Receipt of Petition for Rulemaking Classification of Polyurethane Foam and Certain Finished Products Containing Polyurethane Foam as Hazardous Materials, 15184-15187 [E7-5948]
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Federal Register / Vol. 72, No. 61 / Friday, March 30, 2007 / Notices
FTA’s first quarterly review of
applications to the Pilot Program,
applications must be received by FTA
on or before March 31, 2007.
Applications received by FTA between
March 31, 2007, and July 1, 2007, will
be reviewed in FTA’s second quarterly
review of applications to the Pilot
Program.
Issued in Washington, DC, this 26th day of
March 2007.
James S. Simpson,
Administrator, Federal Transit
Administration.
[FR Doc. E7–5880 Filed 3–29–07; 8:45 am]
BILLING CODE 4910–57–P
DEPARTMENT OF TRANSPORTATION
between 9 a.m. and 5 p.m. Monday
through Friday, except Federal holidays.
Instructions: All submissions must
include the agency name and docket
number for this notice. Internet users
may access comments received by DOT
at https://dms.dot.gov. Note that
comments received may be posted
without change to https://dms.dot.gov
including any personal information
provided. If you believe your comments
contain trade secrets or confidential
commercial information, those
comments or relevant portions of those
comments should be appropriately
marked. PHMSA procedures in 49 CFR
part 105 establish a mechanism by
which commenters may request
confidentiality.
FOR FURTHER INFORMATION CONTACT:
Pipeline and Hazardous Materials
Safety Administration
Helen Engrum or Susan Gorsky, Office
of Hazardous Materials Standards (202)
366–8553, Pipeline and Hazardous
Materials Safety Administration, U.S.
Department of Transportation, 400
Seventh Street, SW., Washington, DC
20590–0001.
SUPPLEMENTARY INFORMATION:
[Docket No. PHMSA–2006–26275]
Receipt of Petition for Rulemaking
Classification of Polyurethane Foam
and Certain Finished Products
Containing Polyurethane Foam as
Hazardous Materials
AGENCY:
I. Background
SUMMARY: This Notice solicits comments
on the merits of a petition for
rulemaking filed by the National
Association of State Fire Marshals
(NASFM). The NASFM petitioned
PHMSA to classify Polyurethane Foam
and certain finished products
containing Polyurethane Foam (PU) as
hazardous materials in transportation in
commerce, as a matter of safety for
emergency responders and the public.
DATES: Comments must be received by
June 28, 2007.
ADDRESSES: Written comments: You may
submit comments on this Notice
identified by the docket number
(PHMSA–2006–26275) by any of the
following methods:
• Federal eRulemaking Portal: https://
www.regulations.gov. Follow the online
instructions for submitting comments.
• Web site: https://dms.dot.gov.
Follow the instructions for submitting
comments on the DOT electronic docket
site.
• Fax: 1–202–493–2251.
• Mail: Docket Management System,
U.S. Department of Transportation, 400
Seventh Street, SW., Nassif Building,
PL–402, Washington, DC 20590–0001.
• Hand Delivery: PL–402 on the Plaza
level of the Nassif Building, 400
Seventh Street, SW., Washington, DC,
In a letter dated October 31, 2006, the
National Association of State Fire
Marshals (NASFM) submitted a petition
for rulemaking to the U.S. Department
of Transportation (DOT) through the
Pipeline and Hazardous Materials Safety
Administration (PHMSA) under the
provisions of 49 CFR 106.31. The
NASFM requested that the Hazardous
Materials Regulations (HMR; 49 CFR
parts 171–180) be amended to classify
Polyurethane (PU) Foam and certain
finished products containing PU as a
hazardous material for purposes of
transportation in commerce. The
NASFM is made up of senior-level
public safety officials from the 50 States
and the District of Columbia. The
NASFM petition was received and
acknowledged by PHMSA and assigned
petition number P–1491; Docket No.
PHMSA–2006–26275.
Issuance of this Notice does not
constitute a decision by PHMSA to
undertake a rulemaking action on the
substance of the petition. This Notice is
issued solely to obtain comments on the
merits of the petition to assist PHMSA
in making a decision of whether to
proceed with a rulemaking. Of
particular interest are substantive
comments that address the following
items: (1) Estimated incremental costs or
savings; (2) Anticipated safety benefits;
(3) Estimated burden hours associated
with the proposals related to
information collection; (4) Impact on
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Pipeline and Hazardous
Materials Safety Administration
(PHMSA).
ACTION: Notice.
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small businesses; and (5) Impact on the
national environment.
II. Petition P–1491 Is Quoted as Follows
As a matter of safety for emergency
responders and the public, the National
Association of Fire Marshals petitions the
U.S. Department of Transportation (DOT),
through the Pipeline & Hazardous Materials
Safety Administration (PHMSA), to classify
polyurethane (PU) foam and certain finished
products containing it as a hazardous
material for purposes of transportation.
NASFM consists of senior-level public safety
officials from the 50 states and District of
Columbia.
The petitioners regard this proposal as
critical to the safety of emergency responders
and the public they are sworn to protect. The
safety of emergency responders begins with
information—at minimum, responders have
the absolute right to know when they are
dealing with hazardous materials, so they
may take special precautions at incidents.
The petitioners’ interest extends to ensuring
that hazardous materials are used, stored and
transported in safe ways. Regulations exist
across agencies that regulate the use and
storage of PU foam, but a gap exists in
ensuring the safe transportation of this
hazardous material. Because it is not
officially classified as a hazardous material
for purposes of transportation, the safety of
emergency responders and the public is
compromised.
The U.S. Department of Transportation’s
system of hazardous materials transportation
placarding is critical to the safety of
emergency responders and the public.
Placards typically are the one source of
information immediately available to
responders as they determine the safest and
most efficient means of suppressing fires and
of rescuing persons trapped in vehicles.
Placards provide information essential to
knowing how fast a fire might spread, how
difficult it might be to suppress, and how
large and dangerous it may become.
When hazardous materials are not properly
placarded, the consequences to emergency
responders could be injury or death.
Obviously some shippers and transporters
choose to violate the law by failing to
properly placard when placarding is
required. However, the DOT does not require
placarding with some well-recognized
hazardous materials. Such is the case with
most grades of rigid and flexible PU foam and
many of the finished products containing this
highly flammable solid.
PU foam, whether in bulk shipments or in
finished products, is explicitly listed and
controlled as a hazardous material in all
phases of manufacturing, construction and
more recently, consumer applications. As
such, records pertaining to the hazardous
nature of PU foam already are kept and
reports are routinely issued by the producers
of these materials. Ironically, when the risks
are least manageable—in transportation—PU
foam is not officially considered hazardous.
This petition aims to correct this inadvertent
oversight.
