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Interpretation Response #CHI-96-001 ([Digital Audio Disc Corporation] [Gary J. Garrahan])

Below is the interpretation response detail and a list of regulations sections applicable to this response.

Interpretation Response Details

Response Publish Date:

Company Name: Digital Audio Disc Corporation

Individual Name: Gary J. Garrahan

Location State: IN Country: US

View the Interpretation Document

Response text:

Office of the Chief Counsel

Mr. Gary J. Garrahan

Environmental Engineer.

Digital Audio Disc corporation

P.O. Box 3710

Terre Haute, IN 47803-0710

Dear Mr. Garrahan:

I am responding to your February 27, 1996 letter in which you asked about the application of the Federal hazardous materials transportation law (49 U.S.C. 5101 et seg.) and the Hazardous Materials Regulations (HMR) (49 CFR Parts 171-180). In your letter you stated:

Digital Audio Disc Corporation (DADC) owns and operates two manufacturing facilities located in Terre Haute, Indiana. One manufacturing facility is located at 1800 H. Fruitridge
Avenue (on the west side of N. Fruitridge Avenue); the other manufacturing facility is located at 3181 N. Fruitridge Avenue (on the east side of N. Fruitridge Avenue). DADC also
owns the properties on which both manufacturing facilities are situated. The property lines extend into N. Fruitridge Avenue. Since H. Fruitridge Avenue is a public way, rights-of-way
exist.

In your letter, you indicated that DADC plans to construct an underground tunnel which will run between the two facilities. This tunnel will be used to move non-hazardous and hazardous materials between the two facilities. The tunnel would not be open to the public and access would be restricted to DADC personnel. You asked if the Federal hazardous materials transportation law or the HMR would apply to the movement of hazardous materials through the proposed tunnel.

Based on the scenario outlined in your letter, neither the Federal hazardous materials transportation law nor the HMR would apply to the movement of hazardous materials through the proposed tunnel. The jurisdiction of the Federal hazardous materials transportation law and the HMR encompasses hazardous materials transported "in commerce. Thus, the Federal hazardous materials transportation law and the HMR do not apply to transportation that isentirely on private property and neither follows nor crosses a public way.

I hope this response is useful to you. If you have any additional questions concerning the law or regulations discussed in this letter, please call Robert A. Monniere at 202-366-4400.

Sincerely,

Edward H. Bonekemper, III

Assistant Chief Counsel for

Hazardous Materials Safety

cc: Mr. Edward T. Mazzullo - DHM-10

Regulation Sections