# AirTran Airways, Inc — Hazardous Materials Safety Interpretation

- **operation:** document
- **citation:** 01-0129
- **title:** AirTran Airways, Inc — Hazardous Materials Safety Interpretation
- **source type:** guidance
- **agency:** Pipeline and Hazardous Materials Safety Administration
- **status:** guidance
- **official:** true
- **published on:** 2001-05-25
- **effective on:** Not available
- **summary:** 01-0129 response to AirTran Airways, Inc concerning 175.10.
- **machine formats:** - **json:** https://regulus.evalyn.ai/document/phmsa-interpretation-01-0129.json
- **markdown:** https://regulus.evalyn.ai/document/phmsa-interpretation-01-0129.md
- **app url:** https://regulus.evalyn.ai/document/phmsa-interpretation-01-0129
- **source url:** https://www.phmsa.dot.gov/sites/phmsa.dot.gov/files/legacy/interpretations/Interpretation%20Files/2001/010129.pdf
**body:**

<<<PAGE 1>>>

of Transportatior
J.S. Department
esearch ane
Administration
pecial Program
MAY 2 5 2001
Mr. Gregory R. Curtis
Ref. No. 01-0129
Director, Customer Service Standards and Procedures
AirTran Airways, Inc.
9955 AirTran Boulevard
Orlando, FL 32827
Dear Mr. Curtis:
This is in response to your letter dated May 23, 2001, concerning requirements in the Hazardous
Materials Regulations (HMR; 49 CFR Parts 171-180) for the safe transportation aboard an
aircraft of a wheelchair or other battery-powered mobility aid equipped with a nonspillable
battery. Specifically, you ask for clarification of provisions in § 175.10(a)(19)(iv).
Your questions are paraphrased and answered as follows:
Q1.
Is it permissible to transport a wheelchair with an attached nonspillable battery when the
wheelchair cannot be loaded in an upright position?
Al.
Yes. As indicated in the final rule (58 FR 50496, September 27, 1993) that adopted
§ 175.10(a)(19), "RSPA stated that the intent of the change was to clarify that a
nonspillable battery may be removed from the wheelchair and packed separately, if
necessary (e.g., if the battery were not adequately secured to the wheelchair)." When a
nonspillable battery is securely attached to a wheelchair in a manner that assures it will
not become separated under normal conditions of transportation, there is no need for the
nonspillable battery to be packed separately. Accordingly, the wheelchair then may be
loaded in other than an upright position.
Q2.
When a wheelchair cannot be loaded in an upright position, does the battery have to be
"NONSPILLABLE" or "NONSPILLABLE BATTERY " or is it acceptable for the
fully enclosed in a rigid housing (outer package) that is plainly and durably marked
battery to simply be secured to the wheelchair?
A2.
When a wheelchair cannot be stored in an upright position, the provisions of
§ 175.10(a)(19) require that a nonspillable battery must be removed and separately
packaged only when the battery is not securely attached to the wheelchair. Even if secured
directly to the wheelchair, the battery must be marked "NONSPILLABLE" or
"NONSPILLABLE BATTERY." See § 173.159(d).
010129
11510

<<<PAGE 2>>>

•
Q3
What is the intent of the packaging and marking requirements in § 173.159(d)(1)-(2)?
A3.
Section 173.159(d) addresses specific standards that a nonspillable battery must meet to
intended to facilitate the easy identification of a nonspillable battery by carriers,
reshippers, and compliance enforcement personnel to know whether the battery may be
offered for transportation or transported under the general exception from the HMR.
I hope this satisfies your inquiry. If we can be of further assistance, please contact us.
Sincerely,
Thorn ts. Allen
Thomas G. Allan
Senior Transportation Regulations Specialist
Office of Hazardous Materials Standards

<<<PAGE 3>>>

AIRTRANHDQ
Fax:14072515602
May 23 '01
10:04
P. 01/02
AirTran.
Allan.
$175.10(a) 19)(iv)
Aircraft
Gregory R. Curtis
01-0129
Director Customer Service Standards and Procedures
Tom Allen
DHM-10
Office of Hazardous Material Standards.
Washington, DC 20590
United States Department of Transportation
Dear Mr. Allen:
I am writing to request a formal interpretation of CFR 49, Part 175.10(aX19Xtv) as it
pertains to the acceptance of wheelchairs or mobility aids equipped with nonspillable
batteries. Specifically, AirTran Airways has operated with the understanding that CFR
49, Part 175.10(a)(19)(iv) requires a wheelchair or other mobitity aid equipped with &
requirements:
nonspillable battery to be carried as checked baggage in accordance with the following
• The battery is removed and placed in a strong, rigid package that is marked
NONSPILLABLE BATTERY, or
• It is handled in accordance with 175.10(a)(20)(iv)
The placement and content of the parenthetical reference contained in CFR 49, Part
175.10(aX19X(iv) advocates that the battery mist be contained in an outer package (fully
enclosed, rigid housing) that is properly marked. This interpretation is supported by
CFR 49, Part 175.10(a)(19Xi), which requires the battery to meet the provisions of
Section 173.159 (d). Section 173.159 (dX(1) requires the battery to be protocted agamst
short circuits and securely packaged, and Section 173.159 (aX2) requires the battery and
outer packaging to be plainly and durably marked "nonspillable" or "nonspillable
placed in an outer package to prevent short circuits and damage.
battery". Collectively, the requirements portray a desire to have the nonspillable batteries
I am seeking clarification and guidance with respect to the following:
1. Is it permissible to transport, by aircraft, a wheelchair or mobility aid with a
stowed, secured and/or unloaded in an upright position?
nonspillable battery attached when the wheelchair or mobility aid camot be loaded,

<<<PAGE 4>>>

AIRTRANHDQ
Fax: 14072515602
May 23 '01
10:05
P. 02/02
2. If item 1 above is acceptable, does the battery have to be fully enclosed in a rigid
"NONSPILLABLE BATTERY", or is it acceptable for the battery to simply be
housing (outer package) that is plainly and durably marked "NONSPILLABLE" OF
secured to the wheelchair or mobility aid?
3. What is the intent of the packaging and marking requirements in Sections 173.159
(d)X1) and (2)?
I greatly appreciate your assistance with this very important matter.
Sincerely,
Fregory N. Curtis
Gregory R. Curtis
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