# Veolia ES Technical Solutions, L.L.C. — Hazardous Materials Safety Interpretation

- **operation:** document
- **citation:** 14-0006
- **title:** Veolia ES Technical Solutions, L.L.C. — Hazardous Materials Safety Interpretation
- **source type:** guidance
- **agency:** Pipeline and Hazardous Materials Safety Administration
- **status:** guidance
- **official:** true
- **published on:** 2014-07-15
- **effective on:** Not available
- **summary:** 14-0006 response to Veolia ES Technical Solutions, L.L.C. concerning 173.22, 173.56.
- **machine formats:** - **json:** https://regulus.evalyn.ai/document/phmsa-interpretation-14-0006.json
- **markdown:** https://regulus.evalyn.ai/document/phmsa-interpretation-14-0006.md
- **app url:** https://regulus.evalyn.ai/document/phmsa-interpretation-14-0006
- **source url:** https://www.phmsa.dot.gov/sites/phmsa.dot.gov/files/legacy/interpretations/Interpretation%20Files/2014/140006.pdf
**body:**

<<<PAGE 1>>>

:
of Transportation
U.S. Department
1200 New Jersey Avenue, SE
Washington, D.C. 20590
Materials Safet
Pipeline and Hazardous
Administration
JUL 1 5 2014
Ms. Jennifer Eberle
Manager, Transportation Compliance
Veolia ES Technical Solutions, L.L.C.
1 Eden Lane
Flanders, NJ 07836
Ref. No: 14-0006
Dear Ms. Eberle:
This is in response to your January 9, 2014 letter to the Pipeline and Hazardous Materials
Administration (PHMSA) requesting clarification of the Hazardous Materials Regulations
(HMR; 49 CFR 171-180) applicable to the transportation of wetted fireworks being shipped
for disposal. The fireworks you describe in your letter are confiscated illegal consumer
fireworks that have been placed in United Nations (UN) specification plastic or metal 55-85
gallon drums, and are wetted with water or other wetting agents by enforcement officials.
You indicate that this process makes it impossible for your company to research and
determine the original EX numbers assigned to the fireworks. However, you state that these
fireworks are no longer capable of being ignited or functioning as an explosive because they
have been completely saturated. Your questions are paraphrased and answered below:
Q1: May illegal consumer fireworks that have been desensitized through dilution be
reclassed as a Division 4.1 flammable solid per § 173.124(a)(1)?
Al: The answer to your question is no. Only desensitized explosives specifically listed
by name in the § 172.101 Hazardous Materials Table (HMT) (e.g., UN2852, Dipicryl
sulfide, wetted with not less than 10 percent water, by mass), can be reclassified
without further testing or Approval. Illegal fireworks that are confiscated, and then
soaked in water or other wetting agents in order to suppress explosive properties
cannot be shipped unless classified in accordance with § 173.56. In addition, the
original classification and EX number of the illegal fireworks is no longer valid due
to the wetting of the fireworks. Therefore, the desensitized illegal fireworks should
be reclassified using the same classification process for a new explosive (i.e., EX
number approval). In order to show that the material does not meet the definition for
Class 1 (explosive) under Subpart C of Part 173, you may apply for a new EX
number to verify the wetted fireworks no longer meet the definition of a Class 1
hazardous material. This application must include either an examination report from
an approved test lab as specified in § 173.56(b) or a competent authority approval as
specified in § 173.56(f) of the HMR.

<<<PAGE 2>>>

Q2:
If PHMSA believes the waste fireworks should remain a Division 1.3G or 1.4G
material, would Veolia be required to apply for and obtain an EX number for each
individual drum containing wetted consumer fireworks?
A2: In accordance with § 173.22, it is the shipper's responsibility to ensure that the
material is properly classed and described in accordance with the HMR. The
procedures for classification and approval of Class 1 explosives are provided in
§ 173.56. Whether one EX number could be applied to all drums of wetted consumer
fireworks, or if each drum would require its own EX number, would be dependent on
the recommendation of the test laboratory or competent authority as described under
Al.
I trust this information is helpful. Please contact us if you require further assistance.
Sincerely,
T. Glenn Foster
Chief, Regulatory Review and Reinvention Branch
Standards and Rulemaking Division

