# BARROW UTILITIES & ELECTRIC CORP — Notice of Amendment

- **operation:** document
- **citation:** CPF 520180012M
- **title:** BARROW UTILITIES & ELECTRIC CORP — Notice of Amendment
- **source type:** enforcement
- **agency:** Pipeline and Hazardous Materials Safety Administration
- **status:** historical
- **official:** true
- **published on:** 2018-12-06
- **effective on:** Not available
- **summary:** CLOSED notice of amendment citing 192.605(b)(2), 192.605(b)(3), 192.605(b)(4), 192.605(b)(8), 192.605(d), 192.615(b)(3).
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- **source url:** https://primis.phmsa.dot.gov/enforcement-data/case/520180012M
**body:**

Notice of Amendment involving BARROW UTILITIES & ELECTRIC CORP. PHMSA's enforcement data identifies the cited regulations as 192.605(b)(2),  192.605(b)(3),  192.605(b)(4),  192.605(b)(8),  192.605(d),  192.615(b)(3). The case was opened on 2018-12-06 and is reported as closed as of 2019-07-02. Open the official case record for notices, responses, orders, and the latest status.

Official case documents:

520180012M_Closure Letter_07022019.pdf: https://primis.phmsa.dot.gov/enforcement-documents/520180012M/520180012M_Closure%20Letter_07022019.pdf

520180012M_Closure Letter_07022019_text.pdf: https://primis.phmsa.dot.gov/enforcement-documents/520180012M/520180012M_Closure%20Letter_07022019_text.pdf

520180012M_Notice of Amendment_12062018.pdf: https://primis.phmsa.dot.gov/enforcement-documents/520180012M/520180012M_Notice%20of%20Amendment_12062018.pdf

520180012M_Notice of Amendment_12062018_text.pdf: https://primis.phmsa.dot.gov/enforcement-documents/520180012M/520180012M_Notice%20of%20Amendment_12062018_text.pdf

520180012M_Operator Response to Notice_01232019.pdf: https://primis.phmsa.dot.gov/enforcement-documents/520180012M/520180012M_Operator%20Response%20to%20Notice_01232019.pdf

520180012M_Notice of Amendment_12062018_text.pdf

NOTICE OF AMENDMENT
CERTIFIED MAIL - RETURN RECEIPT REQUESTED
December 6, 2018
The Honorable Harry K. Brower, Jr., Mayor
North Slope Borough
P.O. Box 69
1274 Agvik Street
Barrow, Alaska 99723
CPF 5-2018-0012M
Dear Mayor Brower:
On September 26 through 30, 2016, a representative of the Pipeline and Hazardous Materials Safety
Administration (PHMSA), pursuant to Chapter 601 of 49 United States Code, inspected Barrow
Utilities and Electric Cooperative, Inc. (BUECI) procedures for Natural Gas Distribution in Barrow,
Alaska.
On the basis of the inspection, PHMSA has identified the apparent inadequacies found within
BUECI’s plans or procedures, as described below:
1. § 192.605 Procedural manual for operations, maintenance, and emergencies.
(a) . . . .
(b) Maintenance and normal operations. The manual required by paragraph (a) of this
section must include procedures for the following, if applicable, to provide safety during
maintenance and operations.
(2) Controlling corrosion in accordance with the operations and maintenance
requirements of subpart I of this part.



§ 192.459 requires that: "Whenever an operator has knowledge that any portion of a buried pipeline is
exposed, the exposed portion must be examined for evidence of external corrosion if the pipe is bare,
or if the coating is deteriorated. If external corrosion requiring remedial action under §§ 192.483
through 192.489 is found, the operator shall investigate circumferentially and longitudinally beyond
the exposed portion (by visual examination, indirect method, or both) to determine whether additional
corrosion requiring remedial action exists in the vicinity of the exposed portion." Written procedures,
as required by § 192.605(b)(2) to address the requirements of § 192.459, were not in BEUCI's
Operations and Maintenance (O&M) procedures manual.
2. § 192.605 Procedural manual for operations, maintenance, and emergencies.
(a) . . . .
(b) Maintenance and normal operations. The manual required by paragraph (a) of this
section must include procedures for the following, if applicable, to provide safety during
maintenance and operations.
(3) Making construction records, maps, and operating history available to appropriate
operating personnel.
BUECI's procedures did not include requirements for making construction records, maps and
operating history available to appropriate operating personnel, as required by §192.605(b)(3).
3. § 192.605 Procedural manual for operations, maintenance, and emergencies.
(a) . . . .
(b) Maintenance and normal operations. The manual required by paragraph (a) of this
section must include procedures for the following, if applicable, to provide safety during
maintenance and operations.
(4) Gathering of data needed for reporting incidents under Part 191 of this chapter in a
timely and effective manner.
§ 191.9(a) requires that, "Except as provided in paragraph (c) of this section, each operator of a
distribution pipeline system shall submit Department of Transportation Form RSPA F 7100.1 as soon
as practicable but not more than 30 days after detection of an incident required to be reported under §
191.5." BUECI did not have a written process for "gathering of data needed for reporting incidents
under Part 191 of this chapter in a timely and effective manner", and specifically, there was no written
process for gathering data required for reporting incidents in accordance with § 191.9(a), as required
by § 192.605(b)(4). Likewise, § 191.9(b) requires that, "When additional relevant information is
obtained after the report is submitted under paragraph (a) of this section, the operator shall make
supplementary reports as deemed necessary with a clear reference by date and subject to the original
report.” BUECI did not have a written process for "gathering of data needed for reporting incidents
under Part 191 of this chapter in a timely and effective manner", and specifically, there was no written
process for gathering data required for supplemental reporting of incidents in accordance with §
191.9(b), as required by § 192.605(b)(4).
4. § 192.605 Procedural manual for operations, maintenance, and emergencies.
(a) . . . .
(b) Maintenance and normal operations. The manual required by paragraph (a) of this
section must include procedures for the following, if applicable, to provide safety during
maintenance and operations.
(8) Periodically reviewing the work done by operator personnel to determine the
effectiveness, and adequacy of the procedures used in normal operation and
maintenance and modifying the procedures when deficiencies are found.
2



