# Digital Audio Disc Corporation — Hazardous Materials Safety Interpretation

- **operation:** document
- **citation:** 98-0038
- **title:** Digital Audio Disc Corporation — Hazardous Materials Safety Interpretation
- **source type:** guidance
- **agency:** Pipeline and Hazardous Materials Safety Administration
- **status:** guidance
- **official:** true
- **published on:** 1998-07-09
- **effective on:** Not available
- **summary:** 98-0038 response to Digital Audio Disc Corporation concerning 173.6.
- **machine formats:** - **json:** https://regulus.evalyn.ai/document/phmsa-interpretation-98-0038.json
- **markdown:** https://regulus.evalyn.ai/document/phmsa-interpretation-98-0038.md
- **app url:** https://regulus.evalyn.ai/document/phmsa-interpretation-98-0038
- **source url:** https://www.phmsa.dot.gov/sites/phmsa.dot.gov/files/legacy/interpretations/Interpretation%20Files/1998/980038.pdf
**body:**

<<<PAGE 1>>>

of Transportation
U.S.Department
00 Seventh Street, S.W
Vashington, D.C. 2059(
Special Programs
Research and
Administration
JUL
9 1998
Mr. Gary J. Garrahan
Ref. No: 98-0038
Environmental Engineer
Digital Audio
Disc Corporation
P.O. Box 3710
Terre Haute, Indiana 47803-0710
Dear Mr. Garrahan:
This is in response to your letter of April 30, 1998, requesting
clarification of the materials of trade (MOTs) exception provided
in the Hazardous Materials Regulations (HMR; 49 CFR parts 171-
180). You presented the following scenario:
Your manufacturing operations consist of two buildings separated
by a road with public access. Occasionally you may have a need
material) from one building to the other.
to transport a small quantity le:g., 1 gallon of a Class 3, PG II
This, is not a normal
business practice, it would occur only when necessary.
The
material is transported by a private carrier and is used to
directly support your manufacturing process.
The above scenario qualifies for transportation as MOTs provided
all requirements in $ 173.6 are met.
I hope this satisfies your request.
Sincerely,
Delmer
E. Billings
Chief, Standards Development
Office of Hazardous Materials
Standards

<<<PAGE 2>>>

LAVAIle
- -
MOTS
1800 North Fruitridge Avenue
Digital
Terre Haute, Indiana 47803-0710
P.O. Box 3710
Phone: (812) 462-8100
Audio Disc
Facsimile: (812) 462-8755
Corporation
April 30, 1998
Mr. Edward Mazzullo, Director
Office of Hazardous Material Standards (DHM-10)
U.S. Department of Transportation
400 7th Street SW
Washington, D.G. 20590
RE: Clarification on Materials of Trade Exception
-
---
Mr. Mazzullo:
On April 29, I spoke by phone with Mr. Mark Berger of your office, regarding a
clarification to the Materials of Trade exception. I would like to formally verify the
answer to my questions.
Simply put, my question is: Does the Materials of Trade exception apply to the
transportation of hazardous materials which are used in a manufacturing process?
Consider the following scenario:
Our manufacturing operations consist of two buildings separated by a public way.
Occasionally, an unforeseen situation may arise where we deplete our inventory of a
particular raw material or manufacturing aid to the point where it may impair the
manufacturing process prior to receipt of a new shipment. Under such a circumstance,
in order to keep the manufacturing process operating, it would be convenient to
transport a small quantity (e.g., one gallon of a Class 3, Packing Group II liquid) from
one building to the other by our company truck, under the Materials of Trade exception,
until the inventory of this material is replenished through normal business means. In
other words, this transportation would be infrequent and would only occur as a result of
an immediate, urgent and necessary business need, as opposed to a regular business
practice.
We believe that the transportation of such small quantities of hazardous materials
would be allowed due to the definition:
A Subsidiary of Sony Corporatiön of America

<<<PAGE 3>>>

• "Mr. Edward Mazzullo
page 2
April 30, 1998
- -
• -
--
Material of trade means a hazardous material, other than a hazardous waste, that
is carried on a motor vehicle-
(1) For the purpose of protecting the health and safety of the motor vehicle
operator or passengers;
(2) For the purpose of supporting the operation or maintenance of a motor
vehicle (including its auxiliary equipment); or
(3) By a private motor carrier (including vehicles operated by a rail carrier)
in direct support of a principal business that is other than
transportation by motor vehicle.
The fact that the carriage of the hazardous material would be for the purpose of directly
supporting our manufacturing process would seem to fit the definition.
While a scenario such as the one we have described may not have been considered
during the development of §173.6, we believe that interpreting $173.6-to include-such a --
-
scenario does meet the spirit and intent of the exception for the following reasons:
1. The materials in question are in small quantity (thus affording low hazard);
2. They are transported for the sole purpose of supporting a principal business (i.e.,
manufacturing);
3. The transportation of these materials is infrequent, as it is inefficient to transport
such small quantities on a routine basis.
In speaking with Mr. Berger, who stated that he discussed this scenario with several
people in your office who helped develop §173.6, it appeared that our interpretation did,
in fact, meet the definition of a material of trade, particularly since such transportation
would be deemed inefficient, thus occurring infrequently.
We thank you for consideration of our inquiry and look forward to your response.
Sincerely,
Lay 9. Manchar
Gary J. Garrahan
Environmental Engineer,
Digital Audio Disc Corporation
DOT MOT.DOC
- **truncated:** false
- **body characters:** 4862
