# Mueller Company - Gas Products Division — Pipeline Safety Interpretation

- **operation:** document
- **citation:** PI-04-0105
- **title:** Mueller Company - Gas Products Division — Pipeline Safety Interpretation
- **source type:** guidance
- **agency:** Pipeline and Hazardous Materials Safety Administration
- **status:** guidance
- **official:** true
- **published on:** 2004-04-20
- **effective on:** Not available
- **summary:** PI-04-0105 response to Mueller Company - Gas Products Division concerning 192.145.
- **machine formats:** - **json:** https://regulus.evalyn.ai/document/phmsa-interpretation-pi-04-0105.json
- **markdown:** https://regulus.evalyn.ai/document/phmsa-interpretation-pi-04-0105.md
- **app url:** https://regulus.evalyn.ai/document/phmsa-interpretation-pi-04-0105
- **source url:** https://www.phmsa.dot.gov/sites/phmsa.dot.gov/files/legacy/interpretations/Interpretation%20Files/Pipeline/2004/g04-04-20_Deering_192.145-nlmx.pdf
**body:**

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PI-04-0105
U.S. Department of Transportation
Research and Special Programs Administration
400 Seventh St., S.W.
Washington, D.C. 20590
April 20, 2004
Mr. Connor J. Deering
Mueller Company - Gas Products Division
Decatur, IL 62525
Dear Mr. Deering:
This is in response to your e-mail of March 26, 2004, in which you request an interpretation of the provisions of
the Federal gas pipeline safety regulations at 49 CFR 192.145, Valves, as it relates to the use of brass valves in gas
pipeline systems.
Although the use of brass body valves in gas pipeline systems is not explicitly excluded by the pipeline
safety regulations, the pipeline operator must be able to demonstrate how these valves comply with the regulations.
This includes a showing that the valves comply with American Petroleum Institute standard API 6D, Specification for
Pipeline Valves, or an equivalent standard. The regulations also require the operator to have written procedures for
installation and maintenance of brass valves. In addition, where a gas distribution pipeline system is regulated by a state
agency, the state is free to be more restrictive, as long as it is not inconsistent with the Federal regulations.
Brass body valves are typically used as shutoff valves on gas service lines. It has been asserted by some suppliers
that such valves comply with the requirements of the American National Standards Institute's (ANSI) standard ANSI
B16.33, Manually Operated Metallic Gas Valves for Use in Gas Piping Systems up to 125 psig (Sizes 1/2 Through 2).
And, you are no doubt aware that the American Society of Mechanical Engineer's standard ASME B31.8, Gas
Transmission and Distribution Piping Systems, allows valves manufactured according to ANSI B16.33 or API 6D for use in
gas service lines if the valves meet certain other requirements.
In any case, an operator installing a brass body valve would need to ensure that it complies with the rest of
the regulations in § 192.145. For example, § 192.145(b)(2)(ii) requires testing of valves to 1.5 times the maximum
service rating. This is a more stringent seat test than API 6D (1.5 vs. 1.1). It is not unusual for a regulation to call for
compliance with a standard, but to also prescribe additional or more stringent requirements. An operator would need
to specify a 1.5 times seat test in their orders to valve manufacturers to comply with the requirements of § 192.145.
In response to your specific questions:
1. Does the U.S. Department of Transportation require that natural gas meter valves meet API 6D?
OPS Response: Yes. All valves used in gas distribution and transmission systems must meet the minimum
requirements, or equivalent, of standard API 6D.
2. Although API 6D has strict material composition requirements, section 382, Composition Limits,
states that "all alternate metallic materials shall have compositions with a minimum of 50% by weight
of any combination iron, nickel, or cobalt and a maximum of 0.45% by weight of carbon." Does brass
meet these requirements?
OPS Response: No.

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3. Are you aware of an "equivalent" standard that would allow brass as an acceptable material for natural gas
meter valves?
OPS Response: Some pipeline operators have cited ANSI B16.33 as an equivalent standard for brass body
service line valves. The applicability of any particular standard and its acceptability as an equivalent
standard for brass body service line valves would need to be supported by the pipeline operator and
reviewed by OPS and state pipeline safety inspectors on a case-by-case basis.
4. If brass is not acceptable under API 6D, and no "equivalent" standard exists, is brass an acceptable
material for natural gas meter valves?
OPS Response: Brass is not banned from use on natural gas meter valves, but it is not directly addressed in either § 192.145
or in API 6D. As noted above, it is the responsibility of a pipeline operator to justify its use based on compliance with an
equivalent standard.
If you have any further questions about the pipeline safety regulations, please contact me at (202) 366-4565.
Sincerely,
Richard D. Huriaux, P.E.
Manager, Regulations
Office of Pipeline Safety