Whether experienced in the real world or
observed under scientific conditions, PU
foam is a hazardous material. A significant
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Federal Register / Vol. 72, No. 61 / Friday, March 30, 2007 / Notices
and unambiguous body of scientific literature
underscores the poor fire performance of
these materials and products, and a
preliminary review of the fire incident data
found numerous transportation incidents
where PU foam and such products as
upholstered furniture and mattresses
provided the fuel load for significant fires.
These are not new observations. Smoldering
and small open flame ignitions of finished
products containing PU foam have long been
the number-one cause of death by fire in the
home.
Proposed Rulemaking Procedure
NASFM proposes the following procedure
based on its understanding of the PHMSA
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rulemaking process: Issue an Interim Final
Rule designating bulk shipments of
Polyurethane (PU) Foam as a Class 9
hazardous material. As part of this Interim
Final Rule
Phase I
• Assign a North American Identification
number to PU foam.
• Except shippers/carriers from requiring
shipping papers, employee training, specific
packaging requirements, and placarding.
• Require carriers to display Orange Panels
with the identification number to identify the
presence of PU foam for initial responders.
1—Symbols .................................................................................
2—HM description and proper shipping name ...........................
3—Hazard Class or Division .......................................................
4—Identification Number ............................................................
5—Packing Group .......................................................................
6—Label Codes ..........................................................................
7—Special Provisions .................................................................
8—Packaging (8A, 8B, and 8C) .................................................
9—Packaging Limitations ...........................................................
10—Vessel Stowage ...................................................................
This should not be considered a significant
rulemaking, because there are a limited
number of carriers transporting bulk PU
foam.
Phase IIA
Initiate domestic rulemaking to finalize
Interim Final Rule and explore the need for
additional regulatory oversight of products
manufactured using PU foam through the
issuance of a Notice of Proposed Rulemaking.
Phase IIB
Introduce PU foam as a proposed work
item at the 30th session of the Transport of
Dangerous Goods Sub-Committee, December
4–12 2006 in Geneva, Switzerland.
Phase IIA and IIB can be conducted
simultaneously.
DOT has the authority to classify PU foam
as a hazardous material.
The precise classification of PU foam is a
legalistic matter for consideration by
regulators, and may require special treatment
given the unusual properties of these
materials. For example, PU foam becomes
highly flammable as it moves rapidly from
solid to liquid to vapor states. In that way,
it is similar to gasoline, which becomes
hazardous as it moves from a liquid to a
vapor. Gasoline is a flammable liquid when,
in scientific terms, it is a flammable vapor.
Another unique characteristic is that, unlike
most hazardous materials, PU foam becomes
dangerous as it becomes lighter in weight, for
a simple reason: low density PU foam
contains more air to feed a fire and more
surfaces to ignite.
Manufacturers of PU foam describe these
materials as ‘‘combustible solids’’ on the
material safety data sheets provided to
customers and regulators. However, PU foam
does not fit neatly into the combustible solids
category. The prescribed test methods used
with combustible solids are irrelevant to the
real-world fire hazards posed by PU foam,
because PU foams possess fire performance
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15:49 Mar 29, 2007
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1 Langevin, Kennedy, and Conyers. United States.
Cong. House. Foam Fire Safety Act. 109th Cong., 1st
sess. HR 943. 17 Feb. 2005. 8 Sept. 2006 https://
thomas.loc.gov/cgi-bin/query/z?c109:H.R.943.IH:
Frm 00091
Fmt 4703
• Require transportation incidents
involving PU foam fires to be reported to
PHMSA.
• Publish a Safety Alert identifying
measures initial responders can take to
protect themselves and the general public
during this initial response phase of the
incident involving PU foam.
• Incorporate the measures published in
the Safety Alert into the 2008 Emergency
Response Guidebook (ERG).
Cotton can be used as an example of how
PU can be initially regulated. The following
is recommended for inclusion in the
Hazardous Materials Table (49 CFR 172101):
D (Domestic).
Polyurethane Foam.
9.
NA XXXX (to be assigned by PHMSA).
Leave blank.
None.
To be determined by PHMSA.
None.
To be determined by PHMSA and the Federal Aviation Administration.
To be determined by PHMSA and the U.S. Coast Guard.
and chemical properties more comparable to
well-established hazardous materials such as
gasoline that react in liquid and vapor
phases.1 A fire hazard of this significance
may not legally be ignored simply because of
the inflexibility of the rating system.
Rather than assigning PU foam to Class 4
as a flammable solid, NASFM recommends
that it be placed within Class 9, which exists
for unusual but clearly hazardous materials
and products ranging from molten asphalt to
life preservers containing pressurized
containers. The exact classification may not
matter as much as the fact that the
classification will subject this material to
tighter controls in transport, thus helping to
ensure the safety of emergency responders
and the public.
Classification of PU foam as a hazardous
material for transportation is necessary as a
matter of consistency of policies across
various agencies that define the safe use of
hazardous materials.
Those responsible for safety in residential,
manufacturing and storage occupancies
already regard PU foam as a hazardous
material because of its poor fire performance.
• Manufacturers’ Materials Safety Data
Sheets and warning labels on the bulk
shipments note the flammability
characteristics of PU foam. Manufacturers
recognize that PU foam poses unique fire and
explosion hazards. A typical label on PU
foam sold in bulk says:
If ignited, foam can produce rapid flame
spread, intense heat, dense black smoke and
toxic gases. Material can melt into a burning
liquid that can drip and flow. Accumulated
polyurethane dust can be readily ignited and
presents a fire risk. High concentrations of
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dust in the air can explode if exposed to a
flame, spark, or other ignition sources.2
• The National Fire Protection Association
standard NFPA 13’s hazard classification
system lists PU foam as a Group A Plastic.
This now requires increased use of automatic
fire sprinklers, imposes limits on storage
requirements and is strictly enforced by state
and local fire code enforcement officials.
• Starting in July 2007, the U.S. Consumer
Product Safety Commission (CPSC) will
begin enforcement of mattress fire safety
requirements that effectively isolate PU foam
in residential fires. This action has the
benefit of significantly reducing the risk of
fires when mattresses are being transported,
in addition to preventing the approximately
400 mattress fires that occur every year. 3
Even if the CPSC proposes fire safety
requirements for upholstered furniture, there
is some question whether these standards
will be adequate to address the issues
discussed here.
The use of PU foam is regarded as
hazardous in some transportation modes.
• The Coast Guard has issued warnings on
the fire hazard of polyurethane insulation
and other organic foams on vessels.4
2 ‘‘Material Safety Data Sheet.’’ Foamex. 17 July
2002. Foamex International, Inc. 8 Sept. 2006.
https://www.foamex.com/ftpWs/MSDS%
20Flexible%20Polyurethane %20Foam%20%20English.pdf#search=%22OSHA%
20polyurethane%20flexible%20foam%20fire%22.
