# Pierce Atwood — Pipeline Safety Interpretation

- **operation:** document
- **citation:** PI-17-0004
- **title:** Pierce Atwood — Pipeline Safety Interpretation
- **source type:** guidance
- **agency:** Pipeline and Hazardous Materials Safety Administration
- **status:** guidance
- **official:** true
- **published on:** 2018-09-10
- **effective on:** Not available
- **summary:** PI-17-0004 response to Pierce Atwood concerning 195.1.
- **machine formats:** - **json:** https://regulus.evalyn.ai/document/phmsa-interpretation-pi-17-0004.json
- **markdown:** https://regulus.evalyn.ai/document/phmsa-interpretation-pi-17-0004.md
- **app url:** https://regulus.evalyn.ai/document/phmsa-interpretation-pi-17-0004
- **source url:** https://www.phmsa.dot.gov/sites/phmsa.dot.gov/files/docs/standards-rulemaking/pipeline/interpretations/68406/pierce-atwood-pi-17-0004-09-10-2018-part-195-1.pdf
**body:**

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0
US. Department
ofTransportation
Pipeline and Hazardous Materials
Safety Administration
SEP 1 0 2018
1200 New Jersey Avenue SE
Washington DC 20590
Mr. Richard S. Novak
Pierce Atwood
100 Summer Street
Boston, MA 02110
Dear Mr. Novak:
In a letter to the Pipeline and Hazardous Materials Safety Administration ("PHMSA") dated
January 31, 2017, you requested an interpretation of 49 CFR Part 195. You specifically
requested an interpretation regarding the applicability of§ 195.1 to a Calpine Fore River Energy
Center LLC ("CFREC" or "Calpine") fuel oil pipeline.
You described the Calpine pipeline as follows:
The pipeline at issue is a single purpose oil line approximately 1,800 feet in length, which
supplies Calpine's Tank 36 located at the Fore River Station. Fore River Station is a
730MW gas-fired generation plant operated by CFREC on land bordering the tidal Fore
River on the western border of Weymouth, Massachusetts. Tank 36 and the CFREC Pipe
support dual fuel operation at Fore River Station. Dual Fuel operation is infrequent.
Immediately across the Fore River Station is an oil terminal ("Sprague Terminal")
operated by Sprague Resources LP ("Sprague"). The Sprague Terminal is on the eastern
edge of Quincy, Massachusetts, also bordering Fore River. The CFREC Pipe begins at a
flange located on the Sprague Terminal site in Quincy, enters a bedrock tunnel (owned by
CFREC) under the Fore River land, remerges on the Weymouth side, and then proceeds
across CFREC property to Tank 36, where the CFREC Pipe terminates. At no point does
the CFREC Pipe interconnect with any other pipelines. It is owned and controlled by
CFREC from the flange in the Sprague terminal to consumption at Calpine's Tank 36.
Also, in a February 14, 2017, email, you provided PHMSA with drawings of the pipeline and the
following additional information:
CFREC staff was able to provide 18 drawings by pdf ... with the oil line highlighted in
yellow . . . You can see the oil line beginning in the Sprague terminal, entering the
Quincy headhouse, going under the Fore River (in a 6-foot underground tunnel owned by
Calpine, which we call the "BECO Tunnel"), exiting the BECO Tunnel via the
Weymouth headhouse, and then crossing under the state highway to "L.C. Lot C" (the
site of the Fore River Station), headed towards the day tank.
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.

