# Detroit Scrap Consulting Services — Hazardous Materials Safety Interpretation

- **operation:** document
- **citation:** 22-0068
- **title:** Detroit Scrap Consulting Services — Hazardous Materials Safety Interpretation
- **source type:** guidance
- **agency:** Pipeline and Hazardous Materials Safety Administration
- **status:** guidance
- **official:** true
- **published on:** 2022-09-09
- **effective on:** Not available
- **summary:** 22-0068 response to Detroit Scrap Consulting Services concerning 171.15, 173.159.
- **machine formats:** - **json:** https://regulus.evalyn.ai/document/phmsa-interpretation-22-0068.json
- **markdown:** https://regulus.evalyn.ai/document/phmsa-interpretation-22-0068.md
- **app url:** https://regulus.evalyn.ai/document/phmsa-interpretation-22-0068
- **source url:** https://www.phmsa.dot.gov/sites/phmsa.dot.gov/files/docs/standards-rulemaking/hazmat/interpretations/76796/220068.pdf
**body:**

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1200 New Jersey Avenue, SE
Washington, DC 20590
U.S. Department
of Transportation
Pipeline and Hazardous
Materials Safety
Administration
September 9, 2022
Ty Cox
Account Manager
Detroit Scrap Consulting Services
114 W. Magnolia Street, Suite 400-107
Bellingham, WA 98225
Reference No. 22-0068
Dear Mr. Cox:
This letter is in response to your June 6, 2022, email requesting clarification of the Hazardous
Materials Regulations (HMR; 49 CFR Parts 171-180) applicable to the transportation of wet
batteries filled with acid. You note that the batteries—classified as “UN2794, Batteries, wet,
filled with acid, electric storage, 8”—are transported for recycling and that you believe that you
have met all the conditions for exception from further regulation under the HMR as provided in
§ 173.159(e).
We have paraphrased and answered your questions as follows:
Q1. You ask for confirmation that the transport of your company’s batteries is eligible for the
exception from the requirements of the HMR as currently specified in § 173.159(e).
A1. The answer is yes, if the conditions for exception as provided in § 173.159(e) are met.
This Office is unable to verify the accuracy of your statement beyond your assertion that
you believe your company has satisfied all listed conditions. Lastly, PHMSA notes that
transport of UN2794, Batteries, wet, filled with acid, electric storage, 8 for purposes of
recycling is not one of the required conditions.
Q2. You ask whether transport of these batteries—while utilizing the exception provided in
§ 173.159(e)—relieves you of the requirement to employ a driver that is “hazmat
certified” and the need to declare the materials as hazardous on the bill of lading for
transportation by rail.
A2. The answer to both questions is yes. A shipment of these batteries prepared in
accordance with § 173.159(e) that is transported by highway or rail is not subject to any of
the requirements of the HMR—including shipping papers (i.e., declaring the material on

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a bill of lading)—with the exception of incident reporting requirements in § 171.15.
Furthermore, the driver who is transporting these batteries in accordance with this
exception is not required to have a commercial driver’s license (CDL) hazardous
materials endorsement in accordance with the Federal Motor Carrier Safety Regulations.
The hazardous materials endorsement is required when transporting materials required to
be placarded according to 49 CFR Part 172, or when transporting certain Select Agents
and Toxins (see 49 CFR §383.5 for the definition of Hazardous Materials for CDL
hazardous materials endorsement purposes).
Q3. You ask whether the provisions in § 173.159(e) except these batteries from the
requirements of the HMR when they are transported by vessel for recycling.
A3. The answer is no. The exception from the requirements of the HMR provided in
§ 173.159(e) is applicable only to shipments transported by highway or rail.
I hope this information is helpful. Please contact us if we can be of further assistance.
Sincerely,
Dirk Der Kinderen
Chief, Standards Development Branch
Standards and Rulemaking Division

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Casey
22-0068
From: INFOCNTR (PHMSA)
To: Dodd, Alice (PHMSA)
Subject: FW: Interpretation Request - Detroit Scrap // UN 2794, Batteries, wet, filled with acid, Class 8 for recycling
Date: Friday, July 1, 2022 11:01:31 AM
Hi Alice,
Please see the below interpretation request.
Let us know if you need anything.
Regards,
Josh
Tyler Cox <tyler@detroitscrap.com>
Sent: Monday, June 6, 2022 5:27 PM
To: INFOCNTR (PHMSA) <INFOCNTR.INFOCNTR@dot.gov>; INFOCNTR (PHMSA)
<INFOCNTR.INFOCNTR@dot.gov>
Cc: Brad W. Rudover <brad@detroitscrap.com>; Craig Klapa <craig@detroitscrap.com>; Mikey
Murray <michael@detroitscrap.com>
Subject: Interpretation Request - Detroit Scrap // UN 2794, Batteries, wet, filled with acid, Class 8 for
recycling
Hello,
I am writing to request a formal interpretation for materials that are classified as UN 2794,
Batteries, wet, filled with acid, Class 8 for recycling under the 173.159(e) exemption in the
49 CFR.
Specifically, we seek confirmation that the shipment of our company’s UN2794
batteries are eligible for the exemption from the requirements of the HMR as currently
specified in § 173.159(e).
If exemption applies, it seems we would not need a HazMat certified driver to
transport the materials on the highway nor would we need to declare the
materials as HazMat on the Bill of Lading for rail movement.

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Additionally, we seek clarification in regards to whether or not UN 2794, Batteries,
wet, filled with acid, Class 8 for recycling are exempt from HMR when transported on
vessels.
I believe we have met all other requirements for shipping under this exemption.
(1) No other hazardous materials will be transported in the same vehicle;
(2) The batteries will be loaded or braced so as to prevent damage and short
circuits in transit;
(3) No other materials will be loaded in the same container or vehicle that could
make contact with or damage to the batteries. In addition, as the batteries are on
pallets, they will be stacked in an way as to not cause damage to another
pallet under conditions normally incident to transportation (Packaging group III
performance level);
(4) The shipment is for recycling, however the transport vehicle will not carry
material shipped by any person other than the shipper of the batteries;
(5) Shipments made under this paragraph will be subject to the incident reporting
requirements in § 171.15.
Regards,
Ty Cox
Account Manager
309.989.0015
Detroit Scrap Consulting Services Ltd & Scrap University

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