{"operation":"document","citation":"16-0048","title":"Public Utilities Commission of Ohio — Hazardous Materials Safety Interpretation","source_type":"guidance","agency":"Pipeline and Hazardous Materials Safety Administration","status":"guidance","official":true,"published_on":"2016-08-03","effective_on":null,"summary":"16-0048 response to Public Utilities Commission of Ohio concerning 180.407.","machine_formats":{"json":"https://regulus.evalyn.ai/document/phmsa-interpretation-16-0048.json","markdown":"https://regulus.evalyn.ai/document/phmsa-interpretation-16-0048.md"},"app_url":"https://regulus.evalyn.ai/document/phmsa-interpretation-16-0048","source_url":"https://www.phmsa.dot.gov/sites/phmsa.dot.gov/files/legacy/interpretations/Interpretation%20Files/2016/160048.pdf","body":"<<<PAGE 1>>>\n\nU.S. Department\nof Transportation\nPipeline and Hazardous\nMaterials Safety\nAdministration\n1200 New Jersey Avenue, SE\nWashington, D.C. 20590\nAUG 0 3 2016\nRonald B. Swegheimer\nDivision Chief\nPublic Utilities Commission of Ohio\n180 East Broad Street\nColumbus, OH 43215\nRef. No. 16-0048\nDear Mr. Swegheimer:\nThis responds to your March 18, 2016 email requesting clarification of the Hazardous Materials\nRegulations (HMR; 49 CFR Parts 171-180) applicable to the requalification and maintenance of\ncargo tanks. In your email, you describe a Specification DOT 407 cargo tank equipped with\nvapor recovery equipment that is transporting \"UN3295, Hydrocarbons, liquid, n.o.s.\" Your\nquestions are paraphrased and answered as follows:\nQl. Are all specification cargo tanks equipped with vapor recovery equipment allowed to\nuse the EPA Method 27 leak test?\nAl. No. Only cargo tanks used to transport petroleum distillate fuels (defined in the test as a\npetroleum distillate or petroleum distillate/alcohol blend having a Reid vapor pressure of\n27.6 kilopascals or greater which is used as a fuel for internal combustion engines) that\nare equipped with vapor collection equipment may be leak tested in accordance with the\nEnvironmental Protection Agency (EPA) \"Method 2 7-Determination of Vapor\nTightness of Gasoline Delivery Tank Using Pressure-Vacuum Test,\" as set forth in\nAppendix A to 40 CFR part 60.\nQ2. If a cargo tank with vapor collection equipment that has been tested in accordance with\nEPA Method 27 transports gasoline one time, is it authorized to carry other hazardous\nmaterials without being retested in accordance with§ 180.407(h)(l)?\nA2. No. The authorization to perform the leak test in accordance with EPA Method 27 is\nonly for cargo tanks that are in dedicated service for the transportation of petroleum\ndistillate fuel.\nQ3. If a cargo tank is not operated in petroleum distillate fuel service but is equipped with\nvapor recovery equipment, is the vapor recovery equipment subject to the requirements\nin Part 180, Subpart E of the HMR?\n\n<<<PAGE 2>>>\n\n1\nA3. The qualification and maintenance requirements in Part 180, Subpart E of the HMR\napply to all specification cargo tanks. To be considered an authorized specification\npackaging, all applicable requirements in Part 180, Subpart E must be met for the\nparticuiar cargo tank in question. However, there are no specific qualification and\nmaintenance requirements o.r retesting requirements specific to vapor collection\nequipment, as it is not included in any cargo tank specification.\nI trust this satisfies your inquiry. Please contact us if we can be of further assistance.\nSincerely, . .;ifL··\"/,,.\n•'\" '\n,/·'/ . . .•. /-.. · . . .\n~z~'\nDirk er Kin~n\nChief, Standards Development Branch\nStandards and Rulemaking Division\n\n<<<PAGE 3>>>\n\nDodd, Alice (PHMSA)\nFrom: Betts, Charles (PHMSA)\nSent:\nTo:\nFriday, March 18, 2016 11:49 AM\nHazmat Interps\nSubject: FW: Guidance request\nImportance: ·High\nPlease log and assign to a specialist for response.\nFrom: ronald.swegheimer@puc.state.oh.us [mailto:ronald.swegheimer@puc.state.oh.us]\nSent: Friday, March 18, 2016 11:11 AM\nTo: Betts, Charles (PHMSA)\nSubject: Guidance request\nMarch 18, 2016\nMr. Charles Betts, PHH-10\nOffice of Standards and Rule making\nU.S. Department of Transportation\n1200 New Jersey Avenue, SE\nWashington, DC 20590\nRe: Transportation of UN 3295, Hydrocarbons liquid n.o.s, 3, PG I in a DOT-407 cargo tank equipped\nwith vapor recovery\nDear Mr. Betts:\nI am requesting a written interpretation on the transportation requirements under the Hazardous Materials\nRegulations (HMR 49 CFR Parts 171-180). Specifically, clarification on the acceptability of using an Environmental\nProtection Agency Method 27 alternative leak test on a DOT 407 cargo tank equipped with vapor collection equipment.\nA carrier using a DOT 407 cargo tank for the transportation of, UN3295, Hydrocarbons, liquid, NOS, 3, PGI, RQ\n(Hexane) has indicated to our Agency that the EPA Method 27 leakage test is acceptable since the cargo tank is\nequipped with a vapor recovery system. This was in response to a roadside vehicle inspection on January 14, 2016 citing\nthe carrier for an improper leakage test.