3 Chowdbury, Risiana, Michael Greene, David
Miller, and Linda Smith. 1999 Revised—2002
Residential Fire Loss Estimates. U.S. Consumer
Product Safety Commission. Washington, DC, 2005.
4 Bell, Henry H. Navigation and Vessel Inspection
Circular No. 8–80. United States Coast Guard.
Washington, DC: U.S. Coast Guard, 1980. 8 Sept
2006.
https://www.uscg.mil/hq/gm/nvic/8_80/n8–80.
pdf#search=%22Navigation%20and%20Vessel%
20Inspection%20 Circular%20No.%208–80%22
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• The Occupational Safety and Health
Administration has issued warnings about
PU foam in marine applications saying,
Rigid polyurethane and polyisocyanurate
foams will, when ignited, burn rapidly and
produce intense heat, dense smoke and gases
which are irritating, flammable and/or toxic.
As with other organic materials the most
significant gas is usually carbon monoxide.
Thermal decomposition products from PU
foam consist mainly of carbon monoxide,
benzene, toluene, oxides of nitrogen,
hydrogen cyanide, acetaldehyde, acetone,
propene, carbon dioxide, alkenes and water
vapor.5
• The Federal Aviation Administration
requires that all seat cushions and padding
be self-extinguishing.6
• The National Transportation Safety
Board issued a recommendation on the use
of PU foam in maritime applications in 1995
saying,
The Safety Board believes that NFPA [the
National Fire Protection Association] and the
Coast Guard should establish, in cooperation,
a national marine fire safety standard on the
safe use of RPU [Rigid Polyurethane] foam
and other organic combustible material
insulation on vessels.7
The current classifications of PU foam as
a hazardous material are supported by a large
and unambiguous body of technical and
scientific literature. A bibliography is in the
appendix to this petition.
The petitioners also ask PHMSA to review
the results of recent large-scale fire tests
conducted on behalf of the European Union,
which demonstrate clearly the danger that
PU foam presents during transport. The SP
Swedish National Testing and Research
Institute conducted four full-scale tests
involving truck fires in the Runehamar
tunnel in Norway in September 2003. In one
test a truck was loaded with furniture and in
another, a truck was loaded with mattresses
and wooden pallets. In both tests, the heat
release rates (HRR), or measure of the fire’s
intensity, reached levels that are normally
expected only from hazardous materials.8 In
fact, temperatures in the tunnel reached
those comparable to tunnel tests involving
petroleum products.9
PHMSA is well aware of the difficulties of
securing data from hazardous materials
5 Baier, Edward J. ‘‘The Fire Hazard of
Polyurethane and Other Organic Foam Insulation
Aboard Ships and in Construction.’’ OSHA Hazard
Information Bulletins. 10 May 1989. U.S.
Department of Labor. 8 Sept. 2006. https://
www.osha.gov/dts/hib/hibdata/hib19890510.html
6 United States. Federal Aviation Administration.
Electronic Code of Federal Regulations (E-CFR)
Title 14: Aeronautics and Space Part 23. 25 Sept.
2006
https://ecfr.gpoaccess.gov/cgi/t/text/text-idx?c=ecfr&
sid=06a589895da22315eabb8c077bed3ded&
rgn=div8&view=text&node=14:1.0.1.3.10.4.86.72&
idno=14
7 Hall, Jim. ‘‘Safety Recommendation in Reply to
M–95–24 and –25.’’ 17 July 1995. Washington, DC:
National Transportation Safety Board, 1995. https://
www.ntsb.gov/recs/letters/1995/M95_24_25.pdf#
search=%22NTSB%20safety%
20recommendation%20M–95–24%22.
8 Lonnemark, Anders. On the Characteristics of
Fires in Tunnels. Lund, Sweden: Tryckeriet I E–
Huset, Lund University, 2005.
9 Ibid., 524.
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15:49 Mar 29, 2007
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incidents. Because PU foam is not classified
as a hazardous material for transportation, it
might follow that finding examples of
incidents would be that much more difficult.
But with little effort, NASFM has found
numerous examples. Here are two:
• On August 28, 2006, a furniture delivery
truck caught fire on Interstate 5 near San
Diego. The semi-truck veered of the road,
hitting a guardrail before the truck burst into
thick flames and smoke. According to the
California Highway Patrol, the semi-truck
was transporting furniture and mattresses
that quickly went up in flames. The incident
began around 4 pm during the evening rush
hour, and the fire was still burning at 5:30
pm; the incident closed northbound lanes of
I–5 well into the evening and backed up
traffic for miles.
• A May 7, 2005, fire in Navarro County,
Texas, resulted in the loss of a reported
$10,500 truck where an upholstered sofa and
chair were among the items first ignited.
As part of a rulemaking, NASFM is
prepared to work with PHMSA to undertake
a systematic review of incident records
where PU foam contributed to motor carrier
fires. These fires may be ignited accidentally
because of collisions or friction during
transport, electrical faults, careless smoking,
or they may be ignited intentionally.
Regardless of ignition source, the ensuing
fires present unacceptable risks to emergency
responders.
NASFM is especially interested in
incidents that may involve the GMC Savana
cargo van that is recommended for furniture
deliveries by the American Home
Furnishings Alliance, yet has been the
subject of two DOT supervised recalls
because of potential fire hazards related to
defective brakes and electrical components.10
This vehicle has been the subject of at least
10 recalls overall; some of these defects have
the potential to cause the vehicle to crash,
further increasing the risk of vehicle fire.
Exemptions are possible for fire-resistant
PU foam and finished products containing
PU foam that meet certain flammability
standards.
The petitioners believe it is reasonable to
exempt certain finished products from this
rule. For example, mattresses sold after July
1, 2007, in the United States must comply
with CPSC requirements that effectively
shield PU foam from ignition sources. Much
as properly packaged individual containers
of fingernail polish remover are exempt
while bulk shipments are not, this new fire
safety standard may exempt compliant
mattresses from classification as a hazardous
material. Some upholstered furniture used by
institutions such as health care facilities,
prisons and hotels meet the State of
California’s most stringent fire safety
requirements for institutional use, and may
be eligible for exemption. Certain grades of
high density, fire resistant PU foams as
currently specified by the State of California
also may be candidates for exemption. The
full text of these requirements can be found
in the appendices to this document.
10 ‘‘2003 GMC Savana Recalls & Problems.’’
Internet Auto Guide. 25 Sept. 2006. https://
www.internetautoguide.com/auto-recalls/67-int/
2003/gmc/savana/2500/.
