From: "Alexander, Brian (US)" <brian.t.alexander**At_Symbol_Here**BAESYSTEMS.COM>
Subject: Re: [DCHAS-L] SDS for Hand Sanitizer
Date: Fri, 3 Apr 2020 14:58:37 +0000
Reply-To: ACS Division of Chemical Health and Safety <DCHAS-L**At_Symbol_Here**PRINCETON.EDU>
Message-ID: f3aceb82fc734570a05e3de7922116e9**At_Symbol_Here**baesystems.com
In-Reply-To


Steve,

The information we have received back is an SDS is required for hand sanitizers under the current FDA guidance if distributing the product. The SDS will be required for any shipments and to inform of the constituent materials to interested parties or for shipment purposes. There are a couple of 49 CFR exemptions to the labeling and packaging requirements if under 5 L total quantity per secondary packaging. However, we received push back from Department of Transportation and FEDEX, as our sanitizer contains Hydrogen Peroxide, albeit a only 0.1254% (v/v) which is below certain GHS guidelines for reporting.

Regards,


Brian Alexander
R&D Sr. Principal Chemist / R&D Safety Manager
BAE Systems Ordnance Systems Inc.
Holston Army Ammunition Plant

T: +1(423) 578 6304å |å M: +1(423) 782 7599å |å F: +1(423) 578 6098å |å E: brian.t.alexander**At_Symbol_Here**baesystems.com
BAE Systems, Holston Army Ammunition Plant, 4509 West Stone Drive, Kingsport, TN 37660-1048 USA
____________________________________________________________________

CONFIDENTIALITY NOTICE
The information in the attached communication is confidential, is intended solely for the addressee, and includes proprietary items. If you are not the intended recipient, any disclosure, copying, distribution or any action taken or omitted to be taken in reliance on it, is prohibited and may be unlawful. If you have received this communication in error, please notify the sender and shred any paper copies. If you are not the intended recipient you may not retain, copy or use this communication for any purpose. If you are the intended recipient you should not disclose all or any part of the contents to any other person, except in accordance with all applicable nondisclosure and confidentiality agreements. Sender reserves all intellectual property rights in this communication, including but not limited to copyrights, trade secrets, patents and trademarks as applicable.


-----Original Message-----
From: ACS Division of Chemical Health and Safety On Behalf Of Steven Nelson
Sent: Friday, April 3, 2020 9:44 AM
To: DCHAS-L**At_Symbol_Here**PRINCETON.EDU
Subject: [DCHAS-L] SDS for Hand Sanitizer

Are organizations which produce and distribute the hand sanitizer produced under FDA temporary guidance required to supply a SDS? Our School of Pharmacy plans to produce hand sanitizer for our medical clinic. Labeling would be in accordance with the FDA guidance for temporary compounding of alcohol based hand sanitizer. But do they need to create a SDS to distribute with the product?

https://www.federalregister.gov/documents/2020/03/23/2020-05959/policy-for-temporary-compounding-of-certain-alcohol-based-hand-sanitizer-products-during-the-public

Steve Nelson
Auburn University, Risk Management and Safety

---
For more information about the DCHAS-L e-mail list, contact the Divisional membership chair at membership**At_Symbol_Here**dchas.org Follow us on Twitter **At_Symbol_Here**acsdchas

---
For more information about the DCHAS-L e-mail list, contact the Divisional membership chair at membership**At_Symbol_Here**dchas.org
Follow us on Twitter **At_Symbol_Here**acsdchas

Previous post   |  Top of Page   |   Next post



The content of this page reflects the personal opinion(s) of the author(s) only, not the American Chemical Society, ILPI, Safety Emporium, or any other party. Use of any information on this page is at the reader's own risk. Unauthorized reproduction of these materials is prohibited. Send questions/comments about the archive to secretary@dchas.org.
The maintenance and hosting of the DCHAS-L archive is provided through the generous support of Safety Emporium.