Class 9 lithium battery label

Q&A: Can we print our own HazMat labels? Specifically, the Class 9 Lithium Battery label?

Question:

Good morning I was on your web site looking for some information as it pertains to application of the class 9 lithium battery.

My questions is do we have to buy labels and hand apply it or can we direct flexo print the diamond to spec. we print a lot of UN Corrosive diamonds on corrugated and I would like to do so with this class 9.

We have a very bright white that we print and are able to over print the BK with no wet out keeping it very legible. Is this option ?

Thank you

Daniels Training Services, Inc.

815.821.1550

Info@DanielsTraining.com

https://www.danielstraining.com/

Answer:

Thank you for contacting me. In short, it is not necessary to purchase labels and hand apply them to a package that requires the display of labels. The use of the word “labels” by the Hazardous Materials Regualtions of USDOT/PHMSA is unfortunate since it leads one to believe a separate adhesive-backed label (aka: a sticker) must be affixed to the package. The language at the beginning of 49 CFR 172.407 Label specifications reads, “…Each label, whether printed on or affixed to a package…” So, the label may be pre-printed on the packaging or it may be affixed.

§172.407 goes on to describe the specifications for a label’s durability, design, size, and color. As long as the label meets the design specificaitons of §172.407 it can be purchased or made by the shipper.

Read: HazMat Label Specifications

Additional specifications for and an image of the Class 9 Lithium Battery label are at §172.447.

Class 9 Lithium Battery Label

Please contact me with any other questions.

Conclusion:

And that did it!

This answer applies to all hazard communication of the HMR, whether it be labels, marks, or even placards! Who made it and how doesn’t matter as long as it meets the specification for its design and the regulations for its display.

 

Q&A: What is the required size of the new Class 9 Lithium Battery label?

This question came to me over a year ago (January 14, 2018).  A time when the Class 9 Lithium Battery label was not yet mandatory but the question of its size was still important.  Since January 1st of 2019, when use of the label became mandatory for regulated shipments of lithium batteries, it is more critical still.

Hello Daniel,

I have a query about Class 9 Lithium Battery Label that what is the Size of the label to be printed?

I found somewhere mentioned 100 mm x 100 mm, is this diagonal or edge dimension? What if the box size is smaller to print this size what is the smaller size can be printed?

Class 9 Lithium Battery label

The mandatory Class 9 label for regulated packages of lithium batteries after 01.01.19.

Thanks & Regards,

My reply the next day (01.14.18):

I believe I have an answer for your question.  The answer depends upon the mode of transportation and the applicable regulations.  Please see below.

USDOT/PHMSA for the transport of HazMat within the U.S. (usually limited to highway or rail):

  • The Hazardous Materials Regulations of USDOT/PHMSA at 49 CFR 172.407(c)(1) require the hazmat label to be at least 100 mm (3.9″) on each side.  There are 4 sides to the label, each side must be a minimum of 100 mm (3.9″).
  • However, §172.407(c)(1)(i) allows the dimensions of the label and its features to be reduced proportionally if the size of the package so requires.  Symbol and other elements of the label must remain clearly visible.
  • Also, §172.406(b)(1) allows for the display of the label on a “securely affixed tag” or other suitable means if the HazMat is not a Class 7 Radioactive and the dimensions of the package are less than those of the required label.

So, per the USDOT/PHMSA regulations a label may be reduced in size as necessary to fit on the package.  There is no minimum size requirement.  The label can be as small as necessary to fit on the package as long as it continues to communicate the necessary information. Or, as an option, a label may be displayed on a tag secured to the package.

International Maritime Organization (IMO) for the international transport of dangerous goods by vessel:

  • The IMO Dangerous Goods Code at 5.2.2.2.1.1 mandates the label to be a minimum of 100 mm on a side.  The image at 5.2.2.2.1.1 clearly indicates the 100 mm minimum applies to each diagonal side of the label.
  • 5.2.2.2.1.1.3 allows for a proportional reduction in the size of the labels if the package is too small and if the symbols and other elements of the label remain clearly visible.
  • Also, 5.2.2.1.6 allows the label to be displayed on a “securely affixed tag” or other suitable means if the package is too small.

Contact me with any questions you may have about the transportation of hazardous materials by air, highway, vessel, or rail

International and Domestic

Daniels Training Services, Inc.

815.821.1550

Info@DanielsTraining.com

https://www.danielstraining.com/

Similar to USDOT/PHMSA, the IMDG Code sets a minimum size for the label on a package.  However, the label may be smaller than this minimum if required by the size of the package.  The shipper also has the option to display the label on a tag or by other means if the size of the package hinders display of a full-size label.

International Air Transport Association (IATA) for the international and domestic transport of dangerous goods by air:

  • 7.2.2.3.2(a) of the IATA Dangerous Goods Regulations establishes a minimum dimension of 100 mm for each side of a label.
  • 7.2.2.3.1 allows for reduced dimensions of a label’s size (labels may have dimensions that are half of the 100 mm minimum, but no less), but only for the following dangerous goods and only when displayed on a package of an infectious substance that is too small to display the full-size label:
    • Class 2.1 Non-flammable, non-toxic gas
    • Class 6 Infectious substance
    • Class 9 Miscellaneous
  • 7.2.6.1(d) allows for the display of the label on a “strong tag(s)” but only when the package is of such an irregular shape that a label cannot be attached or printed on its surface.
  • 7.2.6.1(e) requires the shipper to ensure the package is of such a size that there is adequate space to affix all required labels.

It should be no surprise the regulations of IATA are more strict than any other agency.  In brief, the IATA Dangerous Goods Regulations do not allow for the reduction in size of the hazard label except in very limited circumstances, and then, a reduction in size of no more than half of the minimum size.  IATA goes further than either of the other agencies in specifying that the shipper must use a packaging that is big enough for all required labels – and package marks.

I hope this helps.  Please contact me with any other questions.

Conclusion:

That seemed to do it!  If the transport of hazardous materials (aka: dangerous goods) is required for your business, make sure you are doing it in compliance with the applicable regulations.  Though similar in many ways, there are significant differences between the regulations of USDOT/PHMSA, IMO, & IATA, even when dealing with something as insignificant as the display of a hazard label on a package.  Contact me to assist you with compliance.

Use of the New Hazard Class 9 Lithium Battery Label

The transportation in commerce of a package containing a lithium battery is subject to both domestic and international transportation regulations.  Depending on the classification of the lithium battery package several types of hazard communication methods (labels and/or package marks) may be mandatory.  One significant change to the hazard communication regulations for lithium batteries or cells is the phase in of the new Hazard Class 9 Lithium Battery label to replace the currently used Class 9 Miscellaneous label.

This short Power Point presentation will summarize these changes and the deadlines for compliance.

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Contact me with any questions you may have about the transportation of hazardous materials by air, highway, vessel, or rail

International and Domestic

Daniels Training Services, Inc.

815.821.1550

Info@DanielsTraining.com

https://www.danielstraining.com/

It is important to note that the changes summarized here will become effective in all modes of transportation (highway, rail, vessel, air) and both domestic (PHMSA/USDOT) and international (ICAO/IATA and IMO) in the same way at the same time.