49 CFR HazMat, packaging, marking, training, exceptions.
From § 173 (packaging) to § 172 (Subpart H training) to § 100.1 exceptions, the HMR with its 49 CFR cross-references and § 1910.120 OSHA HAZWOPER overlap already drawn.
HazMat compliance lives across two agencies and three regulatory domains.
PDFs from last year, still in circulation.
The version of the rule your team trains on is the version that was current when you printed it.
Cross-references to standards you don’t track.
Your industry’s primary standard pulls in adjacent rules from other agencies. Tracking the boundary is manual.
Inspections cite paragraphs you barely know.
Inspectors cite paragraphs from sub-parts most teams cover lightly. Defensible response requires reading them now, not later.
49 CFR + § 1910.120 + emergency response, linked.
Search across your industry’s primary CFR titles.
Title-scoped search with industry shorthand handled. PRCS, LOTO, JHA, DOT-HM-181, all recognized.
Cross-references rendered as clicks.
Every ‘see § X’ pointer becomes a one-click expand. Letters of Interpretation linked inline.
Federal Register sync, scoped to your titles.
When something changes in your industry’s standards, you get one email. Skip the rest.
HazMat is the use case for cross-agency platform.
PHMSA writes the HMR (49 CFR 100–185). OSHA writes HAZWOPER (29 CFR 1910.120). DOT writes the FMCSRs (49 CFR 350–399). All three apply simultaneously to a hazmat carrier with employees responding to spills.
RegLogic ships these as a connected stack. The packaging requirement in § 173.301 links to the training requirement in § 172.704 links to the OSHA HAZWOPER training in § 1910.120(q). Cross-agency boundaries become click-through, not lookup.
For hazmat shippers, carriers, and emergency response teams, this is the platform difference.