# U.S. Department of Energy Office of Packaging and Transportation — Hazardous Materials Safety Interpretation

- **operation:** document
- **citation:** 11-0040
- **title:** U.S. Department of Energy Office of Packaging and Transportation — Hazardous Materials Safety Interpretation
- **source type:** guidance
- **agency:** Pipeline and Hazardous Materials Safety Administration
- **status:** guidance
- **official:** true
- **published on:** 2011-08-25
- **effective on:** Not available
- **summary:** 11-0040 response to U.S. Department of Energy Office of Packaging and Transportation concerning 171.1.
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- **source url:** https://www.phmsa.dot.gov/sites/phmsa.dot.gov/files/legacy/interpretations/Interpretations/2011/110040.pdf
**body:**

<<<PAGE 1>>>

u.s. Department 1200 New Jersey Avenue SE
of Transportation Washington, DC 20590
Pipeline and Hazardous
Materials Safety
Administration
AUG 2 G 2011
Mr. James M. Shuler
Manager, DOE Packaging Certification Program
U.S. Department of Energy
Office of Packaging and Transportation
EM-45. CLOV-2047
1000 Independence Ave., SW
Washington, DC 20585
Ref. No. 11-0040
Dear Mr. Shuler:
This responds to your letter dated Febmary 16, 2011. regarding the applicability of the
Hazardous Materials Regulations (HMR; 49 CFR Parts 171-180) to the Department of
Energy's (DOE) National Nuclear Safety Administration (NNSA) response asset teams
including, but not limited to. the Radiological Assistance Program (RAP). the Nuclear
Radiological Advisory Teams (NRAT), the Accident Response Group (ARG). and the
Joint Technical Operations Teams (JTOT), when performing its Nuclear/Radiological
Detection. Search and Consequence Management mission (NRDSCM)-directed activities.
fn your letter. you state the DOE/NNSA Federal response asset teams are made up of both
government and contractor employees who work under the direction of the Lead Federal
Agency (LFA) (typically the Department of Homeland Security (DHS) or the Federal
Bureau of Investigation (FB!)). Additionally, you state the DOE/NNSA government and
contractor personnel, in the performance of their official duties, routinel y transport
regulated hazardous materials in DOE vehicles, across state lines, and on public or private
property or highways. You ask whether the HMR apply differently to DOE/NNSA
government personnel and government contractor personnel response asset team activities.
For contract employees, the answer is yes. in general, any person who transports a
hazardous material in commerce or causes a hazardous material to be transported in
commerce is subject to the Federal hazardous material transportation law (Federal hazmat
law), 49 U.S.C. §§ 5101-5127. and the HMR. 49 U.S.C. § 5103(b). The term "commerce"
means transportation that is or affects interstate trade or traffic. 49 U .S.c. § 51020).
Thus. a "person" who. under government contract, transports or causes a hazardous
material to be transported in commerce is subject to the HMR (see § 171.1 (b)). The
"[ t jransportation of a hazardous material in a motor vehicle. aircraft, or vessel operated by
a Federal. state or local government employee solely for noncommercial federal, state or

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local government purposes" is not subject to the HMR (see § 171.1 (d)( 5) ) (emphasis
added).
The HMR do not apply to transportation that is entirely on private property and neither
follows, nor crosses, a public way. Property is regarded as private if public access is legally
and actuall y restricted from the area where transportation occurs (see § 171.1 (d)( 4)).
Additionally, transportation of a hazardous material for national security reasons under the
conditions specified in § 173.7(b) is not subject to the HMR.
I trust this satisfies your inquiry. Please contact us if we can be of further assistance.
Sincerely,
T. Glenn Foster
Chief, Regulatory Review and Reinvention Branch
Standards and Rulemaking Division

