18-0086
18-0086
Page 1U.S. Department of Transportation Pipeline and Hazardous Materials Safety Administration 1200 New Jersey Avenue, SE Washington, DC 20590 SEP 2 0 2018 Tom Allen KASI Infrared Corporation 931 John Stark Highway Newport, NH 03773 Reference No. 18-0086 Dear Mr. Allen: This letter is in response to your June 6, 2018, email requesting clarification of the Hazardous Materials Regulations (HMR; 49 CFR Parts 171-180) applicable to the requirements for permanently mounted propane tanks for which the sole purpose is powering equipment that is mounted on the truck. Specifically, you ask whether the transport vehicle in the photographs provided is subject the placarding requirements of Part 172, Subpart F of the HMR. The answer is no. Provided the permanently mounted propane tanks meet the requirements of 49 CFR 393.65 and 393.67 of the Federal Motor Carrier Safety Regulations (FMCSR) for fuel systems and are used only for supplying fuel for the operation of the motor vehicle or its auxiliary equipment, the mounted propane tanks are not subject to the HMR with respect to their use on the vehicle. I hope this information is helpful. Please contact us if we can be of further assistance. Sincerely, ~~ Chief, Standards Development Branch Standards and Rulemaking Division#
Page 2January, lkeya CTR (PHMSA) From: Sent: To: Cc: DerKinderen, Dirk (PHMSA) Thursday, June 07, 2018 4:13 PM January, Ikeya CTR (PHMSA) Geller, Shelby (PHMSA) Subject: FW: Request for Clarification lkeya, Please enter in Filemaker as an interp request and please reach out to Mr. Allen for the photos that he refers to in the text of his email. I don't see the attached photos. Sincerely. D Wlv Dev KC,n,de,ve-¥v From: Raynor, T'Mia (PHMSA) Sent: Thursday, June 07, 2018 4:10 PM To: DerKinderen, Dirk (PHMSA) <Dirk.DerKinderen@dot.gov> Subject: FW: Request for Clarification Hello, This was received in the webmaster inbox. Thanks, T'Mia Raynor Webmaster PHMSA Office of the CIO (PHF-30) Desk: (202) 366-9818 I Mobile: (202) 580-9447 From: Tom Allen <tom@kasiinfrared.com> Sent: Thursday, June 7, 2018 3:34:16 PM To: PHMSA Webmaster Subject: Request for Clarification JUNE 6, 2018 TO: Office of Hazmat Standards Dirk Der Kinderen East Building 1200 N.J. Avenue SE Washington, DC 20590 FROM: Tom Allen 1#
Page 3SUBJECT: General Manager KASI Infrared C orporation 931 John Stark Highway . Newport, NH 03773 Request for determination of placarding We have periodically been asked by customers if placarding and hazmat certification was required on this equipment. In each instance we called you folks and were told that as long as the fuel tanks meet FMCSA 49 CFR 393.65 and.67 regulation as the fit for this equipment and that the tanks were permanently mounted and for the sole purpose of powering the truck mounted equipment that no placarding was required. The key points we were referred to were that this is a permanently mounted system with permanently affixed tanks ;md the propane vapor was utilized solely for the operation of the system. We have two tank configurations depending on the amount of fuel necessary for operation of the systems. The smaller systems carry five 100 LB DOT Multi-Valve LPG Vapor Draw Tanks and the larger systems carry two 420 LB DOT Multi-Valve LPG Vapor Draw Tanks. We would like to have an interpretation to make certain we are Correct regarding placarding. I have attached photos of the systems referred to above Thank you 2#
This material provides agency context. It does not replace binding regulatory text, and its legal effect depends on the underlying authority and facts.