Interpretation Response #09-0139 ([Mr. Thomas Leech])
Below is the interpretation response detail and a list of regulations sections applicable to this response.
Interpretation Response Details
Response Publish Date:
Company Name:
Individual Name: Mr. Thomas Leech
Location State: MS Country: US
View the Interpretation Document
Response text:
June 30, 2009
Mr. Thomas Leech
3720 Plum Point Drive E
Olive Branch, MS 38654
Ref. No.: 09-0139
Dear Mr. Leech:
This responds to your letter dated June 1, 2009 requesting clarification of the terms "hazmat employee" and "hazmat employer" as defined in the Hazardous Materials Regulations (HMR; 49 CFR Parts 171-180), as they apply to training of an "individual" or private citizen shipping "Cartridges, small arms, ORM-D."
For purposes of the HMR, "hazmat employee" means a person who is employed by a hazmat employer and who, in the course of employment, directly affects hazardous materials transportation safety. The term "hazmat employer" means a person who uses one or more of its employees in connection with, among other things, causing a hazardous material to be transported or shipped in commerce. Under your scenario, an individual or private citizen does not meet the definition of a "hazmat employee" and is not required to have hazardous materials training. However, an individual or private citizen must comply with all applicable HMR requirements when offering hazardous materials to a commercial carrier for transportation in commerce.
As prescribed in the exceptions in § 173.63(b), small arms cartridges which have been classed as a Division 1.4S explosive may be reclassed, offered for transportation, and transported as ORM-D material when packaged in accordance with § 173.63(b)(2).
I hope this satisfies you inquiry. If we can be of further assistance, please contact us.
Sincerely,
Charles E. Betts
Chief, Standards Division
Office of Hazardous Materials Standards
173.63(b)
Regulation Sections
| Section | Subject |
|---|---|
| 173.63 | Packaging exceptions |