Pursuant to the PHMSA/USDOT Hazardous Material Regulations (HMR) at 49 CFR 172.400, each person who offers for transportation or transports a hazardous material in any of the following packages or containment devices shall label them as specified in Column 6 of the hazardous materials table at §172.101:
The purpose of this article is to reveal an interpretation of the HMR that allows for some variability in the placement and orientation of HazMat Labels on non-bulk packages .
Pursuant to 49 CFR 172.406 each HazMat Label on a non-bulk packaging must be:
Is this OK for the orientation of a HazMat Label?
The answer is yes. Pursuant to a letter of interpretation from 1994 (LOI 94-0142):
The requirements of 49 CFR 172.406 do not prohibit the placement of labels in an orientation where the square-on-point label is located with its flat sides parallel to the sides of the package.
This interpretation represents an aspect of the HMR that continues to interest me. Such an interpretation means little to 99% of the HazMat Shippers out there, but to those few who need it, the ability to turn the HazMat Label on its side allows them to use a smaller package which could result in a substantial cost-savings.
Are you saving all the money you can on HazMat transportation? Are you in compliance with the HMR? Especially the requirement at 49 CFR 172, Subpart H to provide initial (within 90 days of hire) training with another full training within 3 years for all HazMat Employees?
Don’t hesitate to contact me for a free training consultation.
Daniels Training Services