Hazardous Materials: Adoption of ASME Code Section XII and the National Board Inspection Code
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Notice of proposed rulemaking (NPRM).
CFR Part: "49 CFR Parts 171, 173, 178, and 180"
RIN Number: "RIN 2137-AE58"
Citation: "78 FR 79363"
Document Number: "Docket Number PHMSA-2010-0019 (HM-241)"
"Proposed Rules"
SUMMARY: PHMSA is proposing to amend the Hazardous Materials Regulations applicable to the design, construction, certification, recertification and maintenance of cargo tank motor vehicles, cryogenic portable tanks and multi-unit tank car tanks (ton tanks) in response to petitions for rulemaking from the
   DATES: Submit comments by
   ADDRESSES: You may submit comments identified by the docket number (PHMSA-2010-0019; HM-241) by any of the following methods:
    * Federal eRulemaking Portal: Go to http://www.regulations.gov. Follow the online instructions for submitting comments.
    * Fax: 1-202-493-2251.
    * Mail: Docket Operations,
    * Hand Delivery: To Docket Operations, Room W12-140 on the ground floor of the
   Instructions: All submissions must include the agency name and docket number for this notice at the beginning of the comment. Note that all comments received will be posted without change to the docket management system, including any personal information provided.
   Docket: For access to the dockets to read background documents or comments received, go to http://www.regulations.gov, or DOT's Docket Operations Office (see ADDRESSES). To access ASME's Boiler and Pressure Vessel Code, Section XII (Section XII) go to: https://shop.asme.org/PublicReview/. To access the National Board Inspection Code (NBIC), Part 2, Supplement 6: Continued Service and Inspection of DOT Transport Tanks, and Part 3, Supplement 6: Repair, Alteration, and Modification of DOT Transport Tanks go to: https://www.nationalboard.org/SiteDocuments/NBIC/DOT_NBIC_supplements.pdf.
   Privacy Act: Anyone is able to search the electronic form of any written communications and comments received into any of our dockets by the name of the individual submitting the document (or signing the document, if submitted on behalf of an association, business, labor union, etc.). You may review DOT's complete Privacy Act Statement in the
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   SUPPLEMENTARY INFORMATION:
Contents
I. Executive Summary
II. Abbreviations and Terms Used in This Document
III. Background
IV. Petitions for Rulemaking
   A. P-1459
   B. P-1474
   C. P-1502
V. ASME Section XII
VI. NBIC
VII. Comparison of Section XII and Section VIII, Division 1 Supplemented by the Current HMR
   A. Design Margin
   B. Rational Design
   C. Design and Construction of CTMVs: Identified Differences Between HMR and Section XII Requirements
   D. Continued Service of CTMVs, Portable Tanks, and
   E. Summary and Supporting Research Initiatives
VIII. ANPRM Comment Summary Discussion and Proposed Amendments
   A. Comments in Favor of Adopting Section XII and NBIC
   B. Comments in Opposition to Adopting Section XII and NBIC
   C. Miscellaneous Comments
   D. Proposed Amendments
   E. Section by Section Review
IX. Regulatory Analyses and Notices
   A.
   B. Executive Order 12866, Executive Order 13610, Executive Order 13563 and DOT
   C. Executive Order 13132
   D. Executive Order 13175
   E. Regulatory Flexibility Act, Executive Order 13272, and DOT Procedures and Policies
   F. Paperwork Reduction Act
   G. Regulatory Identifier Number (RIN)
   H. Unfunded Mandates Reform Act
   I. Environmental Assessment
   J. Privacy Act
   K. Executive Order 13609 International Trade Analysis
I. Executive Summary
   In this NPRM, PHMSA (also "we" or "us") proposes to amend the Hazardous Materials Regulations (HMR; 49 CFR parts 171-180) in response to petitions submitted by industry representatives to incorporate Section XII and the 2013 edition of the NBIC as alternatives to Section VIII, Division 1 and the current HMR requirements in part 178, for the design of cryogenic portable tanks and CTMVs, part 179 for the design of ton tanks, and part 180 for the continuing qualification and maintenance of CTMVs, cryogenic portable tanks and ton tanks. Section XII sets forth standards for construction /1/ and continued service /2/ of pressure vessels for transporting hazardous materials by highway, rail, air or water at pressures from close to 15 psig external pressure to 3,000 psig and volumes greater than 120 gallons. The 2013 edition of the NBIC provides rules and guidelines for installing, inspecting, repairing and altering boilers, pressure vessels and pressure relief devices. Section XII may be used for the following tanks:
   FOOTNOTE 1 "Construction" is an all-inclusive term comprising materials, design, fabrication, examination, inspection, testing, certification, and over-pressure protection. END FOOTNOTE
   FOOTNOTE 2 "Continued service" is an all-inclusive term referring to inspection, testing, repair, alteration, and recertification of a transport tank that has been in service. END FOOTNOTE
Table 1--Proposed Tanks Authorized Under Section XII Tank type Specification Cargo Tank Motor Vehicles (CTMVs) MC331, 338, 406, 407, and 412. Cryogenic Portable Tanks UN T75.Ton Tanks DOT-106A and 110AW.
   If the proposed amendments are adopted, manufacturers could choose to build their tanks using either the specifications set forth in Section XII or those set forth in Section VIII, Division 1. While Section VIII, Division 1 applies to construction of new tanks only, Section XII applies to both new construction and continued service. Further, as proposed, a manufacturer who builds a tank to Section VIII, Division 1 would be authorized to use either the 1992 edition of the NBIC that is currently incorporated by reference or the 2013 edition of the NBIC; whereas manufacturers who choose to build tanks to Section XII would be required to use the 2013 edition of the NBIC.
   Section XII and the 2013 edition of the NBIC include advancements in design, material, construction, repair and inspection of transport tanks. Incorporating Section XII and the 2013 edition of the NBIC by reference in the HMR, would allow manufacturers and owners of transport tanks to be flexible in the materials they use to build tanks, how they build tanks, and how they test and inspect tanks, while providing the same level of safety as that provided by Section VIII, Division 1 for new construction and the HMR for continued qualification and maintenance.
   The 2013 edition of the NBIC was developed in conjunction with Section XII to provide consistent, up-to-date standards for the lifespan of transport tanks. Both the NBIC and Section XII were developed as international standards, and were written to be compatible with UN recommendations. Further, these standards were developed by voluntary consensus standards-development organizations comprised of all stakeholders involved in the design, certification, continued qualification and maintenance of transport tanks, including manufacturers of tanks and PHMSA engineers. These individuals have expert knowledge of how to design, construct and maintain tanks to withstand the unique dynamic conditions and stresses of a transportation environment.
   Several research and development projects support the adoption of both the 2013 edition of NBIC and Section XII (See Table 11 of Section VII of this document). These projects include studies on CTMV rollovers, design margins, and puncture resistance. They are discussed in Sections V and VII in this NPRM. /3/ Furthermore, by providing the 2013 edition of the NBIC and Section XII as options, PHMSA would allow the regulated industry to choose from various materials of construction, that we believe provide equivalent safety, to accommodate each entity's preference (see part TM of Section XII, which specifies authorized materials). Use of the proposed voluntary standards could enable U.S. manufacturers to better compete internationally.
   FOOTNOTE 3 See www.regulations.gov, Docket Nos. PHMSA-2010-0019-0010, PHMSA-2010-0019-0012, PHMSA-2010-0019-0013, PHMSA-2010-0019-0014, PHMSA-2010-0019-0015, PHMSA-2010-0019-0016, PHMSA-2010-0019-0017, PHMSA-2010-0019-0018, and PHMSA-2010-0019-0019. END FOOTNOTE
   Manufacturers, tank owners and users, maintenance and repair entities, third-party inspectors, and public sector inspectors would incur costs under the proposed adoption of Section XII and the 2013 edition of the NBIC. Manufacturers who choose to build tanks to Section XII may have to purchase new equipment to manufacture tanks to accommodate the different metals authorized in Section XII and would have to purchase the standard; however, they would also have more flexibility in the materials they use to build the tank, and take advantage of the lower priced materials at the time of purchase. Tank owners would incur the initial cost of the new tank. However, users, most likely also the owners, in many cases, would be able to haul more material in one tank, which would reduce fuel costs. Entities that repair tanks and third-party inspectors would have to be trained in and purchase both Section XII and the NBIC. Public sector inspectors would have to be trained, and state and local governments would have to purchase both Section XII and the NBIC. Due to PHMSA's three-year training cycle, all employees and inspectors will have been trained within three years, regardless of when or if they transition to HM-241. Once an entity converts to Section XII tanks, PHMSA assumes that the incremental training would be incorporated into regular training, and no further incremental expense would be incurred in future years. Annual benefits would continue to accrue.
   Benefits associated with the use of Section XII and the 2013 edition of the NBIC include a savings in the cost to manufacture tanks. Various economic factors cause the cost of types of materials to fluctuate. Because Section XII allows a variety of newer materials to be used to build tanks, manufacturers may choose materials with the lowest cost to construct their tanks. Also, certain tanks built to Section XII would provide lower costs per mile due to the use of lighter-weight materials of construction and increased capacity to transport product. A review of previous research by PHMSA's Engineering and Research Division, as well as the independent research studies that are summarized in Section V and Table 11 of Section VII of this NPRM and can be found in the docket file (see www.regulations.gov, Docket Nos. PHMSA-2010-0019) indicated the Section XII standards provide an equivalent level of safety to the current standards. Section XII provides updated specifications for transport tanks. In most cases, due to substitution of material of construction, the thickness of the tanks would be reduced, permitting more material to be hauled, and reducing the number of tanks needed to handle the same volume of product.
   These costs and benefits of Section XII and the 2013 edition of the NBIC would affect only individuals who choose to use the standards. Therefore, PHMSA does not believe adoption of Section XII would impose costs because each entity will choose to continue to use the existing Section VIII or convert to Section XII as their economic interests dictate. For example a manufacturer would not use Section XII to build a tank unless it believes it is net beneficial to do so. Since Section XII would allow manufacturers the flexibility to purchase the raw material that is least expensive at the time, this may reduce the cost to the manufacturer, who can then pass that discount on to the buyer of the tank. Manufacturers will only elect to utilize Section XII if it makes business sense.
II. Abbreviations and Terms Used in This Document
   The table below provides a list of abbreviations or acronyms for the terms used in this NPRM.
Table 2--Abbreviations and Terms Used in This Document AI: Authorized Inspector ANSI:American National Standards Institute ASME:American Society of Mechanical Engineers BPVC: Boiler and Pressure Vessel Code CI: Certified Individual CTMV: Cargo Tank Motor Vehicle DCE: Design Certifying Engineer FMCSA:Federal Motor Carrier Safety Administration HMR: Hazardous Materials Regulations (49 CFR parts 171-180) IMDG International Maritime Dangerous Goods IACSInternational Association of Classification Societies Ltd MAWP: Maximum Allowable Working Pressure NBIC: National Board Inspection Code PHMSA: Pipeline and Hazardous Materials Safety Administration PVMA:Pressure Vessel Manufacturers Association QI: Qualified Inspector RI: Registered Inspector Section VIII, Division 1 American Society Mechanical Engineers, Boiler and Pressure Vessel Code, Section VIII, Division 1 Section XII: American Society Mechanical Engineers, Boiler and Pressure Vessel Code, Section XII
III. Background
   The Federal hazardous materials transportation law (49 U.S.C. 5101 et seq.; Federal hazmat law) authorizes the Secretary of Transportation to regulate the safe and secure transportation of hazardous materials in commerce. In accordance with its delegated authority from the Secretary, PHMSA has established packaging requirements for the safe transportation of hazardous materials in commerce, including requirements for the design, construction, qualification, maintenance, certification and repair of bulk packagings such as CTMVs, portable tanks, and certain tank car tanks referred to as ton tanks.
   Under 49 CFR 1.96, PHMSA is delegated the responsibility to enforce the HMR. In addition, under 49 CFR 1.88 and 1.86, the
   Within the United States, the most common modes of transportation for the tanks affected by this NPRM are highway and rail. To clearly identify the differences and unique characteristics of the tanks addressed by this NPRM, we provide the following definitions.
Table 3--Tank Type Definition Cargo tank motor Means a motor vehicle with one or more cargo tanks vehicle (CTMV) permanently attached to or forming an integral part of the motor vehicle. Portable tank(4M) Means a bulk packaging (except a cylinder having a water capacity of 1000 pounds or less) designed primarily to be loaded onto, or on, or temporarily attached to a transport vehicle or ship and equipped with skids, mountings, or accessories to facilitate handling of the tank by mechanical means. It does not include a CTMV, tank car, multi-unit tank car tank, or trailer carrying 3AX, 3AAX, or 3T cylinders. UN portable tank Means an intermodal tank having a capacity of more than 450 liters (118.9 gallons). It includes a shell fitted with service equipment and structural equipment, including stabilizing members external to the shell and skids, mountings or accessories to facilitate mechanical handling. A UN portable tank must be capable of being filled and discharged without the removal of its structural equipment and must be capable of being lifted when full. Cargo tanks, rail tank car tanks, non-metallic tanks, non-specification tanks, bulk bins, and IBCs and packagings made to cylinder specifications are not UN portable tanks. Multi-unit tank Means a flatcar railcar or flatbed trailer with up to 15 car tank or ton large cylindrical pressure tanks (DOT-106A and 110A tank tank car specification, see Part 179).
