# LOVELACE GAS SERVICE INC — Warning Letter

**Citation:** CPF 220130020W  
**Type / status:** enforcement / historical  
**Agency:** Pipeline and Hazardous Materials Safety Administration  
**Effective:** Not stated  
**Published:** 2013-06-19

CLOSED warning letter citing 191.11, 192.1005, 192.491(a), 192.605(a), 192.605(b)(8), 192.616(a), 192.616(b), 192.616(c), 192.616(d)(1), 192.616(e), 192.616(g), 192.625(f), 192.739(a), 192.743(a), 192.747(a), 192.805.

## Document text

Warning Letter involving LOVELACE GAS SERVICE INC. PHMSA's enforcement data identifies the cited regulations as 191.11,  192.1005,  192.491(a),  192.605(a),  192.605(b)(8),  192.616(a),  192.616(b),  192.616(c),  192.616(d)(1),  192.616(e),  192.616(g),  192.625(f),  192.739(a),  192.743(a),  192.747(a),  192.805. The case was opened on 2013-06-19 and is reported as closed as of 2013-06-19. Open the official case record for notices, responses, orders, and the latest status.

Official case documents:

220130020W_warning letter_06192013.pdf: https://primis.phmsa.dot.gov/enforcement-documents/220130020W/220130020W_warning%20letter_06192013.pdf

220130020W_warning letter_06192013_text.pdf: https://primis.phmsa.dot.gov/enforcement-documents/220130020W/220130020W_warning%20letter_06192013_text.pdf

220130020W_warning letter_06192013_text.pdf

WARNING LETTER
CERTIFIED MAIL - RETURN RECEIPT REQUESTED
June 19, 2013
Mr. Garry Lovelace
Vice President
Lovelace Gas Service
10606 East Colonial Drive
Orlando, FL 32825
CPF 2-2013-0020W
Dear Mr. Lovelace:
On May 28-31, 2013, representatives of the Pipeline and Hazardous Materials Safety
Administration (PHMSA), Office of Pipeline Safety Southern Region inspected the Lovelace
Gas Service (Lovelace) liquefied petroleum gas (LPG) pipeline systems, records, and
procedures in Orlando, Florida, pursuant to Chapter 601 of 49 United States Code.
As a result of the inspection, it appears that you have committed probable violations of the
Pipeline Safety Regulations, Title 49, Code of Federal Regulations. The items inspected and
the probable violations are as follows:
1. §191.11 Distribution system: Annual report.
(a) Except as provided in paragraph (b) of this section, each operator of a
distribution pipeline system shall submit an annual report for that system on
Department of Transportation Form RSPA F 7100.1-1. This report must be
submitted each year, not later than March 15, for the preceding calendar year.
(b) Not required. The annual report requirement in this section does not apply to a
master meter system or to a petroleum gas system that serves fewer than 100
customers from a single source.
Lovelace did not properly submit an annual report (DOT RSPA F 7100.1-1) for calendar
year 2012 for its LPG pipeline systems.
Lovelace has separate regulated LPG pipeline systems serving four mobile home parks
with a total of 287 customers. The parks are Alafaya Palms - 63 customers; Colonial
Village - 10 customers; Silver Star - 55 customers; Starlight Ranch Mobile Home Estates
(front) - 53 customers; and, Starlight Ranch Mobile Home Estates (back) - 106 customers.



The only system that has 100 customers or more is the Starlight Ranch Mobile Home
Estates. While these mobile home parks are isolated from each other and LPG is supplied
to each system from a different source, Lovelace incorrectly combined these four mobile
home parks into one annual report for calendar year 2012.
2. §192.491 Corrosion control records.
(a) Each operator shall maintain records or maps to show the location of
cathodically protected piping, cathodic protection facilities, galvanic anodes, and
neighboring structures bonded to the cathodic protection system. Records or maps
showing a stated number of anodes, installed in a stated manner or spacing, need not
show specific distances to each buried anode.
Lovelace did not have a revised and updated system map showing the location of galvanic
anodes, pipe-to-soil test stations, or cathodically protected tanks and piping.
3. §192.605 Procedural manual for operations, maintenance, and emergencies
(a) General. Each operator shall prepare and follow for each pipeline, a manual of
written procedures for conducting operations and maintenance activities and for
emergency response. This manual must be reviewed and updated by the operator at
intervals not exceeding 15 months, but at least one each calendar year. This manual
must be prepared before operations of a pipeline system commence. Appropriate
parts of the manual must be kept at locations where operations and maintenance
activities are conducted.
Lovelace did not properly prepare and follow a manual of written procedures for
conducting operations and maintenance activities and for emergency response. The
operator had a manual dated January 2013, but it was generic with no site specific
operations and maintenance procedures or site specific procedures for emergency
response.
4. §192.605 Procedural manual for operations, maintenance, and emergencies
… (b) Maintenance and normal operations. The manual required by paragraph (a)
of this section must include procedures for the following, if applicable, to provide
safety during maintenance and operations.
… (8) Periodically reviewing the work done by operator personnel to determine the
effectiveness and adequacy of the procedures used in normal operation and
maintenance and modifying the procedure when deficiencies are found.
Lovelace did not provide records to the PHMSA inspector to show it had conducted
periodic reviews of work done by its service technicians to determine the effectiveness
and adequacy of the procedures used in normal operations and maintenance.
2



