# Ohio Public Utilities Commission — Hazardous Materials Safety Interpretation

- **operation:** document
- **citation:** 25-0073
- **title:** Ohio Public Utilities Commission — Hazardous Materials Safety Interpretation
- **source type:** guidance
- **agency:** Pipeline and Hazardous Materials Safety Administration
- **status:** guidance
- **official:** true
- **published on:** 2026-04-23
- **effective on:** Not available
- **summary:** 25-0073 response to Ohio Public Utilities Commission concerning 177.834.
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- **app url:** https://regulus.evalyn.ai/document/phmsa-interpretation-25-0073
- **source url:** https://www.phmsa.dot.gov/sites/phmsa.dot.gov/files/2026-04/25-0073.pdf
**body:**

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U.S. Department
of Transportation
Pipeline and Hazardous
Materials Safety
Administration
April 23, 2026
Tom Forbes
Ohio Public Utilities Commission
Chief, Motor Carrier Enforcement
180 E Broad Street
Columbus, OH 43215
Reference No. 25-0073
Dear Chief Forbes:
This is in response to your June 2, 2025, letter requesting clarification of the Hazardous
Materials Regulations (HMR; 49 CFR Parts 171-180) applicable to the discharge of the
contents of an intermediate bulk container (IBC) while still on a transport vehicle. In
your letter, you describe a scenario involving a vehicle equipped with five IBCs, three of
which are filled with a hazardous material. These IBCs remain on the motor vehicle and
are connected by hoses to a 55‑gallon capacity “induction tank.” The hazardous
materials are mixed with water from an onboard water tank and the resulting mixture is
transferred from the “induction tank” via hose to the end user. Is the above scenario
authorized without being granted a special permit or party status to a special permit?
No. Under § 177.834(h), “discharge of contents of any container, other than a cargo tank
or IM portable tank, must not be made prior to removal from the motor vehicle.”
Because the contents of the IBCs are being offloaded while still on the transport vehicle,
this operation violates the requirements of § 177.834(h). Discharging these IBCs while
they remain on the transport vehicle is not permitted without a special permit granting
relief from this regulation.
In addition, please note that PHMSA published a notice of proposed rulemaking
(NPRM) titled “Hazardous Materials: Adoption of Department of Transportation Special
Permits 12412 and 11646 into the Hazardous Materials Regulations” under Docket
HM‑268L. PHMSA proposes to adopt the provisions of Department of Transportation
(DOT) Special Permit (SP) 12412 into a new § 177.834(h)(1) that would allow the
discharge of liquid hazardous materials from certain UN Intermediate Bulk Containers
(IBCs) and DOT Specification 57 portable tanks without removing them from the
vehicle, provided certain conditions are met to ensure safety. Although the HM-268L
NPRM does not propose to authorize the manifolding of IBCs during transportation, the
use of more than two IBCs under the new provisions, or the discharge of other
1200 New Jersey Avenue, SE
Washington, DC 20590

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packaging types while on the transport vehicle, the proposals therein may impact the
answer to your question in the future.
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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From: INFOCNTR (PHMSA)
To: Baker, Yul (PHMSA)
Cc: Hazmat Interps
Subject: FW: Interpretation Request
Date: Monday, June 2, 2025 3:20:21 PM
Attachments: image001.png
Hi Yul,
Please see the below interpretation request. Let us know if you need anything.
Sincerely,
Janaye
From: tom.forbes@puco.ohio.gov <tom.forbes@puco.ohio.gov>
Sent: Monday, June 2, 2025 10:17 AM
To: INFOCNTR (PHMSA) <INFOCNTR.INFOCNTR@dot.gov>
Subject: Interpretation Request
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.
HM Info Center:
I am requesting a written interpretation of the HMRs on the scenario described below.
I recently stopped a CMV transporting Hazardous Materials (HM) for delivery of agricultural chemicals. The vehicle was being operated by a Co-Op not a farmer. The vehicle had 5
IBC on board 3 of which were transporting HM. In discussions with the driver, I ask how the IBCs were off-loaded. Were they removed from the CMV or transferred while they
remained on the CMV. He stated they remain on the CMV. I ask him to explain the process. The IBCs are connected by hoses to an “induction tank” and then mixed with water
from a large water tank on board. The induction tank is 55 gallon in size. Once the water and AG chemicals are mixed, they are transferred by hose to the end user (farmer). I ask
if they had a special permit that allows the IBCs to be off loaded or transferred while remaining on the vehicle and the driver stated no. I am providing photos below to detail the
CMV and off-loading process.
My question: Is it a violation of 177.834(h) to transfer or off-load these IBCs before removing them from the CMV in this scenario if you are not party to the Special Permit that
allows it?
Rear of truck showing some of the IBCs and the discharge hose with the valve and yellow shut off handle

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Front of truck showing the Green water tank and the 55-gallon “inductor tank”

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Close up of “inductor tank” and discharge pipe

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Tom Forbes
Chief, Motor Carrier Enforcement
180 E Broad Street
Columbus, Ohio 43215
D: 614.644.0296 C: 614.519.2811
tom.forbes@puco.ohio.gov
This message and any response to it may constitute a public record and thus may be publicly available to anyone who requests it.
The State of Ohio is an Equal Opportunity Employer and provider of ADA services.
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