# Bellevue Hospital Center — Hazardous Materials Safety Interpretation

- **operation:** document
- **citation:** 13-0077
- **title:** Bellevue Hospital Center — Hazardous Materials Safety Interpretation
- **source type:** guidance
- **agency:** Pipeline and Hazardous Materials Safety Administration
- **status:** guidance
- **official:** true
- **published on:** 2013-07-31
- **effective on:** Not available
- **summary:** 13-0077 response to Bellevue Hospital Center concerning 173.134, 173.24, 173.24a.
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- **app url:** https://regulus.evalyn.ai/document/phmsa-interpretation-13-0077
- **source url:** https://www.phmsa.dot.gov/sites/phmsa.dot.gov/files/legacy/interpretations/Interpretation%20Files/2013/130077.pdf
**body:**

<<<PAGE 1>>>

U.S. Department
of Transportation
Pipeline and Hazardous
Materials Safety
Administration
1200 New Jersey Avenue, SE
Washington, D.C. 20590
Mr. Kieran Toale
Industrial Hygenist
and Haz Mat Coordinator
Safety Department
Bellevue Hospital Center
462 First Avenue, Admin. Bldg., Room 742
New York, NY 10016
Reference No. 13-0077
Dear Mr. T oale:
This is in response to your March 20,2013 e-mail, which was forwarded to this Office on
April12, 2013, and your May 15, 2013 telephone conversation with a member of my staff
concerning how to describe pharmaceutical wastes that are transported from your hospital's
healthcare clinic under the Hazardous Materials Regulations (HMR; 49 CFR Parts 171-180).
In your letter, you state that when transported from your hospital, these wastes are divided
into two categories: those regulated by the Environmental Protection Agency (EPA) that are
described as a hazardous waste, and everything else that is described as "UN 3291, Regulated
medical waste, n.o.s., 6.2 (infectious), PG II." You also state these wastes typically meet one
or more of the following hazard classes or divisions: 2.1 (flammable gas), 2.2 (non-
flammable gas), 3 (flammable liquid), 5.1 (oxidizer), 5.2 (organic peroxide), 6.1 (poisonous),
8 (corrosive), and 9 (miscellaneous), but rarely contain a Division 6.2 (infectious) material.
In addition, you state the wastes are not regulated as hazardous substances under the EPA's
Resource Conservation and Recovery Act. You ask if your understanding is correct that
wastes that do not meet the Division 6.2 hazard class may not be offered for transportation
described as "UN 3291, Regulated medical waste, n.o.s., 6.2 (infectious), PG II."
Typically, material, including pharmaceutical waste, that does not contain a pathogen, or in
which the pathogen has been inactivated or neutralized so that it cannot cause disease, does
not meet the definition of an infectious substances prescribed in§ 173.134(a)(1) and must not
be described or offered for transportation as a Division 6.2 material under the HMR (see
§ 173.134(b)(l)-(b)(3)). However, the exception prescribed in§ 173.134(c)(2) permits waste
pharmaceutical materials to be offered for transportation and transported as RMW when
packaged in a rigid non-bulk packaging conforming to the general packaging requirements of
§§ 173.24 and 173.24a and packaging requirements specified in 29 CFR 1910.1030, and
transported by a private or contract carrier in a vehicle used exclusively to transport RMW
(see Docket No. PHMSA-2009-0151 (HM-218F), July 20, 2011 (76 FR 43530)). Waste

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pharmaceuticals that meet only one primary hazard class, are chemically compatible, and are
placed in one packaging in conformance with the requirements prescribed in§ 173.12(b) (lab
pack) may be described with generic proper shipping names instead of specific chemical ones,
and are excepted from the specification packaging requirements for combination packagings
when transported for disposal or recovery by motor vehicle, railcar, or cargo vessel. If the
pharmaceutical wastes you describe are not transported in conformance with one of these
exceptions, they must be transported in conformance with the requirements prescribed in the
HMR for each hazard class they meet. Please note that a person who otiers or accepts a
package that is not in conformance with the HMR is potentially subject to either a civil or
criminal penalty (see§§ 107.329 and 107.333).
I hope this satisfies your request.
. GlennFostt/4'
Chief, Regulatory Review and Reinvention Branch
Standards and Rulemaking Division
2

<<<PAGE 3>>>

Edmonson
B t~3. 13L/
Drakeford, Carolyn (PHMSA) S I] l · 2,;
From:
Sent:
To:
Subject:
INFocNTR (PHMSA) Friday, April12, 2013 5:11 PM Drakeford, Carolyn (PHMSA) Re3ufa L-' Medtc{(,/ Llb.Je
TC.U
[r2.. () ~ 11
FW: Proper Shipment of Non-RCRA Regulated Pharmaceutical Waste U- U
Hi Carolyn,
This caller requested we submit his e-mail as a formal letter of interpretation. The caller was previously referred to
letter 02-0244
Thanks,
Victoria
From: Kieran Toale [mailto:Kieran.Toale@bellevue.nychhc.org]
Sent: Wednesday, March 20, 2013 11:33 AM
To: INFOCNTR (PHMSA); PHMSA Administrator (PHMSA); phmsa.chiefcounsel@dot.gov; PHMSA HM Hazmat Safety
Subject: Proper Shipment of Non-RCRA Regulated Pharmaceutical Waste
Dear DOT,
I would be grateful if you can please provide me with some guidance on the appropriate shipment of non RCRA regulated
pharmaceutical waste from the healthcare facility where I work in New York. Specifically I'd like to know if its acceptable
practice to over classify such waste and ship it as regulated medical waste (RMW) on an RMW manifest using the
following shipping name?
UN3291, Regulated Medical Waste, n.o.s., 6.2, PG II (Untreated)
This decision would be based on the rare possibility of a 5 gallon drum of non RCRA regulated pharmaceutical waste
containing a single material or more that could actually be classified as RMW. To clarify the type of pharmaceutical waste
that I'm referring to would not meet any of the EPA definitions of being RCRA characteristic and it is not listed as being
RCRA waste.
I've reviewed the appropriate DOT regulations shown below and do not believe that over classifying non RCRA regulated
pharmaceutical waste for shipment is in compliance with DOT regulations. Would you be in agreement with my
interpretation?
Per 49 CFR 171.2(e}
"No person may offer or accept a hazardous material for transportation in commerce unless the hazardous material
is properly classed, described, packaged, marked, labeled, and in condition for shipment as required or authorized
by applicable requirements of this subchapter or an exemption or special permit, approval, or registration issued
under this subchapter or subchapter A of this chapter."
Per 49 CFR 171.2(i}
"No person may certify that a hazardous material is offered for transportation in commerce in accordance with the
requirements of this subchapter unless the hazardous material is properly classed, described, packaged, marked,
labeled, and in condition for shipment as required or authorized by applicable requirements of this subchapter or
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an exemption or special permit, approval, or registration issued under this subchapter or subchapter A of this
chapter."
Per 49 CFR 172.204{a)
"This is to certify that the above-named materials are properly classified, described, packaged, marked and
labeled, and are in proper condition for transportation according to the applicable regulations the Department of
Transportation."
I look forward to receiving your response.
Mr. Kieran Toale
Industrial Hygienist, Haz Mat Coordinator
Bellevue Hospital Center, Safety Dept
462 First Avenue, Room 742, Admin Bldg
New York1 NY 10016
Tel 212-562-37311 Cell 646-358-0638
Fax 212-562-7137
kieran. toale@nychhc.org
Visit www.nyc.gov/hhc
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