# Allied Universal Corporation — Hazardous Materials Safety Interpretation

- **operation:** document
- **citation:** 12-0267
- **title:** Allied Universal Corporation — Hazardous Materials Safety Interpretation
- **source type:** guidance
- **agency:** Pipeline and Hazardous Materials Safety Administration
- **status:** guidance
- **official:** true
- **published on:** 2013-05-06
- **effective on:** Not available
- **summary:** 12-0267 response to Allied Universal Corporation concerning 171.7, 179.6.
- **machine formats:** - **json:** https://regulus.evalyn.ai/document/phmsa-interpretation-12-0267.json
- **markdown:** https://regulus.evalyn.ai/document/phmsa-interpretation-12-0267.md
- **app url:** https://regulus.evalyn.ai/document/phmsa-interpretation-12-0267
- **source url:** https://www.phmsa.dot.gov/sites/phmsa.dot.gov/files/legacy/interpretations/Interpretation%20Files/2012/120267.pdf
**body:**

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U.S. Department of Transportation
Pipeline and Hazardous Materials
Safety Administration
1200 New Jersey Ave, SE
Washington, D.C. 20590
MAY 062013
Robin Bolte
Regulatory Affairs Manager
Allied Universal Corporation
3901 NW 115th Avenue
Miami, FL 33178
Ref. No.: 12-0267
Dear Ms. Bolte:
This responds to your December 11, 2012 letter requesting clarification of the Hazardous
Materials Regulations (HMR; 49 CFR Parts 171-180) applicable to Multi-Unit Tank Cars. In your
letter, you state that your company performs hydrostatic tests on Multi-Unit Tank Car tanks and
that your testing facility is authorized to perform hydrostatic testing for tank cars by a third party.
You state that you stamp the tank with the date tested when you perform hydrostatic testing on
tank cars. However, you do not put your Requalifier Identification Number (RIN) number on the
tanks since the Multi-Unit Tank Cars are not considered cylinders. You add that you do not
adhere to the American Association of Railroads (AAR) Appendix R, as it is not applicable to
Multi-Unit Tank Cars. You ask how companies can be compliant with testing and tank car
requalification requirements in the HMR when the AAR document referred to in§ 179.6 does not
include the Department of Transportation (DOT) specification container for Multi-Unit Tank
Cars?
The Pipeline and Hazardous Materials Safety Administration (PHMSA) recognizes that a gap
currently exists in the HMR for the testing and requalification of Multi-Unit Tank Cars. Currently
PHMSA issues a special permit (SP-1564 7) for companies that test and requalify Multi-Unit Tank
Cars, and is allowing companies to apply for party status to this special permit. Section 107.107
of the HMR specifies the requirements for a company to apply for party status of a special permit.
Obtaining party status to this special permit will allow companies to reauthorize and qualify
Multi-Unit Tank Cars under the HMR. PHMSA may consider a regulatory approach to address
the issue in the future.
I trust this satisfies your inquiry. Please contact us if we can be of further assistance.
V2!n, ·
J.t,. T. Glenn Foster~
U · Chief, Regulatory Review and Reinvention Branch
Standards and Rulemaking Division
~~
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·-----·--·-~· .. ···

