# Commerical Vehicle Safety Alliance — Hazardous Materials Safety Interpretation

- **operation:** document
- **citation:** 18-0005
- **title:** Commerical Vehicle Safety Alliance — Hazardous Materials Safety Interpretation
- **source type:** guidance
- **agency:** Pipeline and Hazardous Materials Safety Administration
- **status:** guidance
- **official:** true
- **published on:** 2018-11-27
- **effective on:** Not available
- **summary:** 18-0005 response to Commerical Vehicle Safety Alliance concerning 172.101, 172.302, 172.326, 172.330, 172.331, 172.332.
- **machine formats:** - **json:** https://regulus.evalyn.ai/document/phmsa-interpretation-18-0005.json
- **markdown:** https://regulus.evalyn.ai/document/phmsa-interpretation-18-0005.md
- **app url:** https://regulus.evalyn.ai/document/phmsa-interpretation-18-0005
- **source url:** https://www.phmsa.dot.gov/sites/phmsa.dot.gov/files/docs/standards-rulemaking/hazmat/interpretations/70151/180005.pdf
**body:**

<<<PAGE 1>>>

U.S. Department
of Transportation
Pipeline and Hazardous
Materials Safety
Administration
1200 New Jersey Avenue, SE
Washington, DC 20590
NOV 2 7 2018
Collin Mooney
Commercial Vehicle Safety Alliance
6303 Ivy Lane, Suite 310
Greenbelt, MD 20770
Reference No. 18-0005
Dear Mr. Mooney:
This letter is in response to your January 5, 2018, letter requesting clarification of the Hazardous
Materials Regulations (HMR; 49 CFR Parts 171-180) applicable to the marking requirements for
bulk packagings.
We have paraphrased and answered your questions as follows:
Q 1. You ask when identification numbers are requited on all four sides of the transport
vehicle.
Al. If the identification number marking required by§ 172.302(a) for portable tanks, IBCs,
and consumer storage containers is not visible, the transport vehicle or freight container
used to transport the bulk packaging must be marked on each side and each end as
required by§ 172.332 with the identification number specified for the material in the
§ 172.101 Hazardous Materials Table (see §§ 172.326 and 172.331 ).
Q2. You ask if the marking requirements for a transport vehicle are different for bulk
packagings with a capacity of less than 1,000 gallons.
A2. The answer is no. See A 1.
Additionally, you are correct in your understanding of the requirement in § 172.330(b)
that a motor vehicle used to transport a multi-unit tank car tank containing a hazardous
material must be marked on each side and each end regardless of the visibility of the
identification number marking on the bulk packaging itself. However, for bulk
packagings other than multi-unit tank car tanks, if the identification number marking
requited by§ 172.302(a) is visible no additional identification number markings are
required on the transport vehicle.

<<<PAGE 2>>>

Q3. A3. You ask if it is the Pipeline and Hazardous Materials Safety Administration's intent that
the display of the identification number marking on transport vehicles per 49 CFR,
Subpart D be consistent with the placarding requirements in 49 CFR, Subpart F.
The answer is no. Although the requirements for placarding and marking bulk
packagings may be similar and resemble consistency, they are two separate requirements
in the HMR.
I hope this information is helpful. Please contact us if we can be of further assistance.
irk n
Chief, Stand els Development Branch
Standards and Rulemaking Division

<<<PAGE 3>>>

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Commercial Vehicle Safety Alliance
Improving uniformity in commercial motor vehicle safety and enforcement
January 5, 2018
Shane Kelley
Acting Director
Standard and Rulemaking (PHH-10)
U.S. Department of Transportation
Pipeline and Hazardous Materials Safety Administration
1200 New Jersey Ave., SE
Washington, DC 20590
Dear Mr. Kelley,
The Commercial Vehicle Safety Alliance (CVSA) is a nonprofit association comprised of local, state,
provincial, territorial and federal commercial motor vehicle safety officials and industry representatives.
The Alliance aims to achieve uniformity, compatibility and reciprocity of commercial motor vehicle
inspections and enforcement by certified inspectors dedicated to driver and vehicle safety. Our mission is
to improve commercial motor vehicle safety and uniformity throughout Canada, Mexico and the United
States, by providing guidance and education to enforcement, industry and policy makers.
With support from the Pipeline and Hazardous Materials Safety Administration's (PHMSA) Community
Safety Grant program, CVSA provides in-depth training to hazardous materials inspectors throughout the
country. During a recent CVSA Regional Cooperative Hazardous Materials Enforcement Development
(COHMED) Training session, our instructors were asked a question about displaying identification
numbers on a transport vehicle transporting an intermediate bulk container (IBC) when the identification
numbers displayed on the IBC are visible from the sides of the transport vehicle. This would be a common
scenario when a flatbed straight truck is used to transport IBCs or other bulk packaging less than 1000
gallons. In this case, are the identification numbers required on the front and rear of the transport vehicle?
This same scenario would be applicable to portable tanks less than 1000 gallons marked according to
§172.326, multi-unit tank car tanks marked according to §172.330, other bulk packaging marked
according to §172.331 and consumer storage containers less than 1000 gallons shipped per §173.315(j).
This scenario would only occur when the bulk packaging is less than 1000 gallons and the packaging is
visible.
6303 Ivy Lane, Sui te 310 Greenbelt, M I yland 20770 30 [-830-6 14 3 www .c vsa org

