# Linde Engineering North America — Pipeline Safety Interpretation

- **operation:** document
- **citation:** PI-16-0010
- **title:** Linde Engineering North America — Pipeline Safety Interpretation
- **source type:** guidance
- **agency:** Pipeline and Hazardous Materials Safety Administration
- **status:** guidance
- **official:** true
- **published on:** 2019-04-09
- **effective on:** Not available
- **summary:** PI-16-0010 response to Linde Engineering North America concerning 193.2001, 193.2007.
- **machine formats:** - **json:** https://regulus.evalyn.ai/document/phmsa-interpretation-pi-16-0010.json
- **markdown:** https://regulus.evalyn.ai/document/phmsa-interpretation-pi-16-0010.md
- **app url:** https://regulus.evalyn.ai/document/phmsa-interpretation-pi-16-0010
- **source url:** https://www.phmsa.dot.gov/sites/phmsa.dot.gov/files/docs/standards-rulemaking/pipeline/interpretations/71116/linde-pi-16-0010-04-09-2019-part-1932001-and-2007.pdf
**body:**

<<<PAGE 1>>>

U.S. Department
ofTransportation
Pipeline and Hazardous Materials
Safety Administration
. APR - 9 2019
1200 New Jersey Avenue SE
Washington DC 20590
Mr. Georg H. Breuer
LNG Product Manager
6100 South Yale A venue
Suite 1200
Tulsa, OK 74136
Dear Mr. Breuer:
This is in response to your letter to the Pipeline and Hazardous Materials Safety Administration
(PHMSA) requesting an interpretation of 49 CFR §§ 193.2001 and 193.2007. Specifically, you
asked if and to what extent a liquefied natural gas (LNG) facility would be subject to 49 CFR
Part 193 regulations.
In the request letter, you stated that Linde Engineering North America (Linde) has developed a
cryogenic process integrating LNG production into a natural gas liquids (NGL) recovery process.
You described the proposed facility as follows:
This process integration allows potentially for a higher recovery and throughput rate in
the NGL plant increasing the ethane and propane recovery... In addition, this process
facilitates the small-scale production of LNG (nominal capacity of 150,000 gpd) at
efficiencies equal to the higher efficiencies of large-scale LNG production plants.1
[F]or the purpose of the required interpretation the facility accommodating the NGL
recovery process shall be already existing, and either one, or both of the feed and residue
gas pipelines connecting to, or from the facility ( according to 49 CFR 193 .2007 "pipeline
facility") shall be subject to the pipeline safety laws (49 U.S.C. 60101 et seq.) and to 49
CFR 192 (reference is being made to 49 CFR 193.2001 (a)).
With regard to the boil-off gas from the LNG storage, it shall be noted that the volumetric
flow rate of this stream is only in the magnitude of 0.1 - 0.4% of the volumetric flow rate
of the residue gas generated by the NGL recovery process. The LNG product from the
storage is loaded on trucks to be sold in the merchant market.
Any boil-off gas from the storage of the cryogenic LNG product is compressed and
mixed with the residue gas stream of the NGL recovery process. The resulting gas stream
is then further compressed and being discharged as residue gas of the NGL process.
1 A diagram and a process flow sketch are provided to illustrate the processes.
The Pipeline and Hazardous Materials Safety Administration, Office of Pipeline Safety provides written clarifications of the Regulations (49 CFR
Parts 190-199) in the fonn of interpretation letters. These letters reflect the agency's current application of the regulations to the specific facts
presented by the person requesting the clarification. Interpretations do not create legally-enforceable rights or obligations and are provided to
help the public understand how to comply with the regulations.

