# Hall, Render, Killiam, Heath & Lyman, PC — Hazardous Materials Safety Interpretation

- **operation:** document
- **citation:** 16-0044
- **title:** Hall, Render, Killiam, Heath & Lyman, PC — Hazardous Materials Safety Interpretation
- **source type:** guidance
- **agency:** Pipeline and Hazardous Materials Safety Administration
- **status:** guidance
- **official:** true
- **published on:** 2016-09-06
- **effective on:** Not available
- **summary:** 16-0044 response to Hall, Render, Killiam, Heath & Lyman, PC concerning 173.134, 173.197, 173.199, 173.24, 173.24a, 173.6.
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- **markdown:** https://regulus.evalyn.ai/document/phmsa-interpretation-16-0044.md
- **app url:** https://regulus.evalyn.ai/document/phmsa-interpretation-16-0044
- **source url:** https://www.phmsa.dot.gov/sites/phmsa.dot.gov/files/legacy/interpretations/Interpretation%20Files/2016/160044.pdf
**body:**

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U.S. Department
of Transportation
Washington, D.C. 20590
1200 New Jersey Avenue, SE
Pipeline and Hazardous
Administration
Materials Safety
SEP 0 6 2016
Amy Berenbaum Goodman
Attorney
Hall, Render, Killian, Heath & Lyman, P.C.
Writer Square
1512 Larimer Street, Suite 300
Denver, CO 80202
Reference No. 16-0044
Dear Ms. Berenbaum Goodman:
This letter is in response to both your February 8, 2016, email and your April 6, 2016,
telephone conversation with a member of my staff requesting clarification of the Hazardous
Materials Regulations (HMR; 49 CFR Parts 171-180). Specifically, you ask how the HMR
infectious substance.
apply to the transportation by motor vehicle of soiled linen contaminated with a Division 6.2
The HMR define an infectious substance as a material known or reasonably expected to
contain a pathogenic microorganism or other agent, such as a proteinaceous infectious
particle (prion), that can cause disease in humans or animals (see § 173.134(a)(1)). A person
who offers, causes to be transported, or transports an infectious substance must comply with
the HMR requirements regarding packaging, hazard communication, training, and security
(see 49 CFR Part 172, Subparts C through I). Additional requirements may apply, depending
on the mode of transportation (e.g., 49 CFR Part 177 applies to transportation by public
highway).
A person who offers an infectious substance for transportation must (1) classify the material
according to its inherent risks and (2) assign it to either Category A or Category B based on
the known medical history or symptoms of the source patient or animal, endemic local
conditions, or professional judgment concerning the individual circumstances of the source
human or animal. A Category A infectious substance is in a form capable of causing
permanent disability or life-threatening or fatal disease in otherwise healthy humans or
animals upon exposure (see § 173.134(a)(1)(i)). A Category B infectious substance is not in
(see § 173.134(a)(1)(ii)).
a form generally capable of causing permanent disability or life-threatening or fatal disease
following:
Soiled linen or laundry containing an infectious substance may be transported as one of the
• Materials of Trade (MOT; § 173.6);

