At 06:58 PM 10/12/2004 -0700, David Weinshenker wrote:
One would think that an airbag actuator would fall within the definition
of a "propellent actuated device" ("specialized mechanical device or gas
generator system that releases or directs work by means of a propellant
charge"), and as such would be exempt from 27 CFR part 555 "Commerce in
Explosives" by the action of the exemption at 27 CFR 555.141(a)(8)
Dave, you beat me to it. For those who haven't rushed out and checked 27 CFR 555.141(a)(8), it exempts propellant actuated devices from regulations under Part 555 (Commerce In Explosives) (which BTW is the only Part in Subchapter C, Explosives) along with gasoline and fertilizer.
I also found the current Explosives List, though, at 69 FR 16958, and I find no mention of air bag actuators. Mind you, I don't know what's *in* them, but I share Dave W's belief that they're PADs, and therefore exempt.
-R
Randall Clague Government Liaison XCOR Aerospace [EMAIL PROTECTED] 661-824-4714
--- Outgoing mail is certified Virus Free. Checked by AVG anti-virus system (http://www.grisoft.com). Version: 6.0.773 / Virus Database: 520 - Release Date: 10/5/2004
_______________________________________________ ERPS-list mailing list [EMAIL PROTECTED] http://lists.erps.org/mailman/listinfo/erps-list
