{"operation":"document","citation":"PI-18-0021","title":"IHI E&C International Corporation — Pipeline Safety Interpretation","source_type":"guidance","agency":"Pipeline and Hazardous Materials Safety Administration","status":"guidance","official":true,"published_on":"2019-04-29","effective_on":null,"summary":"PI-18-0021 response to IHI E&C International Corporation.","machine_formats":{"json":"https://regulus.evalyn.ai/document/phmsa-interpretation-pi-18-0021.json","markdown":"https://regulus.evalyn.ai/document/phmsa-interpretation-pi-18-0021.md"},"app_url":"https://regulus.evalyn.ai/document/phmsa-interpretation-pi-18-0021","source_url":"https://www.phmsa.dot.gov/sites/phmsa.dot.gov/files/docs/standards-rulemaking/pipeline/interpretations/71221/ihi2-pi-18-0021-04-22-2019-part-193.pdf","body":"<<<PAGE 1>>>\n\nU.S . Department\nofTransportation\nPipeline and Hazardous Materials\nS afety Administration\n1200 New Jersey Avenue SE\nWashington DC 20590\n'APR 2 2 2 0 1 9\nMr. Don Boudreaux\nProject Director\nIHI E&C International Corporation\n15377 Memorial Drive, Suite 300\nHouston, TX 77079\nDear Mr. Boudreaux:\nIn a letter to the Pipeline and Hazardous Materials Safety Administration (PHMSA) dated\nAugust 17, 2018, you requested a reconsideration of PHMSA' s June 18, 2018, response to your\ninitial March 7, 2018, interpretation request concerning marking with die-stamping of a 24-inch\ndiameter, stainless-steel pipeline with ¼-inch wall thickness to be used as a liquefied natural gas\n(LNG) vapor line. You stated the process to mark the pipe is done under controlled automated\nprocess where low-stress stamping dies are used to emboss markings into flattened stainless steel\nfrom coils prior to going through the pipe forming process. In addition, you stated that in the\nmanufacturing process, the pipes are heat treated which relieve any residual stresses created by\nthe embossing and significantly reduces the potential for crack initiation. You believe the\nNational Fire Protection Association (NFPA) 59A-2001 requirement in Section 6.3.5 does not\napply to your marking processes because the requirement is for field pipe marking.\nAt a meeting with PHMSA on October 25, 2018, you provided additional information. You\nsupported your reconsideration request with the following: (1) the structure of Chapter 6 of\nNFPA 59A-2001, the previous version of Part 193 regulations, evaluation of Section 6.3.5 of\nNFPA 59A-2001 by IHI's independent expert, and the industry recognizing a difference between\nstamping and embossing in support of the restriction in use of field die-stamping; (2) the ¼-inch\nwall thickness restriction is understood by IHI, IHI' s independent expert, the impacted suppliers\nand manufacturers to be a nominal thickness; (3) there is no risk of fatigue failure due to the die-\nstamping; and (4) PHMSA's interpretation would force a significant change in industry practices.\nBased on the information you provided, you asked PHMSA to reconsider its June 18, 2018,\ninterpretation to your original request.\nSection 6.3.5 ofNFPA 59A-2001, Pipe Marking, clearly states that materials less than ¼-inch\nwall thickness shall not be die-stamped for flammable liquids and flammable gases with service\ntemperatures below -20° F. The NFPA standard does not specifically state nominal thickness.\nMoreover, PHMSA rejects IHI' s suggestion that nominal wall thickness should be \"implied\" in\nNFPA 59A. NFPA 59A does not use or apply the term or concept of nominal wall thickness.\nTherefore, PHMSA cannot read the term into the standard. In this case, IHI is not able to\nreference specific language in the Part 193 regulations to support its reconsideration effort, and\nThe Pipeline and Hazardous Materials Safety Administration, Office of Pipeline Safety provides written clarifications of the Regulations (49 CFR\nParts 190-199) in the form of interpretation letters. These letters reflect the agency's current application of the regulations to the specific facts\npresented by the person requesting the clarification. Interpretations do not create legally-enforceable rights or obligations and are provided to\nhelp the public understand how to comply with the regulations.