# DS Environmental Solutions — Hazardous Materials Safety Interpretation

- **operation:** document
- **citation:** 11-0070
- **title:** DS Environmental Solutions — Hazardous Materials Safety Interpretation
- **source type:** guidance
- **agency:** Pipeline and Hazardous Materials Safety Administration
- **status:** guidance
- **official:** true
- **published on:** 2011-04-21
- **effective on:** Not available
- **summary:** 11-0070 response to DS Environmental Solutions concerning 173.22.
- **machine formats:** - **json:** https://regulus.evalyn.ai/document/phmsa-interpretation-11-0070.json
- **markdown:** https://regulus.evalyn.ai/document/phmsa-interpretation-11-0070.md
- **app url:** https://regulus.evalyn.ai/document/phmsa-interpretation-11-0070
- **source url:** https://www.phmsa.dot.gov/sites/phmsa.dot.gov/files/legacy/interpretations/Interpretations/2011/110070.pdf
**body:**

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U.S. Department of Transportation Pipeline and Hazardous Materials Safety Administration
APR 21 2011
Mr. Ricardo Guerra
OS Environmental Solutions
Floral Park
62 Gautier Benitez
San Juan, PR 00917
1200 New Jersey Ave, SE
Washington, D.C. 20590
Ref. No. 11-0070
Dear Mr. Guerra:
This responds to your December 21, 2010 letter and follow-up emails requesting clarification of
the Hazardous Materials Regulations (HMR; 49 CFR Parts 171-180). Specifically, you inquire
as to the applicability ofthe HMR to shipments of scrap dental amalgam. According to your
letter, the material that you intend to ship is dental amalgam that is not derived from the medical
treatment ofhumans, in that it has not been in contact with a patient; rather, it is the excess
amalgam that remains unused in a dental filling procedure. You indicate that the amalgam
contains approximately 50% mercury and 50% metal alloy, which is comprised of silver, copper
and tin. You further state that you intend to ship approximately 6 ounces of amalgam at a time.
You ask several questions regarding the classification ofthe scrap dental amalgam. Your
questions are paraphrased and answered as follows:
Ql. Is the scrap amalgam considered to be regulated medical waste?
AI. Under § 173.22, it is the shipper's responsibility to properly classify and describe a
hazardous material. This office does not normally perform that function. However, provided
the amalgam does not come in contact with a patient or bodily fluids, it is not considered a
regulated medical waste as defined in § 173.134 ofthe HMR.
Q2. Is the scrap amalgam considered a hazardous waste?
A2. The U.S. Environmental Protection Agency (EPA) and implementing states regulate the
collection and management of certain widely generated wastes, such as mercury-containing
equipment, as a universal waste. Certain states include dental amalgam waste as a universal
waste. Universal waste is not subject to the Hazardous Waste Manifest Requirements specified
in 40 CFR part 262 and thus, is not a hazardous waste as defined in the HMR (see § 171.8).
EPA Region 2 oversees the universal waste program for Puerto Rico. For more information
regarding EPA universal waste regulations as they apply to dental amalgam, please contact the
EPA Region 2 Division of Environmental Planning and Protection (DEPP) at 877-251-4575.

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Q3. May we use the Unites States Postal Service (USPS), UPS or FedEx to ship the scrap
amalgam?
A3. As we explain in AI, under § 173.22, it is the shipper's responsibility to properly classify
and describe a hazardous material. However, it is our understanding that corrosive
characteristics typically associated with liquid mercury are neutralized during the formation of
amalgam. Therefore, given that amalgam does not meet the one pound RQ for mercury and
does not meet any of the criteria of a hazardous material specified in § 171.8, it would not be
subject to the HMR.
If you choose to transport the material using a common carrier, you should contact that carrier
directly to determine if the carrier will transport the material. Postal shipments are under the
jurisdiction of the USPS. Shipments of hazardous materials by the USPS are governed by 39
CFR Part 124, Domestic Mail Manual, U.S. Postal Service Regulations. For more information
regarding the USPS hazardous materials regulations, you may call Mary Collins at
202-268-5440.
Q4. Do we need a permit issued by PHMSA to transport the scrap amalgam?
A4. No. See A3.
I hope this information is helpful. If you have further questions, please contact this office at
(202) 366-8553.
Sincerely,
/\
~
Ben Supko
Acting Chief, Standards Development Branch
Standards and Rulemaking Division

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nvironmental
·Solutions
Florill Park 1 62 Gaulief Benitez ! S,1n J\lMl, Puerlo Biw 00917 1/
\~
December 21,2010
To whom it may concern:
My name is Ricardo Guerra, president and owner ofDS Environmental Solutions. My
company is trying to give service to the dental community. Recovering various hazardous
wastes that they produce in their offices. One ofthem is the dental amalgam. This commonly
use metal mixture has been used around 150 years by dentists all over the world.
Today's dental community uses a pre-measure, pre-capsulated dental amalgam. These
capsules contain approximately 50% mercury and 50% metal alloy (metal alloy composition:
'silver, copper and tin). When you observe the MSDS ofdifferent amalgam manufacturer they
are almost the same. They mention mercury as a hazardous material and give all the
information regarding this metal. We have to mention that the dentist receives the capsule
containing the mercury and the metal alloy separately. In other words, inside the capsule you
find a part that is solid (metal alloy) and another part that is liquid (mercury).
Ifthe dentist needs to use the amalgam in a patient he put the capsule in a machine that is
going to shake the capsule vigorously. After that the amalgam is ready to fill the cavity in the
tooth. When the dentist finishes his job there is always an amalgam remainder. This residue
is solid and I haven't found the MSDS ofthis product. My intention, as a company, is to
recover that residue and send it, preferably by mail, to a company that recycles the material.
In order to the things correctly I have some questions that I haven't found the answer.
1) Is this residue consider as a:
a) Medical waste- regulated
b) Medical waste- non-regulated
c) Hazardous waste- regulated
d) Hazardous waste-non regulated
2) Can we send this material to the recycling company using United States Postal
Service or other air cargo transport company like UPS or FedEx?
3) Do we need a permit issue by your department to transport the amalgam residue? If
is yes, how can I can I access an application and what kind of permit we need to
comply the regulations.
Please include in the answer the correct course of action regarding the correct way of
transporting it. Including correct packaging and labeling. Consider that biggest amount of
amalgam to be ship is around 6 ounces. Thanks in advance for your time and effort.
Sincerely,
Ricarda Guerra
181-111-0081
Floral Park,
62 Gautier Benitez
San Juan, Puerto Rico 00917
Email: rgue33@gmail.com
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