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But while some exemptions may be
justified, the fact remains that most bulk
shipments and many finished products
containing PU foam are formally listed and
treated as hazardous materials in factories,
warehouses, retail and residential
occupancies by their manufacturers, users,
and regulators. These materials and products
do not suddenly become less hazardous
when being transported among these places.
In fact, given the uncertainties of traffic, road
conditions, driver behavior and condition of
the vehicle, the risks are greater during
transport, especially to emergency
responders who may need to negotiate
treacherous conditions such as a steep,
muddy slope to rescue a driver from a
burning truck full of PU foam.
The benefits of changing the classification
of PU foam far outweigh the costs.
Given the similarities of PU foam’s fire
performance to that of gasoline and other
classified hazardous materials, NASFM
believes that benefits of the hazardous
materials classification proposed here may be
comparable to these existing classified
materials. Additionally, because PU foam is
already classified as hazardous across
numerous other agencies, there will be no
significant incremental costs associated with
the proposed action.
The social and economic costs associated
with the loss of a roadway tunnel are well
understood. Serious fires involving PU foam
on roads, on bridges, in garages or in tunnels
pose a significant danger to the health and
safety of persons, often result in the total loss
of involved vehicles and can cause
significant structural damage to roads,
tunnels or surrounding buildings. The March
1999 fire in the Mont Blanc tunnel between
France and Italy tragically demonstrated the
disastrous results of a fire involving materials
classified as non-hazardous: 39 people died
during the two-day fire, and the tunnel was
closed for three years following the tragedy.
The cost to the Italian economy alone due to
direct damage and lost revenues associated
with the tunnel during the three-year closure
is estimated at $215 billion.11 In addition to
injuries and fatalities that result from
catastrophic transportation incidents, the
social cost to the surrounding region cannot
be ignored. The furniture truck fire on I–5
backed up traffic for miles and delayed
hundreds of thousands of people in traffic for
hours. As demonstrated by the SP Swedish
National Testing and Research Institute
Runehamar tunnel fire tests, a truck
containing quantities of polyurethane—even
when in finished products—is capable of
causing this sort of catastrophic fire, which
may result in numerous injuries and fatalities
and require years and billions of dollars to
repair.
• The petitioners believe there are no
direct effects, including preemption effects
under section 5125 of Federal hazardous
materials transportation law, of our proposed
11 ‘‘EU Tunnel Fire Safety Action.’’ Tunnels &
Tunneling International (2003). 8 Sept. 2006.
.
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action on States, on the relationship between
the Federal government and the States, and
on the distribution of power and
responsibilities among the various levels of
government.
The petitioners regard the actions proposed
here as being fully supportive of the States’
interests in the safety of its citizens and
emergency responders.
• The regulatory burden on small
businesses, small organizations, small
governmental jurisdictions and Indian tribes
will be minimal.
Small businesses, small organizations,
small governmental jurisdictions, and Indian
tribes now comply with safety requirements
for PU foam enforced by state and local
officials in manufacturing, storage, retail and
residential occupancies. Classifying PU foam
as a hazardous material for transportation
may add some minimal costs related to
placarding, packaging and the selection of
routes.
• Recordkeeping and reporting costs to
manufacturers and transporters will be
minimal.
This action is unlikely to add significantly
to existing record keeping and reporting
burdens. The manufacturers and users of PU
foam already regard these materials as
‘‘combustible solids’’ and accordingly
maintain and share data with their customers
and regulators.
• Classification of PU foam as a hazardous
material will not have any adverse
environmental effects but may have
significant positive effects on the natural
environment. Additionally, this action would
significantly reduce the costs borne by
society for the unsafe transportation of this
hazardous cargo.
Possible environmental effects from the
reclassification of PU foam are:
• Increased emissions resulting from
longer routes needed to transport PU foam;
• Decreased emissions of the noxious by
products of PU fires like hydrogen cyanide,
hydrochloric gas and carbon monoxide
because of increased precautions taken to
reduce the number of these fires.
Societal impacts from the reclassification
of PU foam are readily apparent. Fewer PU
foam fires directly benefit society through
decreased injuries, fatalities and property
damage.
Therefore, we respectfully ask the DOT to
use its clear authority to protect emergency
responders and the public they are sworn to
serve, by accepting this petition and moving
forward expeditiously with enforcement.
III. Purpose of the Notice
The purpose of this Notice is to solicit
comments on the merits of a petition for
rulemaking filed by the National
Association of State Fire Marshals
requesting classification of Polyurethane
Foam (PU) and certain finished
products containing PU as hazardous
materials under the Hazardous Materials
Regulations. The safety implications of
the proposals in the petition will be
given careful considerations as we go
through the process of determining
whether regulatory action is needed.
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Because of the many attachments to
petition P–1491 (e.g., MSDS,
appendices, bibliography, and other
information) submitted with this
petition, we encourage interested parties
to access the Web site: https://
dms.dot.gov to review the petition and
other documentation submitted with the
petition.
Issued in Washington, DC, on March 27,
2007.
Robert A. Richard,
Deputy Associate Administrator for
Hazardous Materials Safety.
[FR Doc. E7–5948 Filed 3–29–07; 8:45 am]
BILLING CODE 4910–60–P
DEPARTMENT OF THE TREASURY
Financial Literacy and Education
Commission’s Inaugural Meeting of the
‘‘National Financial Education
Network’’
Departmental Offices, Treasury.
Notice of open meeting.
AGENCY:
ACTION:
SUMMARY: This notice announces the
inaugural meeting of the ‘‘National
Financial Education Network’’ of the
Financial Literacy and Education
Commission. The Commission was
established by the Financial Literacy
and Education Improvement Act (Title
V of the Fair and Accurate Credit
Transactions Act of 2003).
DATES: The Financial Literacy and
Education Commission’s inaugural
meeting of the ‘‘National Financial
Education Network’’ will be held on
Tuesday, April 17, 2007, from 9:30 a.m.
to 4 p.m.
ADDRESSES: The inaugural meeting of
the ‘‘National Financial Education
Network’’ will be held in the Cash Room
at the Department of the Treasury,
located at 1500 Pennsylvania Ave., NW.,
Washington, DC. To be admitted to the
Treasury building, an attendee must
RSVP by providing his or her name,
organization, phone number, date of
birth, Social Security number and
country of citizenship to the Department
of the Treasury by e-mail at:
FLECrsvp@do.treas.gov, or by telephone
at: (202) 622–1783 (not a toll-free
number) not later than 5 p.m. on
Wednesday, April 11, 2007.
FOR FURTHER INFORMATION CONTACT: For
additional information, contact Garret
Overlock by e-mail at:
garret.overlock@do.treas.gov or by
telephone at (202) 622–1006 (not a toll
free number). Additional information
regarding the Financial Literacy and
Education Commission and the
Department of the Treasury’s Office of
PO 00000
Frm 00093
Fmt 4703
Sfmt 4703
15187
Financial Education may be obtained
through the Office of Financial
Education’s Web site at: https://
www.treasury.gov/financialeducation.
