# DOMINION ENERGY QUESTAR PIPELINE, LLC — Notice of Amendment

**Citation:** CPF 520111010M  
**Type / status:** enforcement / historical  
**Agency:** Pipeline and Hazardous Materials Safety Administration  
**Effective:** Not stated  
**Published:** 2011-11-21

CLOSED notice of amendment citing 192.605(b)(1), 192.605(b)(2), 192.605(b)(8), 192.614(c)(6)(ii), 192.615(a)(1), 192.615(a)(10), 192.615(a)(9).

## Document text

Notice of Amendment involving DOMINION ENERGY QUESTAR PIPELINE, LLC. PHMSA's enforcement data identifies the cited regulations as 192.605(b)(1),  192.605(b)(2),  192.605(b)(8),  192.614(c)(6)(ii),  192.615(a)(1),  192.615(a)(10),  192.615(a)(9). The case was opened on 2011-11-21 and is reported as closed as of 2012-03-30. Open the official case record for notices, responses, orders, and the latest status.

Official case documents:

520111010M_closure letter_03302012.pdf: https://primis.phmsa.dot.gov/enforcement-documents/520111010M/520111010M_closure%20letter_03302012.pdf

520111010M_closure letter_03302012_text.pdf: https://primis.phmsa.dot.gov/enforcement-documents/520111010M/520111010M_closure%20letter_03302012_text.pdf

520111010M_notice of amendment_11212011.pdf: https://primis.phmsa.dot.gov/enforcement-documents/520111010M/520111010M_notice%20of%20amendment_11212011.pdf

520111010M_notice of amendment_11212011_text.pdf: https://primis.phmsa.dot.gov/enforcement-documents/520111010M/520111010M_notice%20of%20amendment_11212011_text.pdf

520111010M_Operator Response_03192012.pdf: https://primis.phmsa.dot.gov/enforcement-documents/520111010M/520111010M_Operator%20Response_03192012.pdf

520111010M_closure letter_03302012_text.pdf

CERTIFIED MAIL - RETURN RECEIPT REQUESTED
March 30, 2012
Mr. Larry Conti
Vice President-Operations and Gas Control
Questar Pipeline Company
180 E. 100 South
Salt Lake City, UT 84145-0360
CPF 5-2011-1010M
Dear Mr. Conti:
On May 9-13, 2011, representatives from the Pipeline and Hazardous Materials Safety
Administration (PHMSA), pursuant to chapter 601 of 49 United States Code, conducted an on-
site pipeline safety inspection of Questar Pipeline Company’s (Questar) procedures in Salt Lake
City, Utah. As a result of the inspection, Questar was issued a Notice of Amendment on
November 21, 2011, which proposed amendment of your procedures.
Questar submitted its amended procedures on March 19, 2012. My staff reviewed the amended
procedures, and it appears that the inadequacies outlined in this Notice of Amendment have been
corrected.
This letter is to inform you no further action is necessary and this case is now closed. Thank you
for your cooperation.
Sincerely,
Chris Hoidal
Director, Western Region
Pipeline and Hazardous Materials Safety Administration
cc: PHP-60 Compliance Registry
PHP-500 D. Hubbard (#132781)

520111010M_notice of amendment_11212011_text.pdf

NOTICE OF AMENDMENT
CERTIFIED MAIL - RETURN RECEIPT REQUESTED [70063450000171041852]
November 21, 2011
Mr. Larry Conti
Vice President – Operations and Gas Control
Questar Pipeline Company
180 E. 100 South
Salt Lake City, UT 84145-0360
CPF 5-2011-1010M
Dear Mr. Conti:
On May 9–13, 2011, representatives of the Pipeline and Hazardous Materials Safety
Administration (PHMSA) and the Arizona Corporation Commission (ACC), pursuant to Chapter
601 of 49 United States Code, inspected Questar Pipeline Company’s (Questar) procedures for
operations, maintenance, and emergency response in Salt Lake City, Utah.
On the basis of the inspection, PHMSA has identified the apparent inadequacies found within
Questar Pipeline Company’s plans or procedures, as described below:
1. §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.



The Questar O&M manual did not contain a procedure for periodic review of the work
performed by operator personnel to determine the effectiveness and adequacy of the procedures.
The Questar O&M manual did not describe when or how the procedures are to be reviewed, as
required by § 192.605(b)(8).
2. §192.614 Damage prevention program.
(c) The damage prevention program required by paragraph (a) of this section must,
at a minimum:
(6) Provide as follows for inspection of pipelines that an operator has reason to
believe could be damaged by excavation activities:
(ii) In the case of blasting, any inspection must include leakage surveys.
The Questar damage prevention program did not reference blasting as a condition to trigger a
leak inspection, as required by § 192.614(c)(6)(ii).
3. §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.
(1) Operating, maintaining, and repairing the pipeline in accordance with each of
the requirements of this subpart and Subpart M of this part.
Questar operates a transmission line which is in a Class 3 Area for more than 50% of its length
downstream from a Class 3 area. Questar’s sister company, Questar Gas Company (QGC)
odorizes as is required; however, Questar does not have any procedures to monitor and measure
the effectiveness of the odorization. Pursuant to § 192.605(b)(1), an operator must have
procedures for each of the requirements of this subpart and Subpart M. Section 192.625(f)
requires the operator to conduct periodic sampling to verify proper odorization. The Questar
O&M manual did not have an odorization procedure describing how periodic sampling is to
occur, and instead relied on its sister company to conduct periodic sampling.
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.
(1) Operating, maintaining, and repairing the pipeline in accordance with each of
the requirements of this subpart and Subpart M of this part.
The Questar O&M manual did not include a section required to inspect the right-of-way, or how
the right-of-way is to be inspected. Questar’s procedures pertaining to Part 192.14 are inadequate
because Questar did not clearly indicate that inspections of the right-of-way are required to be
conducted.