\nThe carrier contends to our agency that this test is acceptable for the above material because \"the Method 27 K-\nEPA leakage test supersedes the K test based on the fact Method 27 K-EPA leakage test is required for vapor recovery\nsystem trailers. They are both the same leakage test but Method 27 K-EPA requires more.\"\nIn considering this, I reviewed the EPA Method 27 test procedures and the leakage test procedures in 49 CFR\nPart 180.407(h). According to my findings the EPA Method 27 test is performed at a much lower pressure and allows\nleakage versus the pressure of 80% of the tanks MAWP and no leakage allowed for a \"standard\" leakage test.\nThe nature of the materials transported in the cargo tank-petroleum distillate fuels-governs the use of the\nEPA Method 27 alternative leakage test. The DOT 407 cargo tank itself is approved for use in transporting many\nmaterials with a wide range of vapor pressures, not just low vapor pressure petroleum distillate fuels. Additionally many\n1\n\n<<<PAGE 4>>>\n\ncompanies have added vapor recovery systems to cargo tanks in an effort to reduce emissions or in some cases to\nprotect the lading from contamination.\nGuidance issued by PHMSA in July of 2011 indicated that \"Petroleum distillate fuel\" is not specifically defined in\nthe HMR (49 CFR Parts 171-180). However, the common definition of a petroleum distillate fuel is a hydrocarbon mixture\nextracted from crude oil through the distillation process and used to power vehicles or machinery. Further, EPA Method\n27, Determination of Vapor Tightness of Gasoline Delivery Tank Using Pressure Vacuum Test applies to a \"gasoline\ndelivery tank which is equipped with vapor collection equipment\"(EPA Method 27, Section 1.0 - Scope and\nApplication). The term \"gasoline\" is defined in EPA Method 27, Section 3.6 to mean \"a petroleum distillate or petroleum\ndistillate/alcohol blend having a Reid vapor pressure of 27.6 kilopascals or greater which is used as a fuel for internal\ncombustion engines.\" It is PHMSA's opinion that EPA Method 27 may be used to satisfy the leakage test specified in\n§ 180.407{h}(2} if a cargo tank is equipped with vapor collection equipment and has been used to transport \"gasoline\" as\ndefined by EPA Method 27, Section 3.6\". Additionally the guidance indicates if a \"mixture meets the definition of\n\"gasoline\" in EPA Method 27, section 3.6, then it is also considered a petroleum distillate fuel for the purpose of\n§ 180.407(h)(2}.\"\nThe carrier was transporting the material to an ethanol plant and has, as of yet, to contend that the material \"is\nused as a fuel for internal combustion engines\" just that the unit has a vapor recovery system and the \"Method 27 K-EPA\nrequires more.\"\nThe questions and answers as we see them regarding this issue are as follows;\nQl) Are all specification cargo tanks equipped with a vapor recovery system allowed to use the EPA Method 27 leak\ntest?\nAl) No, only cargo tanks equipped with a vapor recovery system transporting a mixture that meets the\ndefinition of \"gasoline\" in EPA Method 27, section 3 .6, (petroleum distillate or petroleum distillate/alcohol blend\nwhich is used as a fuel for internal combustion engines) may utilize the test in 49 CFR§ 180.407(h)(2).\nQ2) Previous PHMSA guidance has indicated that \"if a cargo tank' ... equipped with vapor recovery system ...\n\"is used to transport gasoline one day and the next day ethanol with 5% gasoline the EPA method 27 test\nsuffices for the leakage test required by the USDOT. Based on this if a cargo tank equipped with a vapor\nrecovery system transports gasoline one time the rest of the time the cargo tank is in service it may utilize the\nEPA Method 27 test. Is this correct?\nA2) No, the utilization of the EPA Method 27 was intended as a relief to cargo tanks operated in petroleum\ndistillate fuel service. These cargo tanks were already required by the EPA to be subjected to a \"leakage\" test if\ntransporting petroleum distillate fuels and the exception provided relief from dual testing. The guidance issued\nin 2011 was to address the use of alternative forms of distilled fuels for internal combustion engines.\nQ3) If a cargo tank is not operated in petroleum distillate fuel service but is equipped with vapor recovery\nsystem, is the vapor recovery system subject to the requirements in Subpart E, Part 180, Qualification and\nMaintenance of Cargo Tanks?\nA3) No, vapor recovery systems are not currently an equipment requirement for cargo tanks in Part 178 Specifications\nfor Packages.\nThank you for your assistance in this matter.\nSincerely,\nRon Swegheimer\n2\n\n<<<PAGE 5>>>\n\nRonald B. Swegheimer\nDivision Chief\nPublic Utilities Commission of Ohio\nTransportation - Enforcement\nOffice: (614) 466-0423\nFax: (614) 728-2133\n3","truncated":false,"body_characters":8946}