# Pipeline Safety Interpretation PI-76-0117

- **operation:** document
- **citation:** PI-76-0117
- **title:** Pipeline Safety Interpretation PI-76-0117
- **source type:** guidance
- **agency:** Pipeline and Hazardous Materials Safety Administration
- **status:** guidance
- **official:** true
- **published on:** 1976-11-29
- **effective on:** Not available
- **summary:** PI-76-0117 concerning 192.123.
- **machine formats:** - **json:** https://regulus.evalyn.ai/document/phmsa-interpretation-pi-76-0117.json
- **markdown:** https://regulus.evalyn.ai/document/phmsa-interpretation-pi-76-0117.md
- **app url:** https://regulus.evalyn.ai/document/phmsa-interpretation-pi-76-0117
- **source url:** https://www.phmsa.dot.gov/sites/phmsa.dot.gov/files/legacy/interpretations/Interpretation%20Files/Pipeline/1976/g76-11-29_Stokes_192.123%20-lmx.pdf
**body:**

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PI-76-0117
November 29, 1976
Mr. Carl J. Stokes
27312 Eaglehelm
Canyon Country, California 91351
Dear Mr. Stokes:
This responds to you letter dated October 15, 1976, and attached advertisement showing a type of meter riser
manufactured by R.W. Lyall and Company, Inc. You have questioned the Office of Pipeline Safety Operations (OPSO),
“do you consider that this design of riser would meet the Federal standard and that I would be in complinace with the
code in using it?”
OPSO does not endorse or certify proprietary items. It is the responsibility of the operator to assure that gas facilities
are constructed out of materials that will maintain their structural integrity under the anticipated temperature and
environmental conditions to which they are exposed and be compatible with any gas that is transported. We are
enclosing a copy of 49 CFR Part 192 for your information and use to determine if the meter risers would meet the
applicable standards.
In addition to other applicable requirements, the meter risers must meet the requirements of 49 CFR §192.375(a) for
protection of plastic service lines and §192.123, Design limitations for plastic pipe. With regard to the metal gas carrier,
a determination must be made as to whether or not gas is transported through it as a carrier pipe below ground. If in
fact gas is transported through the metal gas carrier below ground, then it must comply with the requirement of Subpart
I for corrosion control.
Thank you for your interest in pipeline safety.
Sincerely,
Original signed by
Frank E. Fulton
Cesar DeLeon
Office of Pipeline
Safety Operations

<<<PAGE 2>>>

Carl J. Stokes
27312 Eaglehelm
Canyon Country, Ca 91351
October 15, 1976
Mr. Jack C. Overly
Chief Western Regional Division
Office Pipeline Safety Operations
831 Mitten Road
Burlingame, Ca 94010
Dear Mr. Overly:
I am planning on the construction of a mobile home trailer park. In designing the utility 'hook ups" plastic pipe is to be
used for the gas service. It is my understanding that a metal riser must come above ground from the plastic pipe and if it
is steel must be cathodically protected according to the Federal Standard 192.455.
Attached is an advertisement by R. W. Lyle Co. on a steel metal riser which they claim does not need cathodic
protection. In light of the Federal Standard I question the validity of their claim. On installation they specify that the riser
be installed so the point of transition of plastic to steel be at the ground surface. The claim apparently is being that there
is no steel in the ground carrying gas and no plastic above ground carrying gas. From a practical standpoint this is an
impossible condition to permanently obtain since in time the soil surface level is either going to be raised or lowered by
ground planting and cultivation by the customer. It is at this transition point where the steel would be the most
susceptible to corrosion due to moisture, aeration of the soil and the use of fertilizers. This is also the location where gas
leakage would be the most hazardous.
I also understand that this type of riser is being used by the Southern California Gas Company in Los Angeles.
My question is - do you consider that this design of riser would meet the Federal Standard and that I would be in
compliance with the code in using it?
An answer would be appreciated as soon as possible.
Sincerely,
Carl J. Stokes

<<<PAGE 3>>>

Carl J. Stokes
27312 Eaglehelm
Canyon Country, Ca 91351
December 8, 1976
Mr. Jack C. Overly, Chief
Western Region
Office of Pipeline Safety Operations
831 Mitten Road
Burlingame, Ca 94010
Dear Mr. Overly:
In your letter to me of October 26, 1976 you wrote you had forwarded my letter concerning the R. W. Lyle riser to your
headquarters for an official interpretation.
To this date I have had no reply. I would appreciate anything you can do to expedite the matter.
Thanking you, I am
Sincerely,
Carl J. Stokes

<<<PAGE 4>>>

Continental Industries, Inc.
4102 South 74th East Avenue
P.O. Box 994
Tulsa, Oklahoma 74101
Mr. Cesar Deleon
Acting Director,
Office of Pipeline Safety Operations
Washington, D. C. 20590
Dear Mr. Deleon:
I am enclosing a sketch of two types of meter risers we are proposing to manufacture for the gas distribution industry.
The thought behind this style of meter riser is to allow the gas distribution industry the option of purchasing a product
which would comply with the D. O. T. Regulations prohibiting bringing thermoplastic above ground level where the
temperature could exceed 100° F. and still fulfill the requirements of the corrosion section of the D. O. T. Regulations.
The basic principle of this type of meter riser is that the junction of the plastic to metal transition inside the shield pipe is
made as shown in Detail "A" on the sketch. Above ground the metal insert becomes a gas carrying member with a plastic
shield to above ground portion.
Our question is (a) will a riser of this type comply with D. O. T. Regulation for limiting the thermoplastic to 100°
would the metal gas carrier above ground inside the thermoplastic shield require cathodic protection?
F and (b)
Metal insert would be made of non-ferrous metal, mild steel, or stainless steel.
We thank you in advance for your early reply on these questions.
Respectfully,
E. W. Morain, P. E.
Manager, Plastic Division
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