5. §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.
(1) Operating, maintaining, and repairing the pipeline in accordance with each of
the requirements of this subpart and Subpart M of this part.
All repairs made by welding in accordance with §§§ 192.713, 192.715, 192.717 must be
examined. The Questar O&M Manual did not include a section that specifically describes the
process of how “non-destructive” testing of repair sleeves is to occur, as required by §
192.719(b).
6. §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.
(1) Operating, maintaining, and repairing the pipeline in accordance with each of
the requirements of this subpart and Subpart M of this part.
The Questar O&M manual did not provide specific examples for appropriate locations for
warning sign postings, as required per § 192.751(c). The procedure did not state where warning
signs should be posted to minimize the danger of accidental ignition of gas.
7. §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.
(2) Controlling corrosion in accordance with the operations and maintenance
requirements of subpart I of this part.
The Questar manual did not include specific language to quantify the term “prompt”, when
referencing monitoring of external corrosion control, § 192.465(d).
If atmospheric corrosion is found during an inspection, the operator must provide protection
against the corrosion, as required per § 192.479. The Questar manual did not state how
protection against corrosion is to be performed.
8. §192.615 Emergency Plans.
(a) Each operator shall establish written procedures to minimize the hazard
resulting from a gas pipeline emergency. At a minimum, the procedures must
provide for the following:
(1) Receiving, identifying, and classifying notices of events which require immediate
response by the operator.



The Questar O&M manual did not reference any emergency events that would require an
immediate response from the operator, as required by §192.615(a)(1). The manual did not
contain the procedures required for receiving, identifying, and classifying notices of events
requiring immediate response.
9. §192.615 Emergency Plans.
(a) Each operator shall establish written procedures to minimize the hazard
resulting from a gas pipeline emergency. At a minimum, the procedures must
provide for the following:
(9) Safely restoring any service outage.
The Questar O&M manual did not contain instructions describing how service outages are to be
restored after the emergency has been rendered safe. Questar’s procedures are inadequate
pertaining to §192.615(a)(9) because Questar did not describe how service outages are to be
restored after an emergency.
10. §192.615 Emergency Plans.
(a) Each operator shall establish written procedures to minimize the hazard
resulting from a gas pipeline emergency. At a minimum, the procedures must
provide for the following:
(10) Beginning action under §192.617, if applicable, as soon after the end of the
emergency as possible.
The Questar O&M manual did not contain language requiring that accidents be investigated as
soon as possible after the emergency.
Response to this Notice
This Notice is provided pursuant to 49 U.S.C. § 60108(a) and 49 C.F.R. § 190.237. Enclosed as
part of this Notice is a document entitled Response Options for Pipeline Operators in
Compliance Proceedings. Please refer to this document and note the response options. 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). If you do not respond within 30 days
of receipt of this Notice, this constitutes a waiver of your right to contest the allegations in this
Notice and authorizes the Associate Administrator for Pipeline Safety to find facts as alleged in
this Notice without further notice to you and to issue a Final Order.



If, after opportunity for a hearing, your plans or procedures are found inadequate as alleged in
this Notice, you may be ordered to amend your plans or procedures to correct the inadequacies
(49 C.F.R. § 190.237). If you are not contesting this Notice, we propose that you submit your
amended procedures to my office within ninety days of receipt of this Notice. This period may
be extended by written request for good cause. Once the inadequacies identified herein have
been addressed in your amended procedures, this enforcement action will be closed.
It is requested (not mandated) that Questar Pipeline Company maintain documentation of the
safety improvement costs associated with fulfilling this Notice of Amendment
(preparation/revision of plans, procedures) and submit the total to Chris Hoidal, Director,
Western Region, Pipeline and Hazardous Materials Safety Administration. In correspondence
concerning this matter, please refer to CPF 5-2011-1010M and, for each document you submit,
please provide a copy in electronic format whenever possible.
Sincerely,
Chris Hoidal
Director, Western Region
Pipeline and Hazardous Materials Safety Administration
Enclosure: Response Options for Pipeline Operators in Compliance Proceedings
cc: PHP-60 Compliance Registry
PHP-500 D. Hubbard (#132781)

## Provenance

- Official: Yes
- Source: <https://primis.phmsa.dot.gov/enforcement-data/case/520111010M>
- Source ID: `phmsa-enforcement`
- SHA-256: `51c202a8a99445013276a42ff85a2987176de9281d30961dc101fae2460c880d`
- Retrieved: 2026-08-20T04:44:44.458Z
- Exported: 2026-08-24T21:01:57.569Z
- Document slug: `phmsa-enforcement-520111010m`

### Source metadata

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