# ENI US OPERATING CO, INC — Notice of Amendment

**Citation:** CPF 52022027NOA  
**Type / status:** enforcement / historical  
**Agency:** Pipeline and Hazardous Materials Safety Administration  
**Effective:** Not stated  
**Published:** 2022-09-07

CLOSED notice of amendment citing 195.446(a).

## Document text

Notice of Amendment involving ENI US OPERATING CO, INC. PHMSA's enforcement data identifies the cited regulation as 195.446(a). The case was opened on 2022-09-07 and is reported as closed as of 2023-01-19. Open the official case record for notices, responses, orders, and the latest status.

Official case documents:

52022027NOA_Closure Letter_01192023_(21-201439).pdf: https://primis.phmsa.dot.gov/enforcement-documents/52022027NOA/52022027NOA_Closure%20Letter_01192023_(21-201439).pdf

52022027NOA_Closure Letter_01192023_(21-201439)_text.pdf: https://primis.phmsa.dot.gov/enforcement-documents/52022027NOA/52022027NOA_Closure%20Letter_01192023_(21-201439)_text.pdf

52022027NOA_Notice of Amendment_09072022_(21-201439).pdf: https://primis.phmsa.dot.gov/enforcement-documents/52022027NOA/52022027NOA_Notice%20of%20Amendment_09072022_(21-201439).pdf

52022027NOA_Notice of Amendment_09072022_(21-201439)_text.pdf: https://primis.phmsa.dot.gov/enforcement-documents/52022027NOA/52022027NOA_Notice%20of%20Amendment_09072022_(21-201439)_text.pdf

52022027NOA_Operator Response to Notice_09202022_(21-201439).pdf: https://primis.phmsa.dot.gov/enforcement-documents/52022027NOA/52022027NOA_Operator%20Response%20to%20Notice_09202022_(21-201439).pdf

52022027NOA_Closure Letter_01192023_(21-201439)_text.pdf

VIA E-MAIL TO MR. DAVID HART
January 19, 2023
Mr. David Hart
Operation Manager
Eni US Operating Co., Inc.
3800 Centerpoint Drive, Suite 300
Anchorage, AK 99503
CPF 5-2022-027-NOA
Closure Letter
Dear Mr. Hart:
From August 2 through 6, 2021, representatives of the Pipeline and Hazardous Materials Safety
Administration (PHMSA), pursuant to Chapter 601 of 49 United States Code, inspected Eni US
Operating Co., Inc.’s (Eni) procedures for control room management in Anchorage and North
Slope Borough, Alaska. As a result of the inspection, Eni was issued a Notice of Amendment on
September 7, 2022, which proposed amendment of your procedures.
Eni submitted its amended procedures on September 20, 2022. 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,
Dustin Hubbard
Director, Western Region
Pipeline and Hazardous Materials Safety Administration
cc: PHP-60 Compliance Registry
PHP-500 J. Dunphy (#21-201439)

52022027NOA_Notice of Amendment_09072022_(21-201439)_text.pdf

NOTICE OF AMENDMENT
VIA E-MAIL TO MR. DAVID HART
September 7, 2022
Mr. David Hart
Operation Manager
Eni US Operating Co., Inc
3800 Centerpoint Drive, Suite 300
Anchorage, AK 99503
CPF 5-2022-027-NOA
Dear Mr. Hart:
From August 2 through 6, 2021, representatives of the Pipeline and Hazardous Materials Safety
Administration (PHMSA), pursuant to Chapter 601 of 49 United States Code, inspected Eni US
Operating Co., Inc’s (Eni) procedures for control room management in Anchorage and North
Slope Borough, Alaska.
On the basis of the inspection, PHMSA has identified the following apparent inadequacies found
within Eni’s plans or procedures, as described below:
1. § 195.446 Control room management.
(a) General. This section applies to each operator of a pipeline facility with a
controller working in a control room who monitors and controls all or part of a
pipeline facility through a SCADA system. Each operator must have and follow
written control room management procedures that implement the requirements of
this section. The procedures required by this section must be integrated, as
appropriate, with the operator’s written procedures required by § 195.402. An
operator must develop the procedures no later than August 1, 2011, and must
implement the procedures according to the following schedule. The procedures



