15-0205
15-0205
Page 1of Transportation U.S. Department 1200 New Jersey Avenue, SE Washington, D.C. 20590 Pipeline and Hazardous Administration Materials Safety MAR 2 9 2016 Mr. Dennis Franco Manager, DG Compliance Air General Inc. 2200 Columbia Pike, Apt # 711 Arlington, Virginia 22204-4418 Reference No. 15-0205 Dear Mr. Franco: This letter is in response to your October 17, 2015 e-mail requesting clarification of the Hazardous Materials Regulations (HMR; 49 CFR Parts 171-180) applicable to the Hazardous Materials Table (HMT) entry, "UN1950, Aerosols, poison, Packing Group III (each not exceeding 1 L capacity)." Specifically, you request confirmation of your understanding that because this material is forbidden for air transportation in Columns 9A and 9B of the HMT, it cannot be transported by air, even when authorized by the international air regulations. Your understanding is correct. The International Air Transport Association (IATA) Dangerous Goods Regulations do not have official standing within the United States. However, § 171.22(a) authorizes use of the International Civil Aviation Organization (ICAO) Technical Instructions as an alternative to compliance with the HMR, provided the requirements of Part 171 Subpart C are met. Under § 171.22(e), a material that is designated as "forbidden" in Column 9A or 9B of the HMT may not be transported to, from, or within the United States by passenger or cargo aircraft, respectively. I hope this information is helpful. Please contact us if we can be of further assistance. Sincerely, Taste T. Glenn Foster Chief, Regulatory Review and Reinvention Standards and Rulemaking Division#
Page 2Kehman ... 112.101 Goodall, Shante CTR (PHMSA) moose and use From: Wiener, Aaron (PHMSA) 15 - 0205 Sent: Monday, October 19, 2015 3:32 PM To: Subject: Dodd, Alice (PHMSA); Goodall, Shante CTR (PHMSA) FW: Forbidden on 49 CFR but allow on Technical Instruction and IATA DGR Alice, Shante, Please enter this new request for an interpretation Thanks Aaron From: Dennis Franco [mailto:dennis.franco@airgeneral.com] To: Wiener, Aaron (PHMSA) Sent: Saturday, October 17, 2015 3:00 PM Subject: Forbidden on 49 CFR but allow on Technical Instruction and IATA DGR Good Morning Aaron, Request for an interpretation on: UN 1950 Aerosols, non-flammable, containing substances in Division 6.1, Packing Group III The ICAO Technical Instruction for the safe transport of Dangerous Goods and the IATA Dangerous Goods Manual 56* Edition allows this UN 1950 on both passenger and cargo aircraft the 49 CFR. However, the material in question is FORBIDDEN in Columns 9A and 9B of the part 172.101 Hazardous Materials of CFR Parts 171-180) or the ICAO Technical Instructions as limited by 49 CFR Part 171 Subpart C. Even USG-01 state that: Transport of dangerous goods by air must be in accordance with United States Regulations (49 As I understand the 49 CFR will prevail in this case, Where such variations are more restrictive than the provisions explanatory maise it adad by AT does not torm part of ne dutient ext of the CAO Technical insteions and does not have the same legal force. Please advise. Dennis Franco Thanks, Air General Inc. Manager DG Compliance 1#
This material provides agency context. It does not replace binding regulatory text, and its legal effect depends on the underlying authority and facts.