\n\n<<<PAGE 2>>>\n\n2\nmuch of its argument is based on previous standards language. For example, IHI argued\nhistorically, the standards prohibited marking \"in the field\" and that although the word \"field\"\nwas removed from the current language, it should remain implied as to application. This is\ncontrary to the rules of statutory construction. By removing the word \"field\" from the standard,\nrather than assuming \"field\" still applies to the standard, PHMSA interprets the standard to be\napplied as written - and therefore not being limited to marking in the field only.\nAfter examining your latest information, including your in-person presentation, PHMSA has\ndetermined that its June 18, 2018 interpretation should remain as issued. PHMSA' s\ninterpretations are based on current applications of the regulations to specific facts presented by\nthe person requesting the clarification. In this case, requirements that are no longer in the current\nPHMSA regulations are not applicable. ·\nlfwe can be of further assistance, please contact Tewabe Asebe at.202-366-5523.\nSincerely,\nAssociate Admini trator\nfor Pipeline- Safety\nToe Pipeline and Hazardous Materials Safety Administration, Office of Pipeline Safety provides written clarifications of the Regulations\n(49 CFR Parts 190-199) in the form of interpretation letters. These letters reflect the agency's current application of the regulations to the\nspecific facts presented by the person requesting the clarification. Interpretations do not create legally-enforceable rights or obligations and\nare provided to help the public understand how to comply with the regulations.\n\n<<<PAGE 3>>>\n\nDear Mr. Gale,\nThis letter constitutes IHI E&C International Corporation's (\"HI\") request to the Pipeline and Hazardous Materials Safety\nAdministration (PHMSA) to reconsider the interpretation of 49 CFR Part 193 and NFPA 59A-2001 set forth in its June 18,\n2018 letter to |HI. ' It is HI's position that the interpretation set forth in PHMSA's June 18, 2018 is overly broad, inconsistent\nwith the industry understanding of the applicable rules and regulations, and contradictory to long-established industry\npractices. Accordingly, IHI asks that PHMSA consider the additional information and materials presented herein and\nreevaluate the interpretation set forth in its June 18, 2018 letter. Further, considering the importance of this matter to the\nElba Island Liquefaction Project (\"Project\") and the potential impacts on the industry as a whole, HI requests the opportunity\nto meet with PHMSA after PHMSA has had an opportunity to review this additional information to explain its position in\nfurther detail.\n1.\nNFPA 59A-2001 Chapter 6 Subsection 6.3.5.\nAt issue is the interpretation and application of subsection 6.3.5 of Chapter 6 of NFPA 59A-2001, which states:\n6.3.5 Pipe Marking. Markings on pipe shall comply with the following:\n(a) Markings shall be made with a material compatible with basic material or with a round-\nbottom low-stress die.\nException: Materials less than ¼ in. (6.35 mm) in thickness shall not be die-stamped.\n(b) Marking materials that are corrosive to the pipe material shall not be used. Under some\nconditions, marking materials containing carbon or heavy metals can cause corrosion of aluminum.\nMarking materials containing chloride or sulfur compounds cause corrosion of some stainless\nsteels. Chalk, wax-based crayons, or marking inks with organic coloring shall be permitted to be\nused.\nIn its June 18, 2018 letter, PHMSA stated that subsection 6.3.5 \"is applicable for pipe marking when the pipe is used for an\nLNG Facility under Part 193, which includes pipe manufacturing, installation during original construction or during operations\nor maintenance activities...