# National Electrical Manufacturers Association — Hazardous Materials Safety Interpretation

- **operation:** document
- **citation:** 11-0060
- **title:** National Electrical Manufacturers Association — Hazardous Materials Safety Interpretation
- **source type:** guidance
- **agency:** Pipeline and Hazardous Materials Safety Administration
- **status:** guidance
- **official:** true
- **published on:** 2011-07-07
- **effective on:** Not available
- **summary:** 11-0060 response to National Electrical Manufacturers Association concerning 173.220.
- **machine formats:** - **json:** https://regulus.evalyn.ai/document/phmsa-interpretation-11-0060.json
- **markdown:** https://regulus.evalyn.ai/document/phmsa-interpretation-11-0060.md
- **app url:** https://regulus.evalyn.ai/document/phmsa-interpretation-11-0060
- **source url:** https://www.phmsa.dot.gov/sites/phmsa.dot.gov/files/legacy/interpretations/Interpretations/2011/110060.pdf
**body:**

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U.S. Department 1200 New Jersey Avenue SE
of Transportation Washington, DC 20590
Pipeline and Hazardous
Materials Safety
Administration
JUL 0 7 2011
Mr. Craig Updyke
Manager, Trade & Commercial Affairs
National Electrical Manufacturers Association
1300 North 17th St., Suite 1752
Rosslyn, VA 22209
Reference No. 11-0060
Dear Mr. Updyke,
This is in response to your request for clarification of the Hazardous Materials Regulations
(HMR; 49 CFR, Parts 171-180) applicable to the transportation by highway of fuel tanks
on mobile generators. Your questions are paraphrased and answered below.
Q1. What are the HMR requirements for the transportation of fuel tanks on "mobile
generator sets" ("gensets")? The fuel tanks have varying capacities, from 160 gallons
to 1,400 gallons for diesel fuel.
AI. Ifby "mobile generator sets" you mean portable generators, provided the fuel tanks
are securely closed, the portable generators are not otherwise subject to the HMR
when being transported by motor vehicle and rail when the fuel tank contains more
than 500 mL (17 ounces) of liquid fuel. Also see § 173.220(h). The § 173.220
(b)(4)(i) modal exceptions for transportation by motor vehicle and rail provide for
quantities of flammable liquid fuel greater than 500 mL (17 ounces) to remain in
the fuel tank in self-propelled vehicles and mechanical equipment if the fuel tanks
are securely closed.
If the fuel tanks are empty, unless other hazardous materials that are subject to the
HMR are involved, the generator is not subject to the HMR, including the
requirement for fuel tanks to be securely closed. Under the HMR, a fuel tank is
considered empty when the fuel tank and the fuel lines have been completed
drained, sufficiently cleaned of residue, and purged of vapors to remove any
potential hazard (see § 173.220(a)(2».
Q2. Are there any exemptions or "alternate regulatory approach" to the transportation of
fuel tanks on mobile generators?
A2. With respect to portable generators being transported by motor vehicle, the modal
exceptions in § 173.220 make regulatory options unnecessary (see AI).

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Q3. Does PHMSA or state regulators have jurisdiction for regulating portable generators?
A3. PHMSA has jurisdiction for regulating the transportation ofportable generators in
commerce. States must adopt regulations that are comparable to, and do not conflict
with, the HMR.
Q4. How should Canada's recent amendment to the original Transportation of Dangerous
Goods Act of 1992 be interpreted or addressed?
A4. Interpretations pertaining to Canadian regulations should be directed to Linda Hume
at Transport Canada, TDG Canadian Government Publishing Center, Supply and
Services, Canada, Ottawa, Ontario, Canada KIA, 059, 416-973-1868,
http://www.tc.gc.ca Ms. Hume's e-mail addressislinda.hume-sastre@tc.gc.ca .
I hope this information is helpful. Please contact this office should you have additional
questions.
Sincerely,
T. Glenn Foster
Chief, Regulatory Review and Reinvention
Standards and Rulemaking Division

<<<PAGE 3>>>

Drakeford, Carolyn (PHMSA)
From: Betts, Charles (PHMSA) J 1-00100
Sent: Tuesday, March 08, 2011 6:58 AM
To: Drakeford, Carolyn (PHMSA)
Subject: FW: Questions on U.S.-Canada Regs for Specific Mobile Fuel Tanks
Carolyn Thanks,
Charles
Please
log in this new request for interpretation and assign for proper handling.
From: Updyke, Craig [mailto:Cra Updyke@nema.org]
Sent: Monday, March 071 20111:07 PM
To: Bettsl Charles (PHMSA)
Cc: Kelley, Shane (PHMSA)
Subject: Questions on U.S.-Canada Regs for Specific Mobile Fuel Tanks
Hi Charles,
I hope you are doing well. A member company of ours is seeking clarification regarding regulation of fuel tanks on
mobile generator sets. Thanks in advance for your replies to the following questions.
1. What are the requirements from DOT/PHMSA for Rental/Mobile Genset fuel tanks?
a. b. Capacity of diesel fuel (UN1202), packaging group-III, varies from 160 gallons to 1400 gallons.
The equipment in question are fuel tanks on rental/mobile gensets and the number of gensets on the
road at any given time can vary.
2. Are there any exemptions or an alternate regulatory approach that we can adhere to so we comply with the
regulations? Would these options below work?
a. UL-142: Steel aboveground tanks for Flammable and combustible liquids
b. Place a label/placard on fuel tanks, stating "00 not fill the tank while on the road" to end-users.
c. Any exemption (potentially grandfathered) where we could sell these products without complying to
DOT regulations as rental/mobile genset fuel tanks are not literal mobile products in comparison to other
on/off-road products?
3. Who has jurisdiction for regulating fuel tanks in mobile gensets?
a. PHMSA?
b. State regulators?
4. Is there any consensus building at the U.S. DOT regarding how to interpret or address Canada's recent
amendment to the original Transportation of Dangerous Goods Act of 1992?
Below is a view of Transport Canada's regulation of fuel tanks on mobile gensets:
a. b. CPG must comply with "Transportation of Dangerous Goods" regulations.
There is no capacity exemption for fuel tanks.
1

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c. Canada does have regulations in force related to compliance of basic fuel tanks but none of the
regulations specifically apply to stationery applications. All of the fuel tank regulations are now incorporated in
Transport Canada, through the Transportation of Dangerous Goods Act.
d. Transport Canada have complete jurisdiction on regulating fuel tanks.
Sincerely and respectfully,
Craig Updyke
Manager, Trade & Commercial Affairs
National Electrical Manufacturers Association (NEMA)
703841 3294
703 841 3394 (fax)
703 3506887 (mobile)
era updyke@nema.org
www.nema.org
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