required by paragraphs (b), (c)(5), (d)(2) and (d)(3), (f) and (g) of this section must
be implemented no later than October 1, 2011. The procedures required by
paragraphs (c)(1) through (4), (d)(1), (d)(4), and (e) must be implemented no later
than August 1, 2012. The training procedures required by paragraph (h) must be
implemented no later than August 1, 2012, except that any training required by
another paragraph of this section must be implemented no later than the deadline
for that paragraph…
ENI’s control room management (CRM) procedures were inadequate to assure safe operation of
a pipeline facility. Specifically, ENI’s written CRM procedures did not implement the
requirements of § 195.446(c)(2) because it did not contain a process for defining and identifying
safety related points. SCADA Points affecting the safe operation of the pipeline safety must be
defined to allow the operator to maintain operations within the defined MOP.
In practice, ENI uses multiple methods, including Level of Protection analysis and Process
Hazard Analysis, for determining which points are safety related. Eni must amend the CRM
procedures to include the process by which it defines and identifies safety related points.
2. § 195.446 Control room management.
(a) General. This section applies to each operator of a pipeline facility with a
controller working in a control room who monitors and controls all or part of a
pipeline facility through a SCADA system. Each operator must have and follow
written control room management procedures that implement the requirements of
this section. The procedures required by this section must be integrated, as
appropriate, with the operator’s written procedures required by § 195.402. An
operator must develop the procedures no later than August 1, 2011, and must
implement the procedures according to the following schedule. The procedures
required by paragraphs (b), (c)(5), (d)(2) and (d)(3), (f) and (g) of this section must
be implemented no later than October 1, 2011. The procedures required by
paragraphs (c)(1) through (4), (d)(1), (d)(4), and (e) must be implemented no later
than August 1, 2012. The training procedures required by paragraph (h) must be
implemented no later than August 1, 2012, except that any training required by
another paragraph of this section must be implemented no later than the deadline
for that paragraph.
ENI’s CRM procedures were inadequate to assure safe operation of a pipeline facility.
Specifically, ENI’s written CRM procedures did not implement the requirements of §
195.446(b)(1). ENI CRM, Section 3.5 Impromptu Change in Responsibility, did not define the
terms "short break" and "extended period of time." Eni must amend its CRM procedures to
quantitatively define the terms "short break" and "extended period of time."
3. § 195.446 Control room management.
(a) General. This section applies to each operator of a pipeline facility with a
controller working in a control room who monitors and controls all or part of a



pipeline facility through a SCADA system. Each operator must have and follow
written control room management procedures that implement the requirements of
this section. The procedures required by this section must be integrated, as
appropriate, with the operator’s written procedures required by § 195.402. An
operator must develop the procedures no later than August 1, 2011, and must
implement the procedures according to the following schedule. The procedures
required by paragraphs (b), (c)(5), (d)(2) and (d)(3), (f) and (g) of this section must
be implemented no later than October 1, 2011. The procedures required by
paragraphs (c)(1) through (4), (d)(1), (d)(4), and (e) must be implemented no later
than August 1, 2012. The training procedures required by paragraph (h) must be
implemented no later than August 1, 2012, except that any training required by
another paragraph of this section must be implemented no later than the deadline
for that paragraph.
ENI’s CRM procedures were inadequate to assure safe operation of a pipeline facility.
Specifically, ENI’s written CRM procedures did not implement the requirements of §
195.446(b)(5). ENI CRM, Section 3.8, did not clearly define the roles, responsibilities and
qualifications of others who have the authority to direct or supersede the specific technical
actions of controllers. ENI CRM Section 3.8 was ambiguous with respect to who has authority
to supersede the actions of the controller. Eni must amend its CRM procedures to clarify the
roles, responsibilities and qualifications of others who have the authority to direct or supersede
the specific technical actions of controllers.
4. § 195.446 Control room management.
(a) General. This section applies to each operator of a pipeline facility with a
controller working in a control room who monitors and controls all or part of a
pipeline facility through a SCADA system. Each operator must have and follow
written control room management procedures that implement the requirements of
this section. The procedures required by this section must be integrated, as
appropriate, with the operator’s written procedures required by § 195.402. An
operator must develop the procedures no later than August 1, 2011, and must
implement the procedures according to the following schedule. The procedures
required by paragraphs (b), (c)(5), (d)(2) and (d)(3), (f) and (g) of this section must
be implemented no later than October 1, 2011. The procedures required by
paragraphs (c)(1) through (4), (d)(1), (d)(4), and (e) must be implemented no later
than August 1, 2012. The training procedures required by paragraph (h) must be
implemented no later than August 1, 2012, except that any training required by
another paragraph of this section must be implemented no later than the deadline
for that paragraph.
ENI’s procedures were inadequate to assure safe operation of a pipeline facility. Specifically,
ENI’s written CRM procedures did not implement the requirements of § 195.446(c)(2). ENI
CRM, Section 4.4 Point-to-Point Verification, did not reference CRM, Section 6 Alarm
Management Plan. ENI’s CRM, Section 6.1.3 Safety-related Alarm Table 4 - Safety-related
Points and Alarms, contained the list of points and alarms that require point-to-point verification.



