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DOT Pipeline Compliance News January 2005 Edition Recent Trends in DOT Pipeline Regulations |
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| Stacey Gerard Receives Presidential Award | Top | |
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On behalf of Transportation Secretary Mineta, Deputy Administrator Bonasso announced last month Stacey Gerard’s selection for the Presidential Rank of Meritorious Executive. The President of the United States recognizes the achievement of career Senior Executives through the annual Presidential Rank Awards. These awards are the highest honor the federal government can present a career civilian employee. The Presidential Meritorious Executive Rank Award is limited to only five percent of career senior executives government-wide.
The award is granted for “sustainable accomplishment,” based on such leadership qualities as innovation and achievement. Under Ms. Gerard’s leadership, the Office of Pipeline Safety team works daily to protect the public, environment and pipeline infrastructure that provides two-thirds of the nation’s energy. She led the team to become more efficient and effective in applying new technologies to solve problems, such as developing and implementing the National Pipeline Mapping System. In 2001, Congress, the National Transportation Safety Board (NTSB), the General Accounting Office, and the Inspector General directed 65 specific actions to be completed by the Office of Pipeline Safety. By 2003, the agency moved off the NTSB’s “Most Wanted” list by completing all but 10 recommendations. Shortly thereafter, Congress passed the Pipeline Safety Improvement Act of 2002, which led to 59 new mandates that had to be completed within a specific timeframe. Ms. Gerard’s team completed most of these mandates, including the completion of the Natural Gas Pipeline Integrity Management regulations. With the implementation of these regulations, the department has seen double-digit drops in pipeline leaks, incidents, and spills. |
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| Louisiana State Pipeline Rule Revisions | Top | |
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On December 20, 2004, the State of Louisiana proposed extensive revisions to both their gas and liquid pipeline safety regulations. Most of these proposed revisions will reconcile the Louisiana regulations with the federal regulations. We will review the existing and proposed rules in detail in our upcoming workshop in February (see related article below). For a copy of the proposed regulations, contact Jessica Roger at jessica.roger@your-rcp.com. |
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| Pipeline Safety Regulation Workshops - Federal, Texas, and Louisiana | Top | |
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RCP will host a 3 day workshop on the Federal, Texas, and Louisiana pipeline safety regulations on February 22 - 24, 2005. Attendees can register for one, two, or all three days. Topics to be covered include:
Day 1: Introduction to Federal Pipeline Safety Regulations
Day 2: Texas Pipeline Safety Regulations
Day 3: Louisiana Pipeline Safety Regulations
A golf outing will be available on days 2 and 3 for personnel who are not interested in that day's topic. For additional information, including a seminar brochure, go to our website here. |
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RCP Partners with Paradigm and Celeritas for Complete Turnkey Public Awareness Support | Top | |
For a turnkey, cost effective pipeline public awareness solution, RCP has joined forces with Paradigm and Celeritas to provide operators with a complete range of services.
For more information, contact Susan Waller at swaller@your-rcp.com or go to www.PipelinePublicAwareness.com. Your Pipeline Public Awareness Team ![]() ![]()
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| Utilities in Texas DOT Right of Ways | Top | |
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The Texas Department of Transportation (department) proposes the repeal of §§21.31 - 21.51 and simultaneously proposes new §§21.31 - 21.41, concerning utility accommodation. Existing §§21.31 - 21.51 provide the current regulations for the accommodation of utilities on highway right of way. The Texas Transportation Commission (commission) is repealing §§21.31 - 21.51 and proposing new §§21.31 - 21.41 in a revised form to: reorganize the rules for clarity; allow the use of updated utility construction methods and materials; and improve the state's management of its right of way by requiring a better quality of plans and record drawings for utility installations. Improved utility location information will allow the earlier identification and resolution of utility conflicts with transportation projects prior to the highway construction letting.
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| Texas Pipeline Safety Rule Revisions – loose ends | Top | |
Pursuant to Texas Government Code, §2001.027 and 1 TAC §91.38(d), the proposed new section §8.110 that appeared in the May 7, 2004, issue of the Texas Register (29 TexReg 4394), has been automatically withdrawn. The withdrawn section is given below:
Each pipeline operator shall prepare a manual or procedural plan, required by 49 CFR Parts 191, 192, 193, 195 or 199, as applicable, and shall make it available for Commission inspection upon request. If the Commission finds the plan is inadequate to achieve safe operation, the operator shall revise the plan. Based on comments, the Commission decided not to adopt the proposed new §8.110, Operations and Maintenance Procedures, which was derived from prior §§7.70(i) and 7.84(d). Federal rules incorporated by reference already require the preparation and use of operations and maintenance (O&M) manuals. Deleting this rule will eliminate the unnecessary provision that requires operators to submit O&M manuals to the Commission 20 days prior to the effective date. The Commission already has the authority to require that an operator revise its O&M plan if the Commission finds the plan is inadequate to achieve safe operation. Shameless commerce plug: If you want a detailed review of all the changes to the Texas Pipeline Safety Regulations, and how they differ from the Federal regulations, attend our upcoming seminar. Click here for details! |
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| Gas Integrity Management Workshop for Inspection Protocols, January 19-20, 2005 | Top | |
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The Research and Special Programs Administration's (RSPA) Office of Pipeline Safety (OPS) and the National Association of Pipeline Safety Representatives (NAPSR) will cosponsor a workshop January 19-20, 2005 at The Westin Atlanta North to discuss the oversight implementation of the Gas Integrity Management program and the Inspection Protocols. The workshop will provide a detailed review and discussion of Gas Pipeline Integrity Management Inspection Protocols as posted on the Gas Integrity Management public Web site at primis.rspa.dot.gov/gasimp/prolist.gim. RSPA/OPS and NAPSR will gather issues presented at the workshop needing additional clarification or guidance material development for the implementation of the rule oversight program. Operators of natural gas transmission pipelines are urged to attend either in person or to observe the workshop via the internet. RSPA/OPS will web cast this meeting.
