What's up with this?
http://www.ammoland.com/2016/08/atf...witter&utm_source=socialnetwork#axzz4IlcTAb1e
http://www.ammoland.com/2016/08/atf...witter&utm_source=socialnetwork#axzz4IlcTAb1e
Manufacturers and importers of smokeless propellant have relied on ATF private letter rulings issued prior to 2016 stating that nitrocellulose wetted with water not less than 25 percent by mass is not subject to regulation under the federal explosives laws. Accordingly, the manufacturers have set up their logistics, storage and operations consistent with nitrocellulose not being regulated as an explosive. Manufacturers and importers may not have adequate storage facilities or record keeping systems to comply with the law. Licensed manufacturers also rely on private, unlicensed vendors to store wetted nitrocellulose in facilities that do not comply with storage requirements. A number of manufacturers also report an adverse impact on their contracts to supply smokeless propellant and finished rounds of ammunition to the Department of Defense.
Publication of the change in classification in an industry newsletter without advance notice has left manufacturers scrambling to determine what standards ATF will allow for alternate storage and record keeping and to obtain permits for unlicensed storage vendors. In the meantime, manufacturers and importers are violating federal law, as ATF allowed no grace period for coming into compliance. We note that ATF has authorized such periods in the past when changing agency positions. For example, see ATF’s November 12, 2010 Open Letter regarding explosive pest control devices.
ATF was recently asked about the status of nitrocellulose under the Federal explosives laws and regulations. “Nitrocellulose explosive” is on ATF’s List of Explosive Materials. ATF has determined that nitrocellulose containing greater than 12.6 percent nitrogen is a high explosive under 27 CFR, Part 555 (nitrocellulose containing 12.6 percent or less nitrogen is generally not an explosive material under Part 555). Therefore, it must be stored in a type 1 or type 2 magazine. We are aware that the U.S. Department of Transportation may assign a nonexplosive classification to nitrocellulose when it has been wetted with water or alcohol. This is based, in part, on the diminished likelihood of explosion in a transportation accident. Because the nitrocellulose retains its explosive characteristics when the water or alcohol is removed, the wetted nitrocellulose remains a nitrocellulose explosive, subject to the licensing, safety and security requirements of the Federal explosives regulations. However, based upon the diminished likelihood of wetted nitrocellulose exploding, ATF will consider variance requests to store the wetted material under an alternative arrangement.
thallub said:hey have the link to the BATFE document on their site. They are betting that very few pro-gunners will bother to vet their sensational trash.
That seems an odd step to take if you are trying to sell sensational trash.
ATF Reclassifies Wetted Nitrocellulose as Explosive Materials Under Federal Laws
Has ATF issued private letter rulings that wetted nitrocellulose of less than 25%nitrogen is not an explosive requiring an explosive magazine?
From a friend in the know: "I just got off the phone with Chris Hodgdon and Chris stated that at this time there are NO implications that this will have on the U.S. market at this time. Chris stated that this new regulation was purely for controlling the transport and storage of raw form nitrocellulose and should NOT have an impact on the consumer market."
. I'm sure it doesn't affect all of the powder manufacturers, but some of them are very likely to get burned.
Not that I'm aware of
From a friend in the know:
How many smokeless powder manufacturers in the US?
. Hogdon, Alliant, Accurate. There are a few others I'm aware of (Winchester, IMR) that have some subsidiary relationship to Hogdon. It seems though
St. Marks FL is the winchester powder factory still there?