# Invacare Corporation — Hazardous Materials Safety Interpretation

- **operation:** document
- **citation:** 08-0032
- **title:** Invacare Corporation — Hazardous Materials Safety Interpretation
- **source type:** guidance
- **agency:** Pipeline and Hazardous Materials Safety Administration
- **status:** guidance
- **official:** true
- **published on:** 2008-06-16
- **effective on:** Not available
- **summary:** 08-0032 response to Invacare Corporation concerning 172.102, 173.185.
- **machine formats:** - **json:** https://regulus.evalyn.ai/document/phmsa-interpretation-08-0032.json
- **markdown:** https://regulus.evalyn.ai/document/phmsa-interpretation-08-0032.md
- **app url:** https://regulus.evalyn.ai/document/phmsa-interpretation-08-0032
- **source url:** https://www.phmsa.dot.gov/sites/phmsa.dot.gov/files/legacy/interpretations/Interpretation%20Files/2008/080032.pdf
**body:**

<<<PAGE 1>>>

U.S. Department
of Transportation
Pipeline and Hazardous
Materials Safety
Administration
JUN 1 6 2008
1200 New Jersey Avenue, SE
Washington, D.C. 20590
Ms. Carroll Martin
Regulatory Affairs Manager
Invacare Corporation
One lnvacare Way,
Elyria, OH 44035
Ref. No.: 08-0032
Dear Ms. Martin:
This is in response to your January 30,2008 letter and subsequent conversation with Ben Supko
of my staff regarding the applicability of the Hazardous Materials Regulations (HMR; 49 CFR
Parts 100- 1 80) to a device that your company calls the Invacare Portable Oxygen Concentrator
XPOl00 and an external battery module.
On August 9,2007, PHMSA amended the HMR to tighten the safety standards for transportation
of lithium batteries, including both primary (non-rechargeable) and secondary (rechargeable)
lithium batteries (HM-224C & HM-224E; 72 FR 44929). A copy of the rulemaking is enclosed.
Effective January 1, 2008, the Pipeline and Hazardous Materials Safety Administration revised
and relocated the 8-gram exception for small lithium batteries formerly found under
$ 173.185(b)(2) of the HMR. New requirements applicable to the Invacare XPOlOO and external
battery module, described in your letter, are provided in Special Provision 188 ( 5 172.102).
In your letter, you indicate that the Invacare XPOlOO portable oxygen concentrator and external
battery module meet the following criteria:
(1) the pressure of the oxygen in the device does not exceed 40.6 psia at 20 O C ;
(2) the cells contain not more than 1.5 grams of lithium equivalent content;
(3) the lithium ion batteries contain an aggregate equivalent lithium content of not more
than 8g;
(4) the device contains no other materials subject to the HMR; and
(5) the batteries are fully contained in equipment and packaged in a manner to preclude
sparks or the generation of a dangerous quantity of heat.
Based on the information provided, the Invacare XP0 100 portable oxygen concentrator and
external battery module meet Special Provision 188. Provided they continue to meet the
requirements established by Special Provision 188, you are not otherwise subject to the HMR.

<<<PAGE 2>>>

You should also note that Federal Aviation Administration (FAA) approval is required before
these electronic devices may be used by passengers on board aircraft. The FAA published a final
rule in the Federal Register regarding these devices on July 12,2005 (70 FR 40 156). A copy of
the rulemaking is enclosed.
In addition, even with FAA approval the air carrier ultimately determines what may or may not
be camed on its aircraft. We suggest that you check with the air canier to ensure that the
Invacare XPO 100 portable oxygen concentrator and external battery module may be carried.
I hope this information is helpful. If you have further questions, please do not hesitate to contact
this office.
Sincerely,
1 '/
Edward T. Mazzullo
Director
Office of Hazardous Materials Standards