The
Financial Literacy and Education
Improvement Act, which is Title V of
the Fair and Accurate Credit
Transactions Act of 2003 (the ‘‘FACT
Act’’) (Pub. L. 108–159), established the
Financial Literacy and Education
Commission (the ‘‘Commission’’) to
improve financial literacy and
education of persons in the United
States. The Commission is composed of
the Secretary of the Treasury and the
head of the Office of the Comptroller of
the Currency; the Office of Thrift
Supervision; the Federal Reserve; the
Federal Deposit Insurance Corporation;
the National Credit Union
Administration; the Securities and
Exchange Commission; the Departments
of Education, Agriculture, Defense,
Health and Human Services, Housing
and Urban Development, Labor, and
Veterans Affairs; the Federal Trade
Commission; the General Services
Administration; the Small Business
Administration; the Social Security
Administration; the Commodity Futures
Trading Commission; and the Office of
Personnel Management.
SUPPLEMENTARY INFORMATION:
As part of the implementation of
Taking Ownership of the Future: The
National Strategy for Financial Literacy,
the U.S. Office of Personnel
Management and the Department of the
Treasury partnered to establish a
network of state and local government
officials to improve collaboration on
financial education efforts among
federal, state and local levels. The
inaugural meeting of the ‘‘National
Financial Education Network’’ of state
and local governments will bring
together representatives from different
areas and levels of government across
the nation. The purpose of the meeting
will be to create an open dialogue
among associations, government
officials, and individuals in hopes of
advancing financial education at the
state and local level.
Dated: March 21, 2007.
Dan Iannicola, Jr.,
Deputy Assistant Secretary for Financial
Education.
[FR Doc. E7–5953 Filed 3–29–07; 8:45 am]
BILLING CODE 4811–42–P
E:\FR\FM\30MRN1.SGM
30MRN1
Agencies
[Federal Register Volume 72, Number 61 (Friday, March 30, 2007)]
[Notices]
[Pages 15184-15187]
From the Federal Register Online via the Government Printing Office [www.gpo.gov]
[FR Doc No: E7-5948]
-----------------------------------------------------------------------
DEPARTMENT OF TRANSPORTATION
Pipeline and Hazardous Materials Safety Administration
[Docket No. PHMSA-2006-26275]
Receipt of Petition for Rulemaking Classification of Polyurethane
Foam and Certain Finished Products Containing Polyurethane Foam as
Hazardous Materials
AGENCY: Pipeline and Hazardous Materials Safety Administration (PHMSA).
ACTION: Notice.
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SUMMARY: This Notice solicits comments on the merits of a petition for
rulemaking filed by the National Association of State Fire Marshals
(NASFM). The NASFM petitioned PHMSA to classify Polyurethane Foam and
certain finished products containing Polyurethane Foam (PU) as
hazardous materials in transportation in commerce, as a matter of
safety for emergency responders and the public.
DATES: Comments must be received by June 28, 2007.
ADDRESSES: Written comments: You may submit comments on this Notice
identified by the docket number (PHMSA-2006-26275) by any of the
following methods:
Federal eRulemaking Portal: https://www.regulations.gov.
Follow the online instructions for submitting comments.
Web site: https://dms.dot.gov. Follow the instructions for
submitting comments on the DOT electronic docket site.
Fax: 1-202-493-2251.
Mail: Docket Management System, U.S. Department of
Transportation, 400 Seventh Street, SW., Nassif Building, PL-402,
Washington, DC 20590-0001.
Hand Delivery: PL-402 on the Plaza level of the Nassif
Building, 400 Seventh Street, SW., Washington, DC, between 9 a.m. and 5
p.m. Monday through Friday, except Federal holidays.
Instructions: All submissions must include the agency name and
docket number for this notice. Internet users may access comments
received by DOT at https://dms.dot.gov. Note that comments received may
be posted without change to https://dms.dot.gov including any personal
information provided. If you believe your comments contain trade
secrets or confidential commercial information, those comments or
relevant portions of those comments should be appropriately marked.
PHMSA procedures in 49 CFR part 105 establish a mechanism by which
commenters may request confidentiality.
FOR FURTHER INFORMATION CONTACT: Helen Engrum or Susan Gorsky, Office
of Hazardous Materials Standards (202) 366-8553, Pipeline and Hazardous
Materials Safety Administration, U.S. Department of Transportation, 400
Seventh Street, SW., Washington, DC 20590-0001.
SUPPLEMENTARY INFORMATION:
I. Background
In a letter dated October 31, 2006, the National Association of
State Fire Marshals (NASFM) submitted a petition for rulemaking to the
U.S. Department of Transportation (DOT) through the Pipeline and
Hazardous Materials Safety Administration (PHMSA) under the provisions
of 49 CFR 106.31. The NASFM requested that the Hazardous Materials
Regulations (HMR; 49 CFR parts 171-180) be amended to classify
Polyurethane (PU) Foam and certain finished products containing PU as a
hazardous material for purposes of transportation in commerce. The
NASFM is made up of senior-level public safety officials from the 50
States and the District of Columbia. The NASFM petition was received
and acknowledged by PHMSA and assigned petition number P-1491; Docket
No. PHMSA-2006-26275.
Issuance of this Notice does not constitute a decision by PHMSA to
undertake a rulemaking action on the substance of the petition. This
Notice is issued solely to obtain comments on the merits of the
petition to assist PHMSA in making a decision of whether to proceed
with a rulemaking. Of particular interest are substantive comments that
address the following items: (1) Estimated incremental costs or
savings; (2) Anticipated safety benefits; (3) Estimated burden hours
associated with the proposals related to information collection; (4)
Impact on small businesses; and (5) Impact on the national environment.
II. Petition P-1491 Is Quoted as Follows
As a matter of safety for emergency responders and the public,
the National Association of Fire Marshals petitions the U.S.
Department of Transportation (DOT), through the Pipeline & Hazardous
Materials Safety Administration (PHMSA), to classify polyurethane
(PU) foam and certain finished products containing it as a hazardous
material for purposes of transportation. NASFM consists of senior-
level public safety officials from the 50 states and District of
Columbia.
The petitioners regard this proposal as critical to the safety
of emergency responders and the public they are sworn to protect.
The safety of emergency responders begins with information--at
minimum, responders have the absolute right to know when they are
dealing with hazardous materials, so they may take special
precautions at incidents. The petitioners' interest extends to
ensuring that hazardous materials are used, stored and transported
in safe ways. Regulations exist across agencies that regulate the
use and storage of PU foam, but a gap exists in ensuring the safe
transportation of this hazardous material. Because it is not
officially classified as a hazardous material for purposes of
transportation, the safety of emergency responders and the public is
compromised.
