# Shipmate, Inc. — Hazardous Materials Safety Interpretation

- **operation:** document
- **citation:** 00-0007
- **title:** Shipmate, Inc. — Hazardous Materials Safety Interpretation
- **source type:** guidance
- **agency:** Pipeline and Hazardous Materials Safety Administration
- **status:** guidance
- **official:** true
- **published on:** 2000-02-15
- **effective on:** Not available
- **summary:** 00-0007 response to Shipmate, Inc. concerning 173.166.
- **machine formats:** - **json:** https://regulus.evalyn.ai/document/phmsa-interpretation-00-0007.json
- **markdown:** https://regulus.evalyn.ai/document/phmsa-interpretation-00-0007.md
- **app url:** https://regulus.evalyn.ai/document/phmsa-interpretation-00-0007
- **source url:** https://www.phmsa.dot.gov/sites/phmsa.dot.gov/files/legacy/interpretations/Interpretation%20Files/2000/000007.pdf
**body:**

<<<PAGE 1>>>

.
of Transportation
U.S. Department
Research and
Special Programs
FEB 15 2000
Administration
•
Mr. Steven Charles Hunt
Shipmate, Inc.
1810 Green Lane
Redondo Beach, CA 90278
Reference Nos. 00-0006
00-0007
Dear Mr. Hunt:
This is in reference to your two letters dated December 29, 1999, submitted on behalf of several
automobile manufacturers, requesting clarifications of the requirements applicable to the
transportation of a Division 2.2 air bag module, UN3353, under 49 CFR 173.166.
Your questions are paraphrased and answered as follows:
Q1.
According to § 173.166, an air bag device should be assigned an EX number that is the
same as the air bag inflator contained within the device. A final rule (Docket HM-215C)
provides that until October 1, 2000, a Division 2.2 air bag module is allowed to be
described as "'Compressed gas, n.o.s., 2.2, UN1956" or "Argon, compressed, 2.2, UN
1006." The final rule amended the Hazardous Materials Table by adding a new shipping
description, "Air bag modules, compressed gas, 2.2, UN3353." The basic description
shown on the Competent Authority (CA) Approval for Classification of Explosives is in
direct conflict with the basic description assigned to the device under the final rule.
Could you provide for the use of the old EX number previously assigned to UN1006 or
UN1956 with the new entry "Air bag modules, compressed gas, UN3353", or eliminate
the requirement that the EX number must be included on the shipping paper?
Al. A holder of a CA Approval affected by the adoption of Docket HM-215C may request, in
writing, a revision to the approval to reflect the new shipping description. In addition, on
September 30, 1999, we published a notice of proposed rulemaking (NPRM) under
Docket No. HM-218 that proposes to revise §§ 171.11 and 171.12 to exclude a Division
2.2 air bag inflator, air bag module or seat-belt pretensioner that is being offered for
international transportation from the requirement contained in § 173.166(c) to enter the
EX number on the shipping paper. It was also our intent to exclude a domestic shipment
final rule.
of a Division 2.2 device from the requirement. This inconsistency will be corrected in the
Q2.
Section 173.166(e) (4) permits the use of a reusable high strength plastic or metal
container or dedicated handling device for the shipment of air bag inflators and seat-belt
pretensioners from a manufacturing facility to the assembly facility. Sometimes, these
devices must be returned to the manufacturing facility because they are scratched,
(e) (4)?
damaged or otherwise unacceptable. Are return shipments permitted under paragraph

<<<PAGE 2>>>

No, return shipments are not authorized. However, RSPA issued an exemption that
provides for return shipments under § 173.166(e)(4). Any person may submit an
application for exemption in accordance with the procedures contained in § 107.105.
Your request for an amendment of § 173.166(e) (4) will be addressed in a separate letter.
I hope this information is helpful. Please contact us if we can be of further assistance.
Hattie L. Mitchell, Chief
Regulatory Review and Reinvention
Office of Hazardous Materials Standards

<<<PAGE 3>>>

1810 Green Lane
ShipMate, Inc.
ShipMate'
Redondo Beach, CA 90278-3618
00-0007
Training & Consulting
Dangerous Goods
Phone: 310-798-4200
Fax: 310-798-4339
E-mail: shipmate@shipmate.com
December 29, 1999
Mr. Ed Mazzullo
Chief, Standards Branch
U.S. Department of Transportation
Research & Special Programs Administration
400 Seventh Street, SW
Washington, DC 20590-0001
Subj:
Request for Interpretation: Air Bag Modules, Compressed Gas
Dear Mr. Mazzullo:
Steven Charles Hunt of ShipMate, Inc. is submitting this letter for and on behalf of a number of
automobile manufacturers including Toyota Motor Sales; Volvo Cars of North America; Mazda North
American Operations; and Nissan North America.
We respectfully request a written interpretation regarding the assignment of EX (Explosive
Registration) numbers to air bag modules assigned to the identification number UN3353.
RSPA's Final Rulemaking, HM-215C, published March 5, 1999, assigns a new description to air bag
modules that use a compressed gas cylinder to inflate the supplemental restraint system in a
vehicle. These devices are now described as:
AIR BAG MODULES, COMPRESSED GAS, 2.2, UN3353
Use of the new description is authorized as of March 5, 1999 but not required until October 1, 2000.
According to 49 CFR 173.166, these devices should be assigned an EX Number that is the same as
the air bag inflator contained within the device; however, these devices are currently assigned a
modules as, either:
basic description in the Competent Authority for the Classification of Explosives for the air bag
COMPRESSED GAS, N.O.S. (oxygen, helium), 2.2, UN1956; or
COMPRESSED GAS, N.O.S. (argon, oxygen), 2.2, UN1956; or
COMPRESSED GAS, N.O.S. (argon, helium), 2.2, UN1956; or
ARGON, COMPRESSED, 2.2, UN1006
This is the source of the confusion. Most common carriers require a copy of the Competent
Autory Approval for the Classification for Explosives, because the EX Number is entered on the
that assigned the basic description, it is in direct conflict with the basic description assigned to these
Shipping papers in contin with the basic description. When the carrier reads the CA Approval
devices under HM-215C.
Hazardous Materials Training • Information Systems • Compliance Inspections & Audits • Shipping & Regulatory Software

<<<PAGE 4>>>

ShipMate, Inc.
ShipMate®
Redondo Beach, CA 90278-3618
1810 Green Lane
Training & Consulting
Dangerous Goods
Fax: 310-798-4339
Phone: 310-798-4200
E-mail: shipmate@shipmate.com
Mr. Ed Mazzullo
Subj: Request for Interpretation
December 29, 1999
Page 2 of 2
"old" EX Number for AIR BAG MODULES, COMPRESSED GAS, UN3353 that were previously assigned to
Accordingly, we respectfully request your written interpretation that either permits the use of the
inability to maintain a cross reference between the Part Number and the EX Number; or in some
UN1006 or UN1956; or eliminates the use of the EX Number on the shipping paper, despite the
other way, clarifies this issue.
having the "new" shipping descriptions to reflect the "old" proper shipping name and identification
Currently, we are having to remark all packages sent from the original equipment manufacturers
number in order for the packages to be picked up by most common carriers. As you could
imagine, it has become prohibitively expensive to do so. Therefore, your assistance would be most
appreciated.
If I may be of assistance in any way, please call.
Regards,
ShipMate, Ind
Stever
Hazardous Materials Training • Information Systems • Compliance Inspections & Audits • Shipping & Regulatory Software
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