Advance registration for the meeting is strongly encouraged and can be accomplished online at the following Web site: primis.rspa.dot.gov/meetings. For more information regarding the meeting contact Zach Barrett at (405) 954-5559; E-mail zach.barrett@tsi.jccbi.gov, or Jeff Wiese at (202) 366-2036. For hotel reservations contact The Westin Atlanta North (Perimeter Mall), Seven Concourse Parkway, Atlanta, Georgia. URL: www.westin.com. Phone: (770) 395-3900; fax: (770) 395-3935 (refer to the U.S. Department of Transportation block when making reservations). |
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| Construction Stormwater General Permit - Final Modification | Top | |
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The EPA has modified the permit conditions specific to construction activities covered under EPA's National Pollutant Discharge Elimination System (NPDES) General Permit for Storm Water Discharges from Construction Activities. These final NPDES construction general permits (commonly referred to collectively as the CGP) for discharges from large (five acres or more) and small (one to five acres) construction activities were published on July 1, 2003 (68 FR 39087) and August 4, 2003 (68 FR 45817). The CGP and accompanying fact sheet are available on EPA's Internet Web site at: www.epa.gov/npdes/cgp. These general permits are available for use where EPA is the NPDES permitting authority in EPA Regions 1-3 and 5-10. The revisions clarify that only sites covered by this permit can be subject to noncompliance with the permit. In addition, the EPA has corrected a typographical error in the permit and a corresponding error in the fact sheet. This permit modification is effective on January 21, 2005.
Note that the EPA has expressed a much different interpretation of the "oil and gas exemption" for Storm Water Permits than most oil and gas operators believe to be correct. EPA's position is that the "construction" of an oil and gas facility (such as a drill well pad) is NOT exempt from the Storm Water Permitting requirements. We understand that EPA headquarters intends to provide guidance to E&P operators prior to the March 10, 2005 implementation deadline. |
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| Notice of Minimum Annual Percentage Rate for Random Drug Testing | Top | |
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Each year pipeline operators randomly select employees to test for prohibited drugs. The number of selections may not be less than the minimum annual percentage rate the Research and Special Programs Administration's (RSPA) Office of Pipeline Safety (OPS) determines, either 50 percent or 25 percent of covered employees, based on the industry's positive rate of random tests. In accordance with applicable standards, RSPA/OPS has determined that the positive rate of random drug tests reported by operators this calendar year for testing done in calendar year 2003 is less than 1.0 percent. Therefore, in calendar year 2005, the minimum annual percentage rate for random drug testing is 25 percent of covered employees.
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| OSHA Standards Improvement Project-Phase II | Top | |
On January 5, 2005, OSHA published revisions to its regulations that revised or removed a number of health provisions in its standards for general industry, shipyard employment, and construction. The Agency believes that the changes streamline and make more consistent the regulatory requirements in OSHA health and safety standards. In some cases, OSHA has made substantive revisions to requirements because they are outdated, duplicative, unnecessary, or inconsistent with more recently promulgated health standards. The Agency believes these revisions will reduce regulatory requirements for employers without reducing employee protection. Changes to the regulations include:
The final rule becomes effective March 7, 2005. Certain sections in part 1910 are incorporated by reference in parts 1915, shipyard employment, and 1926, construction. Therefore, any changes to referenced sections in part 1910 also apply to parts 1915 and 1926. If you would like a copy of the rule revisions, or would like to discuss how RCP can help ensure you are in compliance with these revised regulations, please contact Jessica Roger at jessica.roger@your-rcp.com or call (713) 655-8080. |
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| REMINDER - January 15 deadline for Hazardous Liquid & CO2 operators in Texas | Top | |
One significant revision to 16 TAC 8.315 “Hazardous Liquids and Carbon Dioxide Pipelines or Pipeline Facilities Located Within 1,000 Feet of a Public School Building or Facility” includes notification provision that are due on January 15, 2005. An excerpt of these revisions is provided below.
(2) the street address of the public school building or other public school facility; and (3) the identification (system name) of the pipeline. |
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| Army Corps Completes Initiative to Name a Lead District for the Regulatory Program in Each state | Top | |
The Army Corps of Engineers has identified Lead Districts for Regulatory Program administration for states with multiple district offices. This change will provide a single point of contact for state development, transportation, and natural resource regulatory agency coordination. Lead districts are responsible for:
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If you have a regulatory-issue meeting planned, let us know,
and we'll announce it in both our Vessel and Facility Newsletter and our DOT Pipeline Newsletter.
Yours, W. R. (Bill) Byrd, PE President RCP Inc. 888-727-9937 wrbyrd@your-rcp.com www.your-rcp.com RCP - Your Regulatory Compliance Partner! http://www.your-rcp.com or call us at 1-888-RCP-X-YES to see what we can do for you. | ||