# TEN-E Packaging Services, Inc. — Hazardous Materials Safety Interpretation

- **operation:** document
- **citation:** 21-0113
- **title:** TEN-E Packaging Services, Inc. — Hazardous Materials Safety Interpretation
- **source type:** guidance
- **agency:** Pipeline and Hazardous Materials Safety Administration
- **status:** guidance
- **official:** true
- **published on:** 2022-03-25
- **effective on:** Not available
- **summary:** 21-0113 response to TEN-E Packaging Services, Inc. concerning 172.101.
- **machine formats:** - **json:** https://regulus.evalyn.ai/document/phmsa-interpretation-21-0113.json
- **markdown:** https://regulus.evalyn.ai/document/phmsa-interpretation-21-0113.md
- **app url:** https://regulus.evalyn.ai/document/phmsa-interpretation-21-0113
- **source url:** https://www.phmsa.dot.gov/sites/phmsa.dot.gov/files/docs/standards-rulemaking/hazmat/interpretations/76406/210113.pdf
**body:**

<<<PAGE 1>>>

1200 New Jersey Avenue, SE
Washington, DC 20590
U.S. Department
of Transportation
Pipeline and Hazardous
Materials Safety
Administration
March 25, 2022
Robert Ten Eyck
TEN-E Packaging Services, Inc.
1666 County Road 74
Newport, MN 55055
Reference No. 21-0113
Dear Mr. Eyck:
This letter is in response to your December 21, 2021, letter requesting clarification of the
Hazardous Materials Regulations (HMR; 49 CFR Parts 171-180) applicable to the packaging
requirements for certain nitric acid solutions (69.5% nitric acid). Specifically, you seek
clarification on the implementation of special provision IP15—which is listed in Column 7 of the
§ 172.101 Hazardous Materials Table (HMT)—as it applies when this material is packaged in a
composite intermediate bulk container (IBC) with a rigid inner receptacle. In your letter, you
describe a scenario involving unused composite IBCs that were manufactured in 2018. You ask:
(1) whether these composite IBCs are restricted from use when transporting “UN2031, Nitric
acid other than red fuming, with at least 65 percent, but not more than 70 percent nitric acid, 8,
(5.1), PG II”; and (2) whether the two-year limit on using the composite IBCs is triggered by the
IBC manufacture date.
The answer to both questions is yes. Nitric acid solutions assigned special provision IP15 in
Column 7 of the HMT may not be transported in a composite IBC with a rigid inner receptacle
that is more than two years out from its date of manufacture. Further, the two-year limit is based
on the date of manufacture, regardless of when the packaging is filled. As stated in special
provision IP15, “for UN2031 with more than 55% nitric acid, rigid plastic IBCs and composite
IBCs with a rigid inner receptacle are authorized for two years from the date of IBC
manufacture.”

<<<PAGE 2>>>

Please note that this restriction does not preclude the use of the IBCs for other hazardous
materials as authorized.
I hope this information is helpful. Please contact us if we can be of further assistance.
Sincerely,
Dirk Der Kinderen
Chief, Standards Development Branch
Standards and Rulemaking Division

<<<PAGE 3>>>

December 21, 2021
Shane Kelley
US DEPARTMENT OF TRANSPORTATION
Pipeline and Hazardous Materials Safety Administration
Standards and Rulemaking PHH-10
1200 New Jersey Avenue
SE Building, 2nd Floor
Washington, DC 20590
Re.: Use of Special Provision IP15
Dear Shane:
A client of ours contacted us concerning Title 49 CFR Special Provision IP15 and their use of
composite IBCs for packaging 69.5% nitric acid. The company has an inventory of new IBCs that were
manufactured in 2018 and because of the language in IP15 that states “composite IBCs with a rigid
inner receptacle are authorized for two years from the date of IBC manufacture” they question if these
new IBCs are restricted from use. It would make sense to start the packaging shelf life at the time the
package is first filled with the nitric acid as opposed to the actual container manufacture date that
appears as part of the UN package specification marking.
This special provision was placed in the Title 49 CFR regulations under Docket HM-215J and is taken
from the language that appears in the UN Recommendations on the Transport of Dangerous Goods
(re. Packing Instruction IBC02, Special Packing Provision B15). We could not find anything in the
preamble to the Title 49 CFR regulation or past UN papers that explain the intent of this special
provision and so we are writing to ask for a formal interpretation as to whether the two-year limit applies
to the actual container manufacture date or when the package is first filled with the nitric acid.
Thank you for your input on this regulatory matter.
Sincerely,
Web: www.ten-e.com Web: www.ten-e.com Web: www.ten-e.com
TEN-E Packaging Services, Inc.
1666 County Road 74 326 North Corona Avenue 2101 North Shore Street
Newport, MN 55055 Ontario, CA 91764 High Point, NC 27263
Phone: 651-459-0671 Phone: 909-937-1260 Phone: 336-803-1331
Fax: 651-459-1430 Fax: 909-937-1262 Fax: 336-804-5074
Email: info@ten-e.com Email: info@ten-e.com Email: info@ten-e.com
United States – Minnesota United States – California United States – North Carolina