\" HI, its independent expert, and the impacted suppliers and manufacturers on the Project\nbelieve PHMSA's interpretation is an overly broad application of subsection 6.3.5 and, therefore, in need of reconsideration.\na. The Structure of Chapter 6 of NFPA 59A-2001.\nSubsection 6.3.5 appears in Chapter 6 of NFPA 59A-2001, \"Piping Systems and Components.\" Notably, the organization\nof the sections of Chapter 6 generally coincides with the logical sequence of activities in the design, construction, and\noperation of piping systems. First, Subsection 6.2, \"Materials of Construction,\" defines what piping and component materials\ncan be utilized in the piping system. Second, Section 6.3, \"Installation,\" addresses the proper installation of those piping\nand component materials during construction of the piping system. Third, Section 6.4 \"Pipe Supports\" addresses the pipe\n' PHMSA's June 18, 2018 letter is attached to this letter as Exhibit \"1.\"\nTHIE&C International Corporation\nTel +1 713 270 3100\n15377 Memorial Drive,, Ste. 300, Houston, TX 77079\n\n<<<PAGE 4>>>\n\nwelds that can be used in pipe fabrication and limits the types of useable pipe materials, there are no restrictions on pipe\nmarking set forth therein. This is an important and intentional omission.\nSubsequently, the subsections to Section 6.3,\n\"Installation,\" all address the proper installation of the materials defined in\nSection 6.2.\nIndeed, subsection 6.3.1 addresses the installation of bolted connections, subsection 6.3.2 addresses the\ninstallation of joints, subsection 6.3.3 addresses the required provision and proper installation of valves, subsection 6.3.4\naddresses the qualification and performance of welders and the procedures and techniques for welding, and subsection\n6.3.5 addresses pipe marking. It should be noted that pipe marking logically follows welding as the marking done during\ninstallation is most likely to be performed by welders.\nb. The Adoption Of NFPA 59A As The Governing Standard Under 49 CFR 193.\nInterpreting the pipe marking restriction set forth in subsection 6.3.5 to be specific to field die-stamping is also appropriate\nbecause it maintains consistency in the application of the regulations. In fact, prior to the adoption of NFPA 59A Chapters\n1 through 9 pursuant to Docket No. RSPA-97-3002 Amdt. 193-172, 49 CFR 193 (1999 version) set forth a nearly identical\npipe marking requirement within Subpart D, \"Construction,\" as the pipe marking requirement now set forth in Section 6.3,\n\"Installation.\" Section 193.2313 \"Pipe Welding\" at subsection (d) of 49 CFR 193 (1999 version) stated \"[s]urfaces of\n\"field\" clearly conveyed the intent of restricting such markings during installation due to the imprecise nature of such a field\nactivity. The omission of the word \"field\" in subsection 6.3.5 of NFPA 59A was not intended to change the application of its\ntopics in the same sequence as are now set forth in subsections 6.3.4, \"Welding,\" and 6.3.5, \"Pipe Marking,\" of Chapter 6\nof NFPA 59A-2001.\nFurther, the first heading in Subpart C, \"Design\" of the 1999 version of 49 CFR 193 (which appeared before Subpart D,\n\"Construction\") was \"Materials.\" Consistent with Section 6.2, \"Materials of Construction,\" of NFPA 59A, the Materials section\nof Subpart C,\n\"Design,\" set forth the standards for materials to be used. Notably, the material specifications of Subpart O\nof 49 CFR 193(1999 version) applicable to piping did not include any restrictions on pipe marking. Instead, as is also the\nmaterials that could be used and required piping to meet the standards of ASME B31.3. Indeed, the consistency in content\nand organization from the previously applicable regulations through to NFPA 59A-2001 and the lack of comment or analysis\nregarding any need for the expansion of pipe marking restrictions in Docket No RSPA-97-3002 Amdt. 193-17 suggests that\nthere was no intent to expand pipe marking restrictions to a manufacturer's embossing of flat stock through the adoption of\nNFPA 59A.