# Colorcon No Tox Products — Hazardous Materials Safety Interpretation

- **operation:** document
- **citation:** 12-0029
- **title:** Colorcon No Tox Products — Hazardous Materials Safety Interpretation
- **source type:** guidance
- **agency:** Pipeline and Hazardous Materials Safety Administration
- **status:** guidance
- **official:** true
- **published on:** 2012-03-30
- **effective on:** Not available
- **summary:** 12-0029 response to Colorcon No Tox Products concerning 171.8, 173.150.
- **machine formats:** - **json:** https://regulus.evalyn.ai/document/phmsa-interpretation-12-0029.json
- **markdown:** https://regulus.evalyn.ai/document/phmsa-interpretation-12-0029.md
- **app url:** https://regulus.evalyn.ai/document/phmsa-interpretation-12-0029
- **source url:** https://www.phmsa.dot.gov/sites/phmsa.dot.gov/files/legacy/interpretations/Interpretations/2012/120029.pdf
**body:**

<<<PAGE 1>>>

U.S. Department ::00 New Jersey Avenue, ~E
of Transportation Nnshington, DC. 20590
?ipeline and Hazardous
:'IJ1aterials Safety
:\dministration
;iAR 3 0 2012
Mr. Tim Jamison
Logistics Manager
Colorcon No Tox Products
171 New Britain Blvd.
Chalfont, P A 18914
Ref. No. 12-0029
Dear Mr. Jamison:
This responds to your January 23, 2012, request for clarification of the Hazardous Materials
Regulations (HMR; 49 CFR Parts 171-180), According to your letter your product contains 24%
or less alcohol by volume and contains no less than 50% water, as well as less than 3% of
ammonium hydroxide solution as a PH balancer. You ask whether your product meets the
provisions of the § 173 .150( e) exception for aqueous solutions.
The answer is no. It is the opinion of this office that the product you describe does not qualify
for the § 173 .150( e) exception for aqueous solutions because it contains other hazardous
material, i.e. ammonium hydroxide. The aqueous solution may not contain any other hazardous
material as defined in § 171.8. Section 173 .150( e) authorizes an aqueous solution containing
24% or less alcohol by volume and no other hazardous material to be either reclassed as a
combustible liquid or excepted from regulation under the HMR if it contains 50% or more water.
I hope this answers your inquiry. If you need additional assistance, please contact this office at
202-366-8553.
Sincerely,
..,~~
~ __ .
7 lr"
__
Ben Supko
Acting Chief, Standards Development Branch
Standards and Rulemaking Division

<<<PAGE 2>>>

CoIo(con 9173. 150 Lt:;)
~~
Ex cephons
January 23,2012
,%.-(X)2~
U.S. DOT
PHMSA Office of Hazardous Materials Standards
Attn: PHH-I0
East Building
1200 New Jersey Avenue, SE
Washington, DC 20590-0001
To whom it may concern,
I am requesting a written formal interpretation for 49FCR § 173 .150( e) Aqueous
solutions ofalcohol.
My company would like to utilize this exception for shipping a product that we think
qualifies under the parameters set forth by said exception. Our product contains less
than 24% alcohol, and has more than 50% water. The need for the interpretation comes
into play due to the fact that the product also contains a small amount « 3%) of
ammonium hydroxide solution as a PH balancer. The finished product has a flash point
of 11°C but does not possess any of the characteristics or attributes of the ammonium
hydroxide ingredient (Class 8 corrosive liquid).
I recognize that the exception in question, in addition to the alcohol and water volume
designations, states "and no other hazardous material" as part of the overall qualifYing
stipulati~:m.
My question is regarding that segment of wording "no other hazardous material". Is
this to be taken in a literal absolute sense of constituent ingredients or does it apply to
the profile ofthe finished product? I have reviewed several previous interpretations on
this subject and see that some former interpretations have unfavorably referenced the
definition of"hazardous material" as defined in 49CFR § 1 71.8. The position on one of
those interpretations (ie ..Ref. No. 03-0022), refers the applicant to the §171.8 definition
ofhazardous material.
No-Tox® Products Division, 171 New Britain Boulevard, Chalfont, Pennsylvania 18914 P 267-695-7700 F 267-695-7799
www.colorcon.com

<<<PAGE 3>>>

CoIo(con
I too would reference § 171.8 and ask one during consideration of this request to review
the established definition. It clearly states"...when transported in commerce". By
asserting the fact that the material must be transported in commerce, does that not in
fact mean that one must be referencing the actual finished goods that will be introduced
onto our roads? If this is the intent and/or spirit ofthe regulation exception, than
wouldn't our product qualify?
Additionally, the regulations state in many places that a material listed by name in the
HMT that does not have the properties ofthe hazard classes or divisions as shown in the
table are not regulated under this subchapter (unless of course there is a "+" in column
one (1) ofthe HMT or applicable Special Provisions for the material in question. For
this finished product, there are no such applicable provisions therefore, even though we
have another material in the formula that is listed in the HMT, under this situation it
does not meet the hazardous properties ofthat listed material and should not be
regulated as a hazardous materiaL
Ultimately, the product that we would be introducing into the cycle oftransportation
meets the definition of a Class 3 Flammable Liquid. It demonstrates no other properties
indicative of any other hazards or hazard classes. Being as its constituent ingredients
meet the volumetric parameters set forth in § 173 .150( e), I challenge the competent
authority to provide an interpretation specific to this inquiry.
Tim Jamison
Logistics Manager
Colorcon No Tox Products
171 New Britain Blvd.
Chalfont, P A 18914
267-695-7718
No-Tox® Products Division, 171 New Britain Boulevard, Chalfont, Pennsylvania 18914 P 267-695-7700 F 267-695-7799
www.colorcon.com
- **truncated:** false
- **body characters:** 5077
