# AIRCRAFT SERVICES INTERNATIONAL GROUP (ASIG) — Warning Letter

- **operation:** document
- **citation:** CPF 520085010W
- **title:** AIRCRAFT SERVICES INTERNATIONAL GROUP (ASIG) — Warning Letter
- **source type:** enforcement
- **agency:** Pipeline and Hazardous Materials Safety Administration
- **status:** historical
- **official:** true
- **published on:** 2008-04-23
- **effective on:** Not available
- **summary:** CLOSED warning letter citing 195.452(f)(8), 195.452(h)(1), 195.452(h)(3), 195.452(h)(4)(i), 195.452(i)(1), 195.452(i)(2).
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- **source url:** https://primis.phmsa.dot.gov/enforcement-data/case/520085010W
**body:**

Warning Letter involving AIRCRAFT SERVICES INTERNATIONAL GROUP (ASIG). PHMSA's enforcement data identifies the cited regulations as 195.452(f)(8),  195.452(h)(1),  195.452(h)(3),  195.452(h)(4)(i),  195.452(i)(1),  195.452(i)(2). The case was opened on 2008-04-23 and is reported as closed as of 2008-04-23. Open the official case record for notices, responses, orders, and the latest status.

Official case documents:

520085010W_warning letter_04232008.pdf: https://primis.phmsa.dot.gov/enforcement-documents/520085010W/520085010W_warning%20letter_04232008.pdf

520085010w_warning letter_04232008_text.pdf: https://primis.phmsa.dot.gov/enforcement-documents/520085010W/520085010w_warning%20letter_04232008_text.pdf

520085010w_warning letter_04232008_text.pdf

O
U. S. Department
of Transportation
Pipeline and
Hazardous Materials Safety
Administration
12300 W Dakota Ave, Suite 110
Lakewood, CO 80228
WARNING LETTER
CERTIFIED MAIL - RETURN RECEIPT RE UESTED
April 23, 2008
Mr Thomas Mushovic
General Manager
Aircraft Service International Group
6000 DeHavilland Drive
Anchorage, AK 99519
CPF 5-2008-5010W
Dear Mr. Mushovic.
On November 14-16, 2007, a representative of the Pipeline and Hazardous Materials Safety
Admmistration (PHMSA), pursuant to Chapter 601 of 49 United States Code, inspected Airport
Service International Group's (ASIG) Integrity Management Program m Anchorage, Alaska
As a result of the mspection, it appears that you have committed probable violations of the
Pipehne Safety Regulations, Title 49, Code of Federal Regulations The items mspected and the
probable violations are:
$195. 452 Pipeline integrity management in high consequence areas.
f) What are the elements of an integrity management program? An integrity
management program begins with the initial framework. An operator must
continually change the program to reflect operating experience, conclusions drawn
from results of the integrity assessments, and other maintenance and surveillance
data, and evaluation of consequences of a failure on the high consequence area. An
operator must include, at minimum, each of the following elements in its written



integrity management program:
(8) A process for review of integrity assessment results and information analysis by
a person qualified to evaluate the results and information (see paragraph (h)(2) of
this section).
ASIG does not mclude m their IMP plan gob description, task analysis, or other means to
identify the qualification requirements for performing reviews of assessment results and
mformation analysis, that address education, experience, skills, and trainmg
requirements, as appropriate.
(Evidence i ASIG IM Program document, Section 2. 0
f195. 452 Pipeline integrity management in high consequence areas.
(h) What actions must an operator take to address integrity issues?
(1) General requirements. An operator must take prompt action to address all
anomalous conditions that the operator discovers through the integrity assessment
or information analysis. In addressing all conditions, an operator must evaluate all
anomalous conditions and remediate those that could reduce a pipeline's integrity.
An operator must be able to demonstrate that the remediation of the condition will
ensure that the condition is unlikely to pose a threat to the long-term integrity of
the pipeline. A reduction in operating pressure cannot exceed 365 days without an
operator taking further remedial action to ensure the safety of the pipeline. An
operator must comply with Sec. 195. 422 when making a repair.
ASIG does not mclude m their IM program document a requirement that any temporary
reduction m operating pressure taken until repair or remediation can be completed
cannot exceed 365 days without the operator takmg additional remedial actions to assure
the safety of the pipehne
(Evidence i ASIG IM Program document, Section 2 5
3. )195. 452 Pipeline integrity management in high consequence areas.
(h) What actions must an operator take to address integrity issues?
(3) Schedule for evaluation and remediation. An operator must complete
remediation of a condition according to a schedule that prioritizes the conditions
for evaluation and remediation. If an operator cannot meet the schedule for any
condition, the operator must justify the reasons why it cannot meet the schedule
and that the changed schedule will not jeopardize public safety or environmental
protection. An operator must notify OPS if the operator cannot meet the schedule
and cannot provide safety through a temporary reduction in operating pressure.
An operator must send the notice to the address specified in paragraph (m) of this
sec60n.



