# University of California, Irvine — Hazardous Materials Safety Interpretation

- **operation:** document
- **citation:** 04-0034
- **title:** University of California, Irvine — Hazardous Materials Safety Interpretation
- **source type:** guidance
- **agency:** Pipeline and Hazardous Materials Safety Administration
- **status:** guidance
- **official:** true
- **published on:** 2004-03-09
- **effective on:** Not available
- **summary:** 04-0034 response to University of California, Irvine concerning 171.2.
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- **markdown:** https://regulus.evalyn.ai/document/phmsa-interpretation-04-0034.md
- **app url:** https://regulus.evalyn.ai/document/phmsa-interpretation-04-0034
- **source url:** https://www.phmsa.dot.gov/sites/phmsa.dot.gov/files/legacy/interpretations/Interpretation%20Files/2004/040034.pdf
**body:**

<<<PAGE 1>>>

of Transportation
U.S. Department
400 Seventh St., S.W.
Research and
Washington, D.C. 20590
Administration
Special Programs
MMAR 99 28064
University of California, Irvine
Mr. Chris Younghans-Haug
Ref. No. 04-0034
4600 Bison Avenue
Irvine, CA 92697-2725
Dear Mr. Younghans-Haug:
This is in response to your letter asking whether human cells
and human cell lines are regulated under the Hazardous
Materials Regulations (HMR; 49 CFR, Parts 171-180), the
International Civil Aviation Association (ICAO) Technical
and the International Air Transport Association (IATA)
Instructions for the
Safe Transport of Dangerous Goods by Aix,
Dangerous Goods Regulations.
being transported for research purposes and do not contain
You state that the materials are
pathogens.
marking of packages and use of a shipper's declaration if these
You also ask for clarification regarding the
materials are not subject to the regulations.
with certain exceptions
The HMR authorizes the use of the ICAO Technical Instructions.
not authorize the use of the IATA Dangerous Goods Regulations.
as an alternative to the HMR, but does
Regulations, we suggest you contact the organization at
For questions regarding the use of the IATA Dangerous Goods
514/390-6770.
Human cells and human cell lines
definition of Division 6.2 materials are not regulated under
that do not meet the
the HMR or the ICAO Technical Instructions unless the materials
meet the definition of another hazard class or are contained in
regulations, such as formalin
packages with other materials that are
(Class
subject to the
(Class 9).
3) or carbon dioxide
a proper shipping name, UN number and hazard class to be marked
You also ask whether these materials, if non-regulated, require
declaration
on packages and whether such materials require a shipper's
stating that the materials are hazardous.
Packages
040034
1111.2

<<<PAGE 2>>>

containing materials that are not subject to the regulations
may not be marked, certified, or otherwise represented as a
hazardous material when
(see
§ 171.2 (£) (2)) .
a hazardous material is not present
if you have additional questions.
I hope this information is helpful.
Please contact this office
Sincerely,
Hotter mithel
Hattie I. Mitchell, Chief
Regulatory Review and Reinvention
office of Hazardous Materials Standards

<<<PAGE 3>>>

UNIVERSITY OF CALIFORNIA, IRVINE
BERKELBY • DAVIS • IRVINE • LOS ANGELES • MERCED • RIVERSIDE • SAN DIEGO • SAN FRANCISCO
SANTA BARBARA • SANTA CRUZ
Mature
4600 BISON AVE.
ENVIRONMENTAL HEALTH AND SAFETY
§173.134
FAX NUMBER: (949) 824-8539
IRVINE, CALIFORNIA 92697-2725
Applicability,
February 9, 2004
Director Ed Mazzullo
Department of Trausportatior
Definition
Routing Attr: DHM-10
fice of Hazardous Materials Safet
04-0034
10 Seventh Street, S
ashington DC, 205!
Subject: Request for formal Letter of Interpretation
Dear Director Mazzullo:
Specimens—are regulated under the Hazardous Materials Regulations including those of ICAO and IATA.
I would like to know whether human cells and human cell lines commonly used in medical research—not Diagnostic
Universal Precautions, Standard Precautions, and those described in Appendix H
While we handle human cells and human cell lines in our rescarch labs according to the safety principles and practices of
(http://www.cdc.gov/od/ohs/biosfty/bmbl4/b4ah.htm) of Center for Disease Control's Biosafety for Medical and Biomedical
Laboratories, 4" Edition, the cells are not known to contain pathogens or cause harm to the environment.
The amount of sample per primary container that I would anticipate that a rescarcher might ship to colleagues at other research
ten (10) milliliters.
institutions ranges from less one (1) milliliter up to one hundred (100) milliliters. Generally, sample size would be less than
fiberboard outer packaging.
Our packaging consists of watertight primary container, absorbent padding, watertight secondary container, and then
If human cells and human cell lines for research purposes—not Diagnostic Specimens-and not known to contain pathogens
proper markings of the outer package would not require an UN number, proper shipping name, or class. Nor would the
or harm the environment are not regulated by the Hazardous Materials Regulations including those of ICAO and IATA, then
shipper need to complete the Shipper's Declaration to declare the goods as dangerous.
Your office's formal Letter of Interpretation will allow us to provide accurate shipping guidance to our medical researchers.
Cordiall
Chris Younghans-Haug
Chemical Safety Programs Specialist
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