# Arizona Department of Public Safety — Hazardous Materials Safety Interpretation

- **operation:** document
- **citation:** 15-0025
- **title:** Arizona Department of Public Safety — Hazardous Materials Safety Interpretation
- **source type:** guidance
- **agency:** Pipeline and Hazardous Materials Safety Administration
- **status:** guidance
- **official:** true
- **published on:** 2015-04-24
- **effective on:** Not available
- **summary:** 15-0025 response to Arizona Department of Public Safety concerning 173.159, 177.834.
- **machine formats:** - **json:** https://regulus.evalyn.ai/document/phmsa-interpretation-15-0025.json
- **markdown:** https://regulus.evalyn.ai/document/phmsa-interpretation-15-0025.md
- **app url:** https://regulus.evalyn.ai/document/phmsa-interpretation-15-0025
- **source url:** https://www.phmsa.dot.gov/sites/phmsa.dot.gov/files/legacy/interpretations/Interpretation%20Files/2015/150025.pdf
**body:**

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U.S. Department of Transportation
Pipeline and Hazardous Materials
1200 New Jersey Avenue, SE
Washington, DC 20590
Safety Administration
Officer Daniel Voelker
Arizona Department of Public Safety
APR 2 4 2015
2102 W. Encanto Blvd., Mail Drop 4011
Phoenix, AZ 85009
Reference No. 15-0025
Dear Officer Voelker:
This responds to your February 2, 2015 email regarding the transportation requirements
for wet (electric storage) batteries in the Hazardous Materials Regulations (HMR; 49 CFR
Parts 171-180). Specifically, you request clarification of the loading and bracing
requirements prescribed in § 173.159(e)(2), which require batteries to be loaded or braced
so as to prevent damage and short circuits in transit. You describe and provide
photographs for two similar scenarios where wet batteries are loaded into an enclosed box
trailer. You state that all of the batteries are wrapped on to pallets but that you cannot find
evidence of the batteries being further secured to the pallets. The pallets are then loaded
in the box trailer using an "I" formation. This formation has two pallets side by side at the
head of the trailer, followed by a single pallet, then two more pallets side by side. This
pattern repeats from the front of the trailer to the rear of the trailer. You note that in the
areas where there is a single pallet that the operator is not securing the pallet to the trailer
in any way making it possible for the center pallets to shift or fall from side to side. The
second scenario differs from the above only in that the pallets do not completely fill the
length of the trailer and end around ten to fifteen feet from the rear of the trailer. Again,
you note you are not finding any form of securement for the center pallets or any way to
prevent the rear pallets from moving or falling towards the rear of the trailer.
It is the opinion of this Office that the method of loading or bracing the palletized batteries
described in your letter may be used to satisfy § 173.159(e)(2) so long as no damage or
short circuit may occur in transit. However, this requirement is a performance standard,
meaning that the carrier would need to ensure that the configuration would preclude
shifting that could cause damage or short circuit. Motor carriers may be subject to
additional requirements to protect against shifting and falling of cargo under the Federal
Motor Carrier Safety Regulations in 49 CFR Part 393, Subpart I.
Please note that except as otherwise provided in the HMR, the requirements of
§177.834(a) provide general requirements for securing packages in a motor vehicle.

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I trust this information is helpful. If you have further questions, please do not hesitate to
contact this office.
Sincerely,
Duan 17f1
Duane A. Pfund
International Standards Coordinator
Standards and Rulemaking Division

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Wiener
§173.159e 2
Batterio
Dodd, Alice (PHMSA)
15-00a5
From:
Sent:
Ciccarone, Michael CTR (PHMSA)
To:
Monday, February 02, 2015 11:15 AM
Hazmat Interps
Subject:
FW: Request for Interpretation
Attachments:
Additional_battery_photos.zip;
Fw_Clarification_on_wet_batteries_and_load_securement.zip
Shante/Alice,
Please submit this for formal letter of interpretation.
Thanks,
Mike
From: Daniel L Voelker [mailto:DVOELKER@AZDPS.GOV]
Sent: Saturday, January 31, 2015 6:23 PM
To: INFOCNTR (PHMSA)
Subject: Request for Interpretation
To:
PHEMSA's Office of the Chief Counsel
From:
Officer Daniel Voelker
Arizona Department of Public Safety
2102 W Encanto BLVD Mail Drop 4011
Phoenix, AZ 85009
Subject:
Request for Interpretation Reference 173.159e2
Are agency is running into carriers that are attempting to use the wet battery exemptions in the following two
scenarios. It is the opinion of our agency, several subject matter experts, and members of the Chief Counsel
Office that these carriers would not qualified for the battery exemptions when they are operating in the
manor that we have found them. We would like your office to evaluate the two scenarios and provide
guidance. Photographs have been attached to this message showing the scenarios as we have found them.
Scenario #1:
The carrier is using an enclosed box trailer. All of the batteries are wrapped into pallets and we are not finding
securement issues as it pertains to the batteries being secured to the pallets. The pallets are loaded into the
box trailers using an "" formation. This formation has two pallets side by side at the head of the trailer,
followed by a single pallet, then two more pallets side by side. This pattern repeats from the front of the
trailer until it reaches the rear of the trailer. In the areas where there is a single pallet the company is not
securing the pallet to the trailer in any way. This makes it possible for the center pallets to shift or fall from
side to side.
Scenario #2:

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The carrier is using an enclosed box trailer. All of the batteries are wrapped into pallets and we are not finding
securement issues as it pertains to the batteries being secured to the pallets. The pallets are loaded into the
box trailers using an "'" formation. This formation has two pallets side by side at the head of the trailer,
followed by a single pallet, then two more pallets side by side. This pattern repeats from the front of the
trailer until it stops around 10 to 15 feet from the rear of the trailer. We are again not finding any form of
securement for the center pallets and we are also not finding any way to prevent the rear pallets from moving
or falling towards the rear of the trailer.
During routine inspections we have found pallets of hazardous materials (both batteries and others) shipped
in similar manors to the above listed scenarios. In several instances these pallets have fell over causing
damage to the packages of hazardous materials.
Thank you for taking your time to clarify this issue for our agency.
Sincerely,
Officer Daniel Voelker
Arizona Department of Public Safety
Hazardous Materials Response Unit
(928) 203-6772

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