# Interstate Batteries Recycling, LLC — Hazardous Materials Safety Interpretation

- **operation:** document
- **citation:** 18-0101
- **title:** Interstate Batteries Recycling, LLC — Hazardous Materials Safety Interpretation
- **source type:** guidance
- **agency:** Pipeline and Hazardous Materials Safety Administration
- **status:** guidance
- **official:** true
- **published on:** 2018-10-11
- **effective on:** Not available
- **summary:** 18-0101 response to Interstate Batteries Recycling, LLC concerning 173.159, 173.159a.
- **machine formats:** - **json:** https://regulus.evalyn.ai/document/phmsa-interpretation-18-0101.json
- **markdown:** https://regulus.evalyn.ai/document/phmsa-interpretation-18-0101.md
- **app url:** https://regulus.evalyn.ai/document/phmsa-interpretation-18-0101
- **source url:** https://www.phmsa.dot.gov/sites/phmsa.dot.gov/files/docs/standards-rulemaking/hazmat/interpretations/69556/180101.pdf
**body:**

<<<PAGE 1>>>

U.S. Department
of Transportation
Pipeline and Hazardous
Materials Safety
Administration
OCT 1 11018
1200 New Jersey Avenue, SE
Washington, DC 20590
Dan Lane
Regulatory Compliance Manager
Interstate Batteries Recycling, LLC
12770 Merit Drive, Suite 300
Dallas, TX 75251
Reference No. 18-0101
Dear Mr. Lane:
This letter is in response to your June 4, 2018, letter requesting clarification of the Hazardous
Materials Regulations (HMR; 49 CFR Parts 171-180) applicable to the shipment of lead-acid
batteries for purposes of recycling. You explain that your company wants to ship both intact and
broken, damaged, or burned lead-acid batteries in the same vehicle for transport to secondary
lead smelters for recycling. Specifically, you ask whether these batteries may be shipped
together in compliance with 49 CFR 173 .159( e) and (k), and if they are subject to additional
requirements.
The answer is yes. Electric storage batteries containing electrolyte, acid, or alkaline corrosive
battery fluid (i.e., wet batteries) that are intact and broken, damaged, or burned may be
transported in the same vehicle for the purposes of recycling. Provided the requirements in
49 CFR 173 .159( e) are met, wet batteries are excepted from the HMR when transported by
highway or rail. Additionally, 49 CFR 173.159(k) allows for highway or rail transportation of
damaged wet electric storage batteries for recycling purposes. Batteries that are transported in
accordance with the requirements in paragraph (k) are eligible for the exception provided in
49 CFR 173 .159( e ). Please note that in addition to the conditions listed in paragraph (k) of this
section, damaged wet electric storage batteries must also meet the requirements of
49 CFR 173.159(a).
I hope this information is helpful. Please contact us if we can be of further assistance.
Sincerely,
--7~~G ✓ ~-- -
T. Glenn Foster
Chief, Regulatory Review and Reinvention
Standards and Rulemaking Division

<<<PAGE 2>>>

73::a,\ \ enc:re
~tter~
\ \ ·- 0 l O t
RECYCLING
June 4, 2018
Mr. Shane Kelley
Director, Standards and Rulemaking Division
U.S. DOT/PHMSA (PHH-10)
1200 New Jersey Avenue SE East Building, 2nd Floor
Washington, DC 20590
Request for a formal letter of interpretation
Dear Mr. Kelley:
Interstate Batteries, Inc. occasionally wants to ship to secondary lead smelters pallets of intact
scrap lead-acid batteries as well as broken, damaged, or burned batteries in leakproof containers
on the same truck. If these scrap lead-acid batteries are shipped in complete compliance with 49
CFR 173.159(e) and 49 CFR 173.159(k), can they be shipped without needing to comply with
any other requirements of 49 CFR Title 49 - Subtitle B - Chapter I - Subchapter C?
Thank you for your consideration.
Sincerely yours, · .·· .
.. ~of~
Dan Lane
Regulatory Compliance Manager
Interstate Batteries Recycling, LLC
12770 Merit Drive, Suite 300
Dallas, Texas 75251
1-800-541-8419, Ext. 6672
Dan.Lane@ibsa.com
1
lnterstateBatteries.com / 12770 Merit Drive, Suite 1000 / Dallas, Texas 75251

