# Commercial Vehicle Safety Alliance — Hazardous Materials Safety Interpretation

- **operation:** document
- **citation:** 25-0055
- **title:** Commercial Vehicle Safety Alliance — Hazardous Materials Safety Interpretation
- **source type:** guidance
- **agency:** Pipeline and Hazardous Materials Safety Administration
- **status:** guidance
- **official:** true
- **published on:** 2025-09-22
- **effective on:** Not available
- **summary:** 25-0055 response to Commercial Vehicle Safety Alliance concerning 172.407, 172.514, 173.150.
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- **markdown:** https://regulus.evalyn.ai/document/phmsa-interpretation-25-0055.md
- **app url:** https://regulus.evalyn.ai/document/phmsa-interpretation-25-0055
- **source url:** https://www.phmsa.dot.gov/sites/phmsa.dot.gov/files/2025-12/250055.pdf
**body:**

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U.S. Department
of Transportation
Pipeline and Hazardous
Materials Safety
Administration
1200 New Jersey Avenue, SE
Washington, DC 20590
September 22, 2025
Collin B. Mooney, MPA, CAE
Executive Director
Commercial Vehicle Safety Alliance
99 M Street, SE, Suite 1025
Washington, DC 20003
Reference No. 25-0055
Dear Mr. Mooney:
This letter is in response to your email requesting clarification of the Hazardous Materials
Regulations (HMR; 49 CFR Parts 171-180) applicable to recent changes to the HMR regarding
reduced-size combustible placards on intermediate bulk containers (IBCs) and portable tanks
(see § 172.514(c)(1) and (c)(4)). You state that your organization has identified several issues
regarding the changes made to this section and is requesting clarification on their scope and
intent.
We have paraphrased and answered your questions as follows:
Q1. Would it be acceptable to use a reduced-size placard that is not the exact same size as a
label, but between the size of a label and a placard?
A1. Yes. Paragraphs (c)(1) and (c)(4) in § 172.514 state that portable tanks and IBCs
containing combustible liquids may be placarded with a combustible placard that meets
the label specifications for size in § 172.407(c). That section states that each label must
be at least (emphasis added) 100 mm (3.9 inches) on each side. This provision allows
labels to be more than 100 mm on each side. Therefore, a smaller sized placard that
meets the labeling provision in § 172.407(c) complies with the requirements in the HMR.
Q2. You note that the HM-219D final rulea did not address the size requirements for United
Nations (UN) identification numbers on reduced sized placards. You ask if it is
acceptable to use a combustible placard with the UN identification number printed on it
as the reduced-size placard.
a 89 FR 15636 (Mar. 3, 2024)

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A2. Yes, as noted in A1, § 172.514(c)(1) and (c)(4) allow the use of a reduced-size placard
that meets the label size specifications (emphasis added) in 49 CFR § 172.407(c). This
provision permits placards that otherwise conform to all applicable parts of the HMR to
be reduced in size, based on the reasoning that labels were already permitted as an
alternative to placards on portable tanks with a capacity of less than 1,000 gallons and
IBCs.
Q3. You note that HMR does not include a combustible liquid label and that a reduced-size
combustible placard could be the same size as a label, potentially leading to incorrectly
cited roadside violations and unnecessary shipment delays. You ask why PHMSA did
not authorize a combustible label, with label specifications, into the regulations for IBCs
and portable tanks.
A3. In accordance with § 173.150(f)(2), the HMR does not apply to a material classed as a
combustible liquid in a non-bulk packaging unless the combustible liquid is a hazardous
substance, a hazardous waste, or a marine pollutant. This means that, in many cases,
combustible liquids are only subject to HMR requirements when in bulk packaging,
which typically require placards rather than labels. The use of the term “placard” was
purposeful to avoid confusion between requirements for bulk packaging and those for
non-bulk packaging.
I hope this information is helpful. Please contact us if we can be of further assistance.
Sincerely,
Alexander Wolcott
Acting Chief, Regulatory Review and Reinvention Branch
Standards and Rulemaking Division