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Drakeford, Carolyn (PHMSA)
From: Betts, Charles (PHMSA)
Sent: Tuesday, December 11,2012 5:06PM
To:
Billings, Delmer (PHMSA); Drakeford, Carolyn (PHMSA)
Cc:
Heneghan, John (PHMSA)
Subject: Fw: Regulatory Issue: Multi-Unit Tank Car Tanks
Carolyn-
Please log and assign for response.
Thanks,
Charles
From: Heneghan, John (PHMSA)
Sent: Tuesday, December 11, 2012 03:59 PM
To: 'RobinE@AIIiedUniversal.com' <RobinE@AIIiedUniversal.com>; Betts, Charles (PHMSA)
Subject: Re: Regulatory Issue: Multi-Unit Tank Car Tanks
Charles could you please assign this to someone to review and get back to Ms. Bolte. Thanks. John
From: Bolte, Robin [mailto:robine@allieduniversal.com]
Sent: Tuesday, December 11, 2012 03:30 PM
To: Heneghan, John (PHMSA)
Subject: Regulatory Issue: Multi-Unit Tank Car Tanks
John-
I am trying to find an answer to an ongoing question. I know you may not be the person,
but am asking you to forward to the appropriate person or persons at DOT headquarters.
See e-mail chain below.
My company, like many others, performs hydrostatic tests on multi-unit tank car
tanks. We make sure when our testing facility goes thru the reauthorizing inspection by
the third party, these DOT specification containers are included in the review and
application. We stamp the tank, when it passes, with the date tested. We do not put our
RIN number on the container, we were told not to at one time. RIN only for cylinder
requalification. So basically, we requalify the same as a cylinder with a few exceptions.
We do not adhere to the AAR Appendix R. As you can see from the AAR (e-mail below), it
is not applicable for multi-unit tank car tanks.
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I believe we are doing it safe, but am concerned that do to the regulations, one may see
us as non-compliant. However, how can you be compliant when the AAR document does
not include your DOT specification container?
There are many other companies out there in the same boat. Is this a Special Permit
situation? See this Federal Register notice:
SP-15647 by Thunderbird Cylinder- the nature says it's to "reissue the originally issued on an emergency
basis ... " http://wVwl.gpo.gov/fdsys/pkg/FR-2012-11-28/pdf/2012-28588.pdf.
Looking for some direction.
Thanks,
Robin E. Bolte
Allied Universal Corp.
From: Dorsey, Ken [mailto:kdorsey@aar.org]
Sent: Tuesday, December 15, 2009 9:48 AM
To: Robin Eddy Bolte
Cc: Mannas, Timothy; Fronczak, Robert; mforister@aar.org; Frank Reiner; allen maty@aar.com
Subject: RE: AAR Appendix R
Robin
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M-1002 and specifically Appendix R of M-1002 was developed by the Tank Car Committee (TCC) of the AAR as an
industry standard for the maintenance of tank car tanks. The subject of fusible plugs has never been addressed by the TCC
and consequently there are no provisions for the installation, manufacture, testing or maintenance of such devices included
in M-1 002. The tank car industry did not develop specific standards for tapping tank car pressure retaining structure for
inclusion in Appendix R. If a process not covered by Appendix R is needed there is the ability for a proponent to submit a 4-
2 application to have their specific process approved for use on tank car tanks. If there was a need for general standards to
be developed and adopted then a proponent would have to forward such a request to the TCC for consideration. I
anticipate that it would take some time for the process to be successfully concluded however.
Kenneth Dorsey
Executive Director of Tank Car Safety
Association of American Railroads
425 3rd Street, SW, Suite 1000
Washington, DC 20024
202-639-2262
From: Duane.Cassidy@dot.gov [mailto:Duane.Cassidy@dot.gov]
Sent: Thursday, December 10, 2009 12:11 PM
To: RobinE@AIIiedUniversal.com
Cc: delmer.billings@dot.gov; John.Heneghan@dot.gov
Subject: FW: Questions regarding 180.212 & Champagne Specialties approval status
Robin,
The regulations that apply to ton tanks are listed in 49 CFR Part 179. The actions described in your email would
certainly qualify as a repair not a modification to an existing tank design. The regulations in 179.6 require that all
repairs or alterations for tank cars must follow the procedures as listed in the Appendix R of the AAR
Specifications for Tank Cars, incorporated by reference in 49 CFR 171.7. Appendix R states that all repairs or
alterations must be performed by companies certified by the AAR to perform such repairs in accordance with
Appendix B of the same reference.
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I have no idea whether the company you name in your email is approved for such activities. You will have to
contact the AAR to determine whether they are authorized to conduct such repairs.
Regards,
Duane M. Cassidy (E21-209)
US DOT, Office of Approvals, Cylinder Program
East Building, 2nd Floor, PHH-30
1200 New Jersey Avenue, SE
Washington, DC. 20590-0001
Office: 202-366-5794
Cell: 202-596-0583
Fax: 202-366-3308
email:duane.cassidy@dot.gov
Search approvals data at:https://hazmatonline.phmsa.dot.gov/ApprovalsSearch/
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