-----Original Message-----
From: Gmurczyk, Marta <M_Gmurczyk**At_Symbol_Here**ACS.ORG>
To: DCHAS-L <DCHAS-L**At_Symbol_Here**PRINCETON.EDU>
Sent: Wed, Sep 11, 2019 7:55 am
Subject: Re: [DCHAS-L] [EXT] Re: [DCHAS-L] CHO at museum asks for our help
I am not sure whether this resource will be helpful in a case discussed below, but the ACS Committee on Chemical Safety issues a document related to
Safe Transportation Recommendations for Chemicals Used in Demonstrations or Educational Activities
at
Some information might be relevant.
Marta Gmurczyk
ACS Safety
From: ACS Division of Chemical Health and Safety <DCHAS-L**At_Symbol_Here**PRINCETON.EDU>
On Behalf Of Monona Rossol
Sent: Tuesday, September 10, 2019 9:47 PM
To: DCHAS-L**At_Symbol_Here**PRINCETON.EDU
Subject: [EXT] Re: [DCHAS-L] CHO at museum asks for our help
It's a county museum. I'm so glad I don't have to figure this out. I was just a conduit. Monona
This is a really good summary instruction for a state university but it does not address the Materials of Trade (MOT) exception. It is not clear to me from the original
note whether the "LA museum" is a government entity and thus not involved in "transportation in commerce" like a state university. If the "LA museum" is a non-governmental not-for profit it might still be considered to be involved in transportation in commerce."
In that case only the MOT exception has a chance of applying.
Thanks, I'll get this right to him. Monona
Monona,
Here is what my office shares for our people that transport between vehicles or local campuses. It may be helpful:
https://www..smu.edu/BusinessFinance/RiskManagement/Health-Safety/ResearchSafety/ChemicalSafety/Transporting-and-Shipping-Hazardous-Materials
The pertinent sections are the "Transporting Chemical" section and below. IN addition to what others have said regarding SDS, etc., we require a log and a spill kit to be on board.
Regards,
Brandon S. Chance, MS, CCHO
Director of Environmental Health and Safety
Office of Risk Management
Southern Methodist University
PO Box 750231 | Dallas, TX 75275-0231
T) 214.768.2430 | M) 469-978-8664
bchance**At_Symbol_Here**smu.edu
=EF=BB=BFOn 9/8/19, 5:29 PM, "ACS Division of Chemical Health and Safety on behalf of DCHAS Membership
Chair" <DCHAS-L**At_Symbol_Here**PRINCETON.EDU on behalf of
membership**At_Symbol_Here**DCHAS.ORG> wrote:
From: Monona Rossol <actsnyc**At_Symbol_Here**cs.com>
Re: CHO at museum asks for our help
A really nice CHO at an LA museum found that the conservation staff has plans to transport chemicals from the museum to offsite facilities where they would perform treatment on objects. The kits would vary depending on the treatment needed, but most of
the time the kits would contain acetone, isopropanol, toluene, xylene, acetic acid, mineral spirits. The CHO is not familiar with the DOT and other regulations for transporting/labeling chemicals. But he ran across Title 49 Part 173.4 Small quantities for
highway and rail outlines and realized he could have some issues with this plan.
This is not an area I'm strong in and usually suggest a consultant. If any of you have this area nailed and could help, or if you know of a reasonable consultant to refer this to, the CHO can be reached at:
Carlos Aponte
Chemical Hygiene Officer
Los Angeles County Museum of Art
Conservation Center
5905 Wilshire Blvd.
Los Angeles, CA 90036
(323) 932-5899
CAPONTE**At_Symbol_Here**LACMA.ORG
Thanks to all, Monona
---
For more information about the DCHAS-L e-mail list, contact the Divisional membership chair at
membership**At_Symbol_Here**dchas.org
Follow us on Twitter **At_Symbol_Here**acsdchas