DGAC's 30 Greatest Accomplishments
This year the Dangerous Goods Advisory Council is turning 30 and we've pulled out all of the stops in our year-long celebration.
Please stay tuned to this section on the website, where for the next 30 weeks we will be highlighting special achievements and
moments in our history. Members may make additional suggestions online here.
Please direct any feedback to our online form.
#10 DGAC Tackles the Loading & Unloading Issue
DGAC routinely submits comments to regulatory agencies regarding current and proposed rulemakings. Often, these comments help to
shape the face of the regulations and ultimately of the industry.
One of the more contentious rulemakings over the past decade or so has been the HM-223 rulemaking, or "Applicability of the Hazardous
Materials Regulations to Loading, Unloading and Storage."
First published by RSPA under an ANPRM in 1996, it "sought to define where transportation regulatory authority begins and ends with the
general conclusion that bulk loading and unloading operations are not transportation functions and therefore not subject to
regulation by DOT," said DGAC's Technical Director Frits Wybenga.
"For industry this created the potential for state and local governments to issue conflicting regulations on loading and
unloading with lack of uniformity being detrimental to transportation safety," said Wybenga.
DGAC has been involved in the rulemaking process since the beginning, submitting comments several times.
Read the November 12, 1996 response to the ANPRM.
See other comment letters in the sidebar.
In spite of PHMSA's conclusion regarding bulk loading and unloading operations and as a result of a series of serious incidents
involving the same, the National Transportation Safety Board
has continued to advocate for the development of safety
requirements on loading and unloading.
More recently PHMSA's own analysis of its incident data has shown that more than 50 percent of serious incidents stem
from failures in some aspect of the loading and unloading operation.
On the basis of PHMSA's newly expressed interest in addressing the safety issues loading and unloading operations pose,
DGAC established a working group under its NARLA Committee to prepare draft loading and
unloading requirements applicable
to the wide diversity of loading and unloading practices currently being followed and the diversity of substances transferred.
DGAC Member Rick Barlow of LyondellBasell chaired the working group. "Ever since HM-223 came out," said Barlow,
"DOT reduced jurisdiction and DGAC has been concerned about lack of knowledge of agencies that may come in to try and
regulate in place of DOT."
"We believe here at Lyondell that DOT is the correct agency to regulate this because they have more knowledge of the
packaging and the cargo tanks than either OSHA or EPA," said Barlow. "They [DOT] should be more in-tune with issues relating
to those. Both the CSB and NTSB have recommended in the past that DOT regulate these areas."
The resulting DGAC loading and unloading provisions were provided to PHMSA in the form of draft regulatory text in a
petition for rulemaking.
They are currently under active consideration by PHMSA.
This petition is important, said Barlow, because "Having uniform requirements for loading and unloading will
allow them to develop a more standardized and efficient training program." It would also "facilitate moving personnel
from one site to the other without removing their capability to perform loading and unloading at each facility."
Current PHMSA Administrator Carl Johnson has indicated that the issue is one of his top priorities. For future
information on this issue, bookmark our comments page. To learn more, visit
Regulations.gov and search for HM-223.