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2
You ask whether this single-purpose intrastate pipeline would be regulated by the Federal
pipeline safety regulations since the pipeline is not "in or affecting interstate or foreign
commerce" within the scope of Part 195.
Pursuant to its authority under the Pipeline Safety Act, 49 U.S.C. chapter 601, PHMSA
establishes safety standards in Part 195 for pipeline facilities and the transportation of hazardous
liquids or carbon dioxide associated with those facilities in or affecting interstate or foreign
commerce. The Pipeline Safety Act, and thereby the regulations in Part 195, extend to pipeline
facilities, whether intrastate or interstate. See, e.g., Five Flags Pipe Line Co. v. U.S. Dep't of
Transp., No. CIV. A. 89-0119 JGP, 1992 WL 78773 (D.D.C. Apr. 1, 1992). The oil pipeline at
issue is an intrastate pipeline in or affecting interstate or foreign commerce within the scope of
the Pipeline Safety Act and Part 195. The oil pipeline transports the commodity from the
Sprague oil terminal, under the Fore River through an underground tunnel, and crosses under the
state highway to the day tank.
Although intrastate pipeline facilities may not be regulated by PHMSA in a state that submits an
annual certification to regulate those facilities, Massachusetts does not regulate or enforce safety
standards and practices for intrastate hazardous liquid pipeline facilities. Accordingly, PHMSA
enforces the Federal hazardous liquid pipeline safety regulations for intrastate pipelines in
Massachusetts, including the pipeline at issue here.
Furthermore, the oil pipeline is subject to the Clean Water Act as amended by the Oil Pollution
Act of 1990 (33 U.S.C. § 1321) and an oil spill response plan is required to be submitted to
PHMSA. An operator of a pipeline for which a response plan is required may not handle, store
or transport oil in that pipeline unless the operator has submitted a response plan meeting the
requirements of 49 CFR Part 194.
lfwe can be of further assistance, please contact Tewabe Asebe at 202-366-5523.
Sincerely,
A. ale
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 3>>>

FEB 062017
PIERCE ATWOOD
RICHARD S. NOVAK
100 Summer Street
22 Floor
Boston, MA 02110
P 617.488.8108
F 617.824.2020
rnovak@pierceatwood.com
pierceatwood .com
Admitted in: MA
January 31, 2017
Office of Pipeline Safety (PHP-30), PHMSA
U.S. Department of Transportation
1200 New Jersey Avenue SE
Washington DC 20590-0001
RE: Calpine Fore River Energy Center LLC ("CFREC")- PHMSA inquiry re: back
up fuel oil line
Dear Sir or Madam:
I am writing on behalf of CFREC ("Calpine") to obtain a written regulatory interpretation
pursuant to 49 C.F.R. §190.11 regarding potential U.S. Department of Transportation's
("USDOT") 49 CFR §195.1 jurisdiction over a purely intrastate hazardous liquid pipeline.
We understand that, pursuant to 49 C.F.R. §195.1(a), USDOT's Pipeline and Hazardous
Materials Safety Administration ("PHMSA") regulations "cover" the transportation of
hazardous liquids in or affecting interstate or foreign commerce.
The pipeline at issue ("CFREC Pipe") is a single purpose oil line approximately 1,800 feet in
length, which supplies Calpine's Tank 36 located at the Fore River Station. Fore River
Station is a 730MW gas-fired generation plant operated by CFREC on land bordering the
tidal Fore River on the western border of Weymouth, Massachusetts. Tank 36 and the
CFREC Pipe support dual fuel operation at Fore River Station. Dual Fuel operation is
infrequent.
Immediately across the Fore River from Fore River Station is an oil terminal ("Sprague
Terminal") operated by Sprague Resources LP ("Sprague"). The Sprague Terminal is on the
eastern edge of Quincy, Massachusetts, also bordering Fore River. The CFREC Pipe begins
at a flange located on the Sprague Terminal site in Quincy, enters a bedrock tunnel (owned
by CFREC) under the Fore River land, remerges on the Weymouth side, and then proceeds
across CFREC property to Tank 36, where the CFREC Pipe terminates. At no point does the
CFREC Pipe interconnect with any other pipelines. It is owned and controlled by CFREC
from the flange in the Sprague terminal to consumption at Calpine's Tank 36.
Based on the foregoing facts, we believe that this single-purpose intrastate pipeline is not
"in or affecting interstate or foreign commerce" such that it would be "covered" by PHMSA
regulations.
PORTLAND, ME BOSTON, MA PORTSMOUTH, NH PROVIDENCE, RI AUGUSTA, ME STOCKHOLM, SE WASHINGTON, DC

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Page 2
January 31, 2017
We appreciate your regulatory interpretation on the matter, and would be glad to provide
further detail if you have questions.
Your attention to this matter is very much appreciated.
Sincerely,
Richard S. Novak
cc: Lisa A. Gilbreath
{W5983918.2}
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