# FMC Corporation — Hazardous Materials Safety Interpretation

- **operation:** document
- **citation:** 99-0249
- **title:** FMC Corporation — Hazardous Materials Safety Interpretation
- **source type:** guidance
- **agency:** Pipeline and Hazardous Materials Safety Administration
- **status:** guidance
- **official:** true
- **published on:** 2000-08-25
- **effective on:** Not available
- **summary:** 99-0249 response to FMC Corporation concerning 173.31.
- **machine formats:** - **json:** https://regulus.evalyn.ai/document/phmsa-interpretation-99-0249.json
- **markdown:** https://regulus.evalyn.ai/document/phmsa-interpretation-99-0249.md
- **app url:** https://regulus.evalyn.ai/document/phmsa-interpretation-99-0249
- **source url:** https://www.phmsa.dot.gov/sites/phmsa.dot.gov/files/legacy/interpretations/Interpretation%20Files/1999/990249.pdf
**body:**

<<<PAGE 1>>>

Transportatic
S. Departme
400 Seventh St., S.W.
Washington, D.C. 20590
AUG 25 2000
Mr. Ralph J. Mikida
Ref. No. 99-0249
Hazardous Materials Coordinator
FMC Corporation
1735 Market Street
Philadelphia, PA 19103
Dear Mr. Mikida:
I apologize for the delay in responding to your letter concerning the requirement in 49 CFR
173.31(d)(1)(vi) to carefully inspect a frangible (rupture) disc in a pressure relief device prior to
each hazardous material shipment. This requirement has its origins in regulations of the Interstate
Commerce Commission issued in 1921. The wording of this requirement was most recently
revised in a final rule published on September 21, 1995, under RSPA's Docket Nos. HM-175A
and 201 (60 Fed. Reg. 49098).
As the language of § 173.31(d)(1)(vi) states, the purpose of this type of inspection is to check "for
corrosion or damage that may alter the intended operation of the device." For that reason, in
response to a comment submitted in a separate rulemaking proceeding under Docket No. HM-216
(61 Fed. Reg. 28666, 28671; June 5, 1996), we stated in the preamble that RSPA and FRA
believe in order to fully inspect a rupture disc (both top and bottom), the disc must be removed
from the safety vent device. It has been FRA's experience that a rupture disc may appear normal
on the top side, but be severely damaged or corroded on the bottom side.
You and others have raised concerns about the language of the present rule and its application to
persons that forward a loaded tank car received from another location or return a tank car with
residue. We anticipate initiating a rulemaking in the near future to address these concerns.
Sincerely,
I. All.
| Edward T. Mazzull
oms,
em
Director, Office of Hazardous
Materials Standards
173,31
990249
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FMC Corporation
Mack
1735 Market Street
215 299 6000
Philadelphia Pennsylvania 19103
8173.31
99-8249
FMC
September 2, 1999
Mr. Edward Mazzullo
Director, Office of Hazardous Materials Standards
Research and Special Programs Administration
U.S. Department of Transportation
DHM-10
400 Seventh Street,
SW
Washington, D.C. 20590
Re: Interpretation of 49 CFR, § 173.31 (d) (1) (vi)
Dear Mr. Mazzullo:
Transportation
We are writing to outline concerns with a Department of
referenced
above.
(DOT) interpretation of the regulations
performing an "EXTERNAL visual inspection" to determine that
Section 173.31 (d) (1) has to do with
a tank car
transportation.
This includes, as stated in §
safe for
173.31 (d) (1) (vi), "The pressure relief device, including a
careful inspection of the frangible disc in non-closing
alter the intended operation of the device".
pressure relief devices, for corrosion or damage that may
We understand that the DOT is interpreting $ 173.31(d) (1) (vi)
disc each time
to require removal and inspection of both sides of a rupture
product or
residue. This position seems to come from the
a tank car is offered for transportation with
preamble of HM-216, a final rule unrelated to and which made
no changes to this section. In HM-175A and 201, which
established the wording in this section, the preamble made no
mention of the external inspection requiring removal of the
rupture disc and inspecting both the top and bottom.
disassemble pressure relief valves.
discuss the practical impossibility of having to remove and
Therefore, DOT is offering a contradictory interpretation of
a section
revised
confuses the regulated community, but also significantly
in a different docket.
This not only
revises the scope of a regulation without allowing for
interpretation in a new rule making.
public comment.
At a minimum, DOT should include the new

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safety related consequences do
In addition, we feel the time, cost, and possible adverse
removing the rupture disc to inspect the bottom side prior
not justify the benefits of
to each loaded and residue shipment.
evidenced in the case of residue cars where they normally
This is especiall]
accidental release is virtually non-existent.
99% outage and the chance of a
1 rupture disa non-
- Many products
have no corrosive effect upon the disc
specific service and these discs only can fail by
is selected by the shipper for their
disassembly/reassembly increases the likelihood of
overpressure or mechanical damage.
Continual
well as increase wear, and possible improper
damage to the disc and/or its assembly hardware, as
reassembly due to human error.
- Removing the rupture disc can increase the potential
of contaminating the railcar.
react adversely to contamination may require
Some materials that
additional cleaning prior to each reloading.
Hydrogen peroxide, which FMC ships in railcars, could
grades of this material where even small amounts of
be an example of this.
We also ship high purity
contamination can lead to off spec product.
Additional tank car cleaning could add to employee
exposure time,
environmental discharges, out-of-
service time for the railcar, and costs.
We recommend that the shipper be required to determine the
appropriate frequency for inspecting the product side of the
product, the type and material of construction of the disc,
disc, but not to exceed 5 years.
This would be based on the
history.
the disc manufacturers recommendations, and the service
internal and service equipment inspection requirements for
This would be consistent with 49 CFR § 180.509
cars in corrosive service.
We respectfully request that you review the actions and
consequences that can result from continual
disassembly/reassembly of a railcar rupture disc.
Sincerely,
Ralph 8 Dihila
Ralph J. Mikida
Hazardous Materials Coordinator
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