   In this NPRM, PHMSA is proposing to amend the HMR applicable to the design, construction, certification, recertification and maintenance of cargo tank motor vehicles, cryogenic portable tanks ton tanks, to allow the use of Section XII for the design, construction, and certification of CTMVs, cryogenic portable tanks and ton tanks. PHMSA is also proposing to authorize the use of the 2013 edition of the NBIC, as it applies to Section VIII, Division 1 or Section XII. These proposals are in response to petitions for rulemaking from ASME, the National Board of Boiler and Pressure Vessel Inspectors, and PVMA. This NPRM could affect the following entities that choose to follow Section XII and establishes the following requirements:
   FOOTNOTE 4 Only cryogenic portable tanks are involved in this NPRM. END FOOTNOTE
Table 4--Affected Entities Affected entities Proposed revisions . Manufacturers of CTMVs, cryogenic . Provides alternative design, portable tanks and ton tanks construction, certification, . Repairers of CTMVs, cryogenic recertification and maintenance to portable tanks and ton tanks Section VIII, Division 1 and HMR. . Testers of CTMVs, cryogenic portable . Establishes new alternative "T" tanks and ton tanks stamp for transport tanks . Carriers of bulk liquid hazardous . Establish different levels of materials inspectors as set forth in Section . Inspectors of CTMVs, cryogenic XII. portable tanks and ton tanks . Owners of CTMVs, cryogenic portable tanks and ton tanks . Federal, state and local enforcement officials
IV. Petitions for Rulemaking
   The Administrative Procedure Act (APA) requires Federal agencies to give interested persons the right to petition an agency to issue, amend, or repeal a rule (5 U.S.C. 553(e)). 49 CFR 106.95, provides the process and procedures for persons to petition PHMSA to add, amend, or delete a regulation. In this NPRM, PHMSA is considering petitions for rulemaking from ASME, the National Board, and PVMA.
   The following table provides a brief summary of the petitions addressed in this NPRM and affected sections:
Table 5--Petition Summary Petition Party Summary submitting petition P-1459 ASME Requests PHMSA incorporate by reference the ASME Boiler and Pressure Vessel Code, Section XII, Transport Tanks--2004 edition ( SS 172.102; 173.5b; 173.24b; 173.32; 173.306; 173.315; 173.318; 173.420; 178.245-1; 178.245-3; 178.245-4; 178.245-6; 178.245-7; 178.255-1; 178.255-2; 178.255-14; 178.255-15; 178.270-2; 178.270-3; 178.270-7; 178.270-9; 178.270-11; 178.270-12; 178.271-1; 178.272-1; 178.273; 178.274; 178.276; 178.277; 178.320; 178.337-1; 178.337-2; 178.337-3; 178.337-4; 178.337-6; 178.337-16; 178.337-18; 178.338-1; 178.338-2; 178.338-3; 178.338-4; 178.338-5; 178.338-6; 178.338-13; 178.338-16; 178.338-18; 178.338-19; 178.345-1; 178.345-2; 178.345-3; 178.345-4; 178.345-7; 178.345-14; 178.345-15; 178.346-1; 178.347-1; 178.348-1; 179.400-3; 180.407). P-1474 PVMA Requests PHMSA incorporate by reference the ASME Boiler and Pressure Vessel Code, Section XII, Transport Tanks--2004 edition ( SS 172.102; 173.5b; 173.24b; 173.32; 173.306; 173.315; 173.318; 173.420; 178.245-1; 178.245-3; 178.245-4; 178.245-6; 178.245-7; 178.255-1; 178.255-2; 178.255-14; 178.255-15; 178.270-2; 178.270-3; 178.270-7; 178.270-9; 178.270-11; 178.270-12; 178.271-1; 178.272-1; 178.273; 178.274; 178.276; 178.277; 178.320; 178.337-1; 178.337-2; 178.337-3; 178.337-4; 178.337-6; 178.337-16; 178.337-18; 178.338-1; 178.338-2; 178.338-3; 178.338-4; 178.338-5; 178.338-6; 178.338-13; 178.338-16; 178.338-18; 178.338-19; 178.345-1; 178.345-2; 178.345-3; 178.345-4; 178.345-7; 178.345-14; 178.345-15; 178.346-1; 178.347-1; 178.348-1; 179.400-3; 180.407). P-1502 National Board Requests PHMSA incorporate by reference the National Board Inspection Code--2007 Edition in S. 180.413.
P-1459
   On
P-1474
   On
P-1502
   On
   FOOTNOTE 5 The NBIC has updated the 2007 edition with a 2013 edition. END FOOTNOTE
V. ASME Section XII
   Currently, the HMR incorporate by reference the 1998 edition of Section VIII, Division 1 as part of the standards for the design and construction of cryogenic portable tanks and CTMVs. Section VIII, Division 1 sets forth detailed criteria for the design, construction, certification, and marking of stationary boilers and pressure vessels. Tanks constructed and certified in accordance with Section VIII, Division 1 are marked with a "U" stamp.
   While stationary tanks and transportation tanks are both subject to many of the same influences, such as pressure, temperature changes, and atmospheric conditions, transportation tanks are subject to additional, unique dynamic load conditions and stresses; Section VIII, Division 1 alone does not address the transportation conditions. To address these additional influences on tanks that are used in transportation, general operational requirements for CTMVs, portable tanks, and ton tanks, such as outage and filling limits and self-closing stop valves, are prescribed in 49 CFR part 173 subpart
   ASME is a not-for-profit membership professional organization that enables collaboration, knowledge-sharing, and skill development across all engineering disciplines. ASME is recognized globally for its leadership in providing the engineering community with technical content and a forum for information exchange. The Boiler and Pressure Vessel Committees of ASME meet quarterly; however, most of the work is done throughout the year through working groups and an electronic balloting process. The National Board meets biannually and also works throughout the year through working groups and the electronic balloting process. These committees consider revisions to the ASME codes and standards based on safety concerns, technological advances, new data, and changing environmental and industry needs. All meetings are free-of-charge and open to public participation. ASME subcommittees consider correspondence from the general public in the form of requests for interpretation and revision to existing codes, requests for code cases, and requests to develop new standards.
   In 1995 the ASME Board on Pressure Technology Codes and Standards formed a committee on transport tanks (SC XII) to develop new standards to specifically address transport tanks. PHMSA actively participated in the committee. SC XII currently consists of a main committee and four subgroups identified as: (1) General Requirements, (2) Fabrication, Inspection and Continued Service, (3) Design and Materials, and (4) Non-Mandatory Appendices. SC XII developed and published in July of 2004 the ASME BPVC Section XII, Rules for Construction and Continued Service of Transport Tanks to address pressure vessels that are used in transportation. Section XII is based on the existing and long-established Section VIII, Division 1. Section XII consists of ten parts, four modal appendices written to address different tank types, sixteen mandatory appendices, and eight non-mandatory appendices. Transport tanks are divided into categories comparable to existing DOT specifications; for example, a DOT 406 CTMV is a Category 406 tank in Article 1 of Modal Appendix 1. The newest edition contains modal appendices for CTMVs, cryogenic portable tanks, and ton tanks. /6/
   FOOTNOTE 6 A rail tank car appendix may be developed in the future, and consequently, is not part of the scope of this NPRM. END FOOTNOTE
   Section XII contains ten parts, in the following order:
Table 6--Section XII Part Summary Part Part requirements heading TG General TM Material TD Design TW Tanks Fabricated by Welding TF Fabrication TE Examination TT Testing TR Pressure-relief Device TS Stamping, Marking, Certification Reports, and Records TP Repair, Alteration, Testing, and Inspection for Continued Service
   Section XII requires newly constructed transport tanks to bear a "T" stamp. The "T" stamp is essentially equivalent to the current "U" stamp required for certain DOT CTMVs designed and constructed to Section VIII, Division 1 standards, currently incorporated by reference in the HMR.
   PHMSA is proposing to adopt Section XII, in its entirety, as an alternative to Section VIII, Division 1 for the design and construction requirements for DOT specification tanks. A copy of Section XII, 2013 edition, is available for review at www.regulations.gov under Docket Number PHMSA-2010-0019 or DOT's Docket Operations Office (see ADDRESSES). The current price of Section XII in hard copy is
   FOOTNOTE 7 See: http://www.asme.org/products/codes---standards/bpvc-xii---2013-bpvc-section-xii-rules-for-constru (Accessed:
VI. NBIC
   The National Board of Boiler and Pressure Vessel Inspectors was formed in 1921 and is an
   First published in 1946, the NBIC was established by the National Board to provide rules and guidelines for the repair, alteration, inspection, installation, maintenance, and testing of boilers, pressure vessels, and other pressure retaining items. The NBIC is developed and maintained by a consensus committee comprised of industry experts (the NBIC Committee). The NBIC Committee consists of a main committee, subcommittees, subgroups, and task groups of industry experts and has Federal representation by PHMSA. Participants meet biannually to consider revisions to the NBIC based on safety concerns, technological advances, new data, and industry needs. All meetings are free-of-charge and open to public participation. The NBIC subcommittees consider correspondence from the general public in the form of requests for interpretation, revision of existing standards, and requests to develop new standards. The standards-writing subcommittees, subgroups, and task groups are open to participation by representatives of groups that are materially affected by the code. Such groups include manufacturers, repair firms, authorized inspection agencies, and representatives of government agencies. Each year the NBIC Committee updates the NBIC and presents the updates on the National Board's Web site for public review in April-May and August-September. Updated editions are published biannually.
   Section XII requires all alterations and repairs to the pressure vessel of a transport tank to be performed in accordance with the NBIC and requires an inspection to be performed by a National Board inspector. The NBIC Committee established a task group to develop requirements for continued service, repair, and alteration of Section XII transport tanks. The task group included PHMSA and industry representatives. The Committee's efforts culminated in the issuance of two new supplements to the NBIC code. While the NBIC code applies to boilers, pressure vessels, and pressure relief devices, these supplements were added to specifically address transport tanks. The first is NBIC Part 2, Section 6, Supplement 6, "Continued Service and Inspection of DOT Transport Tanks." This document describes inspection of in-service transport tanks. The second is NBIC Part 3, Section 6, Supplement 6, "Repair, Alteration, and Modification of DOT Transport Tanks." This document contains general requirements that apply to welding, repairs, alterations, modifications, examinations, etc., made to DOT transport tanks used for the transportation of hazardous materials. These supplements also specify the type of inspection to be performed and establish the criteria for inspections, reports, document maintenance, and inspector duties and responsibilities.
   A copy of the 2013 edition of the NBIC is available for review at www.regulations.gov under Docket Number PHMSA-2010-0019 or DOT's Docket Operations Office (see ADDRESSES appearing earlier in this notice). The current cost of the complete NBIC set is
   FOOTNOTE 8 See: http://www.nationalboard.org/Index.aspx?pageID=14&ID=20 (Accessed
VII. Comparison of Section XII and Section VIII, Division 1 Supplemented by the Current HMR
   Currently, the HMR incorporates Section VIII, Division 1 of the ASME Code, which specifies the design and construction of stationary tanks. The HMR supplements Section VIII, Division 1, with added design, construction, certification, which are found in parts 178 and 179, and recertification and maintenance requirements, found in part 180, specific to transport tanks. Section XII and the 2013 edition of the NBIC have been developed specifically for design, construction, certification, recertification and maintenance of transport tanks. A review of differences between Section VIII, Division 1 and Section XII can be very specific. However in this section we examine the broader philosophical differences between the way in which tanks may be designed in Section VIII, Division 1 and the way tanks may be designed in Section XII. Two overarching differences in the two versions of the ASME standard are design margin allowances and design methodology; they are discussed below. Another difference between the current HMR and the Section XII is that when designing and constructing a tank to the requirements of Section XII, you must use the requirements in the 2013 edition of the NBIC for continued service of those tanks; whereas if you are using the HMR and Section VIII, Division 1 you may use the NBIC, but are not required to do so.
Design Margin
   The design margin, also known as factor of safety, is defined as the structural capacity of a system beyond the expected loads or actual loads. For the purposes of construction of transport tanks, the design margin is how much stronger than necessary we would require a tank to be built for an intended load. For example, a design margin of 3.5:1 means a tank must be built to withstand forces 3.5 times what it would be expected to endure in transportation. Meeting the required design margin exactly implies that the design meets the minimum allowable strength; however, a tank may be built to withstand greater forces than the design margin. Building a tank to withstand forces well over the required design factor sometimes implies "over-engineering" which can result in greater weight and/or cost.
   Since the 1940's ASME's design margin for tanks has traditionally been 4.0:1 and, as far back as the 1950's, the HMR has incorporated Section VIII, Division 1 and required the 4.0:1 design margin for transport tanks. In 1996, the ASME Pressure Vessel Research Committee instituted a research study in which it reviewed burst tests, failure data, failure modes--particularly fatigue and fracture and related toughness requirements, fabrication practices, improved materials, advances in welding, examination and testing. Notably, fracture mechanics did not exist as an engineering discipline when the design margin of 4 was established. Today, fracture mechanics allows an engineer to establish the minimum toughness required in a material based on the stress applied and the maximum credible size flaw. /9/ The results of the 1996 study indicated that the design margin for pressure vessels could be safely reduced from 4.0:1 to 3.5:1. /10/ Based on this study, and other research and data specific to transport tanks, ASME adopted a design margin of 3.5 on ultimate tensile strength in Section XII for the economic advantage of using higher allowable stresses and consequently thinner vessels.
   FOOTNOTE 9 "Reduction of Design Margin in the ASME Boiler and Pressure Vessel Code in the 1999 Addenda," Walter J. Sperko, P.E., available at: http://freepdfz.com/pdf/reduction-of-asme-design-margin-sperko-engineering-service-inc-5156113.html (last accessed 9/30/13). END FOOTNOTE
   FOOTNOTE 10 See www.regulations.gov docket number PHMSA-2010-0019-0016. END FOOTNOTE
   The revised design margins under Section XII may have an effect on newly constructed transport tanks. For those tanks where the minimum thicknesses are controlled by pressure, they may be thinner and lighter than those constructed using a design margin of 4.0. PHMSA has issued several special permits allowing a 3.5:1 or a 3.0:1 design margin. /11/ PHMSA has reviewed the incident data for these tanks and has not identified any incidents that would indicate a reduction in safety. Furthermore, PHMSA thoroughly evaluates the safety of any special permit before it is issued, and will only issue a permit if the level of safety provided is found to be equivalent to the HMR.
