# Gefahrgutberatung/Gefahrgutausbilding — Hazardous Materials Safety Interpretation

- **operation:** document
- **citation:** 10-0043
- **title:** Gefahrgutberatung/Gefahrgutausbilding — Hazardous Materials Safety Interpretation
- **source type:** guidance
- **agency:** Pipeline and Hazardous Materials Safety Administration
- **status:** guidance
- **official:** true
- **published on:** 2010-05-19
- **effective on:** Not available
- **summary:** 10-0043 response to Gefahrgutberatung/Gefahrgutausbilding concerning 171.23.
- **machine formats:** - **json:** https://regulus.evalyn.ai/document/phmsa-interpretation-10-0043.json
- **markdown:** https://regulus.evalyn.ai/document/phmsa-interpretation-10-0043.md
- **app url:** https://regulus.evalyn.ai/document/phmsa-interpretation-10-0043
- **source url:** https://www.phmsa.dot.gov/sites/phmsa.dot.gov/files/legacy/interpretations/Interpretations/2010/100043.pdf
**body:**

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U.S. Department of Transportation Pipeline and Hazardous Materials Safety Administration
~~AY 19 2010
1200 New Jersey Ave. SE
Washington. D.C. 20590
Mr. Jens-Thomas Rueckert
Manager Training & Projects
GefahrgutberatungiGefahrgutausbilding
Baden Airpark
Airport Boulevard B 210
D-77836 Rheinmiinster Germany
Ref. No.: 10-0043
Dear Mr. Rueckert:
This is in response to your February 25,2010 email requesting clarification of the International
Civil Aviation Organization Technical Instructions for the Safe Transport of Dangerous Goods by
Air (ICAO TI) with regard to their use as authorized by the Hazardous Materials Regulations
(HMR; 49 CFR Parts 171-180). Specifically, you ask for clarification ofthe requirements
referenced in United States (U.S.) Variation 16 of the ICAO TI applicable to the air transport of
air bag modules, air bag inflators, and seatbelt pretensioners.
According to your letter most air bags produced in Gennany are assigned either "UN0503, Air
bag inflators, or Air bag modules, or Seat-belt pretensioners, lAG, PG II" or "UN3268, Air bag
inflators, or Air bag modules, or Seat-belt pretensioners, 9, PG III" depending on whether the
article meets the requirements oftest series 6(c) in the United Nations Manual ofTests and
Criteria. In accordance with § 171.23 and U.S. Variation 16, air bag inflators, air bag modules,
and seat-belt pretensioners transported to from or within the United States must be reviewed,
approved and assigned an EX number by the competent authority ofthe United States. U.S.
Variation 16 also requires air bag inflators, modules, and pretensioners that meet the definition
for a Division lAG explosive to be transported using the description "UN043I, Articles,
pyrotechni c for technical purposes, I.4G, PG II."
As provided in § l72.102(c), Special provision 161, for transportation within the United States,
air bag inflators, air bag modules, or seat belt pretensioners that meet the criteria for a Division
l.4G explosive must be transported using the description, "UN043 I , Articles, pyrotechnic for
technical purposes l.4G, PG II." This provision applies only to domestic transport.

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Shipments that originate outside of the United States that are offered for transportation and
transported in accordance with the ICAO TI are not subject to this requirement. However, you
should note that prior to transport in commerce, these devices must be reviewed, approved and
assigned an EX number by the competent authority of the United States. We anticipate correcting
this inconsistency in U.S. Variation 16 in the near future.
I hope this answers your inquiry. If you have further questions, please do not hesitate to contact
this office.
Sincerely,
4~
arIes E. Betts
Chie • Standards Development
Office of Hazardous Materials Standards

