# Entegris — Hazardous Materials Safety Interpretation

- **operation:** document
- **citation:** 17-0005
- **title:** Entegris — Hazardous Materials Safety Interpretation
- **source type:** guidance
- **agency:** Pipeline and Hazardous Materials Safety Administration
- **status:** guidance
- **official:** true
- **published on:** 2017-05-31
- **effective on:** Not available
- **summary:** 17-0005 response to Entegris concerning 171.23, 171.8, 173.227.
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- **markdown:** https://regulus.evalyn.ai/document/phmsa-interpretation-17-0005.md
- **app url:** https://regulus.evalyn.ai/document/phmsa-interpretation-17-0005
- **source url:** https://www.phmsa.dot.gov/sites/phmsa.dot.gov/files/legacy/interpretations/Interpretation%20Files/2017/170005.pdf
**body:**

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EHS&S Specialist - DG & Product Compliance
Entegris
706 Houston Clinton Drive
Burnet, TX 78611
Reference No. 17-0005
Dear Mr. Yarbrough:
This letter is in response to your January 16, 2017, email requesting clarification of the
Hazardous Materials Regulations (HMR; 49 CFR Parts 171-180) applicable to the packaging and
transport of a material poisonous-by-inhalation, Division 6.1, Packing Group I, Hazard Zone B.
Specifically, you point to the packaging configuration in § 173.227(c), which authorizes use of
United Nations (UN) performance oriented single packaging when blocked and braced in a
transport vehicle, not stacked, and the shipment is "from one origin to one destination only
without any intermediate pickup or delivery."
We have paraphrased and answered your questions as follows:
Q1.
You ask if a "shipping container" (i.e., a freight container) meets the definition of a
"transport vehicle" as specified in § 173.227(c).
A1.
The answer is no. As defined in § 171.8, a "freight container" means a reusable container
having a volume of 64 cubic feet or more, designed and constructed to permit being lifted
with its contents intact and intended primarily for containment of packages during
transportation. A "transport vehicle" is defined as a cargo-carrying body such as an
automobile, van, tractor, truck, semitrailer, tank car or rail car used for the transportation
of cargo by any mode. As a freight container is not a cargo-carrying body used for the
transportation of cargo, it would not meet the definition of a transport vehicle.
Q2. You ask if a sealed freight container loaded on a vessel during the course of
transportation to its final destination meets the requirement in § 173.227(c) that
"shipments must be from one origin to one destination only without an intermediate
A2.
The answer is no. As a freight container does not meet the definition of a transport
vehicle, the shipment does not meet all of the criteria in § 173.227(c) (see A1).

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vehicle is still en route to the final destination indicated on the shipping document,
package marking, or other medium, and the drums remained sealed inside the transport
vehicle, it will still comply with the packaging requirements of § 173.227(c). Please note
that the shipment must still meet all applicable domestic and international requirements
(see A3).
Q3.
You ask if a shipment of a material poisonous-by-inhalation, Division 6.1, Packing
Group I, Hazard Zone B packaged per § 173.227(c) would be authorized for international
vessel transportation.
A3.
The answer is yes, provided the packaging also conforms to international regulations.
In accordance with § 171.23(a)(10)(ii), a material poisonous-by-inhalation must be
packaged in accordance with the requirements of the HMR. Therefore, if the shipment
meets applicable HMR requirements in addition to the packaging requirements of
§ 173.227(c), the shipment is authorized. Please note this entails compliance with the
International Maritime Dangerous Good (IMDG) Code for the transportation of the
material in order to be authorized.
I hope this information is helpful. Please contact us if we can be of further assistance.
Sincerely
Chief, Standards Development
Standards and Rulemaking Division

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Flag Status:
Flagged
Hi Shante/Alice,
Please submit this as a letter of interpretation. Mr. Yarbrough spoke with Jodi.
Please let me know if you have any questions.
Thanks,
Jordan
From: Quentin Yarbrough [mailto:quentin.yarbrough@entegris.com]
Sent: Monday, January 16, 2017 12:49 PM
To: PHMSA HM InfoCenter <PHMSAHMInfoCenter@dot.gov>
Subject: PIH/TIH international
Importance: High
Dear Sir/Madam,
Regarding international shipments of material toxic by inhalation hazard zone B.
173.227.(c)
(c) 1A1, 1B1, 1H1, 1N1, 6HA1 or 6HH1 drums described in paragraph (b) of this section may be used without being
further packed in a 1A2 or 1H2 drum if the shipper loads the material, blocks and braces the drums within the transport
vehicle and seals the transport vehicle used. Drums may not be stacked (double decked) within the transport vehicle.
Shipments must be from one origin to one destination only without any intermediate pickup or delivery.
Questions:
1. For an international shipment does a shipping container meet the definition of "transport vehicle" and
be allowed?
2. After sealing the container for shipment to a customer overseas would the holding and loading onto
the vessel for shipment... be compliant with the one origin to one destination rule?
Please call for any clarification needed.
Thank you
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