<<<PAGE 3>>>

Andrews
OVEOLIA
3172.101
ENVIRONMENTAL SERVICES
$173.62
January 9, 2014
Explosives
14-0006
Office of Hazardous Materials Standards
Pipeline and Hazardous Materials Safety Administration
Attn: PHH-10
U.S. Department of Transportation
East Building
1200 New Jersey Avenue S.E.
Washington DC 20590-0001
RE: Request for Interpretation Regarding the Shipment of Wetied Fireworks for
Disposal
To Whom It May Concern:
Please accept this letter as a request for a formal interpretation from your office. Veolia
wishes to receive clarification related to the shipment of wetted fireworks being
shipped for disposal.
Veolia is an environmental services company that manages shipments of various types
of hazardous waste materials being shipped for disposal. Veolia's customers include
nationwide local enforcement agencies that confiscate illegal consumer fireworks from
the general public. The confiscated fireworks are typically placed into UN specification
plastic or metal 55-85 gallon drums and are thoroughly wetted with water or other
wetting agent. Since the fireworks are already loaded into the waste drums and
thoroughly wetted by the enforcement officials, it is impossible for Veolia to research
the EX numbers assigned to the devices. As a result of over 20 years of experience in
managing hazardous materials shipments, Veolia believes as a result of the fireworks
being completely saturated, they are no longer capable of being ignited or functioning
as an explosive, therefore no longer meeting the definition classifying these devices as
hazard class 1.3G or 1.4G fireworks. Veolia believes a more appropriate classification
assignment for wetted fireworks would be as a Hazardous Waste Solid, n.o.s., 9,
NA3077, PG III.
Veolia is requesting written interpretation to clarify the following:
1) Does PHMSA agree with Veolia's classification of thoroughly wetted fireworks as
a hazard class 4.1 flammable solid material?
2) If PHMSA believes the waste fireworks should remain classified as Class 1.3G or
1.4G materials requiring an EX number, would Veolia be required to apply for
Velia ES Technical Solutions, L.L.C.
1 Eden Lane
jennifer.eberle@veolia.com
landers, NJ 07836
(973) 691-7331

<<<PAGE 4>>>

• VEOLIA
ENVIRONMENTAL SERVICES
and obtain an EX number for each individual drum containing the saturated
fireworks? Veolia believes this is a lengthy process and imposes an unnecessary
cost burden to Veolia and its customers to perform the required explosives
testing by an authorized testing laboratory. In addition, due to extreme
saturation of the explosive chemicals contained in the devices, Veolia believes
these testing results will conclude these materials would no longer be classified
as explosives.
3) If PHMSA requires Veolia to obtain an EX number for these types of shipments,
can Veolia apply for a single letter that would issuing an EX number to be used
for all shipments of confiscated, wetted consumer fireworks being shipped for
disposal?
Your written response to this request is greatly appreciated. If you require any further
information regarding this request please feel free to contact me at
jennifer.eberle@veolia.com / 973-691-7331 or Tom Baker at tom.baker@veolia.com /
973-691-7330.
Thank you,
Jennifer Eberle
Manager, Transportation Compliance
Veolia ES Technical Solutions, L.L.C.
Veolia ES Technical Solutions, L.L.C.
Flanders, NJ 07836
1 Eden Lane
(973) 691-7331
jennifer.eberle@veolia.com

<<<PAGE 5>>>

, Drakeford, Carolyn (PHMSA)
From:
Sent:
INFOCNTR (PHMSA)
To:
Thursday, January 09, 2014 3:04 PM
Subject:
Drakeford, Carolyn (PHMSA)
Attachments:
Wetted Fireworks - Interp Request (VES).docx™
FW: Request for written interpretation regarding the shipment of wetted fireworks for disposal
Hi Carolyn,
This caller requested we submit this e-mail as a formal letter of interpretation.
Thanks,
Victoria
From: Eberle, Jennifer [mailto:jennifer.eberle@veolia.com]
Sent: Thursday, January 09, 2014 2:05 PM
To: INFOCNTR (PHMSA)
Subject: Request for written interpretation regarding the shipment of wetted fireworks for disposal
Jennifer Eberle
Veolia ES Technical Solutions, L.L.C.
Manager, Transportation Compliance
1 Eden Lane, Flanders, NJ 07836
862-432-9778 cell
973-691-7331 office (VoIP - 67331)
jennifer.eberle@veolia.com
www.VeoliaES.com
Service First. Safety Always
onfidential and privileged information. Any unauthorized review, use, disclosure or distribution is prohibited. If vou are not the intende
his email message from Velia Environmental Services North America Corp. is for the sole use of the intended recipient(s) and may conta
recipient, please communicate with the sender by reply e-mail and destroy all copies of the original message and delete same from all
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