# GENESIS PIPELINE ALABAMA, LLC — Warning Letter

- **operation:** document
- **citation:** CPF 220126006W
- **title:** GENESIS PIPELINE ALABAMA, LLC — Warning Letter
- **source type:** enforcement
- **agency:** Pipeline and Hazardous Materials Safety Administration
- **status:** historical
- **official:** true
- **published on:** 2012-03-20
- **effective on:** Not available
- **summary:** CLOSED warning letter citing 195.222(a), 195.305(a), 195.442(c)(1).
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- **app url:** https://regulus.evalyn.ai/document/phmsa-enforcement-220126006w
- **source url:** https://primis.phmsa.dot.gov/enforcement-data/case/220126006W
**body:**

Warning Letter involving GENESIS PIPELINE ALABAMA, LLC. PHMSA's enforcement data identifies the cited regulations as 195.222(a),  195.305(a),  195.442(c)(1). The case was opened on 2012-03-20 and is reported as closed as of 2012-03-20. Open the official case record for notices, responses, orders, and the latest status.

Official case documents:

220126006W_Operator Response_04182012.pdf: https://primis.phmsa.dot.gov/enforcement-documents/220126006W/220126006W_Operator%20Response_04182012.pdf

220126006W_warning letter_03202012.pdf: https://primis.phmsa.dot.gov/enforcement-documents/220126006W/220126006W_warning%20letter_03202012.pdf

220126006W_warning letter_03202012_text.pdf: https://primis.phmsa.dot.gov/enforcement-documents/220126006W/220126006W_warning%20letter_03202012_text.pdf

220126006W_warning letter_03202012_text.pdf

WARNING LETTER
CERTIFIED MAIL - RETURN RECEIPT REQUESTED
March 20, 2012
Mr. Mike Moore
Vice President, Pipelines and Trucking Operations
Genesis Pipeline Alabama, LLC
919 Milam, Suite 2100
Houston, Texas 77002-5417
CPF 2-2012-6006W
Dear Mr. Moore:
From February 13-16, 2012, a representative of the Pipeline and Hazardous Materials Safety
Administration (PHMSA) inspected the Genesis Pipeline Alabama, LLC (Genesis-AL)
Castleberry Pipeline’s written operations and maintenance (O&M) procedures, records and
facilities in Alabama pursuant to Chapter 601 of 49 United States Code.
As a result of the inspection, it appears that (Genesis-AL) has committed probable violations
of the Pipeline Safety Regulations, in Title 49 of the Code of Federal Regulations. The items
inspected and the probable violations are as follows:
1. §195.222 Welders: Qualification of welders.
(a) Each welder must be qualified in accordance with section 6 of API 1104
(incorporated by reference, see §195.3) or section IX of the ASME Boiler and
Pressure Vessel Code, (incorporated by reference, see §195.3) except that a welder
qualified under an earlier edition than listed in §195.3 may weld but may not re-
qualify under that earlier edition.
Genesis-AL did not follow its written welding procedures because it did not document and
keep welder qualification records as required by its written procedures.
The Genesis Energy Liquid & CO2 Operations, Maintenance and Emergency Procedures
Manual (LOM&E) is used by all Genesis Energy, L.P. companies operating hazardous
liquid pipelines regulated under 49 CFR Part 195. LOM&E Section 2.15 Welding stated,
in part, the following:
“Documentation
All welding projects must be documented. Documentation must be kept for the life of the
pipeline and includes: . . . Welder qualification (coupon test or radiography results)”



Genesis did not provide welder qualification records for the welder who welded on the
construction and installation of a check meter and associated piping fabrication at the
terminus of the 8-inch Castleberry Line at the I-65 Junction in December 2010. While
Genesis provided Operator Qualification (OQ) records that indicated the welder was
qualified to direct the repair of certain defective welds, no records were provided to
convey how and when the welder had been qualified to weld on the referenced project.
2. §195.305 Testing of components.
(a) Each pressure test under §195.302 must test all pipe and attached fittings,
including components, unless otherwise permitted by paragraph (b) of this section.
Genesis-AL did not pressure test all fittings, including components, of a fabricated
assembly that was installed at the terminus of the 8-inch Castleberry Line at the I-65
Junction in December 2010. The components and fittings included a strainer, a meter,
weld neck flanges, and pipe fittings. The exemption in §195.305(b) did not apply because
more than one component was installed.
3. §195.442 Damage prevention program.
. . . (c) The damage prevention program required by paragraph (a) of this section
must, at a minimum:
(1) Include the identity, on a current basis, of persons who normally engage in
excavation activities in the area in which the pipeline is located.
Genesis-AL did not include the identity, on a current basis, of persons who normally
engage in excavation activities in the area in which the pipeline is located.
Genesis-AL did not provide any records to indicate it had identified persons who normally
engage in excavation activities in Conecuh County, Alabama for calendar years 2010 and
2011. The 8-inch Castleberry Line traverses through Conecuh County for approximately
13 miles, and is located within about 9 miles from the town of Evergreen, Conecuh
County. An internet search of building and construction companies by the PHMSA
inspector found several companies located in Evergreen that would be considered
excavators, including water well drillers, general contractors, and heavy construction
contractors.
Under 49 United States Code, § 60122, you are subject to a civil penalty not to exceed
$100,000 for each violation for each day the violation persists up to a maximum of
$1,000,000 for any 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. We advise you to correct
the items identified in this letter. Failure to do so will result in Genesis Pipeline Alabama,
LLC 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 2-2012-6006W. 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),2



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
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