# Swidler Berlin Shereff Friedman, LLP — Hazardous Materials Safety Interpretation

- **operation:** document
- **citation:** 04-0175
- **title:** Swidler Berlin Shereff Friedman, LLP — Hazardous Materials Safety Interpretation
- **source type:** guidance
- **agency:** Pipeline and Hazardous Materials Safety Administration
- **status:** guidance
- **official:** true
- **published on:** 2004-11-16
- **effective on:** Not available
- **summary:** 04-0175 response to Swidler Berlin Shereff Friedman, LLP concerning 173.22.
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- **markdown:** https://regulus.evalyn.ai/document/phmsa-interpretation-04-0175.md
- **app url:** https://regulus.evalyn.ai/document/phmsa-interpretation-04-0175
- **source url:** https://www.phmsa.dot.gov/sites/phmsa.dot.gov/files/legacy/interpretations/Interpretation%20Files/2004/040175.pdf
**body:**

<<<PAGE 1>>>

U.S. Depanment
of Transporta ion
400 Seventh St., S.W.
Washington, D.C. 20590
Research and
NOV 16 2004
Special Programs
Administration
Mr. Robert N. Steinwurtzel
Reference No.: 04-0175
Swidler Berlin Shereff Friedman, LLP
Suite 300
3000 K Street, NW
Washington, DC 20007-5116
Dear Mr. Stein wurtzel:
This responds to your letter concerning the classification and applicability of the Hazardous
Materials Regulations (HMR; 49 CFR Parts 171-180) to materials similar to battery litharge and
red lead which are used in processing battery plates.
lead, and trace amounts of various elements. The material is in powder form with a median
You state that pattery litharge consists of approximately 73-81% lead monoxide, 19-27% free
particle size of 2.2 micrometers, and based on a screen analysis, 99% of the particles are smaller
than 45 microreters. The chemical composition of 25% red lead is approximately 21-29% lead
tetraoxide, 69-76% monoxide, a maximum of 2.5% free lead, and trace amounts of other
elements. The material is in powder form, median particle size is 3.0 micrometers, and based on
screen analysis 99.5% of particles are smaller than 45 micrometers. Your letter also indicates
that the amount of lead in one package meets or exceeds the Reportable quantity for "Lead" in
Appendix A of § 172.102.
Your letter includes a number of statements concerning the applicability of the HMR to
shipments of lead and environmentally hazardous substances. Your understanding of the HMR,
as outlined in your letter, is correct. With regard to item #1, the reference to "40 C.F.R.
§ 172.101, App. A, ... " on page 2, should read "49 C.F.R., App. A, ..."
Your specific questions are paraphrased and answered as follows:
Q1. Are products with a chemical composition similar to battery litharge and 25% red lead
subject to the HMR?
Al. Under § 173.22, it is a shipper's responsibility to properly class, package, mark, and label a
hazardous material for transportation in commerce. This Office generally does not perform this
function. If the materials in question (1) are similar in chemical composition to the battery
litharge and 25% Red lead, (2) do not meet the definition of any other hazard class definition in
Part 173, including hazardous waste or marine pollutant, and (3) meet or exceed the reportable
quantity for "Lead" in Appendix A of the § 172.101 Hazardous Materials Table (HMT) in one
package, they are subject to the HMR.
173.22
040175

<<<PAGE 2>>>

Q2. How should these hazardous substances be described on the shipping paper?
A2. "Lead" is not listed as a proper shipping name in the HMT; therefore, a shipping
name that best describes the material must be selected from the generic or n.o.s.
session cord, lady, too the saterial end c/ship picking reprie and zave an
subsidiary hazard, it any,
ymbol "G" in column 1 of the HMT require the technical name of the hazardou:
naterial in parentheses in association with the basic description. Hazardous substance
meeting only the Class 9 definition may be described as "RQ, Environmentally hazardous
substances, solid, n.o.s., 9, UN 3077, PG III (lead)."
Q3. What marking and placarding requirements apply when these materials are
transported in a bulk packaging?
A3. As required by § 172.302, a bulk packaging containing a hazardous material must be
marked with the identification number of the hazardous material; a packaging with a
capacity of 1,000 gallons or more must be marked on each side and each end; a
packaging with a capacity of less than 1,000 gallons must be marked on two opposing
sides. 'The identification number must be displayed on orange panels, on placards, or on a
white square-on-point display configuration. For domestic transportation, a Class 9
placard is not required (see § 172.504(f)(9)).
Q4. Are carriers transporting hazardous materials in a bulk packaging subject to the
registration requirements in 49 CFR 107.601?
A4. The answer is yes. A carrier who transports a hazardous material in a bulk
packaging with a capacity greater than 3,500 gallons or 468 cubic feet is subject to the
registration requirements.
I trust this satisfies your inquiry.
Sincerely,
Halte z: Metthel
Hattie L. Mitchell
Chief, Regulatory Review and Reinvention
Office if Hazardous Materials Standards

