# United Gas Pipe Line Company — Pipeline Safety Interpretation

**Citation:** PI-70-0111  
**Type / status:** guidance / guidance  
**Agency:** Pipeline and Hazardous Materials Safety Administration  
**Effective:** Not stated  
**Published:** 1970-12-02

PI-70-0111 response to United Gas Pipe Line Company concerning 192.55.

## Document text

<<<PAGE 1>>>

PI-70-0111
December 2, 1970
Mr. W. P. Heineman
United Gas Pipe Line Company
P.O. Box 1407
Shreveport, Louisiana 71102
Dear Mr. Heineman:
This is in reply to your three letters of October 12, 1970, requesting interpretations of various sections of 49 CFR, Part
192.
In answer to your question concerning requirements for two-phase systems, the statement made in Houston that the
most severe regulation (either gas or liquid) be complied within two-phase systems is still correct.
You state that most two-phase systems are designed to transport primarily natural gas. An examination of the “Gas
Engineers Handbook”, 1966 edition, page 8/11 on two-phase flow indicated that such systems range from gas bubbling
in a solid stream of liquid to a fog of liquid in a gas stream. Therefore, to state that all two-phase systems follow either
the gas or liquid regulation would not be wise.
You state that the B31.8 should be followed in the future as it has been the Code used in the past for two-phase flow. In
the case of stress levels in other than Class 1 locations, the gas regulations would be more severe than the liquid, but in
most instances the regulations would be similar for transmission type or trunkline type pipelines. Therefore, you should
have no problem in following the most severe regulation, at least at present, with the knowledge we have on two-phase
pipelines.
In answer to your question regarding transportation of pipe a change in the language of Section 192.65 is under
consideration to apply only to pipe transported after the effective date of the regulations. We recognize that there is a
problem with respect to application of our regulation to the original transportation of existing stock of pipe. Therefore,
we suggest that you furnish all available information as to the transportation procedures used before RP5L1 was issued
and the precise nature and magnitude of the problem.
With regard to your letter on the qualification of steel pipe presently in inventory, our recent amendment to Section
192.55 and Appendix B should have alleviated much, if not all of the problem. If you still find that you have a large
inventory that does not qualify under a listed specification or Section 192.55 (d), you may wish to petition for a waiver.
Should you elect to follow this course of action, I suggest that your petition contain the following information:
1. The magnitude of the problem in terms of quantity of pipe and its value.
2. The reasons why qualification of the pipe under Section 192.55(a)(2) is not appropriate.
3. The basis upon which the waiver could be found not inconsistent with pipeline safety.
4. A indication as to whether other companies might also be adversely affected (if the problem is
widespread, an amendment might be more appropriate).
5. Suggested language for an amendment that would alleviate the problem while assuring and equivalent
level of safety.
If we can be of further assistance, please do not hesitate to ask.
Sincerely,
Original signed by:
Joseph C. Caldwell
Director, Acting
Office of Pipeline Safety

<<<PAGE 2>>>

United Gas Pipe Line Company
P.O. Box 1407
Shreveport, Louisiana 71102
October 12, 1970
Office of Pipeline Safety
Department of Transportation
400 Sixth Street, S.W.
Washington, D. C. 20590
Re: Transportation of Natural and Other Gas by Pipeline - Minimum
Safety Standards
Gentlemen:
It has been brought to our attention, as a result of the Office of Pipeline Safety seminar in Houston on October
6, 1970, that gas offshore pipelines to be operated as two-phase systems would be expected to comply with the most
severe of either of the oil pipeline rules or gas pipeline rules. Offshore gas pipeline systems, prior to this date, have
been designed, with respect to stress from internal pressure, on the same basis as inshore pipelines. This neglects, of
course, consideration of laying stresses which are common to both oil or gas lines. It is recognized that a two-phase
system, which is designed primarily to transport natural gas, can and does accumulate liquids; however, the liquids do
not create surge problems since a liquid accumulation as it moves down the pipeline is cushioned by the preceding gas.
Except for the liquid handling facilities required inshore to remove the liquids from a two-phase system, we do not feel
that the operating stress problems are different from those in a dry gas system.
Most offshore gas systems, except for those close inshore, are two-phase systems. These have been designed to
operate at stress levels prescribed in the B31.8 Code. We would recommend that the Office of Pipeline Safety consider
the continuation of similar design criteria for offshore two-phase systems as has been used in prior years.
Yours very truly,
W. P. Heineman