The U.S. Department of Transportation's system of hazardous
materials transportation placarding is critical to the safety of
emergency responders and the public. Placards typically are the one
source of information immediately available to responders as they
determine the safest and most efficient means of suppressing fires
and of rescuing persons trapped in vehicles. Placards provide
information essential to knowing how fast a fire might spread, how
difficult it might be to suppress, and how large and dangerous it
may become.
When hazardous materials are not properly placarded, the
consequences to emergency responders could be injury or death.
Obviously some shippers and transporters choose to violate the law
by failing to properly placard when placarding is required. However,
the DOT does not require placarding with some well-recognized
hazardous materials. Such is the case with most grades of rigid and
flexible PU foam and many of the finished products containing this
highly flammable solid.
PU foam, whether in bulk shipments or in finished products, is
explicitly listed and controlled as a hazardous material in all
phases of manufacturing, construction and more recently, consumer
applications. As such, records pertaining to the hazardous nature of
PU foam already are kept and reports are routinely issued by the
producers of these materials. Ironically, when the risks are least
manageable--in transportation--PU foam is not officially considered
hazardous. This petition aims to correct this inadvertent oversight.
Whether experienced in the real world or observed under
scientific conditions, PU foam is a hazardous material. A
significant
[[Page 15185]]
and unambiguous body of scientific literature underscores the poor
fire performance of these materials and products, and a preliminary
review of the fire incident data found numerous transportation
incidents where PU foam and such products as upholstered furniture
and mattresses provided the fuel load for significant fires. These
are not new observations. Smoldering and small open flame ignitions
of finished products containing PU foam have long been the number-
one cause of death by fire in the home.
Proposed Rulemaking Procedure
NASFM proposes the following procedure based on its
understanding of the PHMSA rulemaking process: Issue an Interim
Final Rule designating bulk shipments of Polyurethane (PU) Foam as a
Class 9 hazardous material. As part of this Interim Final Rule
Phase I
Assign a North American Identification number to PU
foam.
Except shippers/carriers from requiring shipping
papers, employee training, specific packaging requirements, and
placarding.
Require carriers to display Orange Panels with the
identification number to identify the presence of PU foam for
initial responders.
Require transportation incidents involving PU foam
fires to be reported to PHMSA.
Publish a Safety Alert identifying measures initial
responders can take to protect themselves and the general public
during this initial response phase of the incident involving PU
foam.
Incorporate the measures published in the Safety Alert
into the 2008 Emergency Response Guidebook (ERG).
Cotton can be used as an example of how PU can be initially
regulated. The following is recommended for inclusion in the
Hazardous Materials Table (49 CFR 172101):
------------------------------------------------------------------------
------------------------------------------------------------------------
Column 1--Symbols...................... D (Domestic).
Column 2--HM description and proper Polyurethane Foam.
shipping name.
Column 3--Hazard Class or Division..... 9.
Column 4--Identification Number........ NA XXXX (to be assigned by
PHMSA).
Column 5--Packing Group................ Leave blank.
Column 6--Label Codes.................. None.
Column 7--Special Provisions........... To be determined by PHMSA.
Column 8--Packaging (8A, 8B, and 8C)... None.
Column 9--Packaging Limitations........ To be determined by PHMSA and
the Federal Aviation
Administration.
Column 10--Vessel Stowage.............. To be determined by PHMSA and
the U.S. Coast Guard.
------------------------------------------------------------------------
This should not be considered a significant rulemaking, because
there are a limited number of carriers transporting bulk PU foam.
Phase IIA
Initiate domestic rulemaking to finalize Interim Final Rule and
explore the need for additional regulatory oversight of products
manufactured using PU foam through the issuance of a Notice of
Proposed Rulemaking.
Phase IIB
Introduce PU foam as a proposed work item at the 30th session of
the Transport of Dangerous Goods Sub-Committee, December 4-12 2006
in Geneva, Switzerland.
Phase IIA and IIB can be conducted simultaneously.
DOT has the authority to classify PU foam as a hazardous
material.
The precise classification of PU foam is a legalistic matter for
consideration by regulators, and may require special treatment given
the unusual properties of these materials. For example, PU foam
becomes highly flammable as it moves rapidly from solid to liquid to
vapor states. In that way, it is similar to gasoline, which becomes
hazardous as it moves from a liquid to a vapor. Gasoline is a
flammable liquid when, in scientific terms, it is a flammable vapor.
Another unique characteristic is that, unlike most hazardous
materials, PU foam becomes dangerous as it becomes lighter in
weight, for a simple reason: low density PU foam contains more air
to feed a fire and more surfaces to ignite.
Manufacturers of PU foam describe these materials as
``combustible solids'' on the material safety data sheets provided
to customers and regulators. However, PU foam does not fit neatly
into the combustible solids category. The prescribed test methods
used with combustible solids are irrelevant to the real-world fire
hazards posed by PU foam, because PU foams possess fire performance
and chemical properties more comparable to well-established
hazardous materials such as gasoline that react in liquid and vapor
phases.\1\ A fire hazard of this significance may not legally be
ignored simply because of the inflexibility of the rating system.
---------------------------------------------------------------------------
\1\ Langevin, Kennedy, and Conyers. United States. Cong. House.
Foam Fire Safety Act. 109th Cong., 1st sess. HR 943. 17 Feb. 2005. 8
Sept. 2006 https://thomas.loc.gov/cgi-bin/query/z?c109:H.R.943.IH:
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Rather than assigning PU foam to Class 4 as a flammable solid,
NASFM recommends that it be placed within Class 9, which exists for
unusual but clearly hazardous materials and products ranging from
molten asphalt to life preservers containing pressurized containers.
The exact classification may not matter as much as the fact that the
classification will subject this material to tighter controls in
transport, thus helping to ensure the safety of emergency responders
and the public.
Classification of PU foam as a hazardous material for
transportation is necessary as a matter of consistency of policies
across various agencies that define the safe use of hazardous
materials.
Those responsible for safety in residential, manufacturing and
storage occupancies already regard PU foam as a hazardous material
because of its poor fire performance.
Manufacturers' Materials Safety Data Sheets and warning
labels on the bulk shipments note the flammability characteristics
of PU foam. Manufacturers recognize that PU foam poses unique fire
and explosion hazards. A typical label on PU foam sold in bulk says:
If ignited, foam can produce rapid flame spread, intense heat,
dense black smoke and toxic gases. Material can melt into a burning
liquid that can drip and flow. Accumulated polyurethane dust can be
readily ignited and presents a fire risk. High concentrations of
dust in the air can explode if exposed to a flame, spark, or other
ignition sources.\2\
\2\ ``Material Safety Data Sheet.'' Foamex. 17 July 2002. Foamex
International, Inc. 8 Sept. 2006. https://www.foamex.com/ftpWs/
MSDS%20Flexible%20Polyurethane %20Foam%20-
%20English.pdfsearch=%22OSHA%20polyurethane%20flexible%20foa
m%20fire%22.
