15-0219
15-0219
Page 1of Transportation U.S. Department 1200 New Jersey Avenue, SE Washington, D.C. 20590 Pipeline and Hazardous Administration Materials Safety JUN 0 6 2016 Mr. Douglas A. Knight Principal Engineer Intelligent Energy 505 Odyssey Way Merritt Island, FL 32953 Reference No. 15-0219 Dear Mr. Knight: This letter is in response to your November 5, 2015, letter requesting clarification of the Hazardous Materials Regulations (HMR; 49 CFR Parts 171-180) applicable to fuel cells. Specifically, you state that you have a small fuel cell with an attached solid fuel that is comprised of lithium aluminum hydride mixed with metal chloride (dangerous when wet and corrosive inorganic solid) totaling 15.0 grams and a lanthanum nickel aluminum alloy weighing 10.0 grams. You add that the fuel cell engine is not operational until it is connected to the operating system and then primed with oxygen. You ask if the fuel cell can be shipped as "UN 3166, Fuel Cell Engines" under the International Air Transport Association (IATA) Dangerous Goods Regulations (DGR) and/or if you can ship the whole assembly on the basis of the fuel itself under the HMR As specified in § 173.22 of the HMR, it is the shipper's responsibility to properly classify and package a hazardous material. This Office does not normally perform this function. However, the HMR authorize and provide conditions for use of international standards and regulations in § 171.22. As the IATA DGR is not included among those authorized, we cannot address your specific concerns, but based on the information that you provided in your letter—in conjunction with the International Civil Aviation Organization Technical Instructions for the Safe Transport of Dangerous Goods by Air and the International Maritime Dangerous Goods Code—it is the opinion of this Office that the material would best be described as "UN 3476, Fuel cell cartridges, containing water reactive substances." I hope this information is helpful. Please contact us if we can be of further assistance. Sincerely, lenn Foste T. Glenn Foster Chief, Regulatory Review and Reinvention Standards and Rulemaking Division#
Page 2Andrews Goodall, Shante CTR (PHMSA) Joan Requenent From: 15 - 0219 Sent: Geller, Shelby CTR (PHMSA) Thursday, November 05, 2015 3:17 PM To: Hazmat Interps Subject: FW: Request for letter of interpretation on shipment of fuel cell with installed chemical hydride fuel Dear Shante and Alice, Below is a request for a formal letter of interpretation. Thanks, Shelby From: Knight, Douglas [mailto:Douglas.Knight@intelligent-energy.com] To: PHMSA HM InfoCenter Sent: Thursday, November 05, 2015 2:28 PM Subject: Request for letter of interpretation on shipment of fuel cell with installed chemical hydride fuel To Whom it May Concern I am in need of a letter of interpretation in regards to our intent to ship a small fuel cell prototype that contains a chemical hydride fuel. I have been looking into this in the IATA manual and it seems to not cover what we have completely (or clearly), probably because we are developing something not seen too much on the market. We have a small fuel cell, about the size of an Iphone 6, that will have a solid fuel attached (the solid chemical hydride will emit hydrogen on demand). The solid fuel is of two components of 1. lithium aluminum hydride mixed with a metal chloride (dangerous when wet and corrosive inorganic solid), total weight 15.0 grams 2. lanthanum nickel aluminum alloy (absorbs and desorbs hydrogen). Total weight 10.0 grams We plan to ship this prototype to Vegas for a showing in January. The entire assembly needs to be shipped as one unit being assembled in our laboratory here in Merritt Island, Florida. I see there is a section in the IATA manual on fuel cell engines (UN 3166) but I am thinking the packing instructions (PI 950) is telling me the fuel tank has to be empty. Essentially this is the case since the hydrogen is trapped in the solid until we connect the power leads of fuel cell to the device it will power. The actual operation of the fuel cell is not possible until it is connected to a load and then purged with hydrogen (as to prime the fuel cell). The fuel does not emit hydrogen until the waste water from the "operating fuel cell" comes in contact with the fuel and the fuel cell will not operate until the fuel cell is connected to the operating system and then primed with hydrogen. The operating system (computer and other electrical devices) will not be shipped in the same package. We have to have this "solid fuel" installed in our lab prior to shipment since the fuel needs to be loaded under controlled conditions. Alternatively, we could simply ship the whole assembly on the basis of the fuel itself. The lanthanum nickel aluminum alloy is not regulated, as seen in a SDS from Aldrich while the other fuel component (Lithium aluminum hydride/metal chloride) would be listed as (UN 3131) Water Reactive Solid, corrosive N.O.S.. 1#
Page 3In either case, I would secure the fuel cell assembly in a vacuum sealed bag, further seal a collection of these fuel cell assemblies into a bag and then into the appropriate can with a locked ring top, then into a DOT-SP 9168 packaging that is marked for cargo shipping only. I have contacted Fedex and they instructed me to request a letter of Interp from your office and obtain the proper way to ship this item. Your prompt response in this matter is greatly appreciated. Regards Douglas A. Knight Ph.D. Principal Engineer - Fuel Chemistry # Intelligent Energy Ph.+1 803-522-0252 E douglas.knight@intelligent-energy.com Intelligent Energy 505 Odyssey Way Merritt Island, FL 32953 USA [WWW | Facebook | Twitter |TheEnergyLoft| and is a wholly owned subsidiary of Intelligent Energy Limited. Copyright © 2015 Intelligent Energy Inc. All Rights reserved. Intelligent Energy Inc. is registered at 1731 Technolagy Drive, Suite 755, San Jose, CA 95110, USA ughborough, Leicestershire, United Kingdom, LE11 3GB, For further details go to www.intelligent-energy.co telligent Energy Limited is registered in England. Company Registration Number 03958217. Registered Office: Charnwood Building Holywell Park, Ashby Roa This email and attachments may contain technical data or technology subject to U.S. export control laws. Do not forward, transmit, disclose, divert, export, re- export, transfer, re-transfer, or access contrary to U.S. law. ontact the sender by e-mail and permanently delete the email and attachments. Contents of this email may not reflect the views of Intelligent Energy. E-mail is : his email and attachments are contidential and intended for the recipient only. Do not use, copy or disclose to anyone. If received in error, please immediate risk of accidental or deliberate data corruption. it is advisable to obtain written confirmation of any important content before relying on it. All emails may be intercepted and/or monitored for operational and business reasons. ....... 2#
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