Interpretation Response #06-0118 ([Manager, Technical Services - Aerosol] [Mr. Matthew D. Kuehn ])
Below is the interpretation response detail and a list of regulations sections applicable to this response.
Interpretation Response Details
Response Publish Date:
Company Name: Manager, Technical Services - Aerosol
Individual Name: Mr. Matthew D. Kuehn
Country: US
View the Interpretation Document
Response text:
May 30, 2006
Mr. Matthew D. Kuehn                 Reference No. 06-0118
  Manager, Technical Services - Aerosol
  BWAY Corporation
  3400 North    Powell Avenue
  Franklin Park,   IL 60131
Dear Mr. Kuehn:
This is in response to your May 8, 2006 letter requesting clarification regarding the applicability of the Hazardous Materials Regulations (HMR; 49 CFR Parts 171-180) to the marking of cylinders. Your scenario is based on the marking of specification 2P and 2Q aerosol containers. Specifically, you ask if these containers may be marked with your company name “Bway.”
The answer is yes. Sections 178.33-9(a)(2) and  178.33a-9(a)(2) for specification 2P and
  2Q aerosol containers, respectively, state that either the  name or symbol of the
  manufacturer must be marked on the container. Therefore, it  is acceptable to mark your
  2P and 2Q containers with “Bway” to comply with §  178.33-9(a)(2) and 178.33a-9(a)(2).
I hope this information is helpful.
Sincerely,
Hattie L. Mitchell, Chief
  Regulatory Review and Reinvention
  Office of Hazardous Materials Standards
178.33-9 (a)(2), 173.33a-9 (a)(2)