# Anderson, Greenwood & Co. — Pipeline Safety Interpretation

**Citation:** PI-71-070  
**Type / status:** guidance / guidance  
**Agency:** Pipeline and Hazardous Materials Safety Administration  
**Effective:** Not stated  
**Published:** 1971-07-29

PI-71-070 response to Anderson, Greenwood & Co. concerning 192.145.

## Document text

<<<PAGE 1>>>

July 29, 1971
Mr. G. Frank Bright
Sales Manager
Safety Relief Valves
Anderson, Greenwood & Co.
P. O. Box 400
Bellaire, Texas 77401
Dear Mr. Bright:
This is in reply to your letter of July 13, 1971, requesting an interpretation of paragraph
192.505(d). You specifically questioned the use of sub-paragraph(d)(2), instead of Section
192.145, for the strength testing of safety relief valves prior to operation.
It is intended that all valves including safety relief valves meet the applicable requirements of
Section 192.145. Paragraph 192.145(a) requires, in part, that each valve meet the minimum
requirements of one of three specifications or the equivalent including API Standard 6D. Section
5.1 of API Standard 6D states, "All pressure tests required in this section (Section 5) shall be
made on all completed valves prior to shipment from the manufacturer's works." The words
"each valve" and "equivalent" in paragraph 192.145(a) are used in the sense of providing quality
control and inspection for all valves that would at least be equivalent to that specified for the
specific valves mentioned in API 6D. For example, the listed specifications do not cover all sizes
and types of valves, but a valve of a size or type not covered should at least meet the applicable
safety requirements in the listed specifications. Even though relief valves are not included by
name in API Standard 6D, safety requirements "equivalent" to those elaborated in API Standard
6D must be.
It is recognized that individual pieces of many types of components, such as pipe ells, tees, and
couplings are not individually strength tested at the time of manufacture. Paragraph 192.505(d)
gives the operator an option when such a component is being replaced. This section is intended
for situations where a component cannot as a practical matter be given a post-construction test.
The operator, therefore, does not have to remove the segment of pipeline containing the replaced
DB/dal/192.145
71-07-29
1

<<<PAGE 2>>>

component and test the entire segment to prove the item has been pretested per sub-paragraph
192.505(d)(1), or a prototype of the component was tested per sub-paragraph 192.505(d)(2).
Please contact me if I can be of any further assistance in this matter.
Sincerely,
/signed/
Joseph C. Caldwell
Acting Director
Office of Pipeline Safety
DB/dal/192.145
71-07-29
2

<<<PAGE 3>>>

Anderson, Greenwood & Company
July 13, 1971
Office of Pipeline Safety
Room 315
201 Fannin Street
Houston, Texas 77002
Attn: Mr. M. W. Taylor
Re: Hydrostatic Testing of Safety Relief Valves
for use in Natural Gas Pipelines
Gentlemen:
Anderson, Greenwood & Co. is a manufacturer of safety relief valves widely used as overpressure
protection in natural gas pipelines. For some weeks we have been conducting hydrostatic tests on
a prototype of each type, size and flange rating at test pressure of 150% of flange rating. We
have been running these tests for 8 hours, and of course keeping appropriate recorder chart
records.
We have been proceeding on the assumption that a safety relief valve is a “ component other than
pipe” being added to the pipeline as described in 192.505 (d). We also plan to prepare a standard
certification that a prototype of all AGCO safety relief valves have been so tested, and are
manufactured under a quality control system to comply with 192.505(d)(2).
Recently we have received a letter from Northern Natural Gas Co. (copy attached) expressing an
opinion that a safety valve should be subjected to hydrostatic test per API-6D, and reference
192.145. The position of our company is that API-6D is a test for valves other than safety relief
valves, and is by title not applicable to safety relief valves.
We ask that you give us a ruling on whether we are correct in our assumption that a safety relief
valve can be tested under 192.505(d). Thank you very much.
Yours very truly,
ANDERSON, GREENWOOD & CO.
G. Frank Bright, Sales Manager
Safety Relief Valves
DB/dal/192.145
71-07-29
3