<<<PAGE 4>>>

We asked several hazardous materials specialists and instructors around the country this question. They
all agreed that the vehicle requires identification numbers on all four sides and have taught that for many
years.
We looked at every interpretation applicable to §172.302, §172.326, §172.330, §172.331, §172.332 and
§173.315. The following interpretations address the display of identification numbers and this issue either
directly or indirectly: 98-0044, 01-0286, 02-0029, 03-0206, 08-0175, 09-0171, 12-0055, 13-0206, 14-0183,
15-0120 and 16-0004.
Subpart Din Part 172 does not have a specific section that addresses identification number marking on
transport vehicles. Instead, it is addressed in the following code sections: §172.326(c)(l), §172.330(b) and
§172.331(c).
Both §172.326(c)(l) and §172.331(c) address when identification numbers are not visible on a bulk
packaging. In those cases, the transport vehicle must display identification numbers on each side and each
end. Neither code specifies how many identification numbers must be displayed on the transport vehicle
when the identification numbers on the bulk packaging are visible.
§172.330(b) requires a motor vehicle transporting multi-unit tank car tanks (ton cylinders) to display the
identification number on both sides and each end of the motor vehicle, regardless of whether or not the
identification numbers displayed on the tank(s) are visible.
Interpretation 13-0206 gives specific guidance on this issue, which seems to be inconsistent with other
guidance and what is currently being taught. The following is an excerpt from that interpretation with the
language that is a concern underlined.
"This is in response to your October 31, 2013 e-mail requesting clarification of the Hazardous
Materials Regulations {HMR; 49 CFR Parts 171 -180} applicable to identification numbers on
Intermediate Bulk Containers {IBCs). In your scenario, a 500 gallon /BC containing a Class 8
corrosive liquid is transported on an open-sided flatbed truck. The /BC has the correct United
Nations (UN) identification number on orange panels on two opposing sides in accordance with
§172.302{a)(2). These identification numbers are viewable from either side of the flatbed. You ask
if the flatbed is also required to display the UN identification numbers on the front and rear of the
vehicle.
The answer is no. As prescribed in §172.302(0), bulk packages with a capacity of less than 1,000
gallons capacity are required to display identification numbers only on two opposing sides. For
bulk packages of 1,000 gallons capacity or more, identification numbers must be displayed on all
four sides."
2
6303 Ivy La ne, Sui te 310 Greenbelt, Ma t yland 20770 301·830 ·6143 www.cvsa org

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From our analysis, the display of identification numbers on transport vehicles is not specifically addressed
in the regulations. Specifically, with bulk packaging less than 1000 gallons.
We request interpretation on the following issues, so the matter can be uniformly enforced by roadside
inspectors and the motor carrier industry has a clear understanding of the marking requirements.
1. 2. 3. When are identification numbers required on all four sides of a transport vehicle?
Are the requirements for marking a transport vehicle different for bulk packaging(s) less than
1000 gallons?
Is it PHMSA's intent that the display of identification number markings on transport vehicles
per Subpart D be consistent with placarding requirements in Subpart F?
CVSA works to closely monitor, evaluate and identify potentially unsafe transportation processes and
procedures as well as to help facilitate and implement best practices for enhancing safety on our
highways. Commercial motor vehicle safety continues to be a challenge and we need the involvement of
all affected parties to help us better understand these issues and put into place practical solutions. We
appreciate the opportunity to comment on this proposal and the agency's commitment to safety and
stakeholder involvement.
If you have further questions or comments, please do not hesitate to contact me by phone at 301-830-
6149 or by email at collinm@cvsa.org.
Respectfully,
Collin B. Mooney, MPA, CAE
Executive Director
Commercial Vehicle Safety Alliance
3
6303 Ivy Lane, Sui te 310 Greenbelt, Ma1yla11d 20770 30 1-830-6 1'13 www.cvsa org
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