CRM, Section 6.12 Implementation, however, did reference Section 4.4. Eni must amend its
procedures to include the appropriate section references within its CRM Plan.
5. § 195.446 Control room management.
(a) General. This section applies to each operator of a pipeline facility with a
controller working in a control room who monitors and controls all or part of a
pipeline facility through a SCADA system. Each operator must have and follow
written control room management procedures that implement the requirements of
this section. The procedures required by this section must be integrated, as
appropriate, with the operator’s written procedures required by § 195.402. An
operator must develop the procedures no later than August 1, 2011, and must
implement the procedures according to the following schedule. The procedures
required by paragraphs (b), (c)(5), (d)(2) and (d)(3), (f) and (g) of this section must
be implemented no later than October 1, 2011. The procedures required by
paragraphs (c)(1) through (4), (d)(1), (d)(4), and (e) must be implemented no later
than August 1, 2012. The training procedures required by paragraph (h) must be
implemented no later than August 1, 2012, except that any training required by
another paragraph of this section must be implemented no later than the deadline
for that paragraph.
ENI’s CRM procedures were inadequate to assure safe operation of a pipeline facility.
Specifically, ENI’s written CRM procedures did not implement the requirements of Section §
195.446(e)(1). ENI CRM, Section 6.1.4 Handling Stale Data (Bad PV), failed to instruct the
pipeline controller how to identify stale data. ENI CRM, Section 6.1.4 Handling Stale Data (Bad
PV), instructed the pipeline controller to take notice of points providing stale data but did not
provide guidance on how to identify stale data. Eni must amend its procedures to provide clear
guidance on how to recognize stale data within the SCADA system.
6. § 195.446 Control room management.
(a) General. This section applies to each operator of a pipeline facility with a
controller working in a control room who monitors and controls all or part of a
pipeline facility through a SCADA system. Each operator must have and follow
written control room management procedures that implement the requirements of
this section. The procedures required by this section must be integrated, as
appropriate, with the operator’s written procedures required by § 195.402. An
operator must develop the procedures no later than August 1, 2011, and must
implement the procedures according to the following schedule. The procedures
required by paragraphs (b), (c)(5), (d)(2) and (d)(3), (f) and (g) of this section must
be implemented no later than October 1, 2011. The procedures required by
paragraphs (c)(1) through (4), (d)(1), (d)(4), and (e) must be implemented no later
than August 1, 2012. The training procedures required by paragraph (h) must be
implemented no later than August 1, 2012, except that any training required by
another paragraph of this section must be implemented no later than the deadline
for that paragraph.



ENI’s CRM procedures were inadequate to assure safe operation of a pipeline facility.
Specifically, ENI’s written CRM procedures did not implement the requirements of §
195.446(e)(3). ENI CRM, and associated Defeated Safety Device Log Procedure, failed to
establish when a safety device (or alarm) may be defeated (inhibited). The ENI CRM referenced
in several places the "Defeated Safety Device Log." The Defeated Safety Device Log Procedure
is a separate procedure from the CRM. The ENI CRM did not indicate where to obtain the
Defeated Safety Device Log Procedure. Eni must amend its procedures to provide a process
establishing when a safety device (or alarm) may be defeated (inhibited).
7. § 195.446 Control room management.
(a) General. This section applies to each operator of a pipeline facility with a
controller working in a control room who monitors and controls all or part of a
pipeline facility through a SCADA system. Each operator must have and follow
written control room management procedures that implement the requirements of
this section. The procedures required by this section must be integrated, as
appropriate, with the operator’s written procedures required by § 195.402. An
operator must develop the procedures no later than August 1, 2011, and must
implement the procedures according to the following schedule. The procedures
required by paragraphs (b), (c)(5), (d)(2) and (d)(3), (f) and (g) of this section must
be implemented no later than October 1, 2011. The procedures required by
paragraphs (c)(1) through (4), (d)(1), (d)(4), and (e) must be implemented no later
than August 1, 2012. The training procedures required by paragraph (h) must be
implemented no later than August 1, 2012, except that any training required by
another paragraph of this section must be implemented no later than the deadline
for that paragraph.
ENI’s CRM procedures were inadequate to assure safe operation of a pipeline facility.
Specifically, ENI’s written CRM procedures did not implement the requirements of §
195.446(h). ENI CRM, Section 9 Pipeline Controller Training, did not provide clear
requirements for the training of controllers. In practice, ENI maintained an integrated training
program with the production plant. To be considered for an opening as a pipeline controller, a
candidate must first be fully qualified as a plant operator.
Additionally, the abnormal operating condition training required the controller to pass a test
showing competency, but ENI did not specify a pass/fail criterion for the test. Eni must amend
its procedures to provide clear requirements for the training of controllers.
8. § 195.446 Control room management.
(a) General. This section applies to each operator of a pipeline facility with a
controller working in a control room who monitors and controls all or part of a
pipeline facility through a SCADA system. Each operator must have and follow
written control room management procedures that implement the requirements of
this section. The procedures required by this section must be integrated, as
appropriate, with the operator’s written procedures required by § 195.402. An



