infectious substance as a "UN 3291, Regulated medical waste, n.o.s.,
6.2, PG II" in the manner prescribed in § 173. 134(c)(2) must be hazmat trained. Category B
infectious substances packaged in conformance with § 173.199 need only be trained on, and
comply with, the requirements in that section (see § 173.199(e».
Q3: Most clinics package and transport Category B infectious substances on a routine basis. If
individuals who package these materials have not had the required training, is it imperative
that they receive this training immediately and that this training is documented? Will clinics
shipping Category A infectious substances need to have responsible staff formally trained on
transporting these materials?
A3: Unless otherwise excepted, individuals who perform pre-transportation and transportation
functions for Category A or B infectious substances for transportation in commerce are
hazmat employees and must be hazmat trained before performing these tasks. A record
must be made of this training, as described in Answers Al and A2. Hazmat employees
performing these tasks without this training may be in violation of the HMR. Enforcement
procedures and civil penalty guidelines for violations of the HMR are prescribed in 49 CFR
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Part 107, Subpart D. However, the HMR permit a new employee to perform regulated
functions and activities prior to the completion oftraining provided the employee performs
the functions under the direct supervision of a properly trained and knowledgeable hazmat
employee, and the new employee's training is completed within 90 consecutive days from
the first time they perform a regulated function. See § 171.1 (b) and ( c), and § 172. 704( c)( 1).
"Direct supervision" consists ofthe supervising employee instructing the new employee
how to properly perform the hazmat function, observing the employee's performance ofthe
function, and being able to take corrective action with regard to any function not performed
in conformance with the HMR.
Q4: Is each clinic responsible for maintaining the hazmat training record of its employees for at
least three years for each employee it has trained to package these materials?
A4: Each hazmat employer must create and retain a record ofcurrent hazmat training, inclusive
ofthe preceding three years, for each hazmat employee for as long as that employee works
for that employer, and for 90 days after the employee stops working for that employer, as
specified in § 172.704(d). However, the HMR do not specify the location of the training
documents, provided they are retained by the hazmat employer. Therefore, they may be
retained at an individual clinic or at a clinic's parent company headquarters. Wherever they
are retained, under 49 U.S.C. § 5121(b)(2), a hazmat employer must make the required
training documentation specified in § 172.704(d)(l) through (d)(5) available for inspection
to a designated officer, employee, or agent ofthe Secretary of Transportation when the
Secretary or his authorized representative conducts an investigation or makes a request. In
addition, a hazmat employer must make the security plan prescribed in 49 CFR Part 172,
Subpart I, available upon request to an authorized official ofthe Department of
Transportation or the Department of Homeland Security (see § 172.802(d).
Q5: Must hazmat training records be made available to the proper regulatory authorities upon
request?
A5: See A4.
Q6: Does the PHMSA publication "What You Should Know: a Guide to Developing a
Hazardous Materials Training Program" provide valuable information and resources,
including sample training records?
A6: PHMSA's Hazardous Materials Training Program guidance document explains the training
requirements in the HMR, identifies those employees who must be trained, and provides
several tools, including a sample employee training record, to help hazmat employers
develop and implement an effective training program for their employees. If you have not
already done so, you may also want to consult our publications entitled 1) "Transporting
Infectious Substances Safely," 2) "Enhanced Security Requirements (however, the list of
materials that require this training has changed - see Answer AI)," and 3) "Does Your
Hazmat Training Measure Up?" In addition, you may also find our interactive compact
disks (CDs), entitled "Hazmat General AwarenesslFamiliarization Training," and "Hazmat
Transportation Security Awareness Training Module Revised," helpful. These publications
3

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may be downloaded from our website or ordered, along with the CDs, at
"https:llhazmatonline.phmsa.dot.gov/services/" under the link for "Training Materials and
Publications." However, please note these materials must not be used as a substitute for the
requirements prescribed in the HMR.
I hope this satisfies your request.
Sincerely,
~/~~-
T. Glenn Foster
Chief, Regulatory Review and Reinvention Branch
Standards and Rulemaking Division
4

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Drakeford, Carolyn (PHMSA)
From: Betts, Charles (PHMSA)
Sent: Friday, September 03, 2010 1:46 PM
To: Drakeford, Carolyn {PHMSA}
Cc: Simon, Candace (PHMSA); Foster, Glenn (PHMSA)
Subject: FW: Questions about training -- infectious substances Cat. A & B
From: Dr. Kristi Henderson [mailto:KHenderson@avma.org]
Sent: Tuesday, August 17, 2010 12:34 PM
To: training (PHMSA)
Subject: Questions about training -- infectious substances cat. A & B
My name is Dr. Kristi Henderson, and I am one of the veterinarians on staff with the American Veterinary Medical
Association (AVMA) working with various topics, including those related to packaging and shipping of veterinary medical
samples. The AVMA and its membership need guidance on the type of training and documentation of such required for
veterinary practices I clinics I hospitals sending samples that fall within Category A or Category B infectious substances
because we have had questions from our membership about them.
The following is some of the information that we have recently compiled on our website at
http://www.avma.orq/issues/pack ship lab specimens.asp pertaining to specimen shipping. Can you tell me if the
following bullet points are correct, or if DOT recommends any edits, corrections, or additions? Other thoughts??
• Category A: Specific formal training and documentation of it is required for all staff (including
veterinarians) who package or transport items in this category.
• Category B: Training and documentation of it is required for all staff {including veterinarians} who
package or transport items in this category; however, the training may be informal and in-house.
• Most clinics package and ship Category B items on a routine basis. If the individuals who package these
items have not had the required training, it is imperative that they receive it immediately and that the
training is documented. Any clinics shipping Category A items will need to have the responsible staff
formally trained on the subject.
• Each clinic is responsible for maintaining the training record for at least 3 years for each employee trained
to package these substances.
• Training records must be made available to the proper regulatory authorities upon request.
•
records.
Any guidance you can provide regarding this will be greatly appreciated.
Sincerely,
'l(risti Jfenaerson, qy~;W
Assistant Director, Scientific Activities
American Veterinary Medical Association
1931 N. Meacham Road, Suite 100
Schaumburg, IL 60173
Phone: 847-285-6651 or 800-248-2862 x 6651
Fax: 847-925-9329
KHenderson@avma.org
www.avma.org
https:llwww.avmanetwork.org/default.aspx
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