   FOOTNOTE 11 See DOT-SP 12628 and DOT-SP 14492 for 3.5:1 design margin; see DOT-SP 14483, DOT-SP 14572, DOT-SP 14578, DOT-SP 14616 and DOT-SP 15220 for 3.0:1 design margin. END FOOTNOTE
Rational Design
   Section VIII, Division 1 and the HMR prescribe tank designs intended for a variety of situations. This approach may be attractive to the designer of a tank, as the same design may be used in a variety of situations; however, generally, this approach to design results in large built-in, design margins, over-design, and use of excess material. Rational design involves the application of a systematic method for determining the design variables that optimize a specific objective while satisfying the constraints. /12/ PHMSA, ASME, and industry have determined through cooperative research and development that tanks constructed using rational design methodology provide an equivalent level of safety to currently authorized tank designs, but are more efficient than currently authorized tanks. For this reason, Section XII incorporates the rational design method. When using the rational method of design, a tank designer seeks to determine, as comprehensive and rigorously as possible, the factors affecting the safety and performance throughout the life of the tank, to determine the most efficient safe design. This process involves more calculations than previous Section VIII design methodologies and can incorporate highly sophisticated computer modeling in developing tank designs. Rational design methodology enables tanks to be designed with greater efficiency and less need for high margins of safety. Rational design under Section XII, Appendix VIII has enabled non-circular shell and heads to be made of material with thicknesses up to 15% less than what tank manufacturers currently use. Such a difference results in a tank with at least 2% more payload capacity.
   FOOTNOTE 12 See "A Practical Methods for the Rational Design of Ship Structures; Hughes, Mistree and Zanic;
Design and Construction of CTMVs: Identified Differences Between HMR and Section XII Requirements
   This section highlights some specific differences between the currently incorporated Section VIII that is supplemented by the HMR and Section XII. This is not an all-encompassing list of differences, and it is only meant to highlight areas in which Section XII has improved upon the current combination of Section VIII and the HMR.
Special Materials Testing and Fabrication Requirements for MC 331 Tanks
   Section XII Modal Appendix 1--"Cargo Tanks" discontinues certain obsolete requirements for construction of MC 331 cargo tanks that are still required in SUBSEC 178.337-2 and 178.337-4. This revision modernizes material specification designations and eliminates obsolete material specifications. It also eliminates certain obsolete material impact test requirements, especially for quenched and tempered materials. PHMSA has issued several special permits allowing the use of the newer material specifications in the ASME Code for construction and repair. A review of historical incident data shows an acceptable safety history with no reported incidents.
Standardization of Allowable Peak Secondary Stresses for MC 331 Cargo Tanks
   The requirements in Modal Appendix 1-3.5.5 and 1-3.5.1(a)(1)(b) of Section XII standardize the allowable peak secondary stress levels resulting from short interval, non-persistent loads to that permitted for lading surge loads for MC 331 cargo tanks by
Defined Incident Provisions Relating to Pressure Boundaries
   Currently the HMR specifically requires defined incident protection (accident protection) for specification tanks throughout Part 178 subpart J. The Modal Appendix 1 Article 1-1.5 of Section XII specifies that tank attachment points shall be designed for accident protection and leakage prevention. ASME asserts that inclusion of these requirements in Section XII clarifies and improves the accident protection requirements.
New Requirements To Account for Fatigue Loading in MC 331 Tanks
   Section XII includes a new requirement to account for fatigue loading due to dynamic loading and full pressure cycles in design of MC 331 cargo tanks. This consideration is a safety enhancement from the previous Section VIII and HMR combination and provides explicit criteria for fatigue failure avoidance. This requirement compensates for slightly reduced stiffness and increased elastic deflection due to thinner tank walls authorized by Section XII. Accounting for fatigue loading is also intended to provide specific design guidance that will help avoid the potential for stress corrosion cracking in tanks made of quenched and tempered steels.
Consolidation of DOT's Special Design Requirements for MC 331 Tanks
   In Section XII, the Modal Appendix 1-3.11.1 [Construction Requirements for Cargo Tank Vessels Used to Transport Specific Hazardous Materials]; and 1-3.11.2 [Equivalent Material Thickness] consolidate special DOT design requirements /13/ for certain MC 331 cargo tanks designed for certain specific ladings into a single place.
   FOOTNOTE 13 The consolidated 49 CFR requirements are:
   The benefit resulting from consolidating design and construction requirements for each special lading tank vessel into its own subparagraph is that it will prevent the cargo tank designer from overlooking design requirements essential to DOT compliance. 49 CFR SEC 178.337 distributes these requirements throughout that section according to the particular design feature. Many DOT requirements essential to vessel construction are not found in
Standardized Pressure Relief Devices for Both Portable and Cargo Cryogenic Tankage
   Both cryogenic portable tanks and cargo tanks are similar in design and construction. Their pressure relief devices have the same function in protecting the pressure vessel against over pressure for all conditions of operation. They should be similarly specified, and this has been done in Section XII, with the exception of the pressure relief valve setting and the tag stamping of the burst disc for portable tanks.
Uniformity of Piping and Valving Requirements for Cargo and Portable Cryogenic Tankage
   As has been done for the Pressure Relief Devices, piping, filling and discharge openings together with valve requirements have been standardized for portable and cargo cryogenic transport tanks in Section XII. The standardization of these requirements in Section XII is viewed as a safety enhancement.
Continued Service of CTMVs, Portable Tanks, and
<p>   Part 180 of the HMR specifies continued service requirements for DOT and UN portable tanks and DOT specification and certain non-specification CTMVs. Specific requirements for the qualification, maintenance, repair, and testing of packagings are located in 49 CFR part 180: subpart E for CTMVs, subpart F for ton tanks, and subpart G for portable tanks.
   Incorporating Section XII and the NBIC as an alternative for continued service requirements for these ASME stamped bulk packagings may impact the roles and responsibilities of persons who perform tests, inspections, modifications, alterations, and repairs.
   To ensure that DOT specification CTMVs are designed, constructed, and maintained in accordance with the applicable specification, the HMR require that each person who certifies CTMV design, construction, repair, or testing meet certain minimum qualifications. The qualification criteria are based on the function performed. Professionals who meet the qualifications set forth currently in the HMR for Design Certifying Engineer (DCE), Authorized Inspector (AI), and Registered Inspector (RI) perform continued service functions that are specified in the table below.
Table 7--Types of Inspectors Currently in the HMR Type of Inspector Qualifications A Design . Is a person registered with the U.S. DOT in accordance Certifying with subpart F of part 107 of the HMR who has the Engineer (DCE) knowledge and ability to perform stress analysis of pressure vessels and otherwise determine whether a cargo tank design and construction meets the applicable DOT specification. . Certifies each specification cargo tank or CTMV design type, including its required accident damage protection; the design of a modified, stretched, or rebarrelled CTMV; or mounting of a cargo tank on a motor vehicle chassis involving welding on the cargo tank head or shell or any change or modification of the methods of attachment. . Must fulfill the knowledge and ability requirements by meeting any one of the following qualifications: ○ Have an engineering degree and one year of work experience in cargo tank structural or mechanical design; ○ Be currently registered as a professional engineer by appropriate authority of a state ofthe United States or a province ofCanada ; or ○ Have at least three years' experience in performing the duties of a DCE prior toSeptember 1, 1991 . An Authorized . Is regularly employed by an ASME-accredited Authorized Inspector (AI)Inspection Agency (AIA), who has been qualified to ASME-developed criteria to perform inspections under the rules of any jurisdiction that has adopted the ASME Code. . Is not employed by the manufacturer. . Holds a valid Certificate of Competency (where required), as defined in National Board Rules for Commissioned Inspectors, and a validNational Board Commission with an "A" endorsement. . Has satisfactory expertise, experience, and background for the inspection of boilers and pressure vessels and demonstrate the ability to perform shop and field (on-site) inspections to the satisfaction of the AIA. . Has knowledge of applicable sections of the ASME Code, Quality Control Programs, and requirements for the maintenance and retention of in-transit and permanent records. . Has received a passing grade on an examination given by the National Board that evaluates the individual's knowledge of, and familiarity with, the ASME Code, and complies with the National Board's rules for commissioned inspectors. An Authorized . Is a jurisdiction that has adopted and administers oneInspection Agency or more sections of the ASME Boiler and Pressure Vessel (AIA) Code as a legal requirement and has a representative serving as a member of the ASME Conference Committee; or . Is an insurance company that has been licensed or registered by the appropriate authority of aState of the United States or a Province ofCanada to underwrite boiler and pressure vessel insurance in such State or Province. A Registered . Is a person registered with the Department in Inspector (RI) accordance with subpart F of part 107 of this chapter who has the knowledge and ability to determine whether a cargo tank conforms to the applicable DOT specification. A Registered Inspector meets the knowledge and ability requirements of this section by meeting any one of the following requirements: . Has an engineering degree and one year of work experience relating to the testing and inspection of cargo tanks; . Has an associate degree in engineering and two years of work experience relating to the testing and inspection of cargo tanks; . Has a high school diploma (or General Equivalency Diploma) and three years of work experience relating to the testing and inspection of cargo tanks; or . Has at least three years' experience performing the duties of a Registered Inspector prior toSeptember 1, 1991 .
   Section XII requires all alterations and repairs to the pressure vessel of a transport tank to be performed in accordance with the NBIC and requires an inspection to be performed by a National Board inspector. The inspector, depending on the class designation of the transport tank, must be an Authorized Inspector (AI), Qualified Inspector (QI), or Certified Individual (CI). The different levels of inspectors and their required qualifications are shown in the table below.
Table 8--Types of Inspectors in Section XII and the NBIC Type of Inspector Qualifications An Authorized . Is regularly employed by an ASME-accredited Authorized Inspector (AI)Inspection Agency (AIA), who has been qualified to ASME-developed criteria to perform inspections under the rules of any jurisdiction that has adopted the ASME Code. . Is not employed by the manufacturer. . Holds a valid Certificate of Competency (where required), as defined in National Board Rules for Commissioned Inspectors, and a validNational Board Commission with an "A" endorsement. . Has satisfactory expertise, experience, and background for the inspection of boilers and pressure vessels and demonstrate the ability to perform shop and field (on-site) inspections to the satisfaction of the AIA. . Has knowledge of applicable sections of the ASME Code, Quality Control Programs, and requirements for the maintenance and retention of in-transit and permanent records. . Has received a passing grade on an examination given by the National Board that evaluates the individual's knowledge of, and familiarity with, the ASME Code, and complies with the National Board's rules for commissioned inspectors. A Qualified . Is an inspector regularly employed by an ASME Qualified Inspector (QI)Inspection Organization (QIO) who has been qualified to ASME-developed criteria by a written examination, to perform inspections under the rules of any jurisdiction that has adopted the ASME Code. . May not be in the employ of the manufacturer. . Holds a valid Certificate of Competency (where required), as defined in National Board Rules for Commissioned Inspectors, and a valid National Board certification as a Qualified Inspector. . Has satisfactory expertise, experience, and background for the inspection of boilers and pressure vessels and demonstrate the ability to perform shop and field (on-site) inspections to the satisfaction of the QIA. . Has knowledge of applicable sections of the ASME Code, Quality Control Programs, and requirements for the maintenance and retention of in-transit and permanent records. . Has received a passing grade on an examination given by the National Board that evaluates the individual's knowledge of, and familiarity with, the ASME Code. The Qualified Inspector must comply with the National Board's rules for qualified inspectors. A Certified . Is an individual certified by an ASME accredited Individual (CI) organization authorized to use ASME marks, as either a full-time or part-time employee or contractor to the ASME certificate holder. . Is neither an AI nor a QI and must be certified and qualified to perform inspections by the CI's employer. . May be employed by the manufacturer or assembler. . Has the following minimum qualifications: ○ Knowledge of the requirements of Section XII for application of the appropriate Code Symbol stamp; ○ Knowledge of the Manufacturer's or Assembler's Quality System Program; and ○ Training commensurate with the scope, complexity, or special nature of the activities to which oversight is to be provided. . Has a record maintained and certified by the manufacturer or assembler, containing objective evidence of the qualifications of the CI and training provided the CI's qualifications and duties are as required in the latest edition and addenda of ASME QA1-1, Qualifications for Authorized Inspection.
   For continued service, under both the current HMR and Section XII, the NBIC authorizes owner/users who meet the requirements of NB-371, "Accreditation of Owner, User, and Inspection Organizations" to perform service inspections, including repairs and alterations, if the owner/user possesses a valid National Board Owner/User Certificate of Authorization. Inspectors employed by the Owner/User may perform continued service inspections, including repairs and alterations, if the individual possesses a National Board Owner/User commission. Currently, under the HMR and as proposed in this NPRM, motor carriers or CTMV owner/operators may perform annual external visual inspections and leakage tests, with certain limitations (see 49 CFR 180.409).
   While Section VIII, Division 1 does not distinguish between types of tanks and levels of inspectors, Section XII assigns transport tanks to three separate classes depending on the design of the tank. Each class includes transport tank designs that generally correspond to existing DOT specifications. The NBIC inspection requirements correspond to the class of transport tank as assigned in the Modal Appendices.
   In the table below, PHMSA lists each class of transport tank to be constructed or repaired and the type of inspector required to perform the inspection. Currently there are no specifications in either Section VIII, Division 1 or Section XII for Class 2 tanks, which is the designation that the committee set aside originally for rail car tanks and non-cryogenic portable tanks. While the specifications for Class 2 tanks are expected to be developed and incorporated into future editions of Section XII and the NBIC, the current editions do not include them.