ASIG does not include in their IM program document a requirement to notify PHMSA if
the operator cannot meet the remediation schedule and cannot provide safety through a
temporary reduction in operating pressure.
(Evidence) ASIG IM Program document, Section 2 5
$195. 452 Pipeline integrity management in high consequence areas.
(h) What actions must an operator take to address integrity issues?
(4) Special requirements for scheduling remediation.
(i) Immediate repair conditions. An operator's evaluation and remediation
schedule must provide for immediate repair conditions. To maintain safety, an
operator must temporarily reduce operating pressure or shut down the pipeline
until the operator completes the repair of these conditions. An operator must
calculate the temporary reduction in operating pressure using the formula in
section 451. 7 of ASME/AIVSI B31. 4 (incorportaed by reference, see Sec. 195. 3). An
operator must treat the following conditions as immediate repair conditions:
ASIG does not mclude m their IM program document a requirement statmg that if an
immediate repair condition is identified, the operating pressure of the affected pipehne
be temporarily reduced m accordance with the formula m Section 451. 7 of ASME/ANSI
B31. 4 or the pipehne be shutdown until the condition is repaired. Where pressure
reduction cannot be calculated using the method of Section 451 7, the process should
identify alternative methods of calculating a safe operatmg pressure
iiEvidence) ASIG IM Program document, Section 2 5
$195. 452 Pipeline integrity management in high consequence areas.
(i) What preventive and mitigative measures must an operator take to protect the
high consequence area?
(2) Risk analysis criteria. In identifying the need for additional preventive and
mitigative measures, an operator must evaluate the likelihood of a pipeline release
(i) Terrain surrounding the pipeline segment, including drainage systems such as
small streams and other smaller waterways that could act as a conduit to the high
consequence area;
(ii) Elevation profile;
(iii) Characteristics of the product transported;
(iv) Amount of product that could be released;
(v) Possibility of a spillage in a farm field following the drain tile into a waterway;
(vi) Ditches along side a roadway the pipeline crosses;
(vii) Physical support of the pipeline segment such as by a cable suspension bridge;



(viii) Exposure of the pipeline to operating pressure exceeding established
maximum operating pressure.
ASIG did not develop and document adequate risk assessment conclusions and
implementation actions ASIG appears to be domg the work but did not document what
work has been completed ASIG did not identify dominant risk factors nor mtegrate any
data with other information to develop a complete and mtegrated understanding of risk.
iiEvidence) ASIG IM Program document, Section 2. 4
$195. 452 Pipeline integrity management in high consequence areas.
(i) What preventive and mitigative measures must an operator take to protect the
high consequence area?
(1) General requirements. An operator must take measures to prevent and
mitigate the consequences of a pipeline failure that could affect a high consequence
area. These measures include conducting a risk analysis of the pipeline segment to
identify additional actions to enhance public safety or environmental protection.
Such actions may include, but are not limited to, implementing damage prevention
best practices, better monitoring of cathodic protection where corrosion is a
concern, establishing shorter inspection intervals, installing EFRDs on the pipeline
segment, modifying the systems that monitor pressure and detect leaks, providing
additional training to personnel on response procedures, conducting drills with
local emergency responders and adopting other management controls.
ASIG does not mclude in their IM program document a requirement to consider the
identification of potential preventive and mitigative actions that address the most
significant segment- specific risks, mcluding consideration of preventive and mitigative
actions hsted m (195 452(i)(1) Further, ASIG did not conduct reviews of the
effectiveness of current preventive and mitigative actions and the potential for
enhancements and upgrades
evidence) ASIG IM Program document, Section 2. 6
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 supportmg documents
mvolved m this case, and have decided not to conduct additional enforcement action or penalty
assessment proceedmgs at this time We advise you to correct the items identified m this letter
Failure to do so will result in ASIG bemg subject to additional enforcement action
No reply to this letter is required. If you choose to reply, m your correspondence please refer to
CPF 5-2008-5010W Be advised that all material you submit in response to this enforcement
action is subject to bemg made pubhcly available If you beheve that any portion of your



responsive material qualifies for confidential treatment under 5 U S C. 552(b), along with the
complete origmal document you must provide a second copy of the document with the portions
you beheve quahfy for confidential treatment redacted and an explanation of why you beheve
the redacted information quahfies for confidential treatment under 5 U. S. C. 552(b).
Smcerely,
Chris Hoidal
Director, Western Region
Pipelme and Hazardous Materials Safety Administration
cc: PHP-60 Comphance Registry
PHP-500 J Strawn (¹119912)
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