---------------------------------------------------------------------------
The National Fire Protection Association standard NFPA
13's hazard classification system lists PU foam as a Group A
Plastic. This now requires increased use of automatic fire
sprinklers, imposes limits on storage requirements and is strictly
enforced by state and local fire code enforcement officials.
Starting in July 2007, the U.S. Consumer Product Safety
Commission (CPSC) will begin enforcement of mattress fire safety
requirements that effectively isolate PU foam in residential fires.
This action has the benefit of significantly reducing the risk of
fires when mattresses are being transported, in addition to
preventing the approximately 400 mattress fires that occur every
year. \3\ Even if the CPSC proposes fire safety requirements for
upholstered furniture, there is some question whether these
standards will be adequate to address the issues discussed here.
---------------------------------------------------------------------------
\3\ Chowdbury, Risiana, Michael Greene, David Miller, and Linda
Smith. 1999 Revised--2002 Residential Fire Loss Estimates. U.S.
Consumer Product Safety Commission. Washington, DC, 2005.
---------------------------------------------------------------------------
The use of PU foam is regarded as hazardous in some
transportation modes.
The Coast Guard has issued warnings on the fire hazard
of polyurethane insulation and other organic foams on vessels.\4\
---------------------------------------------------------------------------
\4\ Bell, Henry H. Navigation and Vessel Inspection Circular No.
8-80. United States Coast Guard. Washington, DC: U.S. Coast Guard,
1980. 8 Sept 2006. https://www.uscg.mil/hq/gm/nvic/8_80/n8-
80.pdf#search=%22Navigation%20and%20Vessel%20Inspection%20
Circular%20No.%208-80%22
---------------------------------------------------------------------------
[[Page 15186]]
The Occupational Safety and Health Administration has
---------------------------------------------------------------------------
issued warnings about PU foam in marine applications saying,
Rigid polyurethane and polyisocyanurate foams will, when
ignited, burn rapidly and produce intense heat, dense smoke and
gases which are irritating, flammable and/or toxic. As with other
organic materials the most significant gas is usually carbon
monoxide. Thermal decomposition products from PU foam consist mainly
of carbon monoxide, benzene, toluene, oxides of nitrogen, hydrogen
cyanide, acetaldehyde, acetone, propene, carbon dioxide, alkenes and
water vapor.\5\
---------------------------------------------------------------------------
\5\ Baier, Edward J. ``The Fire Hazard of Polyurethane and Other
Organic Foam Insulation Aboard Ships and in Construction.'' OSHA
Hazard Information Bulletins. 10 May 1989. U.S. Department of Labor.
8 Sept. 2006. https://www.osha.gov/dts/hib/hibdata/hib19890510.html
---------------------------------------------------------------------------
The Federal Aviation Administration requires that all
seat cushions and padding be self-extinguishing.\6\
---------------------------------------------------------------------------
\6\ United States. Federal Aviation Administration. Electronic
Code of Federal Regulations (E-CFR) Title 14: Aeronautics and Space
Part 23. 25 Sept. 2006 https://ecfr.gpoaccess.gov/cgi/t/text/text-
idx?c=ecfr&sid=06a589895da22315eabb8c077bed3ded&rgn=div8&view=text&no
de=14:1.0.1.3.10.4.86.72&idno=14
---------------------------------------------------------------------------
The National Transportation Safety Board issued a
recommendation on the use of PU foam in maritime applications in
1995 saying,
The Safety Board believes that NFPA [the National Fire
Protection Association] and the Coast Guard should establish, in
cooperation, a national marine fire safety standard on the safe use
of RPU [Rigid Polyurethane] foam and other organic combustible
material insulation on vessels.\7\
---------------------------------------------------------------------------
\7\ Hall, Jim. ``Safety Recommendation in Reply to M-95-24 and -
25.'' 17 July 1995. Washington, DC: National Transportation Safety
Board, 1995. https://www.ntsb.gov/recs/letters/1995/M95_24_
25.pdf#search=%22NTSB%20safety%20recommendation%20M-95-24%22.
---------------------------------------------------------------------------
The current classifications of PU foam as a hazardous material
are supported by a large and unambiguous body of technical and
scientific literature. A bibliography is in the appendix to this
petition.
The petitioners also ask PHMSA to review the results of recent
large-scale fire tests conducted on behalf of the European Union,
which demonstrate clearly the danger that PU foam presents during
transport. The SP Swedish National Testing and Research Institute
conducted four full-scale tests involving truck fires in the
Runehamar tunnel in Norway in September 2003. In one test a truck
was loaded with furniture and in another, a truck was loaded with
mattresses and wooden pallets. In both tests, the heat release rates
(HRR), or measure of the fire's intensity, reached levels that are
normally expected only from hazardous materials.\8\ In fact,
temperatures in the tunnel reached those comparable to tunnel tests
involving petroleum products.\9\
---------------------------------------------------------------------------
\8\ Lonnemark, Anders. On the Characteristics of Fires in
Tunnels. Lund, Sweden: Tryckeriet I E-Huset, Lund University, 2005.
\9\ Ibid., 524.
---------------------------------------------------------------------------
PHMSA is well aware of the difficulties of securing data from
hazardous materials incidents. Because PU foam is not classified as
a hazardous material for transportation, it might follow that
finding examples of incidents would be that much more difficult. But
with little effort, NASFM has found numerous examples. Here are two:
On August 28, 2006, a furniture delivery truck caught
fire on Interstate 5 near San Diego. The semi-truck veered of the
road, hitting a guardrail before the truck burst into thick flames
and smoke. According to the California Highway Patrol, the semi-
truck was transporting furniture and mattresses that quickly went up
in flames. The incident began around 4 pm during the evening rush
hour, and the fire was still burning at 5:30 pm; the incident closed
northbound lanes of I-5 well into the evening and backed up traffic
for miles.
A May 7, 2005, fire in Navarro County, Texas, resulted
in the loss of a reported $10,500 truck where an upholstered sofa
and chair were among the items first ignited.
As part of a rulemaking, NASFM is prepared to work with PHMSA to
undertake a systematic review of incident records where PU foam
contributed to motor carrier fires. These fires may be ignited
accidentally because of collisions or friction during transport,
electrical faults, careless smoking, or they may be ignited
intentionally. Regardless of ignition source, the ensuing fires
present unacceptable risks to emergency responders.