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Huriaux, Richard
From: Connor Deering [cdeering@muellercompany.corn]
Sent: Friday, March 26, 2004 10:22 AM
To: Huriaux, Richard
Subject: Request for Formal Interpretation
Richard — it was a pleasure speaking with you the other day. After our conversation I have reviewed the information I
had and would like to request a formal interpretation of several aspects related to natural gas meter valves, material
requirements, and compliance with API 6D. The issues I am requesting a formal interpretation on are the following:
1. Does the United States Department of Transportation require that natural gas meter valves meet API 6D?
2. While I am aware that you do not exclusively prohibit materials, API 6D has strict material composition
requirements, section 382 "Composition Limits" states
"All alternate metallic materials shall have compositions with a minimum of 50% by weight of any combination of iron,
nickel, or cobalt and a maximum of 0.45% by weight of carbon", does brass meet these requirements?
3. I understand that there is an "equivalent" clause in API 6D that would give an option for alternate materials, are
you aware of an "equivalent" standard that would allow brass as an acceptable material for natural gas
meter valves?
4. If brass is not acceptable under API 6D, and no "equivalent" standard exists, is brass an acceptable material for
natural gas meter valves?
I appreciate your time and consideration on this matter, if you have any questions please feel free to contact me at your
convenience.
Best Regards,
Connor J. Deering
Mueller Co. - Gas Products Division
National Sales and Marketing Manager (800) 798-3131 x7520

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September 3, 1999
Mr. R.C. Cobb
National Sales & Marketing Manager
Gas Products Division
Mueller Company
500 West Eldorado Street
P.O. Box 671
Decatur, Illinois 62525
Dear Mr. Cobb:
As your letter of September 1, 1999, notes the concept of "equivalent" as used in our regulations at. In
Subpart D, § 192.143 states that each component must be able to withstand the pressure and other
loadings it will encounter in gas service and that a valve must ". . . meet the minimum requirements, or
equivalent, of API 6D." This means that compliance with API 6D is not necessary, but that the pipeline
operator must be able to show how a valve meets an "equivalent" specification or standard.
The language you cite in API 6D, Section 3.8, Alternate Metallic Materials, does appear to exclude the use of
brass an acceptable material. However, the term equivalent
Equivalent does not mean exactly the same, but it does mean that any equivalent standard would need to
address all the concerns expressed in API 6D. I believe you are right that the use of brass would be a stretch,
although it is not specifically excluded by the "or equivalent" language.
####
One point of clarification I would appreciate has to do with the material requirements as specified in API 6D. I
understand the concept of “equivalent” as you pointed out in your response. However, API 6D seem to
address the issue of non-steel metals in section 3.8. “Alternate metallic Materials shall have coimpositions
with a minimum of 50% by weight of any combination of iron, nickel or cobalt and a maximum of 0.45% by
weight of carbon.” This would appear to exclude the use of brass as an acceptable material.
####
******
This is in response to your letter of April 29, 1999, regarding whether forged brass-body shut-off valves are
acceptable in a gas meter installation valve for natural gas service. You correctly note that the gas pipeline
safety regulations (49 CFR 192) make no mention of brass-body valves and that Subpart B, Materials, and
Subpart D, Design of pipeline Components, do not provide clear direction on this issue.
However, the regulations do provide general direction for acceptable valves. All valves must be able to
maintain the integrity of the pipeline under temperature and other environmental conditions, be chemically
compatible with the gas and other materials in the pipeline with which they are in contact, and must be
qualified in accordance with the applicable requirements of Subpart B. Of course, the rest of subpart B
addresses only steel pipe and plastic pipe, and does not refer to brass or other materials of which a valve
could be made, except to state that it must be marked with the specification to which it was manufactured.
The use of brass is therefore possible under Subpart B.
In Subpart D, §19.143 states that each component must be able to withstand the pressure and other loadings
it will encounter in gas service and that a valve must “. . . meet the minimum requirements, or equivalent, of

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API 6D." This means that compliance with API 6D is not necessary, but that the pipeline operator must be able
to show how a valve meets and "equivalent" specification or standard.
The bottom line is that the use of forged brass-body valves for gas meter shut-off valve service is not excluded
by the regulations. For that matter, neither is any other material. But, any material used must be able to
meet the general serviceability requirements of Subpart B and Subpart D, which include compliance with API
6D, or an equivalent technical standard. It is up to a pipeline operator to determine what it will accept as
"equivalent."
You should be aware that the Office of Pipeline Safety cannot 'approve' or 'certify' manufactured gas
pipeline components as being in compliance with the Federal pipeline safety regulations. The regulations
apply only to the regulated gas transmission and distribution pipeline companies. These companies have full
discretion to decide that a particular component does, or does not; comply with the Federal pipeline safety
regulations. That determination can only be made by the pipeline operator after consideration of the system
in which the devices are to be installed, the corrosive conditions that may exist, and other design factors. Of
course, this judgment on the part of the pipeline operators is reviewable by the Federal inspectors and our
state-level agents.
********
If we can be of further assistance in this matter, please contact me at (202) 366-4565.
Sincerely,
Richard D. Huriaux, P.E.
Manager, Regulations

<<<PAGE 6>>>

Interpretation 192.145 3
December 17, 1970
Mr. William H. Alexander Project Engineer
320 Hughes Street
Houston, Texas 77011
Dear Mr. Alexander:
This is in reply to your letter of February 17, 1971, concerning the interpretation of 49 CFR, Section 192.145(a).
Published specifications do not exist for all types and sized of valves that are manufactured; however, there are
certain basic safety design features that can be adapted to all these valves.
The word "equivalent" is used in the sense of providing equivalent safety. 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.
Thank you for your interest in the pipeline safety program.
Sincerely,
SIGNED
Joseph C. Caldwell
Director, Acting
Office of Pipeline Safety
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