<<<PAGE 4>>>

From: Kelley, Shane (PHMSA)
To: Dodd, Alice (PHMSA)
Cc: INFOCNTR (PHMSA)
Subject: Fwd: Special Provision IP15
Date: Tuesday, December 21, 2021 12:41:22 PM
Attachments: image001.png
21-MN50039 Use of Special Provision IP15 - DOT Interpretation.docx
Good afternoon team. Please see the attached for processing as a request for interpretation. Thank you
From: Robert Teneyck <Robert.Teneyck@ten-e.com>
Sent: Tuesday, December 21, 2021 12:23:50 PM
To: Kelley, Shane (PHMSA) <shane.kelley@dot.gov>
Subject: Special Provision IP15
CAUTION: This email originated from outside of the Department of Transportation (DOT). Do not click on links or open
attachments unless you recognize the sender and know the content is safe.
Hi Shane,
Attached is a formal request for an interpretation on the use of Special Provision IP15 when packaging nitric
acid in composite IBCs. Please let me know if you need anything further to respond to this inquiry.
Thanks much.
Bob T.
Robert Ten Eyck TEN-E Packaging Services, Inc.
robert.teneyck@ten-e.com 1666 County Road 74
Office: 651-459-0671 Newport, MN 55055
Fax: 651-459-1430 www.ten-e.com

<<<PAGE 5>>>

December 21, 2021
Shane Kelley
US DEPARTMENT OF TRANSPORTATION
Pipeline and Hazardous Materials Safety Administration
Standards and Rulemaking PHH-10
1200 New Jersey Avenue
SE Building, 2nd Floor
Washington, DC 20590
Re.: Use of Special Provision IP15
Dear Shane:
A client of ours contacted us concerning Title 49 CFR Special Provision IP15 and their use of
composite IBCs for packaging 69.5% nitric acid. The company has an inventory of new IBCs that were
manufactured in 2018 and because of the language in IP15 that states “composite IBCs with a rigid
inner receptacle are authorized for two years from the date of IBC manufacture” they question if these
new IBCs are restricted from use. It would make sense to start the packaging shelf life at the time the
package is first filled with the nitric acid as opposed to the actual container manufacture date that
appears as part of the UN package specification marking.
This special provision was placed in the Title 49 CFR regulations under Docket HM-215J and is taken
from the language that appears in the UN Recommendations on the Transport of Dangerous Goods
(re. Packing Instruction IBC02, Special Packing Provision B15). We could not find anything in the
preamble to the Title 49 CFR regulation or past UN papers that explain the intent of this special
provision and so we are writing to ask for a formal interpretation as to whether the two-year limit applies
to the actual container manufacture date or when the package is first filled with the nitric acid.
Thank you for your input on this regulatory matter.
Sincerely,
Web: www.ten-e.com Web: www.ten-e.com Web: www.ten-e.com
TEN-E Packaging Services, Inc.
1666 County Road 74 326 North Corona Avenue 2101 North Shore Street
Newport, MN 55055 Ontario, CA 91764 High Point, NC 27263
Phone: 651-459-0671 Phone: 909-937-1260 Phone: 336-803-1331
Fax: 651-459-1430 Fax: 909-937-1262 Fax: 336-804-5074
Email: info@ten-e.com Email: info@ten-e.com Email: info@ten-e.com
United States – Minnesota United States – California United States – North Carolina
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