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~i y'e(}~
'41'71.1
Department of Energy
Washington, DC 20585 A ppl iC:lA-~:ti!!J
February 16,2011 11-0010
Charles E.Betts, Director
Office of Hazardous Material Standards
U.S. Department of Transportation
Pipeline and Hazardous Materials Safety Administration
East Building, Attn: PHH-I0
1200 New Jersey Ave. SE
Washington D.C. 20590-0001
Dear Charles Betts
The U.S. Department of Energy (DOE), including the National Nuclear Safety Administration
(NNSA), requests an interpretation concerning the applicability ofthe Hazardous Material
Regulations to DOE response asset team activities. The attached "Request for Interpretation
on Applicability ofHazardous Materials Regulations to U. S. Department ofEnergy Federal
Response Asset Teams Transportation for Analysis" provides the supporting documentation
for this request. This supporting documentation also includes a copy ofthe Federal Motor
Carrier Safety Administration (FMCSA) letter on May 24, 2004 which provided the FMCSA
interpretation ofa similar DOE request for interpretation.
An electronic copy ofthis letter and the supporting documentation is being sent to
infocntr@dot.gov .
If you have any questions, please feel free to me at 301-903-5513.
Sincerely
James M. Shuler
Manager, DOE Packaging Certification Program
U.S. Department of Energy
Office ofPackaging and Transportation
EM-45, CLOV-2047
1000 Independence Ave., SW
Washington, DC 20585
Enclosure
cc: Stephen O'Connor, EM-45
*
Printed with soy ink on recycled paper

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Request for Interpretation on Applicability ofthe Hazardous Materials Regulations to U.S.
Department ofEnergy Federal Response Asset Teams Transportation of Samples for Analysis
Introduction
The Department ofEnergy (DOE), including the National Nuclear Safety Administration
(NNSA), is seeking a position on the applicability ofthe Hazardous Materials Regulations to
DOE response asset teams within DOE including, but not limited to the Radiological Assistance
Program (RAP), the Nuclear Radiological Advisory Teams (NRAT), the Accident Response
Group (ARG), and the Joint Technical Operations Teams (JTOT), when performing their
Nuclear/Radiological Detection, Search and Consequence Management mission (NRDSCM)directed
activities. The DOEINNSA Federal response asset teams consist ofa blending ofboth
DOEINNSA employees and DOEINNSA contractor employees who are under the direction of
the Lead Federal Agency (LF A) requesting their assistance, usually the Department ofHomeland
Security (DHS) and/or the Federal Bureau oflnvestigation (FBI).
Basis
DOEINNSA is required to maintain a response capability that currently consists ofDOEINNS A
employees and direct contract employees who together make up the DOE technical expert and
consequence management asset that supports requests by and under the direction of LF As in
radiological and or nuclear detection search efforts.
In 2004 the DOE approached the Federal Motor Carrier Safety Administration (FMC SA)
regarding the operation ofCommercial Motor Vehicles for these response assets and the
applicability ofthe FMCSA regulations. In the response from FMCSA, dated May 24, 2004
(attached), it was determined that the DOE teams were covered by the exemption for government
transportation under 49 CFR 390.3(f)(2). The rationale was that ..."the contract workers who
serve on DOE's emergency response teams are so completely embedded in governmental
organizations controlled and managed by Federal personnel that they are functionally
indistinguishable from government employees."
Activities
Upon request ofan LF A, usually DHS or the FBI, or the Federal Radiological Monitoring and
Assessment Center (FRMAC), DOE provides technical experts to the LFA. The DOE technical
experts are a mix ofDOE and DOE contractors who are deployed representing DOE and are
under the direction and control ofthe LF A and DOE.
In the course ofconducting Radiological and/or Nuclear Detection and Search Operations and
FRMAC operations, DOE technical experts collect samples of materials that are evidence that
must be analyzed as part oftheir activities.
The DOE response team sampling activities include the collection and movement of samples
such as contamination smears, grain, feed, water, soil, vegetation, and discreet suspected items.
These samples are then transported back to either a centralized staging area or a mobile field
laboratory set up to allow for initial screening and analysis ofmaterials to determine ifthe initial
detection and search missions have been effective in determining the location, and possibly the
identification, ofradioactive materials. The technical expertise, equipment, and protocol for

