Interpretation Response #99-0071 ([Radian International] [Mr. Andrew N. Romach])
Below is the interpretation response detail and a list of regulations sections applicable to this response.
Interpretation Response Details
Response Publish Date:
Company Name: Radian International
Individual Name: Mr. Andrew N. Romach
Location State: NC Country: US
View the Interpretation Document
Response text:
May 28, 1999
Mr. Andrew N. Romach             Reference No. 99- 0071
  Regulatory Compliance  Manager
  Radian International
  Post Office Box 13000
Research Triangle Park,  NC 27709
Dear Mr. Romach:
This is in response to your letter of March 5,1999, requesting clarification of the Hazardous Materials Regulations(HMR; 49 CFR Parts 171-180). Specifically, you ask whether the following scenario would be considered "storage incidental to transportation." You state that a National railroad company operates a "switching yard" where railcars are unhooked from the locomotive and moved into a side yard to await the next leg of transportation to their final destination. You also state that the railcars are waiting temporarily in the switching yard from minutes to a few days and are covered by a through bill of lading while they remain in the switching yard.
  Based on the above  scenario, the answer is yes. "Storage incidental to transportation" means any  temporary storage that may occur between the time a hazardous material is  offered for transportation to a carrier until it reaches its intended destination  and is accepted by the consignee.  This  would include temporary storage of a shipment during this time period at a  carrier’s terminal, consolidation, or storage
  facility, or on a dock  area waiting for loading.  That is, if a  shipment is consigned to the end user of the hazardous material at the  time  the   shipment  is  offered for transportation, most 
  storage between offering  and delivery to the end user is temporary storage.  If the shipment is consigned by the offerer  to a storage facility rather than to end user, then the shipment is out of  transportation once received and unloaded at the storage facility.
We are currently  reviewing the applicability of the HMR to
  certain  transportation-related, activities, such as storage of
  hazardous materials,  under a supplemental advance notice of
proposed rule making  (SANPRM) published under Docket HM-223,entitled "Applicability of the  Hazardous Materials Regulations to Loading, Unloading and Storage".  The SANPRM is available for viewing on the  Internet at http://dms.dot.gov under RSPA Docket  No. 98-4952. 
I hope this information is helpful. If we can be of further assistance, please contact us.
Sincerely,
Hattie L. Mitchell
  Chief, Regulatory Review  and Reinvention
  Office of Hazardous  Materials Standards
171.8
Regulation Sections
| Section | Subject | 
|---|---|
| 171.8 | Definitions and abbreviations |