<<<PAGE 3>>>

January 30,2008
Ms. Hattie Mitchell
Chief, Regulatory Review and Reinvention
U. S. Department of Transportation
Pipeline and Hazardous Materials Safety Administration
Office of Hazardous Materials Standards
1200 New Jersey Avenue, SE East Building, 2nd Floor
Washington, DC 20590
RE: Invacare Portable Oxygen Concentrator
Dear Ms. Mitchell:
Invacare is requesting written confirmation from the Pipeline and Hazardous Materials
Safety Administration that the Invacare Portable Oxygen Concentrator XPOlOO is not
subject to the U.S. hazardous materials regulation under HMR; 49 CFR Parts 100-1 80
after review of all appropriate information.
The Invacare XPOlOO Portable Oxygen concentrator is a lightweight device that
separates nitrogen from room air through the pressure swing adsorption (PSA) process
and stores the resultant concentrated oxygen gas for delivery to patients who need
supplemental oxygen therapy (see Exhibit A). The XPOl00 device delivers the oxygen to
a patient through the pulse dose delivery meihod for maximum effectiveness and
operational time. This means that the XPOlOO delivers oxygen only when a breath is
detected. If no breath is detected (i.e. the cannula detaches from the device or the patient
takes the cannula off), no oxygen is delivered. This feature of delivering oxygen only
when a breath is detected prevents oxygen saturation of the surrounding area or materials
when the cannula is not connected to the concentrator or the patient.
The maximum internally attainable pressure during the PSA cycle of the Invacare
XP0100 is 23.5 PSIG (38.2 PSIA) over an operating temperature range of 5°C to 40°C.
As this maximum operating pressure is lower than the 40.6 PSIA at 20°C for a Division
2.2 gas in 49 CFR 173.1 15(b)(l), Invacare feels the XP0100 device is not subject to the
U.S. HMR regulations for oxygen gas.
The XPOl00 device can be powered by an internally captive lithium ion battery pack that
is not customer removable or replaceable, an external AC to DC power adapter, an
external DC to DC power adapter, or an external accessory lithium ion battery pack. This
INVACARE CORPORATION
One lnvacare Way Elyria, Ohio 44036-2125 USA

<<<PAGE 4>>>

allows for maximum flexibility and operational time with multiple power sources.
Recharging is only available with the use of the ACIDC or DCIDC power adapters.
The internally captive lithium ion battery pack (see Exhibit F) consists of 8 cylindrical
2.6 amp-hour lithium ion cells (see Exhibits B and C) with a total lithium equivalent
content of 6.24 grams of lithium The internally captive battery pack is not user
accessible and not replaceable by a patientluser. It is securely captured in the product and
has passed all applicable UN Manual of Tests and Criteria requirements for lithium
battery packs (see Exhibits D and E). The internally captive mechanism of the Invacare
XPOlOO also prevents any user from generating sparks or short-circuiting as it is not
externally accessible. The battery pack terminals are not exposed to any outside contact
by virtue of being totally integrated into the product. (see Exhibit A)
The external accessory battery module (see Exhibit I) for extended operating time is a
self-contained power accessory for the Invacare XPOlOO device. The external battery
module contains a separate battery pack that consists of 8 cylindrical 2.6 amp-hour
lithium ion cells with a total lithium equivalent content o f 6.24 grams of lithium (see
Exhibit G). The lithium battery pack is not user accessible and is not replaceable by a
patientluser. It is securely captured in the external module and has passed all applicable
UN Manual of Tests and Criteria requirements for lithium battery packs (Exhibits D and
E). The captive mounting mechanism of the external battery module also prevents any
user fi-om generating sparks or short-circuiting the lithium battery pack. The battery pack
terminals are not exposed to any outside contact as they are connected to an intervening
power switching and charging circuit board (see Exhibit K) that interfaces to the Invacare
XP0100 device. The external battery module connection cable (see Exhibit J) contains a
connector that prevents accidental shorting or generation of sparks during handling or
storage.
Invacare feels that based on the requirements of 49 CFR 173.185(~)(2), both the
internally captive lithium battery pack and the lithium battery pack in the external battery
module are exempt fi-om the HMR requirements. The individual cells do not contain
more than 5 grams of lithium equivalent grams and each battery pack does not contain
more than 25 grams of lithium equivalent grams. Each battery pack has been tested and
approved to the UN Manual of Tests and Criteria for all appropriate lithium celVpack
testing. In addition, both the internally captive and external battery packs are packed
securely within the respective product case and are prevented fi-om short-circuiting and
spark generation.
INVACARE CORPORATION
One Invacare Way Elyria, Ohio 44036-2125 USA

<<<PAGE 5>>>

Invacare believes that all the other materials used in the device are not subject to the U.S.
hazardous materials regulation under HMR 49 CFR Parts 100-1 80 (Exhibit H).
With all of the preceding information, Invacare asks that the PHMSA confirm that the
Invacare Portable Oxygen Concentrator XPOlOO is not subject to the U.S. hazardous
materials regulation under HMR; 49 CFR Parts 100-1 80.
If you need any additional information or wish to speak with me regarding this
submission, please feel free to contact me by phone at 440-329-6356 or by e-mail at
Carroll. Martin@invacare.com.
You may contact us in either ofthe following ways with your decision:
Mail: Carroll Martin, One Invacare Way, Elyria, Ohio 44035
E-Mail: Carroll. Martin(u;invacare.co~n
Fax: 440-326-3458
Respectfully submitted, / /
Regulatory ~ f B k s Manager
Invacare Corporation
INVACARE CORPORATION
One Invacare Way Elyria, Ohio 44036-2125 USA
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