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taking and handling necessary samples will vary depending on the request, mission, and/or
expected response actions.
The response asset teams also move operating nuclear and radiation detection equipment in the
conduct oftheir mission to support an LF A's request for Radiological and/or Nuclear Detection,
Search or Consequence Management
The travel involved in conducting these activities can be to locations where there are no
roadways and access is only by offroad vehicles, on private roadways, or on public roadways.
Under certain circumstances the roadways may be closed to public access by law enforcement or
emergency response personnel depending on the type and location ofan event.
There are four (4) main activities performed by the Federally directed DOE response asset teams:
Training: Upon request and coordination with an LF A, DOE will prepare radioactive source
material and nuclear/radiological detection instrumentation, which are moved either by shipping
using commercial carrier or by the DOE asset team in Government vehicles, to an approved
location for storage and then later used as part ofthe training activities. During training
activities the radioactive source material may be placed in locations approved by the LFA and
DOE to allow for "live" material detection and search training. In conducting detection and
search activities some instrumentation that would meet the definition of a hazardous material
must be utilized during transportation, unpackaged as part ofthe operation ofthe equipment (it is
intended to be used while in motion), for the equipment to function properly.
Detection: During a detection mission, the Federally directed DOE response asset teams are
generally in a fixed location in the conduct oftheir activities. In this mode there are times when
transportation of instrumentation will need to occur as part ofthe detection mission. Ifmalicious
material is detected and isolated in the field by DOE technical experts, they will securely
package the material as directed and agreed upon by the LFA's requirements for preservation of
evidence. In conducting this task DOE technical experts will be focused on containment and
utilizing appropriate radiological protection to reduce potential dose to as low as reasonably
achievable to protect the safety ofthe immediate workers and public. Once material is packaged,
the LF A will direct when and how the material is to be placed into a mode oftransport and who
will transport the material, under the direction and supervision of the LF A, to a location
designated by the LF A.
Search: During a search mission the Federally directed DOE response asset team are not in a
fixed location, but rather are moving from one location to another. In this mode they may have
to collect evidence samples from different locations and return to a central collection point or
mobile laboratory facility to achieve screening ofthe materials they have collected. In the event
a source material is located, it may be necessary for the Federally directed DOE response asset
teams to perform initial containment ofthe material to ensure that immediate personnel and
public safety are protected and the material may need to be transported to another location
deemed appropriate, by the LFA, to ensure the physical security ofthe material while preserving
the health and safety ofthe public. At this fixed location, which will vary depending on the
geographical location of the discovery, and the resources available to support the retention ofthe
material and ensure its physical security, the material then will be packaged according to the
LFA procedures to ensure evidence integrity, and prepared for shipment to a final destination in
a compliant packaging. These tasks are usually completed by the DOE technical experts.

