Interpretation Response #05-0024 ([3rd Combat Communications Group (ACC)] [Shawntez L. Brooks, 2nd Lieutenant])
Below is the interpretation response detail and a list of regulations sections applicable to this response.
Interpretation Response Details
Response Publish Date:
Company Name: 3rd Combat Communications Group (ACC)
Individual Name: Shawntez L. Brooks, 2nd Lieutenant
Location State: OK Country: US
View the Interpretation Document
Response text:
Feb 16, 2005
Shawntez L. Brooks, 2nd Lieutenant Reference No. 05-0024
Group Fleet Management Officer
3rd Combat Communications Group (ACC)
Department of the Air Force
Building 1002, Suite 102
4385 South Air Depot Boulevard
Tinker Air Force Base, OK 73145
Dear Ms. Brooks,
This is in response to your January 21, 2005 letter regarding the applicability of the Hazardous Materials Regulations (HMR; 49 CFR Parts 171-180) to the transport of fuels and other items solely for military purposes in Department of Defense-owned and -operated vehicles.
The transport of hazardous materials in military or government vehicles operated by military or government personnel solely for noncommercial purposes is not subject to the HMR. However, if the purpose is commercial, or if the government entity offers hazardous material for transportation to commercial carriers, then the HMR would apply.
I hope this information is helpful.
Sincerely,
Hattie L. Mitchell, Chief,
Regulatory Review and Reinvention
Office of Hazardous Materials Standards
171.1