# Triumvirates Environmental — Hazardous Materials Safety Interpretation

- **operation:** document
- **citation:** 13-0093
- **title:** Triumvirates Environmental — Hazardous Materials Safety Interpretation
- **source type:** guidance
- **agency:** Pipeline and Hazardous Materials Safety Administration
- **status:** guidance
- **official:** true
- **published on:** 2013-08-13
- **effective on:** Not available
- **summary:** 13-0093 response to Triumvirates Environmental concerning 173.12, 178.955.
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- **app url:** https://regulus.evalyn.ai/document/phmsa-interpretation-13-0093
- **source url:** https://www.phmsa.dot.gov/sites/phmsa.dot.gov/files/legacy/interpretations/Interpretation%20Files/2013/130093.pdf
**body:**

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U.S. Department
of Transportation
Pipeline and Hazardous
Materials Safety
Administration
1200 New Jersey Avenue, SE
Washington, D.C. 20590
AUG 1 3 2013
Patrick Hallinean, CHMM
Regional Niche Manager
Triumvirates Environmental
200 Inner Belt Road
Sommerville, MA 02143
Reference No. 13-0093
Dear Mr. Hallinean:
This is in response to your May 1, 2013 e-mail requesting clarification on whether im1er
packages of Class 8 (corrosive) material may be placed inside of a flexible intermediate bulk
container (IBC) and placed in transportation under the Hazardous Materials Regulations
(HMR; 49 CFR Parts 171-180). You state your company would like to place caustic waste
stream material in 1.8 liter containers and then place these containers along with sufficient
cushioning to prevent significant movement inside a UN 13H4 woven plastic, coated flexible
IBC with a liner.
The HMR do not authorize IBCs to contain inner packagings. However, the Pipeline and
Hazardous Materials Safety Administration (PHMSA) does permit holders and parties to
Department of Transportation Special Permit DOT-SP 12296 to use a UN 13H4 packaging as
the outer packaging of lab pack waste hazardous materials provided the completed package
meets the following conditions:
• The i1mer packagings of waste hazardous material conform to § 173 .12(b)(2)(i);
• The inner packagings contain only hazard classes or divisions: 3 (flammable liquid),
4.1 (flammable solid), 4.2 (spontaneously combustible), 4.3 (dangerous when wet), 5.1
(oxidizer), 6.1 (poisonous), 8 (corrosive), and 9 (miscellaneous) waste hazardous
material Packing Group (PG) I, II, or III materials that meet the following;
• The liner of the IBC must be a combination of multiple layers of encapsulated
corrugation between inner and outer layers of woven coated polypropylene, with an
inner 6 mil thick liner of polyethylene;
• The package must satisfactorily pass the performance tests prescribed in 49 CFR Part
178, Subpart 0 at the PG II performance level while loaded to 205 kg (452 pounds)
and filled to 95% of its total capacity with solid material;
• The gross weight of the package must not exceed 205 kg; and
• Each packaging must be marked with the name of the manufacturer and location (city
and state) ofthe facility where it is manufactured, or marked with a registration

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symbol designated by the Office of Hazardous Materials' Approvals and Permits
Division for that specific manufacturing facility.
In addition, this packaging is limited to motor vehicle and domestic cargo vessel
transportation only.
You also ask if your company may apply the requirements prescribed in§ 178.955(g)(l) for a
UN 51 flexible standard Large Packaging to a UN 13H4 packaging. The answer is no.
Section 178.955(g)(l) permits Large Packagings to contain inner packagings of equivalent or
similar design to those it was originally performance tested with provided these inner
packagings meet specific design, performance, and packing criteria, such as § 173.36(b )(2)
which states only flexible inner packagings may be used in UN 51 H Flexible Large
Packagings. However, you may wish to apply to PHMSA for permission to use the
packaging under the terms of a special permit. To apply, you must submit an application to
the Associate Administrator for Hazardous Materials Safety that conforms with the
requirements prescribed in 49 CFR Part 107, Subpart B. In your application, you must
provide justification that the packaging method you are considering achieves a level of safety
that is equal to or greater than that required under the HMR. You may obtain information on
the special permit and approvals applications process from our website at
http://www.phmsa.dot.gov/hazmat/regs/sp-a, or by calling PHMSA's Approvals and Permits
Division at (202) 366-4511.
I hope this satisfies your request.
Chief, Regulatory Review and Reinvention Branch
Standards and Rulemaking Division
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Drakeford, Carolyn (PHMSA)
From:
Sent:
To:
Subject: INFOCNTR (PHMSA)
Thursday, May 02, 2013 2:35 PM
Drakeford, Carolyn (PHMSA)
FW: Request for Letter of Interpretation
Hi Carolyn,
This caller requested we submit his e-mail as a formal letter of interpretation.
Thanks,
Victoria
From: Hallinean, Patrick E. [mailto:phallinean@triumvirate.ccim]
Sent: Wednesday, May 01, 2013 12:45 PM
To: INFOCNTR (PHMSA)
Subject: Request for Letter of Interpretation
To whom it may concern:
I am writing you to request clarification on the shipment of inner containers of DOT corrosive material. The proposed
method for shipping this caustic wastestream from the generator site is to place the 1.8 liter containers inside a UN13H4
rated FIBC with sufficient cushioning to prevent significant movement. This proposed method of packaging would meet
all manufacturer closure and testing specifications. The generator would follow the regulations set forth in 49CFR
178.900 for large packagings as stated:
(1) Inner packagings of equivalent or smaller size may be used provided-
(i) The inner packagings are of similar design to the tested inner packagings (i.e., shape-round, rectangular,
etc.);
(ii) The material of construction of the inner packagings (glass, plastic, metal, etc.) offers resistance to impact
and stacking forces equal to or greater than that of the originally tested inner packaging;
(iii) The inner packagings have the same or smaller openings and the closure is of similar design ( e.g.,screw cap,
friction lid, etc.);
(iv) Sufficient additional cushioning material is used to take up void spaces and to prevent significant
movement of the inner packagings;
(v) Inner packagings are oriented within the outer packaging in the same manner as in the tested package; and
(vi) The gross mass of the package does not exceed that originally tested.
(2) A lesser number of the tested inner packagings, or of the alternative types of inner packagings identified in
paragraph (g)(l) of this section, may be used provided sufficient cushioning is added to fill void space(s) and to
prevent significant movement of the inner packagings.
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The rating of the outer container can be seen below:
{;;\ 13H4}X/06 06/CAN/SYN·TEX/4--52212450/1361
\V
• Packaging ldentiflcation Code- Woven plastlo, coated Flexible lntem1ediate Bulk Container With
a Liner.
• FIBC certified at Packing Group I Test Levels which covers Packing Groups I, 11 & Ill hazardous
materials
• Month and Year of ABC Manufacture
• Coun1ry authorizing allocaUon of the mark
• Manufacturer of FIBC
• Cer1if!cate Number
• Stack Test Load in kilograms
• Maximum permissable Net Mass in kilograms
At your earliest convenience please offer a letter of interpretation for shipping inner containers of caustic liquid in an
FIBC.
Thank you
Patrick Hallinean, CHMM
Regional Niche Manager I Triumvirate Environmental
P: 718.274-3339 I M: 917.440.6968 I F: 718.726.7917
Email: www.triumvirate.com
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