# Hammond, Group, Inc. — Hazardous Materials Safety Interpretation

- **operation:** document
- **citation:** 04-0144
- **title:** Hammond, Group, Inc. — Hazardous Materials Safety Interpretation
- **source type:** guidance
- **agency:** Pipeline and Hazardous Materials Safety Administration
- **status:** guidance
- **official:** true
- **published on:** 2004-07-13
- **effective on:** Not available
- **summary:** 04-0144 response to Hammond, Group, Inc. concerning 172.101.
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- **source url:** https://www.phmsa.dot.gov/sites/phmsa.dot.gov/files/legacy/interpretations/Interpretation%20Files/2004/040144.pdf
**body:**

<<<PAGE 1>>>

of Transportation
J.S. Department
400 Seventh St., S.W.
Washington, D.C. 20590
Special Programs
Research and
Administration
JUL 13 2004
Mr. James Bandstra
Ref. No. 04-0144
Environmental Manager
Hammond, Group, Inc.
1414 Field Street
Hammond, IN 46325-6408
Dear Mr. Bandstra:
This is in response to your May 5, 2004 letter regarding classification of certain lead
compounds destined for export transportation under the Hazardous Materials Regulations
(HMR; 49 CFR Parts 171-180). Specifically, you ask whether your company is allowed to
classify your product as "Lead compounds, soluble, n.o.s., Division 6.1" for export
poisonous materials. You state the material is a soluble lead compound and contains a
transportation when it is known by testing not to meet the Division 6.1 criteria for
reportable quantity of lead metal.
The shipping name "Lead compounds, soluble, n.o.s." may not be used for a material that
does not meet the criteria for a Division 6.1 material as specified in § 173.132 of the
HMR. If you wish to apply for an exemption, the application for exemption procedures is
found in § 107.105 of the HMR, or you may contact the Office of Hazardous Materials
Exemptions and Approvals at 202-366-4511.
I hope this information is helpful.
Sincerely,
Chief, Standards Development
Office of Hazardous Materials Standards
040144
172.101

<<<PAGE 2>>>

HAMMOND
Foster
HAMMOND GROUP, INC.
$172.101
Proper Shipping Name
May 19, 2004
400 7th Street, SW, Room 8430
Office of Hazardous Materials Standards, DHM-10
04-0144
Washington, DC 20590
Dear Sir or Madam:
for certain lead compounds destined for export.
I have been directed to your office to pose a question concerning the proper shipping description
In discussions this week with Shane Kelley of the RSPA International Standards office, l
criteria for poisonous materials. It is also a soluble lead compound and has an RQ for lead metal.
explained that our company ships a lead compound known by testing not to meet the Division 6.1
is required to be used for our product. The following opinion was provided by Mr. Kelley on May
The question before us was whether the "Lead compounds, soluble, n.o.s. Division 6.1" category
>5% solubility) is toxic is incorrect. The Division 6.1 testing is the primary method of
"In our opinion the assumption that a material failing the solubility test (i.e. exhibiting a
expensive) means of determining whether a lead compound is soluble. However in
The solubility test is a secondary (and less
irrespective of the results of the solubility test."
It is clear from the above response that our material should be shipped for domestic transport as
a Class 9 Environmentally Hazardous Substance (RQ lead metal) and not as a Division 6.1
According to IMDG lead solubility test procedures, however, European producers are calling
products labeled in a similar manner. The question I pose here, then, is can our company ship
these materials (possibly in error) Div. 6.1 poisons. Our EU customers expect to have our
be in compliance with DOT regulations, since we know the material is not a Division 6.1 material?
this product for export labeled as Division 6.1 hazardous material rather than as Class 9 and still
If you have any questions, feel free to contact me anytime.
Sincerely,
James Bandstra
james Simstio
Hammond Group, Inc.
vironmental Manager
1414 Field Street • Post Office Box 6408 • Hammond, IN. 46325-6408
Tel: 219-931-9360 • FAX: 219-931-2140
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