BUECI's O&M procedures did not include requirements for periodically reviewing the work done by
operator personnel to determine the effectiveness and adequacy of the procedures used in normal
operations and maintenance or for modifying the procedures when deficiencies are found, as required
by § 192.605(b)(8).
5. § 192.605 Procedural manual for operations, maintenance, and emergencies.
(a) . . . .
(d) Safety-related condition reports. The manual required by paragraph (a) of this
section must include instructions enabling personnel who perform operation and
maintenance activities to recognize conditions that potentially may be safety-related
conditions that are subject to the reporting requirements of § 191.23 of this subchapter.
BUECI did not have a written process of "instructions enabling personnel who perform operation and
maintenance activities to recognize conditions that potentially may be safety-related conditions that
are subject to the reporting requirements of § 191.23 of this subchapter."
6. § 192.615 Emergency plans.
(a) . . . .
(b) Each operator shall:
(3) Review employee activities to determine whether the procedures were effectively
followed in each emergency.
BUECI O&M procedures did not include reviewing of employee activities to determine whether the
procedures were effectively followed in each emergency, as required by § 192.615(b)(3). Operator
personnel said that tailgate meetings and discussions concerning response were held at the operations
shop after emergencies. However, these were not documented.
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 45 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.
3



It is requested (not mandated) that Barrow Utilities and Electric Cooperative, Inc. maintain
documentation of the safety improvement costs associated with fulfilling this Notice of Amendment
(preparation/revision of plans, procedures) and submit the total to Kim West, Director, Western
Region, Pipeline and Hazardous Materials Safety Administration. In correspondence concerning this
matter, please refer to CPF 5-2018-0012M and, for each document you submit, please provide a copy
in electronic format whenever possible.
Sincerely,
Kim West
Director, Western Region
Pipeline and Hazardous Materials Safety Administration
Enclosure: Response Options for Pipeline Operators in Compliance Proceedings
cc: PHP-60 Compliance Registry
PHP-500 A. Marlowe (#154154)
Ben L. Frantz, General Manager, Barrow Utilities and Electric Cooperative, Inc., 1295
Agvik Street, Barrow, AK 99723
Eric Daner, Eric.Daner@north-slope.org
4

520180012M_Closure Letter_07022019_text.pdf

CERTIFIED MAIL - RETURN RECEIPT REQUESTED
July 2, 2019
Mr. Ben L. Frantz
General Manager
Barrow Utilities and Electric Cooperative, Inc.
P.O. Box 449
Barrow, Alaska 99723
CPF 5-2018-0012M
Closure Letter
Dear Mr. Frantz:
On September 26 through 30, 2016, a representative from the Pipeline and Hazardous Materials Safety
Administration (PHMSA), pursuant to chapter 601 of 49 United States Code, conducted an on-site
pipeline safety inspection of Barrow Utilities and Electric Cooperative, Inc. (BUECI) procedures in
Barrow, Alaska. As a result of the inspection, BUECI was issued a Notice of Amendment (NOA) on
December 6, 2018, which proposed amendment of your procedures.
BUECI submitted its amended procedures on January 23, 2019. My staff reviewed the amended
procedures, and it appears that the inadequacies outlined in Items 1, 2, 4, and 6 in the NOA were
corrected.
However, further revisions were necessary to adequately address Items 3 and 5.
BUECI further submitted its amended procedures on May 30, 2019. My staff reviewed the amended
procedures, and it appears that the inadequacies outlined in Items 3 and 5 in the NOA 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 M. Chard (#154154)
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