Table 9--ASME Transport Tank Classes Type of inspector Class Current specification in HMR Section VIII Proposed and the HMR section XII Class 1 UN cryogenic portable tanks Authorized Authorized (See S. 178.277) DOT 407 MAWP Inspector Inspector. > 35 psi (See S. 178.347) DOT 412 MAWP > 15 psi (See S. 178.348) MC 338 (See S. 178.338) MC 331 (See S. 178.337) DOT 106A and 110AW (See S. 179.300) Class 2 To be developed in future N/A N/A. editions Class 3 DOT 406 (See S. 178.346) DOT Authorized Certified 407 MAWP = 35 psi (See S. Inspector Individual, 178.347) DOT 412 MAWP = 15 Authorized psi (See S. 178.348) Inspector, or Qualified Inspector.
   Repairs and alterations must be performed by organizations holding a valid National Board "TR" certificate of Authorization and in possession of the appropriate National Board Code symbol stamp. Alternatively, organizations employing Owner/User/Inspectors and in possession of a valid Owner/User Certificate of Authorization issued by the National Board may repair and perform alterations on transport tanks owned and operated by the Owner/User Certificate of Authorization holder.
   The periodic inspection and test frequencies for cargo tanks are specified in Modal Appendix 1 of Section XII. Periodic inspection and test frequencies for cryogenic portable tanks are specified in Modal Appendix 3 of Section XII. The periodic inspection and test frequencies are consistent with those specified currently in the HMR for cargo tanks and portable tanks.
Summary and Supporting Research Initiatives
   In this NPRM, PHMSA proposes to amend the HMR in response to petitions submitted by industry representatives to incorporate Section XII and the 2013 edition of the NBIC as alternatives to Section VIII, Division 1 and the current HMR requirements in part 178, for the design of cryogenic portable tanks and CTMVs, part 179 for the design of ton tanks, and part 180 for the continuing qualification and maintenance of CTMVs, cryogenic portable tanks and ton tanks.
   As mentioned previously, Section XII and the 2013 edition of the NBIC will be optional, and industry could choose to continue to use Section VIII, Division 1 and the current HMR requirements. The table below provides an overview of the options available to design, construct, repair and inspect tanks for use should the proposals in this NPRM be finalized.
Table 10--Summary of Standards Options as Proposed in This NPRM Standard used for: Stamp Build Repair Inspect Specification, ASME Section VIII 1992 Edition of 1992 Edition of Non-Stamped with 49 CFR Parts the NBIC with 49 the NBIC with 49 Transport tanks 173 and 178 CFR Part 180 or CFR Part 180 or 2013 Edition of 2013 Edition of the NBIC without the NBIC without Supplement 6 and Supplement 6 and 49 CFR Part 180 49 CFR Part 180 "U" Stamp ASME Section VIII 1992 Edition of 1992 Edition of with 49 CFR Parts the NBIC with 49 the NBIC with 49 173 and 178 CFR Part 180 or CFR Part 180 or 2013 Edition of 2013 Edition of the NBIC without the NBIC without Supplement 6 and Supplement 6 and 49 CFR Part 180 49 CFR Part 180 "T" Stamp ASME Section XII 2013 Edition of 2013 Edition of as authorized by the NBIC with the NBIC with proposed 173.14 Supplement 6 Supplement 6
   In developing Section XII, the SC XII committee on transport tanks, as well as other stakeholders, commissioned studies on materials used in the construction of tanks, components of tanks, and tanks themselves, to aid in developing safe specifications for transport tanks. The table below highlights studies that address issues relevant to this NPRM. This table is not meant to be a definitive list of the body of research available and serves as a supplement to this rulemaking effort. The following table summarize these studies and others that relate to this NPRM, and the results of these studies:
Table 11--Summary of Supporting Research Initiatives Study Title/Docket No. Study summary Relation to ASME Section XII DOT sponsored research The study analyzed DOT Results showed that most project 407/412 CTMVs subjected severe dynamic stress PO--TRS56-02-P-7004 to dynamic loads. The conditions occur rarely Dynamic Analysis of DOT loads were harmonically enough that fatigue may 407/412 Cargo Tank Motor analyzed to determine not be a contributing Vehicles critical factors to the factor and that current PHMSA-2010-0019-0010, dynamic design of the DOT regulations (Section PHMSA-2010-0019-0017, CTMVs VIII and the HMR) may be PHMSA-2010-0019-0018 too conservative. It was determined that more realistic allowable stress values for dynamic loads should be used as an alternative to the HMR. The results of this study were used in developing Section XII. ASME Standards Technical This study used a The results of this study Report, STP-PT-032, full-scale trailer truck noted that new specific Buckling of Cylindrical, tank to develop rules criteria for fabrication Thin Wall Trailer Truck specific to the design of such as straightness, out Tanks DOT cylindrical, thin of roundness, weld PHMSA-2010-0019-0013 wall tanks. Specifically, location, and use of this study focused on actual material buckling of cylindrical properties, incorporated pressure vessels under in Section XII, improves axial compression and upon Section VIII, examined bending. These Division 1 and the HMR, issues are normally and provides acceptable evaluated using the axial design basis for compression stress establishing buckling evaluation design methods design criteria and shell in ASME Section VIII, stiffening details for Division 1. However, this transport tanks. study sought to define new methods for determining allowable compressive stresses Evaluation of the This study conducted a The study indicated that Puncture Resistance for series of puncture SST heads had greater Stainless Steel and resistance tests on puncture resistance Carbon Steel Tank Heads various tank heads. The compared with CS heads. PHMSA-2010-0019-0012 head sections tested The results of this study fabricated of stainless were used in developing steel (SST) and carbon Section XII specifically steel (CS) with nominal determining types of wall thickness of 1/4 materials authorized and inch, 3/8 inch and 1/2 additional safety inch. The objective of requirements for the puncture resistance materials authorized in tests was to demonstrate Section XII. that SST heads are more puncture resistant than CS heads Evaluation of the This study conducted a The results of this study Puncture Resistance for series of puncture indicated that 3/8 Bare and Insulated resistance tests on -inch-thick SST heads are Stainless Steel (ISO) various types of ISO tank equal to or more puncture Tank Heads head sections with and resistant than 1/4 PHMSA-2010-0019-0015 without insulation and -inch-thick SST heads jackets. The head with 4 1/4 -inch-thick sections tested were SST insulation and a 20-gage with nominal wall aluminum jacket. Section thickness of 1/4 inches XII authorizes the use of to 3/8 inches. The 3/8 -inch-thick SST objectives of the heads; whereas, Section puncture resistance tests VIII and the HMR does were to demonstrate that not. 3/8 -inch-thick SST heads are equal to or more puncture resistant than 1/4 -inch-thick SST heads with 4 1/4 -inch-thick insulation and a 20-gage aluminum jacket Evaluation of Design This report examines This study concludes that Margins for ASME Code vessels designed to a reduction in the Section VIII, Davison 1 Section VIII, Division 1. present design margins PHMSA-2010-0019-0016 The main issues affecting from 4 to about 3.5 at the safety of those temperatures below the vessels are ductile creep range would be rupture and brittle justified based on the fracture. Tests on improvements in the Code vessels with different rules and excellent past strain hardening experience with vessels exponents have built to the Code rules. demonstrated that ductile rupture is highly unlikely with reduced margin of 3.5 on ultimate tensile strength 3.5 Material Design ASME Pressure Vessel The results of the study Factor and other Recent Research Committee indicated that the design Changes to the ASME instituted a research margin for pressure Boiler and Pressure Code study in which it vessels could be safely PHMSA-2010-0019-0014 reviewed burst tests, reduced from 4.0:1 to failure data, failure 3.5:1. This study modes--particularly observed that most fatigue and fracture and failures were the results related toughness of poor notch toughness, requirements, fabrication service degradation and practices, improved operating problems. The materials, advances in biggest change that welding, examination and justifies the change in testing design margin is advancements in materials and more thorough understanding of materials behavior. WYKE Laboratories--Test In this study a Cargo The results of the study Report Tank was subjected to were used to develop PHMSA-2010-0019-0017 Mobility Testing. design criteria for Specifically, CTMV was transport tanks in driven on public roads, Section XII that had not and subjected to dynamic been considered in forces in transport. The developing Section VIII. study collected data under a broad range of transport conditions Report of Cargo Tank In this study, MC305 The results demonstrated Rollover Test on an MC cargo tanks were rolled the weaknesses in the 305 Aluminum Trailer over and dragged over a tank structure as a PHMSA-2010-0019-0019 concrete surface. This result of a roller. These study was designed to results were used to measure the cargo tanks develop built-in rollover response to such an protection in transport incident tanks in Section XII. A Practical Methods for Studies the use of Demonstrates that the Rational Design of Rational design in rational design Ship Structures; Hughes, shipbuilding and examines methodology often Mistree and Zanic; the application of a provides an equivalent or Journal of Ship Research, systematic method for greater level of safety Vol. 24, No. 2, June determining the design to typically used 1980, pp. 101-113 variables that optimize a practical design methods specific objective while satisfying the constraints
Discussion of Proposed Amendments and Applicable Comments
   In the ANPRM that was published on
    * What are the differences between Section XII and the HMR requirements?
    * What is the potential safety and economic impacts of adopting the new Section XII requirement allowing a 3.5:1 design margin?
    * What are the safety and economic impacts of adopting the new Section XII requirements for the testing and fabrication of special materials for construction and repair of MC 331 cargo tanks?
    * What are the safety and economic impacts of adopting the Section XII requirement for allowable peak secondary stresses for MC 331 cargo tanks?
    * What are the safety and economic impacts of using minimum allowed thickness for pressure parts instead of nominal thickness and corrosion allowance?
    * Are there substantial differences between the construction and continued service requirements of the HMR and Section XII for cargo tanks? If so, what are the potential costs, burdens, or safety problems associated with incorporating Section XII and the NBIC for the construction and continued service of these tanks?
    * For existing cargo tanks designed, constructed and stamped with Section VIII, Division 1 "U" stamp, are there substantial differences between the continued service requirements of the HMR and the most recent edition of the NBIC? If so, what are the potential costs and burdens associated with incorporating the NBIC for existing "U" stamped bulk packagings?
    * Should PHMSA adopt through incorporation by reference Section XII and the most recent edition of the NBIC for construction and continued service of cargo tanks? If so, which existing requirements of the HMR should be replaced with references to these consensus standards?
    * Would incorporation of Section XII and the NBIC for construction and continued service of cargo tanks positively affect transportation safety, and/or reduce industry costs?
    * If PHMSA incorporates Section XII and the NBIC for the construction and continued service of cryogenic portable tanks, how long of a transition period would be needed to train employees to use these consensus standards? What are the associated costs of training?
    * Are Section XII and the NBIC rules of construction and continued service of cryogenic portable tanks consistent with current HMR requirements? If not, should PHMSA consider general adoption of the consensus standards while taking exception to specific portions of the standards?
    * Are there any potential compliance issues related to incorporating by reference Section XII and the newest edition of the NBIC in the HMR for the construction and continued service of cryogenic portable tanks?
    * Are there substantial differences between the construction and continued service requirements of the HMR and Section XII for multi-unit tank car tanks? If so, what are the potential costs, burdens, or safety problems associated with incorporating Section XII and the NBIC for the construction and continued service of these tanks?
    * For existing multi-unit tank car tanks designed and constructed in accordance with the HMR, are there substantial differences between current continued service requirements and the NBIC? If so, what are the potential costs and burdens associated with incorporating the latest edition of the NBIC?
    * Should PHMSA adopt through incorporation by reference Section XII and the most recent edition of the NBIC for construction and continued service of multi-unit tank car tanks? If so, which existing requirements of the HMR should be replaced with references to these consensus standards?
    * Would incorporation of Section XII and the latest edition of the NBIC for construction and continued service of multi-unit tank car tanks positively affect transportation safety, and/or reduce industry costs?
    * Are Section XII and the NBIC rules of construction and continued service of multi-unit tank car tanks consistent with current HMR requirements? If not, should PHMSA consider general adoption of the consensus standards while taking exception to specific portions of the standards?
    * Are there any potential compliance issues related to incorporating by reference Section XII and the newest edition of the NBIC in the HMR for the construction and continued service of multi-unit tank car tanks?
   The ANPRM generated comments from 32 stakeholders, many of whom submitted multiple comments-some on the length of the comment period and most on the substance of the ANPRM. The majority of the comments--40 different comments from 21 commenters--were in opposition to incorporating by reference the two sets of standards into the HMR. /14/ The ANPRM was not specific as to potential future course of action. Specifically, the ANPRM did not explicitly state whether PHMSA was going to propose to replace Section VIII, Division 1 and the HMR with Section XII and the NBIC, or if we were going to propose to allow Section XII and the NBIC to be used as alternatives. In the ANPRM, there were no proposals set forth regarding the method of incorporation into the regulations of Section XII and the NBIC (e.g. outright replacement of Section VIII, Division 1 with Section XII and the NBIC or incorporation of Section XII and the NBIC as an alternative in addition to Section VIII, Division 1). For that reason, it was the assumption of many commenters that Section XII would outright replace Section VIII, Division 1 and the HMR, and these commenters voiced their opposition to Section XII with the understanding that they would not have an option as to what requirements they would be able to use.
