07-0202
07-0202
Page 1U.S. Department of Transportation Pipeline and Hazardous Materials Safety Administration 1200 New Jersey Avenue, S.E. Washington, D.C. 20590 Mr. Joseph J. Krowitz Department of the Navy Naval Air Systems Command Building 2272, Room 350 NAS 471 23 Buse Road Patuxent River, MD 20670- 1537 Ref. No.: 07-0202 Dear Mr. Krowitz: This is in response to your October 15, 2007 letter regarding the transportation of primary lithium batteries contained in equipment under the Hazardous Materials Regulations (HMR; 49 CFR Parts 171 -1 80). According to your letter, your equipment containing one or two primary lithium batteries is authorized for transport via passenger aircraft because it meets the exception specified in Special Provision AlOl, in fj 172.102 of the HMR. You ask if the equipment described in your letter must be shipped as a Class 9 material. The answer is no. A piece of equipment containing a lithium battery must be transported as a Class 9 material if the battery contained therein is subject to the HMR as a Class 9 material. Based on the description in your letter, your batteries are excepted fiom the HMR; therefore, the equipment is not required to be shipped as a Class 9 material. I hope this information is helpfbl. If you have hrther questions, please do not hesitate to contact this office. Hattie L. Mitchell Chief, Regulatory Review and Reinvention Office of Hazardous Materials Standards#
Page 2Lithium Battery Determination of Classification for Shipment ?oI(d Page 1 of 3 Drakeford, Carolyn <PHMSA> Sent: Monday, October 15,2007 10:14 AM To : Drakeford, Carolyn <PHMSA> Cc: Gale, John <PHMSA> Subject: FW: Lithium Battery Determination of Classification for Shipment Attachments: 72fr-44929.pdf; Spec Sheet LSH-14.pdf; Spec Sheet LS-26500.pdf From: Relerford, Darral <PHMSA> Sent: Monday, October 15, 2007 9:44 AIY To: Pollack, Arthur < PHMSA> Subject: FW: Lithium Battery Determination of Classification for Shipment Arthur, I think that this needs to be handled as a letter of interp. a d J v U.S. 905 4 Speciae 9mtib and U p p d 9 M - 3 0 1200 ~Veu +ey aclenue, S.&. 53+, J%hm &23-418 wa6@wt, a.e. 20590 5d: 202-366-0260 $a: 202-366-3308 From: Krowitz, Joseph 3. CIV 6.6.4.5 [mailto:Joseph.J.Krowitz@navy.mil] Sent: Monday, October 15, 2007 7:49 AM To: Relerford, Darral <PHMSA> Subject: Lithium Battery Determination of Classification for Shipment Mr. Relerford, Per our phonecon o f 10 October 2007, I have reviewed the Recently Published Final Rulings from the HAZMAT.DOT.GOV website f o r 49 CFR Parts 171,172,173, and 175. The following are my conclusions: Part 171.12 North American Shipments (a)(6) Primary Lithium Batteries and Cells. The last sentence of this paragraph states, "The provisions o f this paragraph do not apply t o packages that contain 5kg (11 pounds) net weight o r less o f primary lithium batteries cells that are contained in o r packaged with equipment." Comment: Our equipment contains one o r two batteries, each weighing no more than 1.8 oz. Maximum total battery weight is 3.4 oz. The batteries are installed in the equipment. Therefore we meet the requirements o f this paragraph.#
Page 3Lithium Battery Determination of Classification for Shipment Page 2 of 3 Part 171.24 Additional requirements for the use of the ICAO technical instructions (d)(l)(ii) Primary Lithium Batteries and Cells. The second sentence of this paragraph states, "Equipment containing or packed with primary lithium batteries or cells are forbidden for transport aboard passenger carrying aircraft except as provided in 172.102, Special Provisions A101 of this subchapter." Part 172.102 Special Provisions A101 states, "A primary lithium battery or cell packed with or contained in equipment is forbidden for transport aboard a passenger carrying aircraft unless the equipment and the battery conform to the following provisions and the package contains no more than the number of lithium batteries or cells necessary to power the intended piece of equipment:" Comment: Our equipment only carries the number of batteries required to power the equipment, as determined by the manufacturer. "(1) The lithium content of each cell, when fully charged, is not more than 5 grams." Comment: Our batteries contain no more than 2.0 grams per battery. "(2) The aggregate lithium content of the anode of each battery, when fully charged, is no more than 25 grams." Comment: Once again, our batteries contain no more than 2.0 grams per battery. "(3) The net weight of lithium batteries does not exceed 5kg (11 pounds)." Comment: The maximum total weight of batteries for either unit is no more than 3.4 oz. Based on the findings described above, it is my understanding that shipment of our equipment with the lithium batteries installed does not constitute a hazard for transport aboard passenger carrying aircraft and are not required to be marked "PRIMARY LITHIUM BATTERIES - FORBIDDEN FOR TRANSPORT ABOARD PASSENGER AIRCRAFT." I would also like to know, if this is correct, does this also exempt the equipment from being classified as Class 9 material or is still Class 9 because it does contain lithium batteries regardless of the amount of lithium. As competent authority f o r the requirements of lithium battery shipment, we request you provide a final determination on the requirements f o r shipment of our equipment with the lithium batteries installed. <<72fr-44929.pdf>> <<Spec Sheet LSH-14.pdf>> <<Spec Sheet LS-26500.pdf>>#
Page 4Lithium Battery Determination of Classification for Shipment Page 3 of 3 Joe Krowitz PMA-209 Nav Systems DAPML (301) 757-6724 DSN: 757-6724#
Page 5Drakeford, Carolyn <PHMSA> Full Name: Last Name: First Name: Business Address: Ray Faucheux Faucheux Ray 5240 Coffee Drive New Orleans, La. 701 15 UNITED STATES 896-7800 ext. 120 (504)382-4161 Business: Mobile: E-mail: E-mail Display As:#
This material provides agency context. It does not replace binding regulatory text, and its legal effect depends on the underlying authority and facts.