# DGI Training Center — Hazardous Materials Safety Interpretation

- **operation:** document
- **citation:** 98-0575
- **title:** DGI Training Center — Hazardous Materials Safety Interpretation
- **source type:** guidance
- **agency:** Pipeline and Hazardous Materials Safety Administration
- **status:** guidance
- **official:** true
- **published on:** 1998-06-17
- **effective on:** Not available
- **summary:** 98-0575 response to DGI Training Center concerning 175.75.
- **machine formats:** - **json:** https://regulus.evalyn.ai/document/phmsa-interpretation-98-0575.json
- **markdown:** https://regulus.evalyn.ai/document/phmsa-interpretation-98-0575.md
- **app url:** https://regulus.evalyn.ai/document/phmsa-interpretation-98-0575
- **source url:** https://www.phmsa.dot.gov/sites/phmsa.dot.gov/files/legacy/interpretations/Interpretation%20Files/1998/980575.pdf
**body:**

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1
•
-
of Transportation
U.S.Department
400 Seventh Street, S.W.
Research and
Washington, D.C.
20590
Special Programs
Administration
JUN 17 1998
Ms. Candy L. Cook
DGI Training Center
P.O. Box 1283
Amelia Island, FL 32035
Dear Ms. Cook:
This is in response to your letter requesting clarification of quantity limits for carriage on cargo-
only aircraft of hazardous materials which are acceptable for carriage on passenger-carrying
aircraft. I apologize for the delay in responding.
Your questions are paraphrased and answered as follows:
Question 1. Packages of hazardous materials acceptable on passenger-carrying aircraft
which are stowed aboard a cargo-only aircraft in an inaccessible cargo compartment or in
an inaccessible manner within an accessible cargo compartment are limited to 25
Kilograms (kg) net weight of hazardous material and in addition thereto 75 kg net weight
of Division 2.2). What is the limitation if the hazardous materials are placed in one or
more freight containers aboard the cargo-only aircraft?
If the cargo compartment is accessible, 49 CFR 175.75(a)(2)(ii) permits 25 kg of hazardous
materials (reference to the Division 2.2 limit will be ignored for the sake of simplicity) in each
freight container, regardless of the number of containers in the compartment. If the cargo
compartment is inaccessible, the 25 kg limit applies to the cargo compartment.
Question 2. Is a Class 3, Packing Group IIl, material - which is within quantity limits and
is acceptable for carriage aboard passenger-carrying aircraft - subject to the 25 kg limit
when transported aboard cargo-only aircraft in an inaccessible cargo compartment or in
an inaccessible manner within an accessible cargo compartment? Is the same shipment
subject to the 25 kg limit if it is offered as acceptable only on cargo aircraft and labeled
CARGO AIRCRAFT ONLY?
Section 175.85(c)(1) provides a quantity limit exception from both 49 CFR 175.75(a)(2) and
175.85(b) for Class 3, Packing Group III materials. Therefore, the shipment is not subject to the
25 kg limit regardless of whether it is offered as acceptable for passenger-carrying aircraft or
cargo aircraft only.

<<<PAGE 2>>>

...'
Your inquiry highlights two points with regard to the provisions of 49 CFR 175.85. First,
although the intent of 49 CFR 175.85(c)(1) is to provide exceptions from both the 49 CFR
175.75(a)(2) quantity limits and the 175.85(b) requirement for accessible stowage, the
introductory regulatory text of 49 CFR 175.85(c)(1) fails to specifically reference 49 CFR
175.75. We intend to correct this discrepancy in a future rulemaking. Second, for a material not
eligible for the 49 CFR 175.85 (c)(1) exceptions, such as a Class 8 material, a shipment which is
acceptable for carriage aboard passenger-carrying aircraft is subject to the 25 kg limit when
transported aboard cargo-only aircraft in an inaccessible cargo compartment or in an inaccessible
manner within an accessible cargo compartment. If the same shipment is offered as acceptable
only on cargo aircraft and labeled CARGO AIRCRAFT ONLY, it may only be carried
accessibly as required by 49 CFR 175.85(b).
I trust this satisfies your inquiry. If this office can be of further assistance, please contact us.
Sincerely,
Edward T. Mazzullo
Director, Office of Hazardous
Materials Standards
:"...

<<<PAGE 3>>>

LaValle
File: 175.75
SC: 412
DGI Training Center-East
PO Box 1283
* Amelia Island, FL 32035
IATA
DANGEROUS GOODS INT'L
904-321-0874 • Fax 904-321-1801
29 July 1996
Mr. Delmer F. Billings
Chief, Regulations Development
Office of Hazardous Materials Standards
Dear Mr. Billings,'
Thank you for your response to my inquiries regarding 175.75(a) (2).
•I believe I did not ask the questions correctly, therefore I did
have included your response for reference.
not receive the answers to help me understand the regulation. I
I: understand that if 'a package is packed according to passenger
aircraft packing instructions
and is loaded on a cargo aircraft in
an inaccessible position, it will be limited to 25kg net for Hazmat
and 75kg neț for non-flammable gases. 175.75 (a)(2) (iii) goes on to
say unless in a freight container.
Question 1
How much then is allowed if it is in a freight
container? (assume the package is within the limits specified in
Table 172.101)
Question 2
175.75 states specifically it is for items which are
¡prepared according to a cargo aircraft only packing instruction and
allowed on a passenger carrying aircraft. If I have a package
is within the limits under Täble 172.101, what is the limit in an
çrew during flight ?
inaccessible hold or position which makes it inaccessible to the
Example: A shipper has a Class 3 item,: in Packing Group III,
without a subrisk. It
aircraft. It is being
transported
is perfectly prepared for a passenger
on
a cargo aircraft in an
inaccessible position. It will be limited to the 25/75 limitations.
I have the same substance, this time it has been packed within the
limits' for cargo aircraft only and has been tendered to an all
cargo carrier.
Will the package prepared under
limited to the 25/75 aircraft limitations?
the cargo only limitations be
Seattle • Chicago • Miami. • Denver • Phoenix, *. Minneapolis • Los Angeles • Boston • New Orleans • Honolulu i San Juan • Atlanta • Houston
Indianapolis • Newark • San Francisco • Baltimore • Milwaukoo • New York • Detroit • Philadelphia • Dallas • Cleveland • St Louis

<<<PAGE 4>>>

have to follow the 25/75 aircraft limitation while the cargo only
Is my interpretation correct in that the passenger quantity will
shipment will not have a compartment limitation and will not have
to be accessible to the crew? 'Seems very contradicțory. A package"
with perhaps a smaller amount than the cargo only shipment will be
limited while the perhaps larger quantity for cargo only will not
have to follow the compartment limitation.
I await your reply.
Sincerely,
Cardy X. Cook
'candy Li.
DGI Training Center
Cook
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