   FOOTNOTE 14 The 21 commenters in opposition were: Alloy Custom Products,
   The comments are accessible by docket number at the following URL: http://www.regulations.gov. A listing of the commenters, including the docket number associated with the comment, is provided below (company or organization abbreviations used throughout the document are also provided):
Table 12--Commenters Commenter Abbreviation Docket No. Alloy Custom Products PHMSA-2010-0019-0049 Altom Transport PHMSA-2010-0019-0003 American Society of ASME PHMSA-2010-0019-0032 Mechanical Engineers American Trucking ATA PHMSA-2010-0019-0043 Associations Asian Tank Container PHMSA-2010-0019-0060 Organization Baltimore Cargo Tank PHMSA-2010-0019-0046 Services, Inc. Bulk Truck & Transport PHMSA-2010-0019-0004 Service, Inc. C & R Fleet Services, PHMSA-2010-0019-0022 Inc. C & R Fleet Services, PHMSA-2010-0019-0037 Inc. Commercial Vehicle Safety CVSA PHMSA-2010-0019-0056 Alliance Compressed Gas CGA PHMSA-2010-0019-0025 Association Compressed Gas CGA PHMSA-2010-0019-0048 Association Container Technology Inc. CTI PHMSA-2010-0019-0059 Dangerous Goods Advisory DGAC PHMSA-2010-0019-0050 Council Dangerous Goods Advisory DGAC PHMSA-2010-0019-0061 Council David Fulbright/WRG PHMSA-2010-0019-0023 Eurotainer U.S. Inc. PHMSA-2010-0019-0054 Gardner Cryogenics PHMSA-2010-0019-0057 Heil Trailer PHMSA-2010-0019-0036 International International Tank PHMSA-2010-0019-0055Container Organisation J & S Transport Co, Inc. PHMSA-2010-0019-0034 James K. Victory PHMSA-2010-0019-0033 Jerry White PHMSA-2010-0019-0029 John Counts PHMSA-2010-0019-0007 Monte Ward PHMSA-2010-0019-0040 Monte Ward PHMSA-2010-0019-0041 National Board of Boiler National Board PHMSA-2010-0019-0051 and Pressure Vessel Inspectors National Propane Gas NPGA PHMSA-2010-0019-0028 Association National Propane Gas NPGA PHMSA-2010-0019-0053 Association National Tank Truck NTTC PHMSA-2010-0019-0002 Carriers, Inc. National Tank Truck NTTC PHMSA-2010-0019-0058 Carriers, Inc. Nicholas Paulick PHMSA-2010-0019-0039 Nicholas Paulick PHMSA-2010-0019-0052 Pressure Sciences PSI PHMSA-2010-0019-0047 Incorporated Silver/CIMS LLC PHMSA-2010-0019-0044 Steigerwalt Associates PHMSA-2010-0019-0042 Inc. Stolt Nielsen USA Inc. PHMSA-2010-0019-0062 Truck Trailer TTMA PHMSA-2010-0019-0009Manufacturers Association Truck Trailer TTMA PHMSA-2010-0019-0045Manufacturers Association Vulcraft of New York PHMSA-2010-0019-0006
Comments in Favor of Adopting Section XII and NBIC
   Comments received to the HM-241 ANPRM in favor of incorporating Section XII and the latest NBIC can be grouped generally into three categories: (1) Use of the standards would be economically beneficial; (2) adoption of Section XII and the 2013 edition of the NBIC will enhance safety; and (3) the standards are internationally compatible. The categories in support of adopting the standards, comments that reflect the nature of the support, and our responses to the comments are as follows.
The Use of Section XII and the 2013 Edition of the NBIC Would Be Economically Beneficial
   Comments received from
   Adoption of reference steel thickness and equivalent thickness gives design engineers the freedom to utilize the material properties like modulus of elasticity, tensile strength and poisson's ratio to optimize the design for tank wall/vacuum jacket wall penetration.
   We agree with Gardner Cryogenics that adopting Section XII will provide flexibility in design and material construction of tanks that would enable U.S. manufacturers to compete internationally without compromising safety.
   PSI also spoke to the benefits to manufacturers under Section XII, indicating that the standards, if adopted, would allow manufacturers the flexibility to purchase the raw material that is least expensive at the time. This flexibility may reduce the cost to the manufacturer, who can pass those reduced costs on to the buyer of the tank. We agree with PSI and believe that manufacturers would choose to build Section XII tanks only if it is economically beneficial.
Adoption of the Section XII Will Increase Safety
   Both
   ASME is an international non-profit organization of the best and brightest professional engineers who volunteer their time to protect public safely through good engineering and design practices. DOT presently refers to ASME Section VIII and requires ASME certification of the most dangerous and complicated DOT specification cargo tanks. ASME Section XII will specifically help address the additional loads and stresses encountered when traveling over the highway.
   PHMSA agrees with Thompson Tank and Gardener Cryogenics that portable and cargo tanks designed to Section XII provide at least an equivalent level of safety to portable tanks and cargo tanks designed to Section VIII. Cargo tanks that are partially loaded with liquid cargo may become unstable during sudden starts or stops, on rough terrain, or when the vehicle is turning. The liquid will slosh and make the tank more likely to roll over. Further, cargo tanks that are frequently loaded and unloaded--called cyclic loading--such as cargo tanks used to transport hazardous materials, are more likely to become "fatigued /15/ " and crack. The design incorporated in Section XII, slightly reduces stiffness and increases elastic deflection with thinner tank walls. Section XII also provides specific design guidance to help mitigate the potential for stress corrosion cracking in tanks made of quenched and tempered steels.
   FOOTNOTE 15 Fatigue is the progressive and localized structural damage that occurs when a material is subjected to cyclic loading. (Kim, W.H; Laird, C. (1978). Crack Nucleation and State I Propagation in High Strain Fatigue-II Mechanism. Acta Metallurgica. p. 789-799.) END FOOTNOTE
   Additionally, in Section XII, design stress criteria is the same for different cargo tank specifications, provided the tanks are to subjected to identical loads. This consistent criteria potentially reduces the added cost and weight of certain additional accident protection devices. As a result, it allows for use of thinner materials and enables tanks to have greater capacities than those built to the Section VIII, Division 1 standards. As such, this could result in fewer tanks carrying hazardous materials on U.S. highways, which should translate to fewer hazardous materials incidents. Further, the research sponsored by the U.S. DOT and ASME, that is summarized in Section V and Table 11 of Section VII of this NPRM indicates that tanks built according to Section XII are as safe as tanks authorized currently.
The Standards Are Compatible Internationally
   PSI indicated that tanks designed to Section XII would increase harmonization with international standards. They state:
   Section XII is written using terminology compatible with international standards such as UN standards and International Maritime Dangerous Goods Code (IMDG). Its intent is to be useable internationally; and several foreign manufacturers already possess the T-symbol stamp certifying their capability to manufacture vessels using the new code.
   We agree with PSI that Section XII and the NBIC may be used internationally and are consistent with other international standards, including UN-based standards and regulations. Several foreign manufacturers already possess the T-symbol stamp certifying their capability to manufacture vessels using the new code.
Comments in Opposition to Adopting Section XII and NBIC
 &#160; Comments in opposition to adopting the standards ranged in subject matter and can be grouped into five categories: (1) The costs are too high; costs include the cost of purchasing the standards, and training inspectors and enforcement personnel; (2) it would be difficult to comply with the standards; (3) it would be difficult to enforce the standards; (4) adopting the standards would not be in the interest of harmonization; and (5) adoption of the standards would be unsafe. The categories in opposition to adopting the standards, comments that reflect the nature of the support, and our responses to the comments are as follows.
The Cost of Purchasing Section XII and the
   Sixteen commenters /16/ expressed concern with the costs of purchasing Section XII and the NBIC.
   FOOTNOTE 16
   We believe the cost of these documents, would limit their availability to those who are subject to and use the regulations, including tank manufacturers, shippers, and carriers, as well as, those in the enforcement community. While the requirements are now readily available in 49 CFR, which can be obtained at no cost electronically, adopting the requirements by reference would mean that anyone wishing to comply with the regulations would be required to purchase publications (and updates) that would cost in the range of
   NPGA's echoes other commenters on this subject. They state:
   NPGA believes that purchasing the ANPRM's referenced codes creates a hardship and financial barrier on small businesses and an impediment to the review of PHMSA's proposed regulations. Further, the initial cost of approximately
   As PHMSA is not proposing to require manufacturers to use Section XII and the 2013 edition of the NBIC, and to do so is completely voluntary, PHMSA is not imposing any additional costs on manufacturers. A manufacturer will not use Section XII to build a tank unless it believes it is net beneficial to do so. Those who choose to use Section XII and the 2013 edition of the NBIC will incur some cost and realize some benefits from the use of the new standard.
Cost of
   David Fulbright/WRG, NPGA, and
   NPGA can estimate initial costs to our industry as follows. If approximately 2800 members of NPGA are retail marketers and only two-thirds of these marketers employ their own Registered Inspector, this represents approximately 1875 individuals who need to obtain NBIC certification. Testing costs, the frequency of testing, or an estimate of the cost to train employees on non-commodity specific transport maintenance is not provided. Given these uncertainties, NPGA estimates an initial cost to our members based solely on a test cost of
   
   Anyone that's already developed training and quality plans would redundantly be forced to prescribe to NBIC's training and certification scheme's (at great cost due to the redundant training, training fees charged and loss of earnings during the non-revenue generating man hours needed to complete the redundant training). As a small business, this would be an unnecessary financial burden.
   And
   The purpose of the HMRs is to enhance the safe transportation of hazardous materials. Motor carrier compliance with the HMRs is necessary to protect the public. To ensure this compliance, motor carriers must be aware of the requirements set forth in the HMRs. Requiring motor carriers to purchase Industry Standards to ensure compliance is a serious safety breach, as some carriers may not be able to purchase copies of these regulations for each driver, maintenance professional, and operations staff. Over ninety-six percent of the trucking industry qualifies as a small business.
   As stated previously, in this NPRM we are not proposing to require motor carriers to use or purchase tanks built to Section XII, so an owner or user of tanks would only choose to purchase or use a tank built to Section XII if it makes business sense to do so.
   The cost of enforcing Section XII and the NBIC was a concern to also ATA,
   PHMSA is dependent on literally hundreds of state troopers to enforce the HMRs during roadside inspections. How many states have the extra funds in their budget to purchase the copyrighted standards for each of their inspectors? If the cargo tank standards are copyrighted and not made available to these enforcement officials, how will they be upheld? The inability to enforce aspects of the HMRs could create a serious safety risk.
   ATA is correct in that PHMSA regulations are enforced by hundreds of state troopers throughout the country. We understand that the cost of purchasing the standards for each inspector would be prohibitive for many state governments. It is our understanding that during roadside inspections, state officials are most often only concerned with identifying that the ASME mark is intended for the packaging on which it is stamped. This would not require state governments to purchase copies of Section XII for every state trooper. Rather, the most in-depth inspection performed on a tank is handled by an independent third-party inspector, typically a National Board Commission Inspector from an insurance company. This would also apply to the repair of the ASME packaging using the NBIC, which also requires a marking. Furthermore, as engineers at PHMSA were instrumental in developing Section XII and the 2013 edition of the NBIC, they understand them and are available to help interpret the standards. As with other highly technical or scientific standards that we incorporate in the HMR,
   PHMSA acknowledges the purchase of copies of Section XII may be cost prohibitive to certain entities. Therefore, PHMSA seeks comets on whether state and local governments will need to purchase the copies of Section XII for all applicable personnel or if interpretations issued by ASME or PHMSA will be sufficient.
Incorporating Section XII and the Latest NBIC Is Contrary to International Harmonization
   The commenters who voiced their opposition to incorporating the standards for reasons pertaining to international harmonization, supply, use, or represent users or suppliers of cryogenic portable tanks. The commenters indicated that the vast majority of portable tanks are built and inspected in accordance with the IMDG, and the industry believes that switching to Section XII and the latest NBIC may impede international trade.
   
   Adopting ASME XII and/or NBIC for in service or Continued Use Inspection would be counter to the efforts made internationally over the past 12 years by representatives of the various countries Competent Authorities. The UN Model Regulations for the Transport of Dangerous Goods is the international consensus standard for UN Portable tanks. This document now forms the basis for UN Portable tank regulations in IMDG, RID, ADR and 49 CFR parts 100.180, as applicable.
   The comments provided by Eurotainer, a company that leases portable tanks to manufacturers for import and export bulk shipments of liquefied and cryogenic gases, characterize the comments provided by other portable tank stakeholders. Eurotainer "would like to see a more harmonized adoption of global regulatory requirements for the design, construction and certification of UN and IM Portable tanks . . ." They state:
   As Section XII is being proposed to apply to the Cryogenic Portable tank segment (IM 7 & UN T 75), Eurotainer sees this action as segregating an equipment type and applying specialized rules that hinder the equipment in international trade. Current construction of the UN T 75 tanks in the U.S. is governed by the 49 CFR sections which include the requirement of ASME Section VIII Division I and as such section is applied currently we feel SECTION XII would be another layer of regulation that is adding no additional margin of safety but would add another layer of regulatory burden to the global community.
   
   We consider that any deviation away from the aforementioned International consensus standard would be a step backwards and a move away from the long desired goal of International Harmonization. Adopting ASME XII and/or NBIC for in-service or Continued Use Inspection would, we believe, be counter to the efforts made internationally over the past 12 years. The international consensus standards for UN Portable tanks is the aforementioned UN Model Regulations, which provides the basis for UN Portable tank requirements in set down RID, ADR, IMDG and 49 CFR parts 100-180, as applicable and not ASME XII or NBIC.
   As with Section VIII, Division 1, the 1992 edition of the NBIC and the HMR, which are the current requirements for design and construction of transport tanks, Section XII and the 2013 edition of the NBIC are compatible with international recommendations and standards. PHMSA fully supports the goal of international harmonization through its work with stakeholders at the UN and IMDG. PHMSA also incorporates both of these international standards by reference within the HMR. Currently there is no universally agreed upon pressure vessel code that is recognized by the committee of experts represented at the UN; however, the UN Model Regulations defer to Competent Authorities to determine what pressure vessel code is to be used for the design and construction requirements.
