# American Trucking Associations — Hazardous Materials Safety Interpretation

- **operation:** document
- **citation:** 98-0215
- **title:** American Trucking Associations — Hazardous Materials Safety Interpretation
- **source type:** guidance
- **agency:** Pipeline and Hazardous Materials Safety Administration
- **status:** guidance
- **official:** true
- **published on:** 1998-10-27
- **effective on:** Not available
- **summary:** 98-0215 response to American Trucking Associations concerning 172.606.
- **machine formats:** - **json:** https://regulus.evalyn.ai/document/phmsa-interpretation-98-0215.json
- **markdown:** https://regulus.evalyn.ai/document/phmsa-interpretation-98-0215.md
- **app url:** https://regulus.evalyn.ai/document/phmsa-interpretation-98-0215
- **source url:** https://www.phmsa.dot.gov/sites/phmsa.dot.gov/files/legacy/interpretations/Interpretation%20Files/1998/980215.pdf
**body:**

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•
U.S. Department
of Transportation
400 Seventh Street, S.W.
Special Programs
Research and
Washington, D.C.
20590
Administration
OCT 27 1998
Mr. Paul Bomgardner
American Trucking Associations
Ref. No. 98-0215
220 Mill Road
Alexandria, VA 22314-4677
Dear Mr. Bomgardner:
This is in response to your letter regarding the requirements for carrier information contact specified in
49 CFR 172.606, under the Hazardous Materials Regulations (HMR; 49 CFR Parts 171-180). You
enclosed two (2) photographs of an inspection plate attached to a motor vehicle.
The motor carrier requirements prescribed in 49 CFR 396.17 prescribe an inspection report for
commercial motor vehicles, including trailers and semi-trailers. You stated that many motor carriers
choose to comply with this requirement by attaching a plate to the motor vehicle which contains
information required in an inspection report, including the name address of the motor carrier, and may
include the motor carrier's telephone number. You asked if the requirement in 49 CFR 172.606, for
marking the carrier's telephone number on a motor vehicle, can be met by display of the carrier's
telephone number on an inspection plate, as shown in the enclosed photographs.
The answer is no. The provisions in 49 CFR 172.606 require that the telephone number (for carrier
notification and information contact) of the motor carrier must be marked on the motor vehicle on the
front exterior near the brake hose and electrical connections, or on a label, tag, or sign attached to the
motor vehicle near the brake hose or electrical connections. As shown in the enclosed photographs,
the inspection plate on the vehicle is displayed on the side and not near the brake hose or electrical
connections. Therefore, such display do not meet the requirements in 49 CFR 172.606.
I hope this satisfies you inquiry.
:
Delmer F. Billings
Chief, Standards Development
Office of Hazardous Materials Standards

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ÁMERICAN TRUCKING ASSOCIATIONS
2200 Mill Road • Alexandria, VA 22314-4677
Safety Department
98-0215
Fax (703) 683-1934
(703) 838-1847
July 24, 1998
Mr. Alan I. Roberts
Engrum
Associate Administrator for Hazardous Materials Safety
1R2.606
Research and Special Programs Administration
U.S. Department of Transportation
DHM-1
400 Seventh Street, SW
Washington, DC 20590
Re: Carrier Information Contact: 49CFR Part 172 Section 172.606(b)(1)
Al
Dear Mr. Roberts:
The intent of this letter is to seek an exception through interpretation to the
requirement in section 172.606(b)(1) to "mark the transport vehicle with the telephone
number of the motor carrier on the front exterior near the brake hose and electrical
connections on a label, tag, or sign attached to the vehicle at the brake hose of electrical
connection." Specifically, American Trucking Associations, Inc. (ATA) is seeking a
favorable interpretation from Research and Special Programs Administration (RSPA)
that would allow use of an existing marking in lieu of the marking specifically required
in section 172.606(b)(1).
Motor carriers are required in section 396.17 of 49 CFR to perform a periodic
inspection of every commercial motor vehicle, including trailers and semi-trailers. In
conjunction with the inspection, documentation is required to be carried on the motor
vehicle either in the form of a copy of the inspection report or by displaying a sign or
tag on the vehicle which contains certain information based on the inspection.
Included in the required information is the name and address of the motor carrier or
other entity where the inspection report is maintained.
While many motor carriers elect to carry a copy of the inspection report and
others provide the minimum amount of information required on an attached sign or
tag, there are motor carriers who go beyond the requirements and provide additional
information such as their telephone number. A prime example of a motor carrier that
doridovide aditional information is Warkins Moror Lines, Inc. of Lakeland,
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..
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Watkins has elected to secure a metal plate which contains their telephone
number in addition to the required information to the right front side of all their
trailers. The positioning of the metal inspection plate serves both Watkins and the
enforcement community well since most weigh and inspection stations are built to
view the right sides of passing vehicles. Photographs of the inspection plate and its
position on the trailer are attached.
On behalf of Watkins Motor Freight and other motor carriers who use similar
markings, ATA requests that RSPA allow their use to satisfy the marking requirement
in section 172.606(b)(1). We believe that use of the inspection plate for the purpose of
motor carrier identification is in keeping with the intent of the marking requirement
in the hazardous materials regulations. Additionally, we believe that it's location near
would not be compromised.
the tront of the trailer will cause no confusion on the part of responders and that safety
As the requirement to display the marking in section 172.606 takes effect on
October 1, 1998, we request an answer to this request at your earliest convenience. If
you should have any questions or wish to discuss this request, please contact the
undersigned at: 703-838-1849. Thank you for your consideration in this matter.
Paul t
Paul Bomgardner
Director, Hazardous Materials Policy
cc:
Howard Fitzgerald
Corporate Safety Director
Watkins Motor Lines, Inc.
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WATKINS
16144
тл9.г.

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