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Consequence Management: Under Federal direction the DOE response asset team's
Consequence Management activities include both the Detection and Search missions above
being performed, after an event releases radioactive material to the environment, as part ofthe
mission to determine the extent and location ofradioactive material contamination and exposure
to the general public. In performing this task, samples ofdifferent media must be taken to make
accurate public health determinations based on analysis that cannot be performed in the field to
the accuracy needed. These include collection ofgrain, vegetation, water, soil, milk, feces, air
and smear samples ofsurfaces at different locations. These samples may not meet the definition
ofa hazardous material if taken from an area outside the highest concentrations, but there may be
a need to take samples, as directed by the LF A, from an area within in the highest contamination
deposition areas. In these cases there is no way to determine accurately in the field ifthe
materials meet the definition ofa hazardous material. Samples taken are packaged according to
a criteria set forth by the LF A and the NuclearlRadiological Incident Annex to the National
Response Plan (NRP) required by Homeland Security Presidential Directive (HSPD) 5, which
addresses the response ofFederal agencies to terrorist incidents involving both nuclear or
radioactive materials (Incidents ofNational Significance), and accidents or incidents involving
such material that mayor may not rise to the level ofan Incident ofNational Significance.
Authority
These DOE response asset team activities are conducted under the NuclearlRadiological Incident
Annex to the NRP, or under authority ofthe Home Security Act of2002, The Post-Katrina
Emergency Management Reform Act of2006, The Captain of the Port Authority (33 CFR 1),
U.S. Customs Authority (19 USC), Emergency Federal Law Enforcement Assistance Act,
Weapons ofMass Destruction Act 18 U.S.C. Section 2332a, Atomic Energy Act of 1954,
Defense Against Weapons ofMass Destruction Act, National Nuclear Security Administration
Act of 2000, HSPD-5: Management ofDomestic Incidents, HSPD-7: Critical Infrastructure,
Prioritization, and Protection, HSPD-8: National Preparedness, HSPD-17IHSPD-4: National
Strategy for Combating Weapons ofMass Destruction, NSPD-43IHSPD-14: Domestic Nuclear
Detection, NSPD-46IHSPD-15 and its Annexes and Appendices: United States Policy and
Strategy for the War on Terror, National Implementation Plan for the War on Terror, National
Response Framework, Maritime Operational Threat Response, Aviation Operational Threat
Response.
Questions for which DOE Request Interpretation
In general these questions are for the interpretation of49 CFR 171.1 Applicability ofHazardous
Material Regulations (HMR) to persons andfunctions and more specifically to 49 CFR 171.1(d)
Functions not subject to the requirements ofthe HMR, and mainly 49 CFR 171(d)(5) concerning
Federal and 49 CFR 171.1(d)(6) which address "non-commercial purposes" and how these apply
to the activities described above when they are performed by both DOE and DOE contractors
under Federal directions.
Q: Are DOE response asset teams mission activities as directed by a Lead Federal Agency noncommercial
activities in the context of49 CFR 171.1(d)(6)?
Q: 49 CFR 171.1(d)(5) excludes movement by Federal, State and Local government employees
when moving for Federal, State and Local government purposes. Is this exclusion applicable to
DOE response asset teams?

<<<PAGE 7>>>

Q; Ifthe DOE response teams are moving material on roadways that are closed to public access
by Law Enforcement or Emergency Management Agency personnel, is that movement in
commerce?
Q: Ifthe DOE response teams are moving material on roadways that are closed to public access
by Law Enforcement or Emergency Management Agency personnel, is that movement noncommercial
in the context of49 CFR 171.1 (d)( 6)?
Q: Ifdirected by a Federal, State or Local Law Enforcement Officer to move a hazardous
material from one location to another, would that movement, when performed by a DOE
response asset team, be movement in commerce?
Q: Ifdirected by a Federal, State or Local Law Enforcement Officer to move a hazardous
material from one location to another, would that movement, when performed by a DOE
response asset team, be non-commercial transportation?
Q: Ifa DOE response asset team is operating covertly with unmarked vehicles while conducting
its response mission under the direction ofthe Lead Federal Agency, would movement of
materials be non-commercial?