   Eurotainer asked if a foreign approval agency /17/ that tests a non-U-stamped IM or UN portable tank would be required to carry an NBIC registration and wondered, if so, whether the DOT or NBIC would be able to police those agencies. 49 CFR part 107, authorizes certification agencies to witness testing and examination of portable tanks on behalf of the DOT. They further questioned whether the owner or user of non-U-stamped portable tanks would be responsible for maintaining the NBIC registration of inspectors to meet the requirements of the NBIC code in foreign countries on tanks that may be imported into or exported out of
   FOOTNOTE 17 A foreign approval agency is an entity outside of the U.S. that PHMSA has granted authority to perform a certain function required under the HMR. In this case, a foreign approval agency would test and certify that certain transport tanks meet the NBIC (see 49 CFR 107.402). END FOOTNOTE
   Eurotainer asked if owners and operators of the equipment would be allowed to perform their own inspections and testing per the CFR 49
   PHMSA is aware that there is always the potential that a person--either a third-party or an employee--may not comply with a requirement stipulated in a regulation, either set forth directly in the HMR or incorporated by reference in the HMR; however, a person who has function-specific training in inspecting tanks, regardless of their employer, should be able to perform the task to ensure that the tank is safe. PHMSA conducts regulatory enforcement and issues civil penalties to entities that fail to perform inspections as required by the HMR.
Adopting the Standards Would Be Unsafe
   Five commenters /18/ indicated that adopting the standards would be unsafe.
   FOOTNOTE 18
   The enforcement authorities and Port Authorities in most foreign countries ONLY recognize IACS [
   Similarly, the
   We anticipate that UN Portable tanks inspected by other non-IACS members would be stopped in transit and dangerous goods would need to be trans-loaded (as has been the case) to an approved portable tank (increasing both cost and risk, exponentially, as most incidents happen during load/unload operations).
   PHMSA does not intend to change the established process of using IACS preferred member Approval Agencies /19/ with regard to portable tanks, nor the HMR process of authorization for foreign approval agencies (see 49 CFR 107.402). As stated above, under this NPRM the inspection of a cryogenic portable tank, whether ASME "U" or "T" marked, would follow current HMR requirements in that the manufacture or repair of the pressure vessel would be subject to an Authorized Inspector in addition to the involvement of an
   FOOTNOTE 19 IACS is a membership organization that endorses member foreign approval tank inspection agencies as "preferred approval agencies." Foreign enforcement and port authorities recognize these inspection agencies over non- IACS preferred inspection agencies according to IACS. END FOOTNOTE
   PHMSA, by proposing to incorporate Section XII and the 2013 edition of the NBIC as alternatives to the current regulatory system is not lessening safety, or creating barriers to international trade that would harm U.S. or third-party economies. On the contrary, PHMSA believes that the proposed rulemaking will help the U.S. economy by allowing the manufacture and repair of an internationally competitive product.
   Furthermore, the ASME standards have been deemed equivalent by PHMSA technical staff and have been proven to provide, through special permits, an equivalent level of safety to that of tanks constructed and designed according to the specifications currently provided in the HMR. For example, special permits SP-05749; SP-10481; and SP-12630, SP-14710, SP-14467, 14437, providing similar flexibility in materials of construction as provided by Section XII, allow reduced shell thickness and alternatives to the materials of construction specified in the HMR for portable tanks and cargo tanks. These permits have been in use for decades with over 13,000 shipments and no reported incidents.
Voluntary Consensus Standards Are Inherently Inconsistent With the Administrative Procedures Act
   Nine additional commenters generally oppose the incorporation of voluntary consensus standards. /20/ NPGA opposes "DOT reliance on a third (3rd) party to write regulations that have such a profound impact on our industry." This sentiment is representative of the many commenters opposed to incorporation of the standards because they are developed by voluntary consensus organizations. The commenters are concerned that they would no longer have a voice in changes to the regulations. They also are concerned that the changes made would no longer be transparent.
   FOOTNOTE 20
   The UN and IMO Portable tank Industry have had NO input in the development of ASME or NBIC proposed rules. USDOT should NOT adopt ASME Chapter XII or NBIC for any other purpose as the publications are NOT International Consensus Standards for UN Portable tank construction or use. If USDOT were to replace 49 CFR 100-180 with ASME and NBIC, the UN Portable tank Industry stakeholders would be hamstrung in their abilities to influence future rules and regulations.
   While we understand the concerns regarding incorporating voluntary consensus standards, PHMSA and many other Federal agencies often incorporate by reference standards developed by industry experts. In fact, the National Technology Transfer and Advancement Act of 1995, Public Law 104-113, requires agencies to use technical standards that are developed or adopted by voluntary consensus standards bodies unless the use of such a standard is inconsistent with applicable law or is otherwise impractical. Public Law 104-113 requires Federal agencies to use industry consensus standards to the extent practical; it does not require Federal agencies to endorse a standard in its entirety. The law does not prohibit an agency from generally adopting a voluntary consensus standard while taking exception to specific portions of the standard if those provisions are deemed to be "inconsistent with applicable law or otherwise impractical." Taking specific exceptions furthers the Congressional intent of Federal reliance on voluntary consensus standards because it allows the adoption of substantial portions of consensus standards without the need to reject the standards in their entirety because of limited provisions that are not acceptable to the agency.
   It has been PHMSA's practice to review new editions and addenda of the ASME BPVC and NBIC and periodically update
   Alloy Custom Products, NPGA and NTTC expressed concern that interpretations of the standards would not be readily available through PHMSA. As stated earlier, engineers at PHMSA were instrumental in the development of the standards, they understand them, and are available to help interpret them. As with other highly technical or scientific standards that we incorporate in the HMR,
   Finally, as mentioned above the meetings of both ASME and the NBIC are free-of-charge and open to public participation. ASME subcommittees consider correspondence from the general public in the form of requests for interpretation and revision to existing codes, requests for code cases, and requests to develop new standards. The NBIC subcommittees consider correspondence from the general public in the form of requests for interpretation, revision of existing standards, and requests to develop new standards. The standards-writing subcommittees, subgroups, and task groups are open to participation by representatives of groups that are materially affected by the code. Each year the NBIC Committee updates the NBIC and presents the updates on the National Board's Web site for public review in April-May and August-September.
Miscellaneous Comments
   In addition to the comments in support and in opposition to the ANPRM some comments were neither in support or opposed and offered other insights and suggestions. These comments are categorized and discussed further below.
Separate Section XII from the NBIC
   CTI and Gardner stated that PHMSA should separate into two separate rulemakings the incorporation of the NBIC and that of Section XII. Gardner states that:
   Our reservations on NBIC are based on the difficulties in implementing two new items simultaneously. We would recommend that Section XII be adopted as soon as possible with the existing DOT Registered Engineers and Inspectors while giving the interested parties extended time to familiarize, discuss and comment on NBIC for eventual adoption in two to three years.
   Since Section XII was developed to be used in conjunction with the NBIC, and that there would be no provision for continued maintenance or inspections of tanks built to Section XII in the HMR if the latest NBIC is not incorporated at the same time, we cannot incorporate them at separate times.
Standards Are Not Accurate
   Alloy Custom Products voiced concern that "the rules for ASME Sec XII and NBIC should not be adopted as presently written and they should be sent back to the respective organizations for correction and modification." There were no specific errors cited; however, the latest editions of both standards were published in 2013. They are up-to-date and correct typographical errors, and clarify and simplify the previous editions. As with most in-depth, detailed publications, later editions of these standards include updates and corrections.
Replacing Standards Would Create a Monopoly
   James K. Victory and NTTC indicated that incorporating the standards would create a monopoly. Victory stated that "the only profiteers from this being ASME and the National Board of Pressure Vessel Inspectors." PHMSA thanks
Adopt Standards As Alternative
   Four commenters suggested that if we do incorporate Section XII and the NBIC, we should only do so as an alternative, not a replacement to Section VIII, Division 1 and the HMR. /21/ TTMA explains that:
   FOOTNOTE 21
   This approach will give the regulated community the option of employing the effective existing regulations, or these other publications. We anticipate the vast majority of industry stakeholders will choose the existing HMR for their code compliance basis.
   We agree, and in this NPRM, we are proposing to take this suggested approach, and we believe this will diffuse much of the opposition to the new codes and allow manufacturers greater flexibility.
Proposed Amendments
   In this NPRM, PHMSA is proposing to incorporate Section XII, with limited exceptions, as an alternative to existing standards for the following tanks: DOT Specification 331, 338, 406, 407, and 412 cargo tanks, cryogenic portable tanks, and ton tanks. Section VIII, Division 1 applies to construction of new tanks only, and requires that they are marked with a "U" stamp to indicate that they constructed and certified in accordance with that section. Section XII applies to both new construction and continued service, and tanks constructed under this standard will be marked with a "T." Tanks that are repaired under Section XII would be marked with the "TR" stamp. Further, PHMSA is proposing to adopt the 2013 edition of the NBIC for alterations, repairs and inspections performed on all ASME constructed tanks used for the transportation of hazardous materials as an alternative to the 1992 edition that is currently incorporated by reference. The 2013 NBIC may be used for tanks constructed to the specifications set forth in Section VIII, Division 1. While the use of the 2013 edition of the NBIC would be optional under this proposed rulemaking, PHMSA believes that most manufacturers building to Section VIII, Division 1 would choose to use the 2013 edition of the NBIC as it is more current. Under this proposed rule, the 2013 edition of the NBIC must be used for tanks constructed to the specification set forth in Section XII.
   The research and development projects summarized in Section V and Table 11 of Section VII of this NPRM support the proposed codes and standards to be adopted in this rulemaking. These research and development projects are available in the public docket for this rulemaking. From the results of the studies and its own analysis, PHMSA has concluded that the proposed standards, as described in this NPRM, provide an equivalent level of safety to the current standards.
   Furthermore, by providing the 2013 edition of the NBIC and Section XII as options, industry may choose modern materials to fabricate tanks, enabling the use of different, equally safe, materials predicated on market value. /22/ The assortment of materials described in Section XII include different formulations of carbon steel and alloy/stainless steel, such as Chromium-Nickel Stainless Steel, Chromium-Molybdenum-Vanadium alloy steel, and titanium alloy. Section XII also includes specifications for steel fabrication and treatment, such as tempering, quenching, and forging (See Section XII Part TM). This variety of approved materials will enable U.S. manufacturers to better compete internationally. It will allow for greater capacity per tank, and reduce the number of tanks on highways in certain circumstances. This reduction of motor vehicles hauling hazardous materials on the highways would reduce the potential for hazardous material incidents, and consequently, improve safety.
   FOOTNOTE 22 PHMSA has authorized through special permit some of these new materials authorized in ASME Section XII specifically Heat Resting Chromium and Chromium-Nickel Stainless Steel Plate, Sheet and Strip for Pressure Vessels (DOT SP-14467) and Titanium and Titanium Alloy Strip, Sheet and Plate (DOT SP-14710) see http://phmsa.dot.gov/hazmat/permits-approvals/special-permits. END FOOTNOTE
Section By Section Review
   The following is a section-by-section review of the amendments proposed in this rulemaking.
Part 107, Subpart F
   This subpart establishes a registration procedure for persons who are engaged in the manufacture, assembly, inspection and testing, certification, or repair of a cargo tank or a cargo tank motor vehicle manufactured in accordance with a DOT specification under subchapter C of this chapter or under terms of a special permit issued under this part. In this NPRM, we are not proposing to revise this subpart, but we are referring to it in section 173.14, where we propose to add the terminology "inspectors or their employer must be registered with DOT."
Part 171
Section 171.7
   This section lists material incorporated by reference into the HMR. This NPRM proposes to amend
Part 173
Section 173.14
   In this NPRM we are proposing to establish new Section 173.14 for authorization and conditions for the use of Section XII.
    * This NPRM proposes to revise part 173 by adding
    * ASME Section XII includes use of ASME Sections II Materials, Section V Nondestructive Examination, Section VIII, Division 1 for Parts only, Section VIII, Division 2 for fatigue analysis only, Section IX Welding and Brazing, and the NBIC Parts 1, 2 and 3, including Supplement 6 of Parts 2 and 3;
    * Nameplate character markings must be a minimum 4 mm (5/32"), markings directly on the tank must be a minimum 8 mm (5/16");
    * Periodic test information must not be allowed on the ASME nameplate. Marking must be in accordance with the NBIC Part 2 or Part 3, Supplement 6;
    * Inspection personnel must have qualifications as required by ASME Section XII, Article TG-4, and be qualified as evident by having a current NBIC commission with endorsement for the level/type of inspection to be performed or certification from their employer when applicable;
&#160;   * Inspectors or their employer must be registered with DOT.
    * Repairs must be performed by a facility holding a current NBIC certificate of authorization for the use of the National Board "TR" Stamp.
   Conditions and requirements for cargo tanks will be specified in paragraph (a)(2) and must conform to all applicable requirements of part 173; and must meet ASME Section XII Modal Appendix 1, the appropriate Article for the category of cargo tank, all Mandatory Appendices and Non Mandatory Appendices A thru E and G thru H, except as follows:
    * Repairs must be performed by a DOT-registered facility holding a current NBIC certificate of authorization for the use of the National Board "TR" Stamp.
