CPF 520195015
CPF 520195015
case documentOfficial PDF520195015_NOPV PCO_12092019.pdf#
case documentOfficial PDF520195015_NOPV PCO_12092019_text.pdf#
party submissionOfficial PDF520195015_Operator Response to Notice_01082020.pdf#
520195015_Closure Letter_02212020_text.pdf, page 1Official PDFCERTIFIED MAIL - RETURN RECEIPT REQUESTED February 21, 2020 Mr. Shawn Lyon President Marathon Petroleum Corporation 539 South Main Street Findlay, Ohio 45840 CPF 5-2019-5015 Closure Letter Dear Mr. Lyon: On February 11, 2020, the Pipeline and Hazardous Materials Safety Administration (PHMSA) issued to Tesoro Logistics, Northwest Pipeline LLC a Final Order in the above-referenced case. This Final Order included a Proposed Compliance Order. Based on our review of the documentation you provided on your letter dated January 8, 2020, it has been determined that you have complied with the terms of this Order. Accordingly, this case is now closed and no further action is contemplated with respect to the matters involved in this case. Thank you for your cooperation in this matter. Sincerely, Dustin Hubbard Director, Western Region Pipeline and Hazardous Materials Safety Administration cc: PHP-60 Compliance Registry PHP-500 A. Ceartin (#166461) Sean Mayo, Pipeline Safety Director, Washington Utilities and Transportation Commission Mr. Jamey McLaughlin, Region Manager, Marathon Petroleum Corporation Mr. Greg Smith, Senior Counsel, Marathon Petroleum Corporation Mr. Duane DeBoo, Manager – Environmental, Safety, and Regulatory, Marathon Petroleum Corporation#
520195015_Final Order_02112020_text.pdf, page 1Official PDFFebruary 11, 2020 Mr. Gary R. Heminger Chairman and Chief Executive Officer Marathon Petroleum Corporation 539 South Main Street Findlay, Ohio 45840 Re: CPF No. 5-2019-5015 Dear Mr. Heminger: Enclosed please find the Final Order issued in the above-referenced case to your subsidiary, Tesoro Logistics, Northwest Pipeline LLC. It makes a finding of violation and specifies actions that need to be taken to comply with the pipeline safety regulations. When the terms of the compliance order are completed, as determined by the Director, Western Region, this enforcement action will be closed. Service of the Final Order by certified mail is effective upon the date of mailing as provided under 49 C.F.R. § 190.5. Thank you for your cooperation in this matter. Sincerely, Alan K. Mayberry Associate Administrator for Pipeline Safety Enclosures (Final Order and NOPV) cc: Mr. Dustin Hubbard, Director, Western Region, Office of Pipeline Safety, PHMSA Mr. Shawn Lyon, President, Marathon Petroleum Logistics, 19100 Ridgewood Parkway, San Antonio, Texas 78259 Mr. Jamey McLaughlin, Region Manager, Marathon Petroleum Corporation, 474 West 900 North, Salt Lake City, Utah 84103 Mr. Greg Smith, Senior Counsel, Marathon Petroleum Corporation, 539 South Main Street, Findlay, Ohio 45840 Mr. Duane DeBoo, Manager – Environmental, Safety, and Regulatory, Marathon Petroleum Corporation, 539 South Main Street, Findlay, Ohio 45840 CERTIFIED MAIL - RETURN RECEIPT REQUESTED#
520195015_Final Order_02112020_text.pdf, page 2U.S. DEPARTMENT OF TRANSPORTATION PIPELINE AND HAZARDOUS MATERIALS SAFETY ADMINISTRATION OFFICE OF PIPELINE SAFETY WASHINGTON, D.C. 20590 _____________________________________________ In the Matter of ) Tesoro Logistics, Northwest Pipeline, LLC, ) CPF No. 5-2019-5015 a subsidiary of Marathon Petroleum Corporation, ) ) ) ) Respondent. ) _____________________________________________) FINAL ORDER On December 9, 2019, pursuant to 49 C.F.R. § 190.207, the Director, Western Region, Office of Pipeline Safety (OPS), issued a Notice of Probable Violation (Notice) to Tesoro Logistics, Northwest Pipeline, LLC (Respondent).1 The Notice proposed finding that Respondent had violated the pipeline safety regulations in 49 C.F.R. Part 195. The Notice also proposed certain measures to correct the violations. Respondent did not contest the allegations of violation or corrective measures. Based upon a review of all of the evidence, pursuant to § 190.213, I find Respondent violated the pipeline safety regulation listed below, as more fully described in the enclosed Notice, which is incorporated by reference: 49 C.F.R. § 195.402(a) (Item 1) ─ Respondent failed to prepare and follow a manual of written procedures for conducting normal operations and maintenance activities for each pipeline system. This finding of violation will be considered a prior offense in any subsequent enforcement action taken against Respondent. COMPLIANCE ACTIONS Pursuant to 49 U.S.C. § 60118(b) and 49 C.F.R. § 190.217, Respondent is ordered to take the actions proposed in the enclosed Notice to correct the violation. The Director may grant an 1 Tesoro Logistics, Northwest Pipeline, LLC was a subsidiary of Tesoro Corporation, which merged with Western Refining Pipeline, LLC to become Andeavor Logistics, LP, which was acquired in turn by Marathon Petroleum Corporation on July 30, 2019. Andeavor Logistics, LP and Marathon Petroleum Corporation websites, available at http://www.andeavorlogistics.com/operations-services/asset-map/# and http://www mplx.com/content/documents/mplx/investor center/MPLX 2018 AR 10-K.pdf at p181 (last accessed January 22, 2020).#
520195015_Final Order_02112020_text.pdf, page 3CPF No. 5-2019-5015 Page 2 extension of time to comply with any of the required items upon a written request timely submitted by the Respondent and demonstrating good cause for an extension. Upon completion of ordered actions, Respondent may request that the Director close the case. Failure to comply with this Order may result in the assessment of civil penalties under 49 C.F.R. § 190.223 or in referral to the Attorney General for appropriate relief in a district court of the United States. The terms and conditions of this order are effective upon service in accordance with 49 C.F.R. § 190.5. February 11, 2020 ___________________________________ _________________________ Alan K. Mayberry Date Issued Associate Administrator for Pipeline Safety#
This material provides agency context. It does not replace binding regulatory text, and its legal effect depends on the underlying authority and facts.