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25-0055
Larson
Pollack, Arthur (PHMSA)
From: Adrienne Gildea <adrienne.gildea@cvsa.org>
Sent: Thursday, May 30, 2024 2:28 PM
To: Kelley, Shane (PHMSA)
Cc: Bill Reese; Collin Mooney
Subject: Letter to PHMSA Requesting Clarification on Reduced Sized Combustible Placard
Attachments: Letter to PHMSA Requesting Clarification on Reduced Sized Combustible Placard.pdf
Good a ernoon Mr. Kelly,
A ached, please find a le er reques ng clarifica on on the recent changes to the Hazardous Materials Regula ons
regarding reduced-size combus ble placards on intermediate bulk containers and portable tanks.
We appreciate your considera on of this request.
Thank you,
Adrienne
Adrienne Gildea, CAE
Deputy Execu ve Director
adrienne.gildea@cvsa.org
Direct: 202-998-1009
Mobile: 202-213-5890
99 M Street, SE, Suite 1025
Washington, DC 20003
Phone: 202-998-1002
www.cvsa.org
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May 30, 2024
Mr. Shane Kelley
Director, Standards and Rulemaking Division (PHH-10)
U.S. Department of Transportation
Pipeline and Hazardous Materials Safety Administration
1200 New Jersey Ave. SE
Washington, DC 20590
RE: Clarification on the reduced-size combustible placards on intermediate bulk containers and portable
tanks
Dear Director Kelley,
On March 4, the Pipeline and Hazardous Materials Safety Administration (PHMSA) published its Adoption of
Miscellaneous Petitions and Updating Regulatory Requirements Final Rule (Docket Number: PHMSA–2020–0102),
making a series of changes to the Hazardous Materials Regulations. The final rule was effective April 3 with a
delayed compliance date of March 4, 2025. Included in the final rule were changes to § 172.514(c)(1) for portable
tanks and § 172.514(c)(4) for intermediate bulk containers (IBCs). These changes to the regulations allow for a
reduced-size combustible label to be used on portable tanks and IBCs. The reduced-size placards are allowed to
be the same size as a label. The Commercial Vehicle Safety Alliance (CVSA) identified several issues regarding the
changes and is requesting clarification on the scope and intent.
CVSA is a nonprofit organization comprised of local, state, provincial, territorial and federal commercial motor
vehicle safety officials and industry representatives. The Alliance aims to prevent commercial motor vehicle
crashes, injuries and fatalities and believes that collaboration between government and industry improves road
safety and saves lives. Our mission is to improve commercial motor vehicle safety and enforcement by providing
guidance, education and advocacy for enforcement and industry across North America.
Request
CVSA requests that PHMSA address the following questions regarding these new regulations for portable tanks
and IBCs.
1) Can the reduced-size placard be a size between a label (100 mm) and a placard (250 mm); for example, 175
mm?

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2) Given that the final rule did not address identification (ID) numbers and the reduced-size ID numbers would
not meet the minimum size requirements, can a placard with a white bottom and ID number on it be reduced
and the ID number left on the label?
3) Currently, the regulations expressly state there is no combustible liquid label. However, this reduced-size
combustible placard is the size of a label, which will result in roadside violations being cited incorrectly and
shipments being unnecessarily delayed. Why did PHMSA not authorize a combustible label for IBCs and
portable tanks and add label specifications into the regulations?
Justification
As noted above, the changes to the labeling and marking requirements for portable tanks and IBCs have resulted
in confusion and the risk of inconsistent enforcement. CVSA has a cooperative agreement with the Federal Motor
Carrier Safety Administration to provide required certification training for state and local law enforcement
officers in the proper procedures to conduct roadside inspections of commercial motor vehicles. The changes
made in the Adoption of Miscellaneous Petitions and Updating Regulatory Requirements Final Rule must be
incorporated into the North American Standard Inspection certification training curriculum. To ensure the
regulations are being enforced correctly and inspectors are receiving accurate training instruction regarding the
requirements for labeling and marking IBCs and portable tanks, CVSA is requesting answers to the questions
above. PHMSA’s guidance on this matter will ensure CVSA provides the correct guidance to the state and local
officials conducting roadside inspections.
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 roadways. 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 agency’s commitment
to safety and stakeholder involvement.
If you have further questions or comments, please do not hesitate to contact me at 202-998-1008 or
collin.mooney@cvsa.org.
Respectfully,
Collin B. Mooney, MPA, CAE
Executive Director
Commercial Vehicle Safety Alliance
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