\nc. IHl's Independent Expert's Interpretation Of The Application Of The Pipe Marking Restriction In\nSubsection 6.3.5.\nHi engaged Becht Engineering Company, a recognized expert in the pipe industry, to evaluate and opine on the intent of\nsubsection 6.3.5 of NFPA 59A-2001. Consistent with the analysis set forth above, Mr. Don Frikken, of Becht Engineering\nCompany, stated in the attached August 1, 2018 letter that, had the NFPA's Technical Committee on Liquefied Natural Gas\nintended the pipe marking requirement of subsection 6.3.5 to apply to marks added by component manufacturers, it would\n2 Docket No. RSPA-97-3002 Amdt 193-17 is attached to this letter as Exhibit 2.\n3 See 49 CFR 193 (1999 Version) at Section 193.2313 \"Pipe welding\" attached to this letter as Exhibit 3.\nIHI E&C International Corporation\n15377 Memorial Drive,, Ste. 300, Houston, TX 77079\nTel +1 713 270 3100\n\n<<<PAGE 5>>>\n\ninstalled pipe system. However, when embossing is used to apply markings to flat stock before the pipe is formed (as was\ndone for the pipe at issue in Butting's manufacturing process), the subsequent pipe treatment that is an inherent part of the\npipe manufacturing process relieves the residual stresses imposed by embossing and eliminates the possibility of crack\ninitiation. Indeed, Butting confirmed that the manufacturer processes following embossing are used, in part, to relieve any\nstress imposed by the marking. Thus, the inclusion of the restriction on die-stamping in Section 6.3, \"Installation,\" and the\ncorresponding exclusion of any such restriction in Section 6.2, \"Materials of Construction,\" indicates that the NFPA Technical\nCommittee recognized that the risk of crack initiation that is created by field stamping is not posed by a manufacturer's\nembossing of flat stock prior to pipe fabrication.\nd. The Industry Recognizes A Difference Between Stamping And Embossing.\nNotably, as set forth in Butting's \"Statement Pipe Marking\" attached hereto, the industry recognizes a distinction between\n\"stamping\" and \"embossing.\"® Hard stamping generally means applying a stencil with a sudden impact or force onto the\nsurface to be marked and is done using a press machine or manually by a hammer (i.e. by a welder). In contrast, embossing\nentails marking using letters and digits through round nose low stress stamps that are rolled into the flat stock material.\nThus, the use of the term \"die-stamped\" in subsection 6.3.5 also indicates that the subsection was intended to applicable to\nthe stamping of pipe post-fabrication.\nII. The 1/4\" Restriction Is Most Reasonably Understood To Be A Nominal Thickness.\nEven if subsection 6.3.5 applied to the manufacturing of the subject piping, HI, Becht Engineering Company, and the\nimpacted suppliers and manufacturers all agree that the 1/4 in. thickness requirement set forth therein is a nominal thickness\nrequirement.\nIn his August 1st letter, Mr. Frikken of Becht Engineering Company explained that when a document refers to piping wall\nthickness without an adjective it is intended to be nominal wall thickness rather than the measured wall thickness, especially\nn the case of arbitrary requirements, such as the 1/4 in. requirement at issue. Further, Mr. Frikken sets forth that the\npolication of the relevant code measurement, roundina, and precision reauirements results in a finding that any wal\nthickness greater than or equal to .235 in. would satisfy the 1/4\" requirement. Therefore, the pipe at issues here meets the\n1/4 in. requirement of subsection 6.3.5.\nIn addition, Mr. Andrew Kohout, P.E., Chief of LNG Branch 1, Office of Energy Projects, Federal Energy Regulation\nCommission (\"FERC\"), has also agreed with IHl's assertion that the 1/4 in. restriction set forth in subsection 6.3.5 is nominal\nthickness.? Indeed, as Mr. Frikken implied in his August 1, 2018 letter, Mr. Kohout pointed out that enforcing actual wall\nthickness would be difficult because actual wall thickness can vary and change over time based on the tolerances applicable\nto manufacturing, fabrication processes, corrosion rates, and other pertinent allowances. Although Mr. Kohout defers to\nPHMSA in regard to the interpretation of NFPA 59A in relation to 49 CFR 193, his opinion should be given weight as, in\naddition to his position with FERC (an agency also having authority over the Project), he is a member of the NFPA Technical\nCommittee on Liquefied Natural Gas.