<<<PAGE 3>>>

Drakeford, Carolyn (PHMSA)
From: INFOCNTR (PHMSA)
Sent: Thursday, February 25,20108:31 AM
To: Drakeford, Carolyn (PHMSA)
Cc: Supko, Ben (PHMSA)
Subject: FW: Transport of UN 0503, Airbag modules by air from Europe to US
Ajr~s
10 - l>O'i-3
From: Jens-Thomas Rueckert [mailto:T.Rueckert@logar.de]
Sent: Thursday, February 25, 2010 3:58 AM
To: INFOCNTR (PHMSA)
Subject: Transport of UN 0503, Airbag modules by air from Europe to US
Dear Sirs,
we are seeking regulatory guidance in regard to the transport of Air bag modules, Air bag
inflators and seat belt pretensioners from Europe - particulary Germany by air freight to the
US.
LOGAR Is a Dangerous Goods training and consulting firm. The issue in question has lately arisen
with a customer whose product portfolio contains airbags which are to be exported to the US as
well.
DOT-PHMSA has filed the following variation in the ICAO TI and the lATA DGR:
USG-16 Air inflators, air bag modules and seat belt pretensioners may not be transported to,
from or within the United States without prior approval by the appropriate national authority of
the US (see USG-Ol), Attention: Office of Hazardous Materials Special Permits and Approvals (PHH30).
Such approval remains valid for subsequent transport provided there is no change in its
composition, design or . Air bag inflators, modules and pretensioners that meet the
criteria for a Division 1.4G explosive must be transported using the description Articles,
pyrotechnic for technical purposes UN 0431. The dangerous goods transport document (Shipper's
Declaration) must contain the EX number or product code for each approved inflator, module or
pretensioner in association with the basic description required in 8.1.6.9.1. If product codes are
used they must be traceable to the specific EX number assigned to the inflator, module or
pretensioner, as applicable, the appropriate authority of the US The EX number or product code is
not required to be marked on the outside package.
I have also consulted 49 CFR (Rev.Oct.Ol, 2009) § 172.320, § 173.50 to § 173.52, § 173.56 to §
173.62 which is consistent with the variation filed in the ICAO TI and the lATA DGR.
Since class 1 is a restricted class, the classification of explosives is undertaken by competent
authorities in the countrty of manufacture. For Germany this is the BAM Bundesanstalt fuer
Materialforschung (Federal Institute for Materials research).
Most Air bags which are produced in Germany are classified either as UN 0503, Air Bag Inflator or
Air bag module or UN 3268, Air bag Inflator or Air bag modulei depending on whether or not the
article in question meets the requirements of test series 6(c) in the UN Manual of Test and
Criteria in accordance with Special Provision A 115 IATA/ICAO I Special Provision 280 in the UN
Model Regulations:
A 115 (280) This entry applies to articles which are used as life saving vehicle air bag inflators
or air bag modules or seat-belt , and which contain dangerous goods of Class 1 or
dangerous goods of other classes and when transported as component parts and when these articles
are presented for transport have been tested in accordance with Test series 6(c) of Part I of the
UN Manual of Tests and Criteria with no explosion of the device, no fragmentation of the device
or pressure vessel and no projection hazard nor thermal effect which would significantly
hinder fire-fighting or other emergency response efforts in the immediate vicinity.
1

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Because classification of explosives must have competent authority approval (BAM in Germany),
Shippers are required to indicate the UN-Number and proper shipping name which has been assigned
by that competent on the shipping papers.
However, USG-16 requires that for airbags in Division 1.4G the proper shipping name "Articles,
pyrotechnic, for technical purposes" and the UN number 0431 are to be used.
This would mean factual non-compliance with European requirements where air bags are classified by
a national competent as UN 0503, since transport of explosive substances and articles
must be undertaken using the classification approved by competent authorities.
This being said we are clear about the requirement that all (with the exception of
those excepted under § l73.S6(h)) must have undergone testing in the US to shipping and the
appropriate EX-Number (or a traceable stock number) be indicated on the shipping paper, as also
stipulated in state variation USG-OS ICAO/IATA.
However, the requirement to list the EX-number is an additional requirement, but classification
(UN-Number and PSN) must be consistent with national requirements.
For the purpose of proper training we would very much appreciate your regulatory guidance on this
issue.
Sincerely Yours,
Jens-Thomas Rueckert
Jens-Thomas Rueckert
Manager Training & Projects
LOGAR GUnther Hase1 e.K.
Gefahrgutberatung/Gefahrgutausbildung
lATA accredited Dangerous Goods School
Baden Airpark 1 Airport Boulevard B 210
D-77836 RheinrnUnster 1 Germany
Phone: +49 (0) 7229/1868-163
Fax: +49 (0) 7229/1868-165
Arntsgericht Mannheim HRA 201118
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