# URS Corporation — Hazardous Materials Safety Interpretation

- **operation:** document
- **citation:** 14-0148
- **title:** URS Corporation — Hazardous Materials Safety Interpretation
- **source type:** guidance
- **agency:** Pipeline and Hazardous Materials Safety Administration
- **status:** guidance
- **official:** true
- **published on:** 2014-09-16
- **effective on:** Not available
- **summary:** 14-0148 response to URS Corporation concerning 173.306.
- **machine formats:** - **json:** https://regulus.evalyn.ai/document/phmsa-interpretation-14-0148.json
- **markdown:** https://regulus.evalyn.ai/document/phmsa-interpretation-14-0148.md
- **app url:** https://regulus.evalyn.ai/document/phmsa-interpretation-14-0148
- **source url:** https://www.phmsa.dot.gov/sites/phmsa.dot.gov/files/legacy/interpretations/Interpretation%20Files/2014/140148.pdf
**body:**

<<<PAGE 1>>>

of Transportation
U.S. Department
1200 New Jersey Avenue, SE
Washington, D.C. 20590
Materials Safety
Pipeline and Hazardous
Administration
SEP 16 2014
Mr. Andrew N. Romach
Regulatory Compliance Manager
URS Corporation
1600 Perimeter Park Drive
Morrisville, NC 27560
Ref. No.: 14-0148
Dear Mr. Romach:
This is in response to your letter dated July 21, 2014 requesting confirmation that the relief
from the Hazardous Materials Regulations (HMR; 49 CFR Parts 171-180) provided by
§ 173.306(f)(1) for accumulators installed in assembled machinery is applicable to certain gas
lift valves used in the oil drilling industry. The described gas lift valves contain a gas spring
(accumulator) that operates the opening and closing of the valve. The bellows containing the
accumulator is its own separate component of the assembled valve and the accumulator is
designed with a burst pressure of not less than five times its charged pressure at 70 °F.
As described, the accumulator is a component of and installed in an item of assembled
machinery (the gas lift valve). Pursuant to § 173.306(f)(1), provided the accumulator contains
only non-liquified, non-flammable gas and the gas lift valve contains no other hazardous
materials, the described gas lift valves are not subject to the requirements of the HMR.
I trust this information is helpful. If you have further questions, please do not hesitate to
contact this office.
Sincerely,
shoe C He
Shane C. Kelley
Acting International Standards Coordinator
Standards and Rulemaking Division

<<<PAGE 2>>>

Babich
173.3061(1)
Dodd, Alice (PHMSA)
Limited Quarty
From:
Ciccarone, Michael CTR (PHMSA)
14-0848
Sent:
To:
londay, July 21, 2014 4:19 P
Subject:
a-mat inter Por Formal Interoretation Lette
Attachments:
request for DOT regulatory interpr accumulator 07212014 pdf
Shante and Alice,
Please submit this for a formal letter of interpretation.
Thanks,
Mike
From: Jarman, Erin [mailto:erin.jarman@urs.com]
To: PHMSA HM InfoCenter
Sent: Monday, July 21, 2014 2:47 PM
Cc: Drakeford, Carolyn (PHMSA)
Subject: Request for Formal Interpretation Letter
Dear Info Center,
Attached is a request for formal interpretation related to accumulators. If you need additional information, please feel
free to contact me via e-mail or at the telephone number below. Have a great day!
Erin N. Jarman
Environmental Scientist
URS Corporation
1600 Perimeter Park Dr.
Suite 400
Morrisville, NC 27560
919-461-1478 (office phone)
receive this message in error or are not the intended récipient, you should not retain, distribute, disclose or use any of this
This e-mail and any attachments contain URS Corporation confidential information that may be proprietary or privileged. If you
information and you should destroy the e-mail and any attachments or copies.
1

<<<PAGE 3>>>

URS
July 21, 2014
Mr. Charles Betts, Division Director
Standards and Rulemaking (PHH-10)
U.S. Department of Transportation
Pipeline and Hazardous Materials Safety Administration
East Building, 2nd Floor
1200 New Jersey Ave., SE
Washington, DC 20590
Dear Mr. Betts:
I am writing to request a Department of Transportation (DOT) interpretation concerning whether a gas
lift valve that contains a gas spring could be excepted from the DOT Hazardous Material Regulations
(HMR) as set out in 49 CFR 173.306(f)(1) for an accumulator installed in assembled machinery. DOT
previously issued an interpretation (11-0311) applying this same exception to another scenario of an
accumulator system that functions as part of an oil drilling rig.
See below photograph of a gas lift valve that contains a gas spring (accumulator). This gas spring
operates the opening and closing of the valve; this assembly is inserted into a gas pipeline on an oil rig
for the purpose of lifting the oil column and forcing the fluid out of the wellbore. The bellows that
contains the pressure (the accumulator) is its own separate piece of the assembled valve. This
accumulator is designed and fabricated with a burst pressure of not less than five times its charged
pressed at 70°F when shipped, as required in 49 CFR 173.306(f)(1).
Please confirm that the exception from the DOT Hazardous Material Regulations (HMR) as set out in
49 CFR 173.306(f)(1) for an accumulator installed in assembled machinery would apply to the
above-described gas lift valve that contains a gas spring.
I would appreciate your assistance with this question.
Sincerely,
Andrew N. Romach
Regulatory Compliance Manager
URS Corporation
URS Corporation
Tel: 919.461.1220
1600 Perimeter Park Drive Morrisville, NC 2756(
andy.romach@urs.com
Fax: 919.461.1371
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