\n' Becht Engineering Company's August 1, 2018 opinion letter is attached to this letter as Exhibit 4.\n\" See Butting's \"Statement Pipe Marking\" attached to this letter as Exhibit 5.\n6 See Exhibit 5 \"Statement Pipe Marking.\"\n' Mr. Kohout's 12/26/17 email regarding NFPA 59A die-stamping is attached to this letter as Exhibit 6.\nIHI E&C International Corporation\nTel +1 713 270 3100\n15377 Memorial Drive,, Ste. 300, Houston, TX 77079\n\n<<<PAGE 6>>>\n\nissue meets or exceeds the quality, effectiveness, durability, and safety requirements prescribed by NFPA 59A-2001.\nIV. PHMSA Interpretation Would Force A Significant Change In Industry Practices.\nAs confirmed by the impacted pipe manufacturers on the Project (Butting and Bristol Metals), pipe manufacturers rely on\npermanent pipe marking to track materials in the production process and are required by applicable code to permanently\nmark piping. Indeed, in its June 18, 2018 letter, PHMSA recognizes that ASME B31.3 \"Process Piping\" requires that pipes\nbe marked. However, PHMSA seemingly overlooked the permanent pipe marking requirement imposed by ASTM A358\nButting and Bristol Metals have both noted that permanent pipe marking is necessary to satisfy ASTM A358's requirement\nthat weld radiographs be traceable to the welds that are represented in those radiographs. Indeed, Bristol Metals, when\npresented with a request to eliminate permanent pipe marking from its manufacturing process for 24\" Schedule 10S piping\nstated that it had \"legitimate concerns regarding compliance to the ASTM A358 requirements,\" because the standards\nincorporated into ASTM A358 require that \"locations shall be permanently marked on the surface of the part being\nradiographed.\" As Bristol Metals set forth, for this Project, each individual pipe is not only required to be traceable back to\na radiograph, but, each weld location on each pipe needs to be traceable to two different radiographs. The elimination of\npermanent pipe marking that would result from the application of PHMSA's June 18, 2018 interpretation could create\nsignificant traceability issues in manufacturing and culminate in violations of ASTM A358 by creating the inability to trace\nwelds as required.\nFurther, Butting produces approximately 20,000 tons of stainless steel pipes per year that are made from coil and marked\nas flat stock. In fact, Butting has supplied 24\" schedule 10S piping as well as many other sizes of stainless steel pipe\nmarked in the same manner to LNG projects around the world including the Freeport, Cameron, and Tacoma projects ir\nthe United States and the ICHTHYS project in Australia. In each of these Projects, the pipe has performed as expected\nwithout any compromise to the pipes' integrity. Indeed, in the pipe manufacturing industry, there has previously never been\nany doubt as to the acceptability of embossed stainless steel pipe for use in LNG projects.\nI.\nConclusion.\nIn conclusion, IHI requests that, in light of the information presented herein and the materials attached hereto, PHMSA\nreconsider its June 18, 2018 interpretation of NFPA59A-2001 subsection 6.3.5. IHI also requests a meeting with PHMSA\nto present, expand upon, and discuss the information set forth in this letter.\nYours sincerely,\nDon Boudreaux\nProject Director\n8 See Mr. Kohout's 12/26/17 email at Exhibit 5 and MIL-STD-792E attached as Exhibit 6.\n9 Edgen Murray Corporation May 31, 2018 Letter setting forth Bristol Materials position is attached to this letter as\nIHI E&C International Corporation\n15377 Memorial Drive,, Ste. 300, Houston, TX 77079\nTel +1 713 270 3100","truncated":false,"body_characters":19096}