<<<PAGE 3>>>

HM-218H Preamble:
Section 173.159
Section 173.159 prescribes requirements applicable to the transportation of electric storage batteries
containing electrolyte acid or alkaline corrosive battery fluid (i.e., wet batteries). This section outlines
packaging requirements, exceptions for highway or rail transport, and tests that batteries must be
capable of withstanding to be considered as non-spillable. However, there is no authorization to
transport nor are there any requirements or instructions for shippers of damaged or leaking wet
batteries on how to prepare these items for transport. PHMSA received a request for a letter of
interpretation (Ref. No. 06-0031) to clarify whether a shipper of a damaged wet battery may utilize
the exception from full regulation provided in § 173.159(e). In response, we stated that a damaged
battery may be shipped in accordance with § 173.159(e) provided: (1) It has been drained of battery
fluid to eliminate the potential for leakage during transportation; (2) it is repaired and/or packaged in
such a manner that leakage of battery fluid is not likely to occur under conditions normally incident to
transportation; or (3) the damaged or leaking battery is transported under the provisions of
§ 173.3(c).
PHMSA proposed adding a new paragraph (j) to § 173.159 to address this provision. However, a
final rule published January 21, 2016 [Docket No. PHMSA-2013-0042 (HM-233F); 81 FR 3635]
added a paragraph (j) to account for nickel cadmium batteries containing liquid potassium hydroxide.
Therefore, all references to the previously proposed paragraph (j) will be to the new paragraph (k).
PHMSA received positive feedback from commenters with the ATA, the UPS, the USWAG, and
Veolia voicing general support for this amendment. Veolia requested that "cargo vessel" be added
as a mode of transportation; however, as this was not proposed and that inclusion would need an
analysis from both PHMSA and the USCG, and we will not be authorizing vessel transportation in
this final rule.
The Battery Council International (BCI) also commented on this provision. While they voiced strong
support for the creation of a new paragraph to address damaged wet batteries, they had concerns
that the proposed regulatory text was unclear, did not take into account the industry standard, and
may inadvertently eliminate existing exceptions for wet batteries. To supplement their comments, a
meeting was requested by representatives of BCI with PHMSA to clarify their comments. Notes from
that August 11 meeting can be found in the docket for this rulemaking . The BCl's primary concern is
that a different packaging method referenced in previous PHMSA letters of interpretation (Ref. Nos.
09-0227 and 06-0062) that utilizes leak-proof packaging in other than an intermediate/outer
configuration (i.e., single polyethylene bag) is absent from paragraph (j). BCI asserts that the single
polyethylene bag method is sufficient to prevent leakage of the battery acid during transportation and
that changing this standard industry practice will be highly disruptive, costly, and likely to result in
considerable confusion. During the meeting, it emphasized that this was the predominant method of
transporting damaged wet batteries by a vast majority of industry.
PHMSA agrees with BC l's concerns and it was not our intent to undo progress made to address
safety concerns by industry and PHMSA in the past by not allowing for this packaging configuration.
Therefore, we are amending paragraph (k) (i.e., previously proposed paragraph (j)) to allow for this
packing method. PHMSA believes that public safety would be better served by allowing the use of a
method that is known and widely used by industry, that has a strong safety record for transporting
damaged wet batteries, and on which affected hazmat employees are trained . The BCI further points
out confusion in the proposed regulatory text in paragraphs (j)(2) and (3), stating that it is unclear
how a shipper could comply with the packaging requirement in § 173.159(j)(2) without also
complying with § 173.159(j)(3). PHMSA agrees with this comment; although, paragraphs (j)(2) and
(3) are intended to be used in tandem, they currently appear to be separate conditions for transport.
Therefore, we are amending the regulatory text to consolidate the previously proposed (j)(2) and (3)
into one paragraph, now (k)(2). Lastly, BCI requests that clarification be added to ensure that there
is no confusion that the batteries shipped under this paragraph are still eligible to be shipped using

<<<PAGE 4>>>

the exception found in § 173.159(e). PHMSA agrees. It was never our intent to prohibit the use of
this exception, and it was an oversight in the NPRM not to specify this. Therefore, we are including a
provision to clarify the eligibility of damaged wet batteries for exception under paragraph (e) when
transported in accordance with § 173.159(k).
PHMSA is adding a new paragraph (k) in § 173.159 to address the need for provisions that allow
shippers to prepare for transport and offer into transportation damaged wet electric storage batteries
for purposes of recycling. Note that in addition to the conditions listed in paragraph (k), damaged wet
electric storage batteries must also meet requir~ments of§ 173.15~(a).
PHMSA is reinserting language into§ 173.159(e)(4) of the HMR indicating that the transport vehicle
may not carry material shipped by any person other than the shipper of the batteries. This language
was inadvertently deleted from the HMR when PHMSA published a final rule titled "Hazardous
Materials: Reverse Logistics" under Docket HM-253 (81 FR 18527; March 31 , 2016). As revised by
HM-253, § 173.159(e)(4) now states that a carrier may accept shipments of batteries from multiple
locations for the purpose of consolidating shipments of batteries for recycling, which creates
confusion in the context of the section. The intent of the HM-253 final rule was to allow carriers to
consolidate shipments of batteries from multiple locations for the purpose of recycling. To correct
this inadvertent deletion, in this final rule we are revising § 173.159(e)(4) by retaining the previous
text and providing a clear exception when batteries are consolidated for recycling .
- **truncated:** false
- **body characters:** 9332