<<<PAGE 2>>>

2
On September 19, 2016, you provided the following additional information via e-mail
communications:
Understanding that the LNG facility used in the transportation of gas by pipeline being
subject to the pipeline safety laws and Part 192, there are two cases of interest:
(1) The feed gas would be from a Part 192 regulated pipeline, or
(2) In case the feed gas is not from a Part 192 regulated pipeline, the residue gas
would be sent to a Part 192 regulated pipeline.
You also stated:
If the feed gas is not from a 192 pipeline, it would be from a non-regulated gathering line.
The NGL coming out of the recovery process will be intermediately stored and
subsequently transported by truck, rail or pipeline to be further used.
Analysis
Section 193.2001 establishes the scope of Part 193. It states that the requirements of Part 193
apply to LNG facilities used in the transportation of gas by pipeline that is subject to Federal
Pipeline Safety Laws and regulations, 49 USC 60101 et seq. and 49 CFR Part 192. See 49 CFR §
193.2001(a). The regulation also contains a list of exceptions that create further limitations on
the applicability of the Part 193 requirements to LNG facilities. See 49 CFR § 193.200l(b).
Additionally,§ 193.2007 defines LNG facility, LNG plant, and Pipeline facility, as follows:
LNG facility means a pipeline facility that is used for liquefying natural gas or synthetic
gas or transferring, storing, or vaporizing liquefied natural gas.
LNG plant means an LNG facility or system of LNG facilities functioning as a unit.
Pipeline facility means new and existing piping, rights-of-way, and any equipment,
facility, or building used in the transportation of gas or in the treatment of gas during the
course of transportation ..
Regarding questions presented in your letter, we answer them as follows:
· (1) Whether the LNG plant would be regulated under the 49 CFR Part 193 requirements?
For this question, you presented two scenarios. In first scenario, you indicated that the feed gas
would be delivered to the NGL plant from a regulated Part 192 pipeline, and in the second
scenario, the feed gas would be delivered to the NGL plant from an unregulated pipeline, such as
a non-regulated gathering line.
In your letter, you described the feed gas as entering the NGL plant, where it is processed and
treated. After processing and treatment, the natural gas is sent from the NGL to the LNG plant
The Pipeline and Hazardous Materials Safety Administration, Office of Pipeline Safety provides written clarifications of the Regulations
(49 CFR Parts 190-199) in the form of interpretation letters. These letters reflect the agency's current application of the regulations to the
specific facts presented by the person requesting the clarification. Interpretations do not create legally-enforceable rights or obligations and
are provided to help the public understand how to comply with the regulations.

<<<PAGE 3>>>

3
for liquefaction via a Part 192 pipeline. Thus, regardless of whether the feed gas is delivered to
the NGL plant from a Part 192 pipeline or a non.regulated gathering line, it leaves the NGL plant
via a Part 192 pipeline and enters the LNG facility from a Part 192 pipeline, therefore, making
the LNG facility subject to the Part 193 regulations because it is used in the transportation of gas
by pipeline.
(2) If the LNG plant is regulated, whether the already existingfacility accommodating the
NGL recovery process would be under the PHMSA regulations?
In this case, the NGL recovery process involves the processing and treatment of feed gas before
it enters on the LNG plant. As long as there is a pressure controlling device upstream and
downstream of the NGL facility, the existing NGL processing facility is not subject to the
pipeline safety regulations (49 CFR Parts 190- 199), regardless of whether the LNG plant is
regulated under 49 CFR Part 193. Specifically, the piping located downstream of the first
pressure control device entering the NGL facility and upstream of the last pressure control device
leaving the facility, would not be subject to regulatory oversight under PHMSA Part 192 or 195.
However, if a pipeline in the facility is predominantly used in transportation to bypass
processing, it will be subject to the Federal pipeline safety regulations.
(3) If the NGLfacility is regulated, the extent of the applicability, and the required
implementation of the respective regulations described in 49 CFR Part 193 for the
facility accommodating the NGL recovery process?
As mentioned above, the existing NGL facility would not be regulated by PHMSA under 49
CFR Parts 192, 193 or 195, but if certain pipelines on the facility are predominantly used, in
transportation to bypass processing, those pipelines will be subject to the Federal pipeline safety
regulations. The natural gas (residue) piping exiting the NGL plant downstream of, and
including, the last pressure control device leaving the NGL facility would be regulated by
PHMSA under 49 CFR Part 192. Additionally, ifNGL is transported by pipeline downstream
from the NGL facility, then the downstream NGL pipeline would be regulated under 49 CFR
Part 195 beginning at the last pressure control device leaving the NGL facility.
To identify the exact demarcation point as a means of clearly delineating regulatory oversight by
clarifying boundaries for entering, leaving, and within NGL and LNG facilities, PHMSA
suggests that you contact PHMSA's regional office during design phase of your project.
lfwe can be of further assistance, please contact Tewabe Asebe at 202-366-5523.
Director, Office of Standards
and Rulemaking
The Pipeline and Hazardous Materials Safety Administration, Office of Pipeline Safety provides written clarifications of the Regulations
(49 CFR Parts 190-199) in the form of interpretation letters. These letters reflect the agency's current application of the regulations to the
specific facts presented by the person requesting the clarification. Interpretations do not create legally-enforceable rights or obligations and
are provided to help the public understand how to comply with the regulations.