    * For Category 338 Cargo Tanks, ASME Section XII, Modal Appendix 1, Article 4, paragraph 1-4.4(g)(6) does not apply. A minimum jacketed thickness of 2.4 mm (0.0946 in) 12 gauge in the reference steel is permitted (IBR see
   Conditions and requirements for cryogenic portable tanks will be set forth in paragraph (a)(3) and must conform to all applicable requirements of this Part; and must meet ASME Section XII Modal Appendix 3, Article 1, all Mandatory Appendices and Non Mandatory Appendices A thru E and G thru H, except as follows:
    * External and internal visual inspection in accordance with NBIC Part 2 Supplement 6 are required in addition to ASME Section XII, Modal Appendix 3, Article 1, paragraph 3-1.10(b), and Article 1, 3-1.10(b)(5) (IBR see
    * ASME Section XII, Modal Appendix 3, Article 1, paragraph 3-1.10(b)(6) does not apply. Periodic test information must not be allowed on the ASME nameplate. Marking must be in accordance with the NBIC Part 2 or Part 3, Supplement 6 as applicable. (IBR see
    * ASME Section XII, Modal Appendix 3, Article 1, paragraph 3-1.10(d) must require inspection personnel to have qualifications as required by ASME Section XII, Article TG-4, as evident by having a current NBIC commission with endorsement for the level/type of inspection to be performed or certification from their employer when applicable. (IBR see
    * ASME Section XII, Modal Appendix 3, Article 1, paragraph 3-1.10 must require Repairs to be performed by a facility holding a current NBIC certificate of authorization for the use of the National Board "TR" Stamp. Records must be in accordance with the NBIC Part 2 or Part 3, Supplement 6 as applicable.(IBR see
   Conditions and requirements for ton tanks will be set forth in paragraph (a)(4). Ton tanks must conform to all applicable requirements of part 173 and must meet Modal Appendix 4, Article 1, all Mandatory Appendices and Non Mandatory Appendices A thru E and G thru H except as follows:
    * ASME Section XII, Modal Appendix 4, Article 1, paragraph 3-1.10 Manufacturer-certified fusible plugs, tested and qualified under the fuse plug manufacturers' written Quality Control system are required. (IBR see
    * ASME Section XII, Modal Appendix 4, Article 1, paragraph 4-8 must allow non-ASME marked fusible plugs.;
    * ASME Section XII, Modal Appendix 4, Article 1, paragraph 4-12(a) must require external and internal visual inspection in accordance with NBIC Part 2 Supplement 6, S6.15. (IBR see
    * ASME Section XII, Modal Appendix 4, Article 1, paragraph 4-12(a)) does not apply. Periodic test information must not be allowed on the ASME nameplate. Marking must be in accordance with the NBIC Part 2 or Part 3, Supplement 6 as applicable.(IBR see
    * ASME Section XII, Modal Appendix 4, Article 1, paragraph 4-12(e) must require records to be in accordance with the NBIC Part 2 or Part 3, Supplement 6 (IBR see
    * Inspection personnel must have qualifications as required by ASME Section XII, Article TG-4, as evident by holding a current NBIC commission with endorsement for the level/type of inspection to be performed or certification from their employer when applicable;
    * A ton tank that fails a prescribed test or inspection must be repaired as specified in the 2013 NBIC or removed from service;
    * Repairs must be performed by a facility holding a current NBIC certificate of authorization for the use of the National Board "TR" Stamp.
Part 178
Section 178.200
   In this NPRM we are proposing to establish a new
Section 178.300
   In this NPRM, we are proposing to establish a new
Part 179
Section 179.300
   In this NPRM, we are proposing to revise
Part 180
Section 180.402
   In this NPRM, we are proposing to add a new
Section 180.502
   In this NPRM, we are proposing to add a new
Section 180.602
   In this NPRM, we are proposing to add a new
IX. Regulatory Analyses and Notices
A.
   This NPRM is published under the authority of the Federal Hazardous Materials Transportation Law, 49 U.S.C. 5101 et seq. Section 5103(b) authorizes the Secretary to prescribe regulations for the safe transportation, including security, of hazardous material in intrastate, interstate, and foreign commerce. This NPRM provides an alternative to the current process for the design, fabrication, maintenance and continued service of CTMVs, cryogenic portable tanks and ton tanks, without compromising safety.
   The Administrative Procedure Act (APA) requires Federal agencies to give interested persons the right to petition an agency to issue, amend, or repeal a rule (5 U.S.C. 553(e)). 49 CFR 106.95, provides the process and procedures for persons to petition PHMSA to add, amend, or delete a regulation. In this NPRM, PHMSA is addressing this statutory requirement by considering petitions for rulemaking from ASME, the National Board, and PVMA.
B. Executive Order 13610, Executive Order 13563, Executive Order 12866, and DOT Regulatory Policies and Procedures
   This NPRM is not considered a significant regulatory action under section 3(f) Executive Order 12866 and, therefore, was not reviewed by the
   Executive Order 13563 is supplemental to and reaffirms the principles, structures, and definitions governing regulatory review that were established in Executive Order 12866 Regulatory Planning and Review of
   FOOTNOTE 23 See http://www.whitehouse.gov/the-press-office/2011/01/18/improving-regulation-and-regulatory-review-executive-order. END FOOTNOTE
   Executive Order 13610, issued
   FOOTNOTE 24 See http://www.gpo.gov/fdsys/pkg/FR-2012-05-14/pdf/2012-11798.pdf. END FOOTNOTE
   By building off of each other, these three Executive Orders require agencies to regulate in the "most cost-effective manner," to make a "reasoned determination that the benefits of the intended regulation justify its costs," and to develop regulations that "impose the least burden on society."
   PHMSA believes that if Section XII and the 2013 edition of the NBIC are incorporated as alternatives to Section VIII, Division 1 and the HMR, tank manufacturers would be given more flexibility in their choice of material and design, allowing carriers of bulk liquid hazardous materials to purchase lighter-weight, higher-capacity tanks capable of transporting more material per shipment. Tanks built to the design and construction requirements in Section XII have been tested by ASME to ensure that they withstand conditions and stresses unique to transportation, such as rollovers, bottom damage, or piping damage. The flexibility in selection of ASME standards will facilitate international competitiveness for the transport of hazardous materials and eliminate barriers to U.S. manufacturers transporting goods internationally that are created by the rigid material construction requirements in Section VIII, Division 1 and the HMR. Further, the ASME standards have been deemed equivalent by PHMSA technical staff and have been proven to provide, through special permits, an equivalent level of safety to that of tanks constructed and designed according to the specifications currently provided in the HMR.
   As PHMSA is not proposing to require manufacturers to use Section XII and the 2013 edition of the NBIC, and to do so is completely voluntary, PHMSA is not imposing any additional costs. A manufacturer will not use Section XII to build a tank unless it believes it is net beneficial to do so. Since Section XII would allow manufacturers the flexibility to purchase the raw material that is least expensive at the time, this may reduce the cost to the manufacturer, who can then pass on that discount to the buyer of the tank. We know that any rational manufacturer will not avail itself to this option unless it makes business sense.
   While we don't believe that this rule imposes any new costs, we request comments, including specific data if possible, concerning the costs and benefits that may be associated with revisions to the HMR based on the issues presented in this notice.
C. Executive Order 13132
   This proposed rule has been analyzed in accordance with the principles and criteria contained in Executive Order 13132 ("Federalism"), and the President's memorandum on "Preemption" published in the
   The Federal hazardous materials transportation law, 49 U.S.C. 5101-5128, contains an express preemption provision (49 U.S.C. 5125(b)) that preempts State, local, and Indian tribe requirements on the following subjects:
   (1) The designation, description, and classification of hazardous materials;
   (2) The packing, repacking, handling, labeling, marking, and placarding of hazardous materials;
   (3) The preparation, execution, and use of shipping documents related to hazardous materials and requirements related to the number, contents, and placement of those documents;
   (4) The written notification, recording, and reporting of the unintentional release in transportation of hazardous material; and
   (5) The design, manufacture, fabrication, marking, maintenance, recondition, repair, or testing of a packaging or container represented, marked, certified, or sold as qualified for use in transporting hazardous material.
   This proposed rule addresses packaging for hazardous materials, covered in number 2 above. If adopted as final, this rule will preempt any State, local, or Indian tribe requirements concerning packaging for hazardous materials unless the non-Federal requirements are "substantively the same" as the Federal requirements. Furthermore, this proposed rule is necessary to update, clarify, and provide relief from regulatory requirements.
   Incorporation of new consensus standards by reference in the HMR may impact state and local CTMV enforcement programs. Potential impacts include the cost of purchasing the new Section XII consensus standards and training employees in the use of this consensus standard. However, PHMSA notes that currently many of state enforcement personnel are not equipped with Section VIII, Division 1 and must use outside sources to reference this standard. It is our understanding that during roadside inspections, state officials are most often concerned with identifying that the ASME mark is intended for the packaging on which it is stamped. This would not require state governments to purchase copies of Section XII for every state trooper. Rather, the most in-depth inspection performed on a tank is handled by an independent third-party inspector, typically a National Board Commission Inspector from an insurance company. This would also apply to the repair of the ASME packaging using the NBIC, which also requires a marking. Furthermore, as engineers at PHMSA were instrumental in developing Section XII and the 2013 edition of the NBIC, they understand them and are available to help interpret the standards. As with other highly technical or scientific standards that we incorporate in the HMR,
D. Executive Order 13175
   E.O. 13175 requires agencies to assure meaningful and timely input from Indian tribal government representatives in the development of rules that "significantly or uniquely affect" Indian communities and that impose "substantial and direct compliance costs" on such communities. PHMSA is not aware of any significant or unique effects or substantial direct compliance costs on the communities of the Indian tribal governments. Therefore, we conclude that the funding and consultation requirements of Executive Order 13175 do not apply. We invite Indian tribal governments to provide comments if they believe there will be an impact.
E. Regulatory Flexibility Act, Executive Order 13272, and DOT Policies and Procedures
   The Regulatory Flexibility Act (5 U.S.C.
   The adoption of Section XII should not have any impact on small businesses, given that the standard is optional. After reviewing the safety records of both current tanks and new models of tanks constructed under special permit, PHMSA analysts found no disparities between the safety records.
   We estimate that there are 5,166 businesses likely to be affected by this rule.
   Based on our analysis, the three major industries--manufacturers, third party inspection agencies, and tank repair services--could, at their discretion--conform to the new standards. Manufacturers could introduce new materials. Third party inspectors would conduct tests under more current, meaningful testing relevant to more modern designs. Tank repair services could expand to accommodate the new standards.
   Given the expected service life of about 30 years, we assume that only 1/30 of all tanks will be replaced each year. Given the optional nature of the rule, the new tanks will consist of some newer Section XII tanks and some Section VIII tanks. Any manufacturer would build tanks according to the needs of the customer, including price. At the same time, the small number of Section XII tanks entering the market each year will allow repairers and inspectors to transition their workforce smoothly.
   Based upon the above estimates and assumptions, PHMSA certifies that the proposals in this NPRM will not have a significant economic impact on a substantial number of small entities. In this notice, PHMSA is soliciting comments on the preliminary conclusion that the proposals in this NPRM will not cause a significant economic impact on a substantial number of small entities.
F. Paperwork Reduction Act
   Section 1320.8(d), Title 5, Code of Federal Regulations requires that PHMSA provide interested members of the public and affected agencies an opportunity to comment on information collection and recordkeeping requests. The recordkeeping requirements in Section XII and the 2013 edition of the NBIC are analogous; the recordkeeping costs of complying with Section XII and the 2013 edition of the NBIC are not significantly different than those currently required under the current regulatory scheme.
G. Regulation Identifier Number (RIN)
   A regulation identifier number (RIN) is assigned to each regulatory action listed in the Unified Agenda of Federal Regulations.
H. Unfunded Mandates Reform Act
   This final rule does not impose unfunded mandates under the Unfunded Mandates Reform Act of 1995. It does not result in costs of
I. Environmental Assessment
   The National Environmental Policy Act of 1969 (NEPA), as amended (42 U.S.C. 4321-4347), and implementing regulations by the
   
Description of Action
   PHMSA is considering the following alternatives: Alternative 1 is to take no action; Alternative 2 is to incorporate ASME Section XII and NBIC 2013 by reference and remove Section VIII; Alternative 3 is to allow tank manufacture and use of Section XII as an alternative to Section VIII. Use of the 2013 NBIC for continued service under Section VIII is optional, while use of the 2013 NBIC with Section XII is required; and Alternative 4 is to withdraw the rulemaking action and allow use of the standards through Special Permit. Each alternative presented below represents different levels of adoption of the new Section XII code, from Alternative 1 (0%) to Alternative 2 (100%). Alternatives 3 and 4 may result in a proportion between and including these extremes--i.e., Alternative 3 may result in all or no manufacturers choosing to use the Section XII specifications. Similarly, reliance on the special permit process could result in all or none of the manufacturers requesting a special permit. At this point, it is difficult to find a basis to project future, based on market activity. However, PHMSA believes that the adoption of the new standard would yield substantial savings to both the manufacturer and the user of the tanks.
   Alternative 1: No action. This is not the preferred alternative. This would continue the incorporation by reference of Section VIII, Division 1 for design and construction of cryogenic portable tanks and CTMVs (The reference to NBIC 1992 for the continued use would also remain unchanged). Though Section VIII, Division 1 sets forth detailed criteria for the design, construction, certification, and marking of stationary boilers and pressure vessels, it does not address unique conditions and stresses encountered by tanks in the transportation environment. The HMR addresses this deficiency by adding requirements to account for conditions and stresses likely to occur in transportation. This alternative would not impose any costs, but it would prevent the opportunity to realize any efficiency benefits.
   Alternative 2: Incorporate ASME Section XII and NBIC 2013 by reference and remove Section VIII, Division 1. This is not the preferred alternative. It would promote more current design standards, by ridding the HMR of outdated information and incorporating standards that address modern manufacturing and welding methods. Efficiency improvements would provide manufacturers more flexibility in design, and allow for lighter-weight tanks that would use less fuel to transport, with larger capacities. Section XII would also provide for more uniform enforcement over time. However, it may preclude a normal market-based transition from one standard to another and force manufacturers to incur investments and staffing changes to comply with new standards. Many commenters expressed concern that they would be unduly burdened either immediately or in the future by ASME standards that they have no recourse to appeal. The costs would be the purchase of Section XII; the minimal facility transition costs discussed above; and the initial training that may occur before the usual three-year cycle.