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Ial002
U.S. Department
ofTrcnsporration
FecleroJ Moto"Carrier MAY 24 2004
safety Adminisbmion
Administralor 400 SQwnth St., S.W.
Washington, D.C, 20590
.Refer To: MC-C.C
Ms. ElIaB.McNeil
Transportation Emergency Management Specialist
Offi,ce \)fTtausportation, EM-ll
u.s. Department of:Energy
19901 Germantown Road
Getmantown, MD20874
DearMs, McNeil:
I, ' ••
_.... ____
• ~ .,
,Y'OIfa:sKeO the Feaerai Motor rJarner'Safuty"Adniinisti-a.tfon~h~therth~-~~hicl~ ana <irivers
used by the U.S. Depamnent ofEnergy's (DOE) Office ofEmergency Response are exempt
from the Federal Motor CarriCl;' Safety RegulatioDs(FMCSRs). either under
49 C.Rlt. 390.3(f)(2). dealillg with transportation performed by government, or under
§ 390.3(£)(5), conee:mingfiN trucks and rescue vehicles.
l"oureported that DOE maintains several emergency ~nk teams: the Radiolo~cal
Assistance Program (RAP). Nuclear Rad~logical Advisory:reams (NRATj,the AcCjdep.t.
R.eSp~nse~q~ (MG)~ ,andJ9irit Technical.Operations Teams:(JT0T).. 'Tf:i~se j~~'~
ttainedto·as~Fedent.'-> TnD~ St&teand local'authorities during.,a'potentl'al"or'actuaJ . :
-~ ..... ~ 1;, -i' ,t ... • • ..- ", .. _"': • t., ,~. ~ I' .. /" -
radiologic~e:rnergeucy. ~o.Qg other:thi,n.gs,. these teams proVldeinPDltonilg and',' .,.'
~5eSsm.enfortljE!sc.enearid' advise on.5tep$tb.atooula be taken ,totnintm;ze·hazafds. Uutess
the intrldent'tiivolvf$n:i.ateriaiscowned by DO~ a team is dispatcbed only at the request of
Federal, Tribal, State or looalofficials.
l"'t~ ~
Under a Memorandum ofAgt'e¢men1: between the Department ofHwneland Security (DUS)
and DOE signed onFePtuatY 28. 2Q03, DRS will assume OP,erational control ofARG and
RAP team$ that are sunttnoned toa nOD-DOE facility in connection with an actual or
t.b.reatened:tetrorist attack, m~or disaster. or other emergency.-
. .... . '..... ~ .­'
Tbe teams are composed ofDOE empl~y~ and indiVidual eontraotors, all chosen (or in the
ease ofcou.tractors. hireq) for speoi:fic kinds ofteehnical ex:pertise.Theoperation.alleader of
a particular team may be either a POE employee or a eontraptor, but all ofthe teams are .
contrqUed and managed byOOE personnel, sometimes under the further supervision ofDHS
employees.
+ "J j.
TIietruoksQperated by; the.teams ~II,~lY, thouih DOt,always, Ilave ·gfOSS vehicle or" ,'. '
combinatiolJ:'~eight ratitms ofJQ.OOlpound$::or more., The ;v:elUtl~ are.owiled b:VD<;lE and
truirkea hU:~. (Jpvermn.entJ
; ~d"Foromcia1, useO:nIy" in accotdance Witlf41-C:F.R:.. 102.
34.1'10; TIiey have'U.S. Governnlent ~~ensp plates. Training aocO'unts for about halfofthe
mileage genenited by th~se vehicles~ ;real responses for the otherhalf. DOE's emergebcy .
response teams Cl'OssState lines with some frequency. ' .

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~003
2
~h driver has the driver's license required by bis Ot her home State for that type oftruck.
Somevehicles caxry cylinders ofcompressed·oxygen for self·contained breatmng apparatus,
butllbtinquantities that require p1acatding. Only one team operates vehicles subject to 49
C.F.It. Part 383; these drive18 hold ct)DllD.ercial drivers' licenses and participate in the drug
and aicoho1 testing programs requited by 49 C.P.It. Part 382.
mligbt.oftbis infonnation,weconclucle tl$ DOE's emersency response teams are covered
by the exemption for government traD.5portation in § 390.3(1)(2), Al:thougb: the ibpctiOI\$ of
DOE teams mew many ways compar~le to those ofemergency response vehicles~ the mote
salient fact is.tbat they 8l'e simply government teams ope.r:atinggovemm.ent-c)wned trucks for
governmental purposes. COllttaCtoIS employed. by a. Feden;ll OT State agency are not
neoeS$8tily ex.em~ under § ~90.3(OO).Qt,rt the cont@ct wol'kers who serve on DOE's
emergencyresponseteamsare"so~JetelfembeddedingpvemmentaJ ~j~ons .
__, _,.._ -~. -. .
¢~lJeet-EUtd :managedi:ly'Fed,etat~1Iiirt1iii ~ctloua11y indistitlguishable
from gover.mnem employees. DOB's emergency response teams -RAP, NRAT~ MG,
ITOr and. any similar teams thatJl,lay later be established..... are therefore exempt from the
FMCSRsunder 49 C.F.R..390.3(f)(2).
I hqpe thi~ infu.utIationi$help:ful. Ifyou need additional information 01 assistance contact
Charles Medalen at 202..366·0834.
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