5. §192.616 Public Awareness1
(a) Each pipeline operator must develop and implement a written continuing public
education program that follows the guidance provided in the American Petroleum
Institute’s (API) Recommended Practice (RP) 1162 (incorporated by reference, see
§192.7).
Lovelace’s Public Awareness Plan (PAP) did not follow the guidance provided in the
American Petroleum Institute’s (API) Recommended Practice (RP) 1162 (incorporated by
reference, see §192.7).
− Lovelace’s PAP did not provide for an annual program implementation audit or
review. API 1162 required the operator to “complete an annual audit or review of
whether the program has been developed and implemented according to the guidelines
in this RP.” While Lovelace’s PAP stated, “[The] Program Administrator should
prepare an annual estimate of the resources required to implement the Program,” an
annual estimate of resources needed to implement a public awareness program did not
meet the requirement to complete an annual audit or a review of whether the program
has been developed and implemented according to API RP 1162 guidelines.
− Lovelace did not provide a specific time interval for measuring the effectiveness of its
PAP. PAP effectiveness evaluations must be done no more than four years apart.
6. §192.616 Public Awareness
... (b) The operator’s program must follow the general program recommendations of
API RP 1162 and assess the unique characteristics of the operator’s pipeline and
facilities.
Lovelace did not assess the unique attributes and characteristics of its pipeline systems
in developing and implementing its written PAP.
While the Lovelace’s pipelines transport propane gas, the PAP did not provide any
information on the attributes and characteristics of propane gas. In fact, Lovelace’s PAP
misled the targeted audience by specifically addressing pipelines transporting natural gas -
not propane gas. For example, one of the objectives listed in Lovelace’s PAP is “To
educate both our customers and non-customers who live or work near our pipelines how
to recognize the odor of natural gas.” Propane gas has significantly different attributes
and characteristics than natural gas and the PAP failed to address how the intended
audience would recognize and react to a release of propane gas from the pipeline.
7. §192.616 Public Awareness
... (c) The operator must follow the general program recommendations, including
the baseline and supplemental requirements of API RP 1162, unless the operator
1 Items 5-10 are based on PHMSA’s understanding that the transportation of gas by pipeline is Lovelace Gas’
primary activity. If Lovelace Gas believes the transportation of gas by pipeline is not its primary activity and
that it is entitled to the less stringent public awareness requirements in §192.616(j), it must provide PHMSA with
documentation demonstrating that it does not transport gas by pipeline as its primary activity.3



provides justification in its program or procedures manual as to why compliance
with all or certain provisions of the recommended practice is not practicable and not
necessary for safety.
Lovelace’s PAP did not address the supplemental requirements of API RP 1162 or
provide justification in its program or procedures manual as to why compliance with all or
certain provisions of the recommended practice is not practicable and not necessary for
safety.
API 1162 requires the operator to “consider to what extent an enhanced, supplemental
program is warranted.” To support the decision for or against a supplemental program,
API 1162 requires the operator to “consider external factors along the pipeline system to
determine if some additional level of public awareness communication is warranted,
beyond the recommended baseline program.”
8. §192.616 Public Awareness
... (d) The operator's program must specifically include provisions to educate the
public, appropriate government organizations, and persons engaged in excavation
related activities on:
(1) Use of a one-call notification system prior to excavation and other damage
prevention activities;
Lovelace’s PAP did not adequately educate the public, appropriate government
organizations, and persons engaged in excavation related activities in the vicinity of its
pipeline on the use of a one-call notification system prior to excavation and other damage
prevention activities.
The PAP contained a list of excavator categories (i.e. construction companies, public
works officials, land developers, etc.) and it specified how names and addresses will be
obtained under each category of excavator. The PAP states, “The names, addresses and
telephone numbers of excavators will be obtained through generation of Sunshine One-
Call tickets for each type of excavator listed.” Lovelace’s use of one-call tickets to
develop a list of excavators is not sufficient to meet the requirements of this subpart.
Lovelace must educate all entities engaged in excavation related activities, not just those
that are already using the one-call center.
9. §192.616 Public Awareness
... (e) The program must include activities to advise affected municipalities, school
districts, businesses, and residents of pipeline facility locations.
(f) The program and the media used must be as comprehensive as necessary to reach
all areas in which the operator transports gas.
Lovelace’s PAP did not provide adequate information on the locations of its pipeline
facilities to municipalities, school districts, businesses, and residents situated adjacent to
its pipeline system or fully define the areas in which it transports gas so the program and
media can reach its intended audience.
4