<<<PAGE 4>>>

Office of P ipeline S afety (PHP-30)
P HMS A
U.S. Department of T ransportation
Attn: Kristin Baldwin
1200 New J ersey Avenue S E
Wa shington, DC 20590-0001
O ur Ref.
G eorg H. Br euer
P hone
+1.91 8.477. 1199
F ax
+1.918.477. 1100
E-mail
georg.breuer@linde.com
D ate
08/19/16
Request for Interpretation of 49 CFR Part 193
Dear Mrs. Baldwin,
This le tter is to request written interpretation of wording contained within 49 CFR Part 1 93 S ubpart A - G eneral,
specifical ly concerning 49 CFR §§ 193.200 1 and 193.2007.
Linde En gineering North America, Inc. (L E NA) has developed a cryogenic process integrating Liquefied N atural Gas (L N G)
production in to a Natural G as Liquids (N GL) recovery process. T his process integration allows potentially for a higher
recovery and throughput rate in the N GL plant increasing the ethane and propane recovery. T he higher recovery thereby
is depending amongst other things mainly on the feed gas availability. F or this product being m arketed by L ENA as
S tarLNG L ™ currently a patent is pendin g. In addition, this process facilitates the small-scale production of LNG (nominal
capacity of 150,000 gpd) at efficiencies eq ual to the higher efficiencies of large-scale LNG produc!ton plants.
The integration of the S tarLNGL1M process technology with the N G L plant and its working principle is il lustrated in the
Diagram below.
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SIJrl NC.I 11 lethnoloqy
-------------------------------------------
Diogrom
Linde Engineering North America Inc.
Houston Office Tulsa Office
12140 Wickchester L ane
6100 S . Yale Ave
Suite 300
Suite 1200
Houston, TX 77079
Tulsa, OK 74136
Selas Linde North America Hydro-Chem
A D ivision of Linde Engineering North America Inc. S Sentry Parkway E ast Blue Bell, PA 19422 A Division of Linde Engineering North America Inc.
125 Hickory Springs Ind. Blvd.
Canton, GA 30142

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Page 2
The below more detailed Process F low Sketch in addition highlights the process streams of interest with regard to
requested interpretation.
NGL Plant
LNG Plant
©
0 Feed Gas
Residue Gas
C ompressor
-
C3 Refrigeration ~
-
. .
© Boil-Off Gas
. ..J
Boil-Off Gas
Compressor
Air Coolers
- · 1 Cryogenic V apor.
Cold Box
I I
. •............
"'"4-+-+-" :
11
.
• .
.
.
.
11
<Po--
Process Flow Sketch
I:
·····-········
Generally the S tarL NG L ™ process uses part of the already cryogenic vapor stream from the demeth anizer column of the
NGL recovery process (1 ). T he cryogenic vapor stream, being ultimately a product of the feed gas (2) from the N GL
recovery process, is subsequently liquefied. The liquid C2+ fraction resulting from this is separated and sent back as
"liquid reflux" to the NGL recovery process (3). The Cl fraction, i.e. LNG product is sent to storage (4) with a volume of 3-5
days of continuous production capacity.
Any boil-off gas from the storage of the cryogenic LNG product is compressed and mixed (5) with the residue gas stream
of the NGL recovery process. T he resulting gas stream is then further compressed and being discharged as residue gas (6)
of the NGL process.
A more detailed description of the process may be found in US Patent Application U S20140 1 8233 lA1.

<<<PAGE 6>>>

Page 3
Thereby for the purpose of the required interpretation the facility accommodating the NGL recovery process shall be
already existing, and either one, or both of the feed (2) and residue (6) gas pipelines connecting to, or from the facility
(according to 49 CFR 193.2007 "pipeline facility") shall be subject to the pipeline safety laws ( 49 U.S.C. 601o1 et seq.) and
to 49 CFR 192 (reference is being made to 49 CFR 193.200 1 (a)).
With regard to the boil-off gas (5) from the L NG storage it shall be noted that the volumetric flow rate of this stream is
only in the magnitude of 0.1 -0.4% of the volumetric flow rate of the residue gas generated by the NGL recovery process,
that it is being mixed with. The LNG product from the storage (4) is loaded on trucks to be sold in the merchant market.
Request for Interpretation of 49 CFR Port 193
In the light of the stipulations made in 49 CFR 2001 (b) (1) and (2), as well as 49 CFR 193.2007 regarding the definitions
"LNG facility", "LNG plant" and "Pipeline facility", LENA is requesting an interpretation, if and to what extent the LNG
facility, LNG plant, or pipeline facility will be under the reg ulation of PHMSA having the authority to establish and enforce
safety standards for onshore L N G facilities as described in 49 CFR Part 193.
Speci fically:
( 1) Wil l the LNG plant using StarLNGL™ process technology as indicated in above Diagram be under the regulation of
PHMSA as described in 49 CFR Part 193; and
(2) If so, will also the already existing facility accommodating the NGL recovery process as indicated in above
Diagram become under the regulation of PHMSA; and
(3) If so, please identify the extent of the applicability, and the required implementation of the respective
reg ulations described in 49 CFR Part 193 for the facility accommodating the NGL recovery process.
L E NA respectfully asks for the above requested guidance by PHMSA at the earliest date possible to allow the further
marketing and development of its new product.
If you have any questions, or require further detailed information, please do not hesitate to contact us at your earliest
convenience.
Thank you for your assistance.
S incerely yours,
Georg H. Breuer
LNG Product Manager
Natural Gas and Refining
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