# Mr. Paul J. Dambek — Hazardous Materials Safety Interpretation

- **operation:** document
- **citation:** 11-0299
- **title:** Mr. Paul J. Dambek — Hazardous Materials Safety Interpretation
- **source type:** guidance
- **agency:** Pipeline and Hazardous Materials Safety Administration
- **status:** guidance
- **official:** true
- **published on:** 2012-03-20
- **effective on:** Not available
- **summary:** 11-0299 concerning 171.8, 173.24, 173.301.
- **machine formats:** - **json:** https://regulus.evalyn.ai/document/phmsa-interpretation-11-0299.json
- **markdown:** https://regulus.evalyn.ai/document/phmsa-interpretation-11-0299.md
- **app url:** https://regulus.evalyn.ai/document/phmsa-interpretation-11-0299
- **source url:** https://www.phmsa.dot.gov/sites/phmsa.dot.gov/files/legacy/interpretations/Interpretations/2011/110299.pdf
**body:**

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U.S. Department 1200 New Jersey Ave .. S.E.
Washington. DC 20590
of Transportation
Pipeline and Hazardous
Materials Safety
Administration
MAR 2 0 2012
Mr. Paul J. Dambek
12 Kimball Hill Road
Hudson, NH 03051-3915
Reference No.: 11-0299
Dear Mr. Dambek:
This responds to your letter requesting clarification of Hazardous Materials Regulations
(HMR; 49 CFR Parts 171-180) applicable to the packaging and overpacking of
Department of Transportation (DOT) specification 39 cylinders. In your incoming letter,
you describe a scenario in which four DOT specification 39 cylinders containing "UN
1956, Compressed gas, n.o.s." are placed in a plastic "suitcase" with padded foam inserts.
This "suitcase" also contains other non-regulated items and is further placed into a strong
outer fibreboard box. Based on this scenario, your questions are paraphrased and answered
as follows:
Q1. Is the "suitcase" in which the four DOT specification 39 cylinders are placed
considered an overpack or a combination package?
AI. Provided the "suitcase" meets the definition of a strong outer packaging and the
general requirements for packagings under §§ 173.24 and 173.24a, it may be
considered the outer packaging of the combination packaging specified in
§ 173.301(a)(9). In accordance with § 173.301(a)(9), DOT specification 39
cylinders must be packed in strong non-bulk outer packagings. A "strong outer
packaging" is defined in § 171.8 and means the outermost enclosure which
provides protection against the unintentional release of its contents under
conditions normally incident to transportation.
Q2. Must the "suitcase" in which the four DOT specification 39 cylinders are placed be
built to a United Nations (UN) specification?
A2. The answer is no. A "strong outer packaging" is not required to meet a specific
package specification; however it must meet the definition of a strong outer
packaging and the general requirements for packagings under §§ 173.24 and
173.24a.

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Q3. Must the fibreboard box in which the "suitcase" containing the four DOT
specification 39 cylinders are placed be built to a UN specification?
A3. The answer is no. In the scenario you describe, the fibreboard box acts as an
overpack and therefore must meet the requirements specified in § 173.2S. An
overpack is not required to be built to a UN specification.
Q4. Must each of the four DOT specification 39 cylinders be marked with the proper
shipping name and UN number and bear the Division 2.2 label?
A4. The answer is no. Under § 173.301(a)(9), DOT 39 cylinders must be placed in a
strong outside packaging. The cylinder and the strong outer packaging together
constitute the package. Therefore, the hazard markings and labels must be affixed
to the outside packaging. The cylinders are not required to be marked with the
proper shipping name and UN number and bear the Division 2.2 label. However,
the cylinders must be marked in accordance with § 178.6S(i) with the cylinder
specification marking (e.g., DOT 39 NRC494/618 M0123).
QS. Must the "suitcase" in which the four DOT specification 39 cylinders are placed be
marked with the proper shipping name and UN number and bear the Division 2.2
label?
AS. The answer is yes. Under § J 73.301(a)(9), DOT 39 cylinders must be placed in a
strong outside packaging. The cylinder and the strong outer packaging together
constitute the package therefore, the hazard markings and labels must be affixed to
the outside packaging, in this case the "suitcase." In addition, the outside of the
combination packaging must be marked with an indication that the inner
packagings conform to the prescribed specifications.
Q6. Must the fibreboard box in which the "suitcase" containing the four DOT
. specification 39 cylinders are placed be marked with the proper shipping name and
UN number and bear the Division 2.2 label?
A6. The answer is yes. As specified in 173.2S(a)(2) an overpack must be marked with
the proper shipping name and identification number, when applicable, and labeled
as required by the HMR for each hazardous material contained therein, unless
marking and labels representative of each hazardous material in the overpack are
visible.
I hope 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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HAZMATEAM bye rfo-cJ.s
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12 Kimball Hill Road 11'- ()2. q~
Hudson, NH 03051-3915
Telephone: (603) 882-1112
Fax: (603) 882-6512
Web site: www.hazmateam.com
December 2,2011
Mr. Charles Betts
Office of Hazardous Materials Standards
Pipeline and Hazardous Materials Safety Administration
Attn: PHH-10
U.S. Department of Transportation
1200 New Jersey Avenue, SE.
East Building, 2nd Floor
Washington, DC 20590-0001
Dear Mr. Betts:
I am requesting a letter of interpretation on shipping different DOT SpeCification 39 cylinders in
a fibreboard box. Please consider the following package: 4 DOT Specification 39 cylinders
are placed in a plastic "suitcase" which is padded with foam. Other non-regulated items are in
the suitcase, as well. Included with this correspondence are photos of this "suitcase"
arrangement. The suitcase is then placed into a strong outer fibreboard box.
Each cylinder contains 1 KG of a non-flammable gas, "UN 1956, Compressed Gas, N.O.S.".
Each of the four cylinders contains a different mixture of gases (Le, different technical names for
each cylinder).
Questions:
1) Is the "suitcase" considered an overpack or a combination package? For air transport,
shipping papers must have the appropriate statement: "Overpack Used" or "All packed
into one ... ".
2) Must the "suitcase" be UN specification packaging?
3) Must the fibreboard box be a UN specification packaging?
4) Must each of the cylinders be marked with Proper shipping name and UN number and
have the Division 2.2. label affixed?

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5) Must the "suitcase" be marked with each proper shipping name, UN number, the word
"OVERPACK" and affixed with a Division 2.2 label?
6) Must the fibreboard box be marked with each proper shipping name, UN number, the
word "OVERPACK" and affixed with a Division 2.2 label?
If you have questions, do not hesitate to send e-mail to paul@hazmateam.com or call 401-5958395.
Your assistance is greatly appreciated.
Sincerely,
Paul J. Dambek, CIT
Hazardous Materials Trainer and Consultant
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