The PAP states, “... all of Lovelace’s pipeline facilities are included in the PAP.” But,
Lovelace’s PAP did not include all the specific locations in which it operates pipeline
facilities. For example, it did not identify all of the four distinct mobile home parks where
Lovelace operates pipeline facilities.
The PAP did state under Stakeholder Audiences, “The list of individuals living or working
near our pipelines will be developed by…” However, no information was provided to
indicate the distances that would be considered “near our pipelines.” To determine if the
program and media used are reaching all areas in which Lovelace transports gas, Lovelace
must establish the actual distance from the pipeline that defines the area in which gas is
transported and provide the parameters used to determine this distance. That is, a buffer
zone that considers the properties of the gas being transported, terrain, wind, etc.
10. §192.616 Public Awareness
... (g) The program must be conducted in English and in other languages commonly
understood by a significant number and concentration of the non-English speaking
population in the operator's area.
Lovelace’s PAP did not address whether or not there are other languages commonly
understood by a significant number and concentration of the non-English speaking
population in Lovelace’s area.
Lovelace did state in the PAP,
“[The] Public Awareness Program will be conducted in
English and in other languages commonly understood by a significant number of and
concentration of the non-English speaking population on our service area.” However,
Lovelace did not determine if there are significant languages other than English
commonly understood by any segment of the population along its pipeline system. Also,
Lovelace did not provide any information on the method(s) that it used to determine if
other languages are spoken in significant numbers in the area of its pipeline.
11. §192.625 Odorization of gas
(a) A combustible gas in a distribution line must contain a natural odorant or be
odorized so that at a concentration in air of one-fifth of the lower explosive limit, the
gas is readily detectable by a person with a normal sense of smell.
.... (f) To assure the proper concentration of odorant in accordance with this section,
each operator must conduct periodic sampling of combustible gases using an
instrument capable of determining the percentage of gas in air at which the odor
becomes readily detectable.
(See also NFPA 58, Section 4.2.3, LP-Gas Odorization)
Lovelace did not conduct periodic sampling (sniff tests) to assure the proper concentration
of odorant using an instrument capable of determining the percentage of gas in air at
which the odor becomes readily detectable. The monthly “sniff test” conducted in 2012
and 2013 were done without the use of instrumentation.
5



12. §192.739 Pressure limiting and regulating stations: Inspection and testing.
(a) Each pressure limiting station, relief device (except rupture discs), and Pressure
regulating station and its equipment must be subjected at intervals not exceeding 15
months, but at least once each calendar year, to inspections and tests to determine
that it is–
(1) In good mechanical condition;
(2) Adequate from the standpoint of capacity and reliability of operation for the
service in which it is employed;
(3) Except as provided in paragraph (b) of this section, set to control or relieve at the
correct pressure consistent with the pressure limits of §192.201(a);; and
(4) Properly installed and protected from dirt, liquids, or other conditions that
might prevent proper operation.
Lovelace did not inspect its pressure regulators at Colonial Village in calendar years 2011
and 2012 at intervals not exceeding 15 months. The pressure regulators were inspected in
April 2011 and December 2012 - an interval of 20 months. Also, Lovelace did not
provide any records to demonstrate that its regulators were set to control or relieve at the
correct pressure consistent with the pressure limits of §192.201(a).
Lovelace has Fisher 627 primary regulators and Fisher 620/627 secondary regulators
located aboveground. These regulators are 1-inch in size with a 1/2 -inch orifice and have
pressure ratings of 250 psig at the inlet and 5-20 psig at the outlet. But there were no
pressure set-points recorded for these regulators. Lovelace only provided information on
the lock up tests of its primary and secondary regulators.
13. §192.743 Pressure limiting and regulating stations: Capacity of relief devices
(a) Pressure relief devices at pressure limiting stations and pressure regulating
stations must have sufficient capacity to protect the facilities to which they are
connected. Except as provided in §192.739(b), the capacity must be consistent with
the pressure limits of §192.201(a). This capacity must be determined at intervals not
exceeding 15 months, but at least once each calendar year, by testing the devices in
place or by review and calculations
Lovelace did not determine the capacity of its 1-inch Fisher 1805 relief valve at the Silver
Star Mobile Home Park at intervals not exceeding 15 months, but at least once each
calendar year, by testing the device in place or by review and calculations.
14. §192.747 Valve maintenance: Distribution systems.
(a) Each valve, the use of which may be necessary for the safe operation of a
distribution system, must be checked and serviced at intervals not exceeding 15
months, but at least once each calendar year.
Lovelace did not check and service its key valve at Colonial Village at intervals not
exceeding 15 months. The key valve inspections were done in April 2011 and
December 2012 - an interval of 20 months. Further, Lovelace did not provide to the
PHMSA inspector key valve maintenance records; i.e. type, size, manufacturers’6



