# Veolia North America — Hazardous Materials Safety Interpretation

- **operation:** document
- **citation:** 18-0027
- **title:** Veolia North America — Hazardous Materials Safety Interpretation
- **source type:** guidance
- **agency:** Pipeline and Hazardous Materials Safety Administration
- **status:** guidance
- **official:** true
- **published on:** 2019-02-27
- **effective on:** Not available
- **summary:** 18-0027 response to Veolia North America concerning 171.8, 173.25, 173.403, 173.410, 173.421, 173.422, 173.425.
- **machine formats:** - **json:** https://regulus.evalyn.ai/document/phmsa-interpretation-18-0027.json
- **markdown:** https://regulus.evalyn.ai/document/phmsa-interpretation-18-0027.md
- **app url:** https://regulus.evalyn.ai/document/phmsa-interpretation-18-0027
- **source url:** https://www.phmsa.dot.gov/sites/phmsa.dot.gov/files/docs/standards-rulemaking/hazmat/interpretations/70576/180027.pdf
**body:**

<<<PAGE 1>>>

U.S. Department
of Transportation
Pipeline and Hazardou,
Material• Safety
Admlnletratlon
FEB . 2 71019
1200 New Jersey Aven1,1e, SE
Washington, DC 20590
Ms. Jennifer Eberle
Manager, Transportation Compliance
Industrial Business
Veolia North America
1 Eden Lane
Flanders, NJ 07836
Reference No. 18-0027
Dear Ms. Eberle:
This letter is in response to your February 22, 2018, letter and your and Ms. Liza Krass'
March 28, 2018, telephone conversations with a member of my staff requesting clarification of
the Hazardous Materials Regulations (HMR; 49 CFR Parts 171-J 80) applicable to excepted
packages for limited quantities of Class 7 (radioactive) materials transported by motor vehicle
for disposal. ·
In these communications, you described a packaging configuration consisting of
non-specification, non-bulk fiberboard boxes containing excepted quantities of Class 7
(radioactive) materials. Specifically, the boxes contain a sealed polyethylene bag containing
frozen animal carcasses contaminated with low levels of Tritium (T(H-3)) and Carbon 14 (C-14),
which is placed in the box along with absorbent materials and mixed dry waste, including lab
debris, glass, and plastic, that is contaminated with biological or radioactive material. You
confirmed that the boxes' contents do not meet the definition of a "hazardous substance" nor a
"hazardous waste" in § 171. 8 of the HMR. You also confirmed that the boxes and their contents
comply with all applicable provisions in§§ 173.410, 173.421, and 173.422, including the general
packaging requirements in Subparts A and B of 49 CFR Part 173.
You further stated that each box is marked with the appropriate UN numbers and the word
"RADIOACTIVE." These boxes are shrink-wrapped to a pallet. Because the shrink wrap
obscures the "RADIOACTIVE" marking on the box, the outside of the shrink wrap is also
marked with the word "RADIOACTIVE." The pallets are transported by motor vehicle for
disposal.
Q 1 : You ask whether the packaging configuration you described meets the packaging
requirements of 49 CFR §§ 173.421 and 173.410.

<<<PAGE 2>>>

Al: Provided each box that has been prepared for shipment is surveyed for radiation levels at
the surface of each package on all six sides and does not exceed 0.005mSv/h, the activity
of the box does not exceed the limited quantity package limits specified in Table 4 in
§ 173.425, and the identification number (e.g., UN2910) marking for the materials is in
letters and numbers at least 12 mm in height, based on the information you provided it is
the opinion of this Office that the boxes comply with§§ 173.410 and 173.421.
Q2: You ask whether the completed pallet secured with shrink-wrap can be indicated as a
single container mi the shipping paper.
A2: The answer is no.
The closed box meets the definition of a "package" for Class 7 materials ( see § 173 .403 ).
Section 173 .403 describes a Class 7 packaging as "the assembly of components necessary
to ensure compliance . with the packaging requirements of' 49 CFR Part 173, Subpart I
(Class 7-Radioactive Materials); and a package as "the packaging together with its
radioactive contents" that meets the HMR requirements for transport. The enclosure you
use (i.e., the shrink wrap and pallet) to consolidate the packages meets the definition of
an "overpack" when used by a single consignor to provide protection or convenience in
handling of a package or to consolidate two or more packages (see§ 171.8).
However, the HMR do not require the packages (in this instance, the individual boxes) to
be described on a shipping paper (see§ 173.421, introductory paragraph).
Additionally, because you stated the shrink wrap obscures the markings on the box, we
want to clarify that in accordance with§ 173.25(a)(2), if any of the required marks and
labels are not visible on the packages through the shrink-wrap, they must be repeated on
the outer surface of the overpack.
I hope this information is helpful. Please contact us if we can be of further assistance.
Sincerely,
T. Glenn Foster
Chief, Regulatory Review and Reinvention Branch
Standards and Rulemaking Division

<<<PAGE 3>>>

G)veOLIA
February 22, 2018
Standards and Rulemaking Division
Pipeline and Hazardous Materials Safety Administration
Attn: PHH-10
US Department of Transportation
East Building
1200 New Jersey Avenue SE.
Washington DC 20590-0001
Request for Interpretation Regarding the Use of a Shrink Wrapped Pallet as an Outer
Package for the Transportation of Limited Quantities of Class 7 Radioactive Materials
(Excepted Package)
To Whom It May Concern:
Please accept this letter as a request for a formal written interpretation from your office. Veolia
currently prepares excepted packages oflimited quantities of Class 7 radioactive materials for
transportation to the processing disposal facility. The packagings are prepared in accordance with
the requirements of 49 CFR §173.421 Excepted packages for limited quantities of Class 7
(radioactive) materials. An example of the packaging configuration used for these shipments
includes frozen animal carcasses which are contaminated with low levels of tritium and carbon 14,
placed into a sealed bag, the bag is then placed into a non-UN specification non-bulk carton fiber
package containing absorbent materials and possibly mixed dry waste including PPE, lab debris,
glass, plastic, etc. The closed non-UN specification non-bulk carton fiber packagings are then
loaded onto a pallet and secured with shrink-wrap. Veolia believes that this entire packaging
configuration meets the general design requirements of 49 CFR §173.410.
1) Does PHMSA agree that the complete packaging configuration as described meets the
packaging requirements of 49 CFR 173.421 and 173.410?
2) If so, does PHMSA agree that it is correct for Veolia to indicate each completed pallet
secured with shrink-wrap as a single container on the shipping paper (e.g. 1 pallet)?
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.
Thank you,
~~
Jennifer Eberle
Manager, Transportation Compliance
Industrial Business
VEOLIA NORTH AMERICA
Veolia North America
1 Eden Lane
Flanders. NJ 07836
tel 973-691-7331 fax 973-691-3978
www.veolianorthamerica.com
- **truncated:** false
- **body characters:** 6348