NASFM is especially interested in incidents that may involve the
GMC Savana cargo van that is recommended for furniture deliveries by
the American Home Furnishings Alliance, yet has been the subject of
two DOT supervised recalls because of potential fire hazards related
to defective brakes and electrical components.\10\ This vehicle has
been the subject of at least 10 recalls overall; some of these
defects have the potential to cause the vehicle to crash, further
increasing the risk of vehicle fire.
---------------------------------------------------------------------------
\10\ ``2003 GMC Savana Recalls & Problems.'' Internet Auto
Guide. 25 Sept. 2006. https://www.internetautoguide.com/auto-recalls/
67-int/2003/gmc/savana/2500/.
---------------------------------------------------------------------------
Exemptions are possible for fire-resistant PU foam and finished
products containing PU foam that meet certain flammability
standards.
The petitioners believe it is reasonable to exempt certain
finished products from this rule. For example, mattresses sold after
July 1, 2007, in the United States must comply with CPSC
requirements that effectively shield PU foam from ignition sources.
Much as properly packaged individual containers of fingernail polish
remover are exempt while bulk shipments are not, this new fire
safety standard may exempt compliant mattresses from classification
as a hazardous material. Some upholstered furniture used by
institutions such as health care facilities, prisons and hotels meet
the State of California's most stringent fire safety requirements
for institutional use, and may be eligible for exemption. Certain
grades of high density, fire resistant PU foams as currently
specified by the State of California also may be candidates for
exemption. The full text of these requirements can be found in the
appendices to this document.
But while some exemptions may be justified, the fact remains
that most bulk shipments and many finished products containing PU
foam are formally listed and treated as hazardous materials in
factories, warehouses, retail and residential occupancies by their
manufacturers, users, and regulators. These materials and products
do not suddenly become less hazardous when being transported among
these places. In fact, given the uncertainties of traffic, road
conditions, driver behavior and condition of the vehicle, the risks
are greater during transport, especially to emergency responders who
may need to negotiate treacherous conditions such as a steep, muddy
slope to rescue a driver from a burning truck full of PU foam.
The benefits of changing the classification of PU foam far
outweigh the costs.
Given the similarities of PU foam's fire performance to that of
gasoline and other classified hazardous materials, NASFM believes
that benefits of the hazardous materials classification proposed
here may be comparable to these existing classified materials.
Additionally, because PU foam is already classified as hazardous
across numerous other agencies, there will be no significant
incremental costs associated with the proposed action.
The social and economic costs associated with the loss of a
roadway tunnel are well understood. Serious fires involving PU foam
on roads, on bridges, in garages or in tunnels pose a significant
danger to the health and safety of persons, often result in the
total loss of involved vehicles and can cause significant structural
damage to roads, tunnels or surrounding buildings. The March 1999
fire in the Mont Blanc tunnel between France and Italy tragically
demonstrated the disastrous results of a fire involving materials
classified as non-hazardous: 39 people died during the two-day fire,
and the tunnel was closed for three years following the tragedy. The
cost to the Italian economy alone due to direct damage and lost
revenues associated with the tunnel during the three-year closure is
estimated at $215 billion.\11\ In addition to injuries and
fatalities that result from catastrophic transportation incidents,
the social cost to the surrounding region cannot be ignored. The
furniture truck fire on I-5 backed up traffic for miles and delayed
hundreds of thousands of people in traffic for hours. As
demonstrated by the SP Swedish National Testing and Research
Institute Runehamar tunnel fire tests, a truck containing quantities
of polyurethane--even when in finished products--is capable of
causing this sort of catastrophic fire, which may result in numerous
injuries and fatalities and require years and billions of dollars to
repair.
---------------------------------------------------------------------------
\11\ ``EU Tunnel Fire Safety Action.'' Tunnels & Tunneling
International (2003). 8 Sept. 2006. <https://www.etnfit.net/
unprotected_documents/EU%20Action%20-%20Tunnel%20Fire%20Safety%20%-
%20TT%20paper.pdf#search=%22Mont%20Blanc%20tunnel%20fire%20cost%22>.
---------------------------------------------------------------------------
The petitioners believe there are no direct effects,
including preemption effects under section 5125 of Federal hazardous
materials transportation law, of our proposed
[[Page 15187]]
action on States, on the relationship between the Federal government
and the States, and on the distribution of power and
responsibilities among the various levels of government.
The petitioners regard the actions proposed here as being fully
supportive of the States' interests in the safety of its citizens
and emergency responders.
The regulatory burden on small businesses, small
organizations, small governmental jurisdictions and Indian tribes
will be minimal.
Small businesses, small organizations, small governmental
jurisdictions, and Indian tribes now comply with safety requirements
for PU foam enforced by state and local officials in manufacturing,
storage, retail and residential occupancies. Classifying PU foam as
a hazardous material for transportation may add some minimal costs
related to placarding, packaging and the selection of routes.
Recordkeeping and reporting costs to manufacturers and
transporters will be minimal.
This action is unlikely to add significantly to existing record
keeping and reporting burdens. The manufacturers and users of PU
foam already regard these materials as ``combustible solids'' and
accordingly maintain and share data with their customers and
regulators.
Classification of PU foam as a hazardous material will
not have any adverse environmental effects but may have significant
positive effects on the natural environment. Additionally, this
action would significantly reduce the costs borne by society for the
unsafe transportation of this hazardous cargo.
Possible environmental effects from the reclassification of PU
foam are:
Increased emissions resulting from longer routes needed
to transport PU foam;
Decreased emissions of the noxious by products of PU
fires like hydrogen cyanide, hydrochloric gas and carbon monoxide
because of increased precautions taken to reduce the number of these
fires.
Societal impacts from the reclassification of PU foam are
readily apparent. Fewer PU foam fires directly benefit society
through decreased injuries, fatalities and property damage.
Therefore, we respectfully ask the DOT to use its clear
authority to protect emergency responders and the public they are
sworn to serve, by accepting this petition and moving forward
expeditiously with enforcement.
III. Purpose of the Notice
The purpose of this Notice is to solicit comments on the merits of
a petition for rulemaking filed by the National Association of State
Fire Marshals requesting classification of Polyurethane Foam (PU) and
certain finished products containing PU as hazardous materials under
the Hazardous Materials Regulations. The safety implications of the
proposals in the petition will be given careful considerations as we go
through the process of determining whether regulatory action is needed.
Because of the many attachments to petition P-1491 (e.g., MSDS,
appendices, bibliography, and other information) submitted with this
petition, we encourage interested parties to access the Web site:
https://dms.dot.gov to review the petition and other documentation
submitted with the petition.
Issued in Washington, DC, on March 27, 2007.
Robert A. Richard,
Deputy Associate Administrator for Hazardous Materials Safety.
[FR Doc. E7-5948 Filed 3-29-07; 8:45 am]
BILLING CODE 4910-60-P