recommended practices to operate, turns it takes to open/close the valve, etc. The records
just indicated that the valves were “operated.”
15. §192.805 Qualification program.
Each operator shall have and follow a written qualification program. The program
shall include provisions to:
(a) Identify covered tasks;
(b) Ensure through evaluation that individuals performing covered tasks are
qualified;
(c) Allow individuals that are not qualified pursuant to this subpart to perform a
covered task if directed and observed by an individual that is qualified;
(d) Evaluate an individual if the operator has reason to believe that the individual’s
performance of a covered task contributed to an incident as defined in Part 191;
(e) Evaluate an individual if the operator has reason to believe that the individual is
no longer qualified to perform a covered task;
(f) Communicate changes that affect covered tasks to individuals performing those
covered tasks; and
(g) Identify those covered tasks and the intervals at which evaluation of the
individual’s qualifications is needed.
(h) After December 16, 2004, provide training, as appropriate, to ensure that
individuals performing covered tasks have the necessary knowledge and skills to
perform the tasks in a manner that ensures the safe operation of pipeline facilities;
and
(i) After December 16, 2004, notify the Administrator or a state agency participating
under 49 U.S.C. Chapter 601 if the operator significantly modifies the program after
the Administrator or state agency has verified that it complies with this section.
Lovelace did not provide a qualified Operator Qualification program to the PHMSA
inspector.
16. §192.1005 What must a gas distribution operator (other than a master meter or
small LPG operator) do to implement this subpart?
Lovelace did not develop and implement a Distribution Integrity Management Plan
(DIMP) by August 2, 2011. Lovelace did provide to the PHMSA inspector a DIMP plan
using the SHRIMP program provided by the American Public Gas Association (APGA)
but the plan was established in March 2013.
Under 49 United States Code, §60122, Lovelace Gas Service is subject to a civil penalty not
to exceed $200,000 per violation per day the violation persists up to a maximum of
$2,000,000 for any related series of violations. For violations occurring prior to
January 4, 2012, the maximum penalty may not exceed$100,000 per violation per day, with a
maximum penalty not to exceed $1,000,000 for a related series of violations. We have
reviewed the circumstances and supporting documents involved in this case, and have decided
not to conduct additional enforcement action or penalty assessment proceedings at this time.
7



We advise you to correct the items identified in this letter. Failure to do so will result in
Lovelace Gas Service being subject to additional enforcement action.
No reply to this letter is required. If you choose to reply, in your correspondence please refer
to CPF 2-2013-0020W. Be advised that all material you submit in response to this
enforcement action is subject to being made publicly available.
If you believe that any portion of your responsive material qualifies for confidential treatment
under 5 U.S.C. 552(b), along with the complete original document you must provide a second
copy of the document with the portions you believe qualify for confidential treatment redacted
and an explanation of why you believe the redacted information qualifies for confidential
treatment under 5 U.S.C. 552(b).
Sincerely,
Wayne T. Lemoi
Director, Office of Pipeline Safety
PHMSA Southern Region
8

## Provenance

- Official: Yes
- Source: <https://primis.phmsa.dot.gov/enforcement-data/case/220130020W>
- Source ID: `phmsa-enforcement`
- SHA-256: `894134917f1d6f33c1bfb77f50efb525d8566c9af24f07d0acb8086ba271fc14`
- Retrieved: 2026-08-20T04:44:44.458Z
- Exported: 2026-08-22T09:24:35.367Z
- Document slug: `phmsa-enforcement-220130020w`

### Source metadata

```json
{
  "cpf": "220130020W",
  "operator": "LOVELACE GAS SERVICE INC",
  "region": "Southern",
  "pipelineType": "GAS INTRASTATE ONSHORE",
  "caseStatus": "CLOSED",
  "citedSections": [
    "191.11",
    "192.1005",
    "192.491(a)",
    "192.605(a)",
    "192.605(b)(8)",
    "192.616(a)",
    "192.616(b)",
    "192.616(c)",
    "192.616(d)(1)",
    "192.616(e)",
    "192.616(g)",
    "192.625(f)",
    "192.739(a)",
    "192.743(a)",
    "192.747(a)",
    "192.805"
  ],
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  "caseDataAsOf": "2026-08-04",
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      "bytes": 1049636,
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    {
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  "jurisdiction": "US",
  "operatorName": "LOVELACE GAS SERVICE INC"
}
```
