MSDS

Notice: The information and recommendations set forth are made in good faith and are believed to be accurate at the date of preparation.
Panasonic Industrial Company makes no warranty expressed or implied.
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Panasonic Batteries
Panasonic Industrial Company
A Division Panasonic Corporation of North America
5201 Tollview Drive, 1F-3
Rolling Meadows, IL 60008
Toll Free: 877-726-2228
Fax: 847-637-4660
Internet: www.panasonic.com/batteries
e-mail: oembatteries@panasonic.com
MSDS
Material Safety Data Sheets (MSDS) are a sub-requirement of the Occupational Safety and Health Administration
(OSHA) Hazard Communication Standard, 29 CFR Subpart 1910.1200. This Hazard Communication Standard does
not apply to various subcategories including anything defined by OSHA as an "article". OSHA has defined "article" as a
manufactured item other than a fluid or particle; (i) which is formed to a specific shape or design during manufacture; (ii)
which has end use function(s) dependent in whole or in part upon its shape or design during end use; and (iii) which
under normal conditions of use does not release more than very small quantities, e.g. minute or trace amounts of a
hazardous chemical, and does not pose a physical hazard or health risk to employees.
Because all of our batteries are defined as "articles", they are exempt from the requirements of the Hazard
Communication Standard; hence a MSDS is not required.
The following components are found in a Panasonic Cobalt Titanium (CTL) Lithium battery:
Cell Components Material CAS #
Positive Electrode
Lithium Cobalt(III) Oxide 12190-79-3
Negative Electrode Titanium(IV) Oxide 13463-67-7
Electrolyte Ethylene Carbonate 96-49-1
Propylene Carbonate 108-32-7
Ethyl Methyl Carbonate 623-53-0
Lithium Hexafluorophosphate 21324-40-3
DISPOSAL
Lithium batteries are neither specifically listed nor exempted from the Federal Environmental Protection Agency (EPA)
hazardous waste regulations as promulgated by the Resource Conservation and Recovery Act (RCRA). The only metal
of possible concern in a lithium battery is lithium that is not a listed or characteristic toxic hazardous waste. Waste
lithium batteries can be considered a reactive hazardous waste if there is a significant amount of unreacted, or
unconsumed lithium remaining in the spent battery. The key to disposing of a lithium battery as a non-hazardous waste
is to guarantee that it is fully or mostly discharged. Once it is discharged it can be disposed of as non-hazardous waste.
You can dispose of a fully charged or partially discharged lithium battery as a hazardous waste after they are first
neutralized through an approved secondary treatment. The need for a secondary treatment prior to disposal is a
requirement of the U.S. Land Ban Restrictions of the Hazardous and Solid Waste Amendments of 1984. A secondary
treatment center can only receive these batteries as manifested hazardous waste. The waste code for charged lithium
batteries is D003, reactive. In either case, button cell batteries contain so little lithium that they never qualify as a
reactive hazardous waste. These batteries are safe for disposal in the normal municipal waste stream.
Disposal of large quantities of undischarged lithium batteries should be performed by permitted, professional disposal
firms knowledgeable in Federal, State and local hazardous materials and hazardous waste transportation and disposal
requirements. As always, households are exempt from the RCRA hazardous waste guidelines.
Product Information Sheet
Product
:
Cobalt Titanium
(
CT
Type)
Lithium Batteries
Applicable models/sizes: All CTL type
Revision: H, November 5
th
, 2012
The batteries referenced herein are exempt articles and are
not
subject to the OSHA Hazard
Communication Standard requirement. This sheet is provided as a service to our customers.

Summary of content (2 pages)