<<<PAGE 3>>>

CovPIr
$173.23
SWIDLER BERLIN SHEREFF FRIEDMAN, LLP
Classification
3000 K STREET, NW, SUITE 300
THE WASHINGTON HARBOUR
04-0175
WASHINGTON, DC 20007-5116
ROBERT N. STEINWURTZEL
TELEPHONE (202) 424-7500
THE CHRYSLER BUILDING
NEW YORK OFFICE
TELEPHONE: (202) 424-7830
FACSIMILE (202) 424-7643
405 LEXINGTON AVENUE
RNSTEINWURTZEL@SWIDLAW.COM
FACSIMILE: (202) 424-7645
WWW.SWIDLAW.COM
TELEPHONE (212) 973-0111
NEW YORK, NY 10174
FACSIMILE (212) 891-9598
July 21, 2004
Mr. Edward T. Mazzullo
Director, Office of Hazardous Materials Standards
U.S. DOT/RSPA (DHM-10)
400 7th Street, S.W.
Washington, D.C. 20590-0001
Re:
Battery Litharge and Red Lead
Dear Mr. Mazzullo:
I am writing for clarification to determine the classification of products known as battery
types of products when used for the manufacture of automotive batteries.
The chemical composition of the battery litharge is approximately 73-81% lead
monoxide, 19-27% free lead, and trace amounts of various elements. Battery litharge has a
typical value of 26% free lead. The material is in powder form with a median particle size of 2.2
micrometers. A screen analysis (325 mesh) indicates that 99% is finer than 45 micrometers.
The chemical composition of 25% Red Lead is approximately 21 to 29% lead tetraoxide,
The material is in powder form with a median particle size of 3.0 micrometers. A screen
69% to 76% lead monoxide, a maximum of 2.5% free lead, and trace amounts of other elements.
analysis (325 mesh) indicates that 99.5% is finer than 45 micrometers.
follows:
My understanding of the Hazardous Materials Regulations, 49 C.F.R. Parts 171-180, is as
Lead is listed as a hazardous substance under 49 C.F.R. § 172.101, Table 1 to
Appendix A. The reportable quantity for lead is 10 pounds, but only applies to

<<<PAGE 4>>>

Mr. Edward T. Mazzullo
July 21, 2004
Page 2
those pieces of metal that have a diameter smaller than 100 micrometers (0.004
inches). 40 C.F.R. § 172.101, App. A, Table 1, n.é. A single package of material
containing a reportable quantity of lead would meet the definition of a hazardous
substance, which falls under the definition of hazardous material. 49 C.F.R.
§ 171.8.
Neither lead monoxide (PO) nor lead tetraoxide (Pb304) are listed as hazardous
substances or as a hazardous material under the Hazardous Material Regulations.
Although these are lead compounds, it is our understanding that they do not meet
the definition of "Division 6.1" (poisonous material) under 49 C.F.R. § 173.132
and, thus, do not fall under "lead compounds, soluble, n.o.s." See Letter from
Hattie L. Mitcheil, Chiei, Regulatory Review and Reinvention, Office of
Hazardous Materials Standards, U.S. DOT, to Jeffrey T. Miller, Lead Industries
Ass'n, Inc., Mar. 17, 2000, p. 1.
3)
Lead is not listed in the Hazardous Material Table under 49 C.F.R. § 172.101, but
is listed as a hazardous substance. For a solid product containing lead, a
hazardous substance that is not otherwise specified, the proper shipping name
would be "Environmentally hazardous substance, solid, n.o.s." For domestic
transport of hazardous substances that are not hazardous wastes, however, "Other
regulated substances, liquid or solid, n.o.s.," as appropriate, may be used as the
shipping description. 49 C.F.R. § 172.102(c)(1).
The class listed for "Environmentally hazardous substances, solid, n.o.s." is Class
9, which is the hazard class for a hazardous material that meets no other hazard
class, including any material that meets the definition of a hazardous substance.
49 C.F.R. § 173.140. The identification number and packing group is UN3077
and PG III, respectively. For such generic names, the technical name of the
hazardous material must be included in parenthesis, e.g., (lead). 49 C.F.R.
§§ 172.101(b)(4), 172.203(c)(1).
5)
Any package of 40 pounds or more of battery litharge, as described above, would
meet the definition of hazardous substance (e.g., 40 Ibs x 99% x 26% = 10.3 Ibs),
and thus be subject to the HMR.
6)
Any package of 400 pounds or more of 25% Red Lead, as described above, would
meet the definition of hazardous substance (e.g., 400 Ibs x 99.5% × 2.5% = 10 lb)
and thus be subject to the HMR.
7)
General marking requirements for bulk packages require the identification
number on each side and each end of the packaging of 1,000 gallons or more, or
on two opposing sides if less than 1,000 gallons. 49 C.F.R § 172.302. Although
for domestic transportation a Class 9 placard is not required, subpart D of the
HMR require identification numbers be on placards, orange panels, or white-
square-on-point display configuration that meet the requirements of 49 C.F.R.
§ 172.332 for either non-bulk or bulk-packaging. 49 C.F.R. §§ 172.331, 172.332,

<<<PAGE 5>>>

Mr. Edward T. Mazzullo
July 21, 2004
Page 3
172.504(f)(9). A Class 9 label is also required for non-bulk packages and bulk
packagings (other than a cargo tank, portable tank or tank car with a volumetric
capacity of less than 640 cubic feet), unless the bulk package is placarded in
accordance with subpart F. 49 C.F.R. §§ 172.400(a), 172.446. For bulk
packaging, then, an orange panel with the proper shipping identification is
sufficient to meet the marking, labeling and placarding requirements of subparts
D, E and F of the HMR.
Please confirm that our understanding of the HMR as outlined above is accurate. In
particular, please verify that (a) products with a similar chemical composition as the battery
litharge and 25% Red Lead described above must meet the HMR for packages containing at least
and transported in bulk trucks in these amounts or more are properly labeled with an orange
40 pounds and 400 pounds of the product, respectively, and (b) these products when packaged
›anel and identified as "RQ, Environmentally hazardous substances, solid, n.o.s., Class 9
JN3077, PG III (lead)" to meet the requirements of the HMR. Finally, please confirm tha
transporters of these products in bulk packaging having a capacity of more than 13.24 cubic
I appreciate your prompt attention to this matter. Thank you in advance for your time
and assistance.
Sincerely,
Robert N. Steinwurtzel
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