   Alternative 3: Allow tank manufacture and use under Section XII as an alternative to Section VIII, Division 1 and the applicable NBIC for continued use. This option is the preferred alternative, because it would provide regulatory flexibility, without imposing burdensome costs. It would also leave the manufacturers and buyers to negotiate which design best meets their needs, in terms of cost, resilience, and operations. Lastly, it would authorize the use of the 2013 edition of the NBIC as it applies to existing tanks and would require its use for those tanks built to Section XII specifications. It may, however, create inefficiencies among in-house, third-party and state inspectors, because inspectors would have to be trained to two distinct standards. This alternative would provide regulatory flexibility, without diminishing safety from current levels. It would also leave the manufacturers and buyers to negotiate which design best meets their needs, in terms of cost, resilience, and operations.
   Alternative 4: Withdraw the Rulemaking Action and Allow Use of Standards through Special Permit. This is not the preferred alternative. This option would grant permission to produce, use, and maintain tanks manufactured to Section XII through a special permit. This would allow PHMSA to promote technological advancement while maintaining the ability to closely monitor performance. PHMSA has already issued one competent authority approval and one special permit related to Section XII. This option would require positive action by manufacturers to apply for a special permit and meet PHMSA's standards for fitness. While this may be a more cautious approach, each special permit application, including technical drawings and costs associated with party-to applications, such as proof of fitness, would be incurred under this option. PHMSA estimates that the typical special permit application costs
   PHMSA is proposing Alternative 3, as it was found to be the most optimal. Benefits associated with the rule include lower manufacturing costs and higher capacities for shippers. Costs to industry are minimal and incurred only when the manufacturer decides to fabricate tanks to the Section XII standards.
Environmental Consequences
   When developing potential regulatory requirements, PHMSA evaluates those requirements to consider the environmental impact of each amendment. Specifically, PHMSA evaluates the: risk of release and resulting environmental impact; risk to human safety, including any risk to first responders; longevity of the packaging; and if the proposed regulation would be carried out in a defined geographic area, the resources, especially any sensitive areas, and how they could be impacted by any proposed regulations.
   Of the regulatory changes proposed in this rulemaking, the non-editorial amendments are discussed in further detail and evaluated based on their overall environmental impact as follows.
Environmental benefits result from the fact that fewer CTMVs, ton tanks and cryogenic tanks will be required to transport the same quantities of hazardous materials. In most cases, due to substitution of material of construction, the thickness of the tanks would be reduced, permitting more material to be hauled, and reducing the number of tanks needed to handle the same volume of product. /25/ As supported by the studies referenced in Table 11 of Section VII and based on the analysis of both versions of the ASME codes, PHMSA's Engineering and Research Division asserts that despite the reduction in the design margin between Section VIII and Section XII, the standards provide an equivalent level of safety. As the proposed alternatives would provide the same level of safety as the currently authorized tanks, the risk of incidents is reduced proportionately to the reduction of the number of tanks in commerce.
   FOOTNOTE 25 For example, a MC 331 propane tank manufactured according to the Section XII would have a 12.5% reduction in wall thickness when compared to Section VIII, Division 1. This reduction would lead to at least a 2% increase in product capacity while maintaining the current level of safety. END FOOTNOTE
    * Add a new section to part 173 that will provide authorization and conditions for the use of 2013 edition of the NBIC in conjunction with Section VIII, Division 1 as an alternative. The levels of inspectors set forth in the 2013 edition of the NBIC provide the same level of oversight as those set forth in the currently incorporated 1992 edition of the NBIC combined with the specifications set forth in the HMR. For that reason, PHMSA anticipates that use of the 2013 edition of the NBIC compared to use of the 1992 edition and the HMR will not result in any significant impact to the human environment.
Federal Agencies Consulted
   In an effort to ensure all appropriate federal stakeholders are provided a chance to provide input on potential rulemaking actions, PHMSA as part of its rulemaking development consults other federal agencies that could be potentially affected. In developing this rulemaking action PHMSA consulted the
Conclusion
   This NPRM proposes to incorporate by reference Section XII and the NBIC as alternatives to Section VIII, Division 1 and the HMR. As discussed above PHMSA believes standards provide an equivalent level of safety and the proposals in this NPRM are environmentally neutral. In fact, dependent on the level of usage of Section XII and subsequent reduction of the number of tanks needed to handle the same volume of product this rule may prove environmentally beneficial over time. However, PHMSA welcomes any data, information, or comments related to environmental impacts that may result from the proposal discussed in this notice.
J. Privacy Act
   Anyone is able to search the electronic form of all comments received into any of our dockets by the name of the individual submitting the comment (or signing the comment, if submitted on behalf of an association, business, labor union, etc.). You may review DOT's complete Privacy Act Statement in the
K. International Trade Analysis
   The Trade Agreements Act of 1979 (Pub. L. 96-39), as amended by the Uruguay Round Agreements Act (Pub. L. 103-465), prohibits Federal agencies from establishing any standards or engaging in related activities that create unnecessary obstacles to the foreign commerce of
List of Subjects
   49 CFR Part 171
   Applicability, General Requirements, North American shipments, Exports, Hazardous materials transportation,
   49 CFR Part 173
   Hazardous materials transportation, Packaging and containers, Reporting and recordkeeping requirements.
   49 CFR Part 180
   Qualification and maintenance of cargo tanks, tank cars and portable tanks.
   In consideration of the foregoing, 49 CFR chapter I is amended as follows:
PART 171--GENERAL INFORMATION, REGULATIONS, AND DEFINITIONS
   1. The authority citation for part 171 continues to read as follows:
   Authority: 49 U.S.C. 5101-5128, 44701; Pub. L. 101-410 section 4 (28 U.S.C. 2461 note); Pub. L. 104-134, section 31001; 49 CFR 1.81 and 1.97.
Subpart A--Applicability, General Requirements, and North American Shipments
   2. In
* * * * *
   (g) * * *
   (1) `ASME Code'; ASME Code, Sections II (Parts A and B), V, VIII (Division 1), and IX of 1998 Edition of
* * * * *
   (x) * * *
   (1) NB-23, National Board Inspection Code, A Manual for Boiler and Pressure Vessel Inspectors, 1992 Edition, into
   (2) National Board Inspection Code, A Manual for Boiler and Pressure Vessel Inspectors, 2013 Edition, into
* * * * *
PART 173--SHIPPERS--GENERAL REQUIREMENTS FOR SHIPMENTS AND PACKAGINGS
   3. The authority citation for part 173 continues to read as follows:
   Authority: 49 U.S.C. 5101-5128, 44701; 49 CFR 1.81, 1.96 and 1.97.
   4. Add
   (a) This section authorizes, with certain conditions and limitations, the use of Section XII of
   (b) Limitations on the use of the ASME Code Section XII for cargo tank motor vehicles, cryogenic portable tanks, and multi-unit tank car tanks (ton tanks) designed, constructed, and certified qualified and maintained in accordance with ASME Code Section XII authorized in paragraph (a) of this section--
   (1) Conditions and requirements for all tanks. (i) The 2013 edition of the National Board Inspection Code (NBIC) (IBR, See SEC 171.7) must be used for the design, construction, and certification qualification and maintenance of cargo tank motor vehicles, cryogenic portable tanks and multi-unit tank car tanks (ton tanks).
   (ii) ASME Section XII must include use of ASME Sections II Materials, Section V Nondestructive Examination, Section VIII, Division 1 for Parts only, Section VIII, Division 2 for fatigue analysis only, Section IX Welding and Brazing, and the NBIC Parts 1, 2 and 3, including Supplement 6 of Parts 2 and 3;
   (iii) Nameplate character markings must be a minimum 4 mm (5/32"), markings directly on the tank must be a minimum 8 mm (5/16");
   (iv) Periodic test information is not permitted on the ASME nameplate. Marking must be in accordance with the NBIC Part 2 or Part 3, Supplement 6;
   (v) Inspection personnel must have qualifications as required by ASME Section XII, Article TG-4, and be qualified as evident by holding a current NBIC commission with endorsement for the level/type of inspection to be performed or certification from their employer when applicable;
   (vi) Inspectors or their employer must be registered with DOT;
   (vii) Repairs must be performed by a facility holding a current NBIC certificate of authorization for the use of the National Board "TR" Stamp.
   (2) Conditions and requirements for cargo tanks. Cargo tanks must conform to all applicable requirements of this Part; and must meet ASME Section XII Modal Appendix 1, the appropriate Article for the category of cargo tank, all Mandatory Appendices and Non Mandatory Appendices A thru E and G thru H, except as follows:
   (i) Repairs must be performed by a DOT-registered facility holding a current NBIC certificate of authorization for the use of the National Board "TR" Stamp.
   (ii) For Category 338 Cargo Tanks, ASME Section XII, Modal Appendix 1, Article 4, paragraph 1-4.4(g)(6) does not apply. A minimum jacketed thickness of 2.4 mm (0.0946 in) 12 gauge in the reference metal is permitted (IBR See SEC 171.7).
   (3) Conditions and requirements for cryogenic portable tanks. Cryogenic portable tanks must conform to all applicable requirements of this Part; and must meet ASME Section XII Modal Appendix 3, Article 1, all Mandatory Appendices and Non Mandatory Appendices A thru E and G thru H, except as follows:
   (i) External and internal visual inspection in accordance with NBIC Part 2 Supplement 6 are required in addition to ASME Section XII, Modal Appendix 3,Article 1, paragraph 3-1.10(b), and Article 1, 3-1.10(b)(5) (IBR See SEC 171.7);
   (ii) ASME Section XII, Modal Appendix 3, Article 1, paragraph 3-1.10(b)(6) does not apply. Periodic test information is not permitted on the ASME nameplate. Marking must be in accordance with the NBIC Part 2 or Part 3, Supplement 6 as applicable. (IBR See SEC 171.7);
   (iii) ASME Section XII, Modal Appendix 3, Article 1, paragraph 3-1.10(d) requires inspection personnel to have qualifications set forth in ASME Section XII, Article TG-4, as evident by having a current NBIC commission with endorsement for the level/type of inspection to be performed or certification from their employer when applicable. (IBR See SEC 171.7); and
   (iv) ASME Section XII, Modal Appendix 3, Article 1, paragraph 3-1.10 requires repairs to be performed by a facility holding a current NBIC certificate of authorization for the use of the National Board "TR" Stamp. Records must be in accordance with the NBIC Part 2 or Part 3, Supplement 6 as applicable. (IBR See SEC 171.7).
   (4) Conditions and requirements for ton tanks. Ton tanks must conform to all applicable requirements of this Part and must meet Modal Appendix 4, Article 1, all Mandatory Appendices and Non Mandatory Appendices A thru E and G thru H except as follows:
   (i) ASME Section XII, Modal Appendix 4, Article 1, paragraph 3-1.10) Manufacturer-certified fusible plugs, tested and qualified under the fuse plug manufacturers' written Quality Control system are required. (IBR See SEC 171.7);
   (ii) ASME Section XII, Modal Appendix 4, Article 1, paragraph 4-8 must allow Non ASME marked fusible plugs;
   (iii) ASME Section XII, Modal Appendix 4, Article 1, paragraph 4-12(a) must require external and internal visual inspection in accordance with NBIC Part 2 Supplement 6, S6.15. (IBR See SEC 171.7);
   (iv) ASME Section XII, Modal Appendix 4, Article 1, paragraph 4-12(a)) does not apply. Periodic test information is not allowed on the ASME nameplate. Marking must be in accordance with the NBIC Part 2 or Part 3, Supplement 6 as applicable (IBR see
   (v) ASME Section XII, Modal Appendix 4, Article 1, paragraph 4-12(e) must require records to be in accordance with the NBIC Part 2 or Part 3, Supplement 6 (IBR See SEC 171.7);
   (vi) Inspection personnel must have qualifications as required by ASME Section XII, Article TG-4, as evident by having a current NBIC commission with endorsement for the level/type of inspection to be performed or certification from their employer when applicable;
   (vii) A ton tank that fails a prescribed test or inspection must be repaired or removed from service;
   (viii) Repairs must be performed by a facility holding a current NBIC certificate of authorization for the use of the National Board "TR" Stamp.
PART 178--SPECIFICATIONS FOR PACKAGINGS
   5. The authority citation for part 178 continues to read as follows:
   Authority: 49 U.S.C. 5101-5128, 44701; 49 CFR 1.81, 1.96 and 1.97.
   6. Add
   As alternative to ASME Code Section VIII, Division 1 (IBR, see
   7. Add
   As alternative to ASME Code Section VIII, Division 1 (IBR, see
PART 179--SPECIFICATIONS FOR TANK CARS
   7. The authority citation for part 179 continues to read as follows:
   Authority: 49 U.S.C. 5101-5128, 44701; 49 CFR 1.81, 1.96 and 1.97.
   8. Revise
   (a) Multi-unit tank car tanks must meet the requirements set forth in this subpart; or
   (b) Multi-unit tank car tanks may also be designed, constructed and certified in accordance with Section XII of
PART 180--CONTINUING QUALIFICATION AND MAINTENANCE OF PACKAGINGS
   9. The authority citation for part 180 is revised to read as follows:
   Authority: 49 U.S.C. 5101-5128, 44701; 49 CFR 1.81, 1.96 and 1.97.
   10. Add
   This section authorizes, with certain conditions and limitations set forth in
   11. Add
   This section authorizes, with certain conditions and limitations set forth in
   12. Add
   This section authorizes, with certain conditions and limitations set forth in
* * * * *
   Issued in
Magdy El-Sibaie,
Associate Administrator for Hazardous Materials Safety,
[FR Doc. 2013-31046 Filed 12-27-13;
BILLING CODE 4910-60-P
| Copyright: | (c) 2013 Federal Information & News Dispatch, Inc. |
| Wordcount: | 24224 |



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