# Commercial Vehicle Safety Alliance — Hazardous Materials Safety Interpretation

- **operation:** document
- **citation:** 25-0056
- **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:** 2025-09-18
- **effective on:** Not available
- **summary:** 25-0056 response to Commercial Vehicle Safety Alliance concerning 172.328, 173.315.
- **machine formats:** - **json:** https://regulus.evalyn.ai/document/phmsa-interpretation-25-0056.json
- **markdown:** https://regulus.evalyn.ai/document/phmsa-interpretation-25-0056.md
- **app url:** https://regulus.evalyn.ai/document/phmsa-interpretation-25-0056
- **source url:** https://www.phmsa.dot.gov/sites/phmsa.dot.gov/files/2025-12/250056.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 18, 2025
Collin B. Mooney, MPA, CAE
Executive Director
Commercial Vehicle Safety Alliance
99 M Street, SE, Suite 1025
Washington, DC 20003
Reference No. 25-0056
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 the marking requirements for nurse
tanks. In your email, you state that § 173.315(m) allows for the use of a cargo tank, commonly
known as a nurse tank, to transport anhydrous ammonia for agricultural purposes. You further
state that § 173.315(m)(1)(vii) allows for the nurse tanks not to be marked or placarded on one
end if that end contains valves, fittings, regulators or gauges when those appurtenances prevent
the markings and placard from being properly placed and visible. You contend that there is
confusion because § 172.328(b) states that “except for certain nurse tanks which must be
marked as specified in § 173.315(m), each cargo tank transporting a Class 2 material subject to
the HMR must be marked, in lettering no less than 50 mm (2.0 inches), on each side and each
end with the proper shipping name or appropriate common name.” Lastly, you state that the
phrase, “except for certain nurse tanks” leads to confusion for enforcement personnel because
it implies that certain nurse tanks require the proper shipping name or common name marking
while others may not. You ask for clarification on whether this is the case.
The phrase “except for certain nurse tanks” refers to those nurse tanks meeting the singular
exception provided for marking in § 173.315(m)(1)(vii)—those nurse tanks where valves,
fittings, regulators or gauges prevent the markings and placard from being properly placed and

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visible on one end. In that case, the affected end need not be placarded or marked. Otherwise,
all nurse tanks must be marked with the proper shipping name or common name on each side
and each end as required by § 172.328(b).
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

<<<PAGE 3>>>

25-0056
Larson
Pollack, Arthur (PHMSA)
From: Adrienne Gildea <adrienne.gildea@cvsa.org>
Sent: Thursday, May 30, 2024 3:35 PM
To: Kelley, Shane (PHMSA)
Cc: Collin Mooney; Bill Reese
Subject: Letter to PHMSA Requesting Interpretation Regarding PSN Display on Nurse Tanks
Attachments: Letter to PHMSA Requesting Interpretation Regarding PSN Display on Nurse Tanks.pdf
Good a ernoon Mr. Kelley,
A ached, please find a le er reques ng clarifica on regarding the requirements for marking the proper shipping name
on a nurse tank.
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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<<<PAGE 4>>>

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 of the requirements in § 172.328(b)(1) that the proper shipping name be marked on a nurse
tank
Dear Director Kelley,
The Commercial Vehicle Safety Alliance (CVSA) requests clarification from the Pipeline and Hazardous Materials
Safety Administration (PHMSA) regarding the requirements for marking the proper shipping name on a nurse tank.
Currently, § 173.315(m) allows for the use of a cargo tank, commonly known as a nurse tank, to transport
anhydrous ammonia for agricultural purposes. Further, § 173.315(m)(1)(vii) requires these tanks be operated in
conformance with 49 Code of Federal Regulations Part 172, with the exception that shipping papers are not
required and the end of a tank that contains valves, fittings, regulators or gauges need not be marked or placarded.
However, § 172.328(b) requires that “except for certain nurse tanks…” the proper shipping name or common
name be marked on a nurse tank transporting a Class 2 material. This wording has led to confusion as to whether
or not the proper shipping name is required to be marked on a nurse tank. Further, the language “certain nurse
tanks” leads to additional confusion regarding whether it should be interpreted that the proper shipping name is
required on some nurse tanks but not required on others.
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.

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Request
CVSA requests that PHMSA issue guidance on whether § 172.328(b) requires the proper shipping name or
common name to be marked on all nurse tanks and clarify the meaning of the term “certain nurse tanks” as used
in that section.
Justification
As noted above, there is confusion regarding the requirement for nurse tanks transporting anhydrous ammonia
to be marked with the proper shipping name, and whether this requirement applies to all nurse tanks or not.
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. To ensure the regulations are being enforced correctly and inspectors
are receiving accurate training instruction regarding marking requirements for nurse tanks transporting
anhydrous ammonia, CVSA is requesting clarification to the questions posed 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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