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• Laundry and medical equipment (§ 173.134(b)(12));
• "UN 3373, Biological substance, Category B, 6.2" (Category B; § 173.199);
• "UN 3291, Regulated medical waste, n.o.s., 6.2, PG II" (RMW; § 173.197); or
• Materials known or suspected of being contaminated with the Ebola virus (Category
A) using Department of Transportation Special Permit (DOT-SP) 16279.
I have described each of these packaging methods as they apply to Division 6.2 contaminated
laundry below.
Materials of Trade
Laundry contaminated with a Division 6.2, Category B material may be transported and
described as a MOT when it meets the definition of MOT in § 171.8, complies with the
requirements prescribed in § 173.6, and is transported by a private carrier in direct support of
a principal business, which may not be the transportation of goods by motor vehicle.
Division 6.2 materials that comply with the requirements prescribed in § 173.6 are not
subject to any other requirements of the HMR. Division 6.2 MOT must be placed in a
combination packaging where the inner packaging is leakproof for liquids and both rigid and
puncture resistant for sharps. Additional packaging provisions in § 173.6(a)(4) apply.
Laundry and medical equipment
Laundry and medical equipment contaminated with a Division 6.2 material that conforms to
the bloodborne pathogen requirements prescribed in 29 CFR 1910.1030 of the Department of
Labor, Occupational Safety and Health Administration, are not subject to the HMR as
Division 6.2 materials. This exception includes medical equipment intended for use,
cleaning, or refurbishment (e.g., reusable surgical equipment, or equipment used for testing
apply to medical equipment being transported for disposal.
where the outer components essentially function as packaging). This exception does not
Biological substance, Category B
Section 173.199 requires a Category B infectious substance to be packaged in triple
packaging that is designed, constructed, and maintained so that under conditions normally
encountered in transportation there will be no release of the hazardous material into the
environment. The packages must also be capable of passing the drop tests in § 178.609(d), in
accordance with § 173.199(a)(4). While the package must be capable of meeting these
requirements, it does not require testing and is not subject to the design qualification testing,
periodic retesting, or record retention (i.e., test report requirements) in § 178.601. Laundry
contaminated with a Division 6.2, Category B material that is transported for disposal or
recycling may also be described and packaged as a RMW.
Regulated medical waste
Section 173.197(b) permits sharps and sharps with residual fluid in a single or combination,
non-bulk, puncture-resistant packaging that meets the requirements in 49 CFR Part 178,
Subpart M, at the Packing Group II performance level. Paragraphs (c) and (d) of § 173.197
2

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permit RMW in UN standard Large Packagings, non-specification bulk packagings (i.e.,
wheeled carts (Carts)), and bulk outer packagings (BOPs), respectively. Paragraph (e) of
§ 173.197 prescribes what inner packagings may be used in Large Packagings, Carts, and
BOPs. Section 173.134(c)(1)(ii) states RMW must not be transported on the same vehicle
with materials that contain a Division 6.2 waste stock or culture. However,
§ 173.134(c)(2)(i) permits waste cultures and stocks of a Category B infectious substance to
be placed on board the same vehicle with RMW and other materials listed in this section
provided the RMW is offered for transportation and transported as RMW; packaged in a rigid
non-bulk packaging conforming to the general packaging requirements of §§173.24 and
173.24a and packaging requirements specified in 29 CFR 1910.1030; and transported by a
private or contract carrier in a vehicle used exclusively to transport regulated medical waste.
Ebola virus (Category A) using DOT-SP 16279
DOT-SP 16279 authorizes approved parties permission to transport for disposal materials
contaminated with or suspected of being contaminated with the Ebola virus, which is a
Category A infectious substance. The special permit prescribes packaging and handling
requirements for non-bulk and bulk combination packagings transported by motor vehicle
and cargo vessel. If the materials to be transported are too large to use the packaging system
described in paragraph 7.b.(1) of DOT-SP 16279, the special permit requires that the
materials be placed in larger article packagings prescribed in paragraph 7.b.(2) and that the
offeror notify the Pipeline and Hazardous Materials Safety Administration that this
packaging method is to be used.
Also, please note soiled linen or laundry that meets the definition of another hazard class or
that is a hazardous substance, hazardous waste, or marine pollutant, must be offered for
transportation and transported in accordance with the applicable requirements of the HMR.
I hope this information is helpful. Please contact us if we can be of further assistance.
Sincerely,
TAlenn
Fasten
T. Glenn Foster
Chief, Regulatory Review and Reinvention Branch
Standard and Rulemaking Division

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INTERPRETATION LETTERS
Date Received:
3/17/2016
Requester
Amy Berenbaum Goodman
Tracking
16-0044
Company
Hall, Render, Killian, Heath & Lyman, P.C.
Revision Date:
3/17/2016
Phone
303-802-1298
Date Assigned
3/17/2016
Date of Letter
3/16/2016
Staff
Edmonson
First Draft Due:
41712016
Section
173.134
First Draft Date:
Subject
Definitions
Concurrence
Status
Status Date
3/17/2016
Sign Date
Signor
HBP
Copy to Docket
Copy to DHM-60
Comment
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