operator must develop the procedures no later than August 1, 2011, and must
implement the procedures according to the following schedule. The procedures
required by paragraphs (b), (c)(5), (d)(2) and (d)(3), (f) and (g) of this section must
be implemented no later than October 1, 2011. The procedures required by
paragraphs (c)(1) through (4), (d)(1), (d)(4), and (e) must be implemented no later
than August 1, 2012. The training procedures required by paragraph (h) must be
implemented no later than August 1, 2012, except that any training required by
another paragraph of this section must be implemented no later than the deadline
for that paragraph.
ENI’s CRM procedures were inadequate to assure safe operation of a pipeline facility.
Specifically, ENI’s written CRM procedures did not implement the requirements of §
195.446(h)(6). Eni CRM Manual did not have procedures for providing team training to
controllers and other individuals who would reasonably be expected to operationally collaborate
with controllers during normal, abnormal or emergency situations. Eni must amend its
procedures to comply with § 195.446(h)(6).
9. § 195.446 Control room management.
(a) General. This section applies to each operator of a pipeline facility with a
controller working in a control room who monitors and controls all or part of a
pipeline facility through a SCADA system. Each operator must have and follow
written control room management procedures that implement the requirements of
this section. The procedures required by this section must be integrated, as
appropriate, with the operator’s written procedures required by § 195.402. An
operator must develop the procedures no later than August 1, 2011, and must
implement the procedures according to the following schedule. The procedures
required by paragraphs (b), (c)(5), (d)(2) and (d)(3), (f) and (g) of this section must
be implemented no later than October 1, 2011. The procedures required by
paragraphs (c)(1) through (4), (d)(1), (d)(4), and (e) must be implemented no later
than August 1, 2012. The training procedures required by paragraph (h) must be
implemented no later than August 1, 2012, except that any training required by
another paragraph of this section must be implemented no later than the deadline
for that paragraph.
ENI’s CRM procedures were inadequate to assure safe operation of a pipeline facility.
Specifically, ENI’s written CRM procedures did not implement the requirements of § 195.446(i).
ENI CRM, Section 10, provided that it must submit its procedures to PHMSA upon request, but
did not address responses to State agencies. Eni must amend its procedures to provide that it
must submit its procedures to appropriate State agencies.
Response to this Notice
This Notice is provided pursuant to 49 U.S.C. § 60108(a) and 49 C.F.R. § 190.206. 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).
Following the receipt of this Notice, you have 30 days to submit written comments, revised
procedures, or a request for a hearing under §190.211. 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 an Order Directing Amendment. If 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. § 190.206). If you are not
contesting this Notice, we propose that you submit your amended procedures to my office within
30 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 Eni maintain documentation of the safety improvement costs
associated with fulfilling this Notice of Amendment (preparation/revision of plans, procedures)
and submit the total to Dustin Hubbard, Director, Western Region, Pipeline and Hazardous
Materials Safety Administration. In correspondence concerning this matter, please refer to CPF
5-2022-027-NOA and, for each document you submit, please provide a copy in electronic format
whenever possible.
Sincerely,
Dustin Hubbard
Director, Western Region
Pipeline and Hazardous Materials Safety Administration
Enclosure: Response Options for Pipeline Operators in Enforcement Proceedings
cc: PHP-60 Compliance Registry
PHP-500 J. Dunphy (#21-201439)

## Provenance

- Official: Yes
- Source: <https://primis.phmsa.dot.gov/enforcement-data/case/52022027NOA>
- Source ID: `phmsa-enforcement`
- SHA-256: `c83e8d93b585de7e08c53323e2a3ccb43ccde15ac4af74e5a67c69266ca9beb8`
- Retrieved: 2026-08-20T04:44:44.458Z
- Exported: 2026-08-22T23:24:31.976Z
- Document slug: `phmsa-enforcement-52022027noa`

### Source metadata

```json
{
  "cpf": "52022027NOA",
  "operator": "ENI US OPERATING CO, INC",
  "region": "Western",
  "pipelineType": "INTRASTATE LIQUID, OFFSHORE LIQUID (INTRA)",
  "caseStatus": "CLOSED",
  "citedSections": [
    "195.446(a)"
  ],
  "dataAsOf": "08/04/2026 12PM",
  "caseDataAsOf": "2026-08-04",
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  "jurisdiction": "US",
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}
```