<<<PAGE 4>>>

Northern
Natural
Gas
July 17, 1971
Mr. Frank Bright
Anderson Greenwood Company [sic]
Box 400
Billaire [sic], Texas 77401
Dear Mr. Bright:
Mr. Buxton, Mr. Jack Baker and I had a conference on June 15 regarding testing of relief valves,
Mr. Baker’ s position as Director of Codes is that a relief valve should be tested to the same
specifications as a plug, gate or ball valve used in the same location. Briefly, this means that
valves 6” and smaller should have the same test as API-6D, 8” and larger shall be tested for 12
hours shell and 3 hours seat (if applicable), with pressure-temperature test charts submitted. In
the case of ordinary valves the latter is referred to as a PL-203 test, and is an extra cost item.
Mr. Buxton’ s information was that you relied on DOT paragraph 192.505 D92) [sic], using the
prototype approach. We are interested in knowing whether other companies will accept this. Mr.
Baker does not approve of this approach, instead would refer to paragraph 192.145.
Please let us know your price schedule for a test that will match API 6D. I am enclosing a PL-
203 specification form. Much does not apply, but Section IV through 4.82 does seem to fit relief
valves. Since this applies to 8” and up, please estimate such a testing cost.
An early reply will be appreciated.
Very truly yours,
P. W. Nelson
DB/dal/192.145
71-07-29
4

## Provenance

- Official: Yes
- Source: <https://www.phmsa.dot.gov/sites/phmsa.dot.gov/files/legacy/interpretations/Interpretation%20Files/Pipeline/1971/PI71070.pdf>
- Source ID: `phmsa`
- SHA-256: `7aad8cad2ffb23135ca2aef45869a031f8644647ab54081e0af0928537555dc9`
- Retrieved: 2026-08-20T00:59:31.977Z
- Exported: 2026-08-24T11:03:11.678Z
- Document slug: `phmsa-interpretation-pi-71-070`

### Source metadata

```json
{
  "materialSubtype": "interpretation",
  "interpretationArea": "pipeline_safety",
  "representation": "full_text_from_official_pdf",
  "companies": [
    "Anderson, Greenwood & Co."
  ],
  "individuals": [
    "G. Frank Bright"
  ],
  "refIds": [
    "PI-71-070"
  ],
  "catalogDates": [
    "1971-07-29"
  ],
  "catalogParts": [
    192
  ],
  "catalogRowCount": 1,
  "sourceRecordUrls": [
    "https://www.phmsa.dot.gov/node/53021"
  ],
  "linkedAttachmentUrls": [],
  "unavailableResponseUrls": [],
  "duplicateRepresentationUrls": [],
  "citedSections": [
    "192.145",
    "192.505(d)"
  ],
  "catalogPageUrls": [
    "https://www.phmsa.dot.gov/regulations/title49/section/192145"
  ],
  "pdfUrls": [
    "https://www.phmsa.dot.gov/sites/phmsa.dot.gov/files/legacy/interpretations/Interpretation%20Files/Pipeline/1971/PI71070.pdf"
  ],
  "representations": [
    {
      "viewUrl": "https://www.phmsa.dot.gov/sites/phmsa.dot.gov/files/legacy/interpretations/Interpretation%20Files/Pipeline/1971/PI71070.pdf",
      "detailUrl": null,
      "detailHtmlPath": null,
      "pdfUrl": "https://www.phmsa.dot.gov/sites/phmsa.dot.gov/files/legacy/interpretations/Interpretation%20Files/Pipeline/1971/PI71070.pdf",
      "pdfArtifactPath": "data/sources/phmsa-interpretations/pi-71-070.pdf",
      "pdfArtifactSha256": "874c76d19216b62874b90ebe6c7642f4c5a42da5b56adb9c72e6b2dce019ec5d",
      "extractedTextPath": "data/sources/phmsa-interpretations/pi-71-070.v2.txt",
      "extractedTextSha256": "e64499f35589547df1df152bffcb674d20d5cd5ad90ea83a0a43b5a9d5ebf6d3",
      "pageCount": 4,
      "extractionVersion": 2
    }
  ],
  "caveat": "Interpretations apply regulations to the facts presented and do not create independently enforceable requirements.",
  "jurisdiction": "US"
}
```