<<<PAGE 3>>>

United Gas Pipe Line Company
P.O. Box 1407
Shreveport, Louisiana 71102
October 12, 1970
Office of Pipeline Safety
Department of Transportation
400 Sixth Street, S.W.
Washington, D. C. 20590
Re: Transportation of Natural and Other Gas by Pipeline - Minimum
Safety Standards
Gentlemen:
The following is submitted to your office for clarification of Paragraph 192.65, "Transportation of Pipe", in the
above referenced regulations.
This requirement implies that all pipe installed after the effective date of the regulations and with a diameter to
wall thickness ratio of 70 to 1, or more, that is transported by railroad shall be transported in accordance with API
RP5L1. United Gas Pipe Line Company currently has an inventory of line pipe in this category which is estimated to be
valued at $1.1 million. This pipe was purchased prior to the issuance of API RP5L1. It is common practice for large gas
transmission companies to maintain adequate inventories of pipe for maintenance and emergency purposes. This
inventory can become quite large, especially in a company such as United Gas Pipe Line Company where we have a very
wide range of diameters, wall thicknesses and grades.
We do not believe it was the intent of your office to eliminate the use of new pipe that was shipped prior to the
issuance of this regulation. We will appreciate your clarification of this rule to accommodate and permit the use of
these pipe inventories.
Yours very truly,
W. P. Heineman

<<<PAGE 4>>>

United Gas Pipe Line Company
P.O. Box 1407
Shreveport, Louisiana 71102
October 12, 1970
Office of Pipeline Safety
Department of Transportation
400 Sixth Street, S.W.
Washington, D. C. 20590
Re: Transportation of Natural and Other Gas by Pipeline - Minimum
Safety Standards
Gentlemen:
The following comment is submitted to your office in consideration of problems which could occur with
reference to Subpart B - Materials.
Paragraph 192.55 indicates that new steel pipe would have to be qualified under a listed specification under
Appendix B. Most major pipeline companies have large inventories of line pipe for both maintenance and emergency
purposes. Appendix B would require that, for example, new pipe would have to be manufactured to API 5LX Standard,
dated 1970. United Gas Pipe Line Company has a current inventory of new pipe of approximately $1.6 million, which is
pipe manufactured to API 5L or API 5LX specifications dated prior to 1970. A strict interpretation of this rule would,
therefore, be burdensome to our company.
We do not believe that it was the intent of the rules to prohibit the use of new pipe simply because it was
manufactured to a specification prior to the current edition. Such a requirement would be expensive and costly to the
gas industry without any benefit to pipeline safety. We will appreciate your clarification of this requirement such that it
will permit the use of pipe in current inventories.
Yours very truly,
W.P. Heineman

## Provenance

- Official: Yes
- Source: <https://www.phmsa.dot.gov/sites/phmsa.dot.gov/files/legacy/interpretations/Interpretation%20Files/Pipeline/1970/g70-12-02_Heineman_192.55-lmxs.pdf>
- Source ID: `phmsa`
- SHA-256: `539ec233757ab354ba1171452abe08ec0e6f1b8bcb48ba80d5cbcdbc19fdc82a`
- Retrieved: 2026-08-20T00:59:31.977Z
- Exported: 2026-08-23T20:14:21.308Z
- Document slug: `phmsa-interpretation-pi-70-0111`

### Source metadata

```json
{
  "materialSubtype": "interpretation",
  "interpretationArea": "pipeline_safety",
  "representation": "full_text_from_official_pdf",
  "companies": [
    "United Gas Pipe Line Company"
  ],
  "individuals": [
    "Mr. W.P. Heineman"
  ],
  "refIds": [
    "PI-70-0111"
  ],
  "catalogDates": [
    "1970-12-02"
  ],
  "catalogParts": [
    192
  ],
  "catalogRowCount": 1,
  "sourceRecordUrls": [
    "https://www.phmsa.dot.gov/node/58301"
  ],
  "linkedAttachmentUrls": [],
  "unavailableResponseUrls": [],
  "duplicateRepresentationUrls": [],
  "citedSections": [
    "192.55",
    "192.65"
  ],
  "catalogPageUrls": [
    "https://www.phmsa.dot.gov/regulations/title49/section/19255"
  ],
  "pdfUrls": [
    "https://www.phmsa.dot.gov/sites/phmsa.dot.gov/files/legacy/interpretations/Interpretation%20Files/Pipeline/1970/g70-12-02_Heineman_192.55-lmxs.pdf"
  ],
  "representations": [
    {
      "viewUrl": "https://www.phmsa.dot.gov/sites/phmsa.dot.gov/files/legacy/interpretations/Interpretation%20Files/Pipeline/1970/g70-12-02_Heineman_192.55-lmxs.pdf",
      "detailUrl": null,
      "detailHtmlPath": null,
      "pdfUrl": "https://www.phmsa.dot.gov/sites/phmsa.dot.gov/files/legacy/interpretations/Interpretation%20Files/Pipeline/1970/g70-12-02_Heineman_192.55-lmxs.pdf",
      "pdfArtifactPath": "data/sources/phmsa-interpretations/pi-70-0111.pdf",
      "pdfArtifactSha256": "1140c2d1d4dfbd00cafc4553b99f35500d8d81c7bfe3251ccf55435e0f422411",
      "extractedTextPath": "data/sources/phmsa-interpretations/pi-70-0111.v2.txt",
      "extractedTextSha256": "e262434381c8f5585a076ddc2d7d0ad0ee9c78e7c2d6d5e633318edb27a32b72",
      "pageCount": 4,
      "extractionVersion": 2
    }
  ],
  "caveat": "Interpretations apply regulations to the facts presented and do not create independently enforceable requirements.",
  "jurisdiction": "US"
}
```
