# Arkansas Department of Environmental Quality — Hazardous Materials Safety Interpretation

- **operation:** document
- **citation:** 05-0196
- **title:** Arkansas Department of Environmental Quality — Hazardous Materials Safety Interpretation
- **source type:** guidance
- **agency:** Pipeline and Hazardous Materials Safety Administration
- **status:** guidance
- **official:** true
- **published on:** 2006-03-27
- **effective on:** Not available
- **summary:** 05-0196 response to Arkansas Department of Environmental Quality concerning 173.164.
- **machine formats:** - **json:** https://regulus.evalyn.ai/document/phmsa-interpretation-05-0196.json
- **markdown:** https://regulus.evalyn.ai/document/phmsa-interpretation-05-0196.md
- **app url:** https://regulus.evalyn.ai/document/phmsa-interpretation-05-0196
- **source url:** https://www.phmsa.dot.gov/sites/phmsa.dot.gov/files/legacy/interpretations/Interpretation%20Files/2005/050196.pdf
**body:**

<<<PAGE 1>>>

U.S. Department
of Transportation
Washington, D.C. 20590
400 Seventh Street, S.W.
Hazardous Materials Safety
Pipeline and
Administration
MAR 27 2006
Mr. Robert Hunter
Ref. No. 05-0196
8001 National Drive
Arkarsas Department of Environmental Quality
P.O. Box 8913
Little Rock, AR 72219-8913
Dear Mr. Hunter:
This responds to your request for clarification of the Hazardous Materials Regulations
(49 CFR; HMR Parts 171-180) and its applicability to the transportation of equipment
that contains mercury. You state that the Environmental Protection Agency (EPA) added
mercury-containing equipment to its list of universal wastes, as regulated under the
Resource Conservation and Recovery Act (RCRA). You ask how this effects a
commercial motor carrier transporting electronic waste and whether the equipment may
be placed on pallets and surrounded with stretch wrap.
A material is subject to the HMR if it meets the definition under the HMR of a hazardous
waste, a hazardous substance, a marine pollutant, or any hazard class. A hazardous
waste, as defined in § 171.8 for the purposes of transportation, is a material that is subject
to the Uniform Hazardous Waste Manifest (UHWM) requirements of the Environmental
Protection Agency (EPA), as specified in 40 CFR Part 262. Therefore, if a material is
subject to the UHWM requirements, the material will, at a minimum, meet the definition
of a hazardous waste under the HMR.
As indicated by the letter "A" in Column (1) of the § 172.101 Hazardous Materials Table,
"Mercury contained in manufactured articles" is subject to the HMR when transported by
hazardous substance (see definition in § 171.8) if the amount of mercury contained in one
aircraft. When being transported by other modes of transportation, it is regulated as a
package is one pound or more. The packaging requirements and exceptions for mercury
contained in manufactured articles are specified in § 173.164. Provided the packaging
requirements are met in § 173.164, and in § 173.27 for transportation by aircraft, the
173.164
050196

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packages may be overpacked on pallets with stretch wrap. The required HMR markings
and labels must either be visible through the stretch wrap or be visibly displayed on the
stretch wrap.
I hope this information is helpful. Please contact this office should you have additional
questions.
incerely,
Hotle Z. Michel
Hattie L. Mitchell
Chief, Regulatory Review and Reinvention
Office of Hazardous Materials Standards

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Message
Ul Jatyre Page lof
• 1 0 6a
Edmonson, Eileen <PHMSA>
mercury
From:
Hunter, Robert [HUNTER@adeq.state.ar.us]
Sent:
Monday, August 08, 2005 12:07 PM
05-0196
To:
Edmonson, Eileen <PHMSA>
Subject: RE: EPA Article: ELECTRONICS REUSE AND RECYCLING
Eileen, Thank you for the information. I received a call from someone in your office last week after you sent me the
0041 appeared on the letter. The city had some questions concerning transporting materials under HMR.
nformation and he directed me to a letter dated 10/18/2000-171.1 to the City of Houston, Texas. The Reference No. 01)-
I understand the language and the rules as they apply. A municipality operating their own trucks does not fall under
required.
HMR. But if that municipality uses a commercial trucking firn the firm doe sfall under HMR and the packaging would be
Hazardous Waste Program; Mercury Containing Equipment
On Friday, August 5th a new rule came down from EPA. Hazardous Waste Management System; Modification of the
SUMMARY: Today's final rule adds mercury-containing equipment to the
federal list of universal wastes regulated under the Resource
Conservation and Recovery Act (RCRA) hazardous waste regulations.
Handlers of universal wastes are subject to less stringent standards
for storing, transporting, and collecting these wastes. EPA has
concluded that regulating spent mercury-containing equipment as a
universal waste will lead to better management of this equipment and
will fac litate compliance with hazardous waste requirements.
DATES: This final rule is effective on August 5, 2005.
'What effect will this have on transporting Electronic waste? Can Electronic waste be placed on pallets, stretch wrapped
Governor. We are trying to make it as painless as possible for the collection and transporting of this enormous amount of
anc: labeled properly for shipping if a community contracts with a commercial hauler? I am working on this project for our
waste tat not only is Arkansas dealing with but all states.
Thank you and I looking forward to your response.
Robert Hunter
Arkansas Department of Environmental Quality
Recycling/Marketing Branch Manager
P.O. Bcx 8913
8001 National Drive
501-682-0814
Little Rock, AR 72219-8913
Fax 501-682-0568
----Original Message-----
18/08/2005

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Message
Page 2 of 2
From: eileen.edmonson@dot.gov [mailto:eileen.edmonson@dot.gov]
Sent: Monday, August 01, 2005 2:33 PM
Subject: EPA Article: ELECTRONICS REUSE AND RECYCLING
To: Hunter, Robert
Here's the link we discussed:
http://www.epa.gov/wastewise/pubs/wwupda14.txt
Sincerely,
Eileen Edmonson
Transportation Regulations Specialist
Office of Hazardous Materials Standards
018/08/2005
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