# BASF Wyandotte Corporation — Pipeline Safety Interpretation

- **operation:** document
- **citation:** PI-76-020
- **title:** BASF Wyandotte Corporation — Pipeline Safety Interpretation
- **source type:** guidance
- **agency:** Pipeline and Hazardous Materials Safety Administration
- **status:** guidance
- **official:** true
- **published on:** 1976-04-21
- **effective on:** Not available
- **summary:** PI-76-020 response to BASF Wyandotte Corporation concerning 192.5.
- **machine formats:** - **json:** https://regulus.evalyn.ai/document/phmsa-interpretation-pi-76-020.json
- **markdown:** https://regulus.evalyn.ai/document/phmsa-interpretation-pi-76-020.md
- **app url:** https://regulus.evalyn.ai/document/phmsa-interpretation-pi-76-020
- **source url:** https://www.phmsa.dot.gov/sites/phmsa.dot.gov/files/legacy/interpretations/Interpretation%20Files/Pipeline/1976/PI76020.pdf
**body:**

<<<PAGE 1>>>

April 21 1976
Mr. John W. Milroy
Chief Engineer-Design
BASF Wyandotte Corporation
Wyandotte, MI 48192
Dear Mr. Milroy:
This is in response to your letter dated January 22, 1976, regarding interpretations of the Office of
Pipeline Safety Operations (OPSO) rules and regulations, specifically Section 192.5, Class
location. Contrary to the statement in your letter, OPSO regulations were not written to just
describe residential areas. They are intended to include all types of locations including office
buildings, factories, outside recreation areas, etc. Your plant facilities can be included within a
class location definition.
As set forth in Section 192.5 of the regulations, the class location of a pipeline is determined by
the number of buildings intended for human occupancy within the class location unit, the normal
human occupancy, and the number of stories of those buildings.
OPSO analysis of your plant diagram and corresponding description of facilities indicates that all
of your eight buildings or units are intended for human occupancy. The Administration Building
and the Parking Lot lie within 100 yards of the pipeline and have a normal human occupancy of
more than 20 persons. Therefore, this area appears to be in at least a Class 3 location (refer to
Section 192.5(d)(2)). We cannot determine the class location for the areas adjacent to the other
buildings from the data provided since that determination will depend on the building count in the
remainder of the class location unit.
For purposes of determining class location, we do not consider the platform levels of the
industrial facilities described in your letter to be the same as "stories above ground" set forth in
Section 192.5(c).
If the pipeline is designed and qualified to meet the present day class location requirements then as
your plant develops an more units are actually built, the pipeline may need to be reevaluated to
determine if it satisfies the operating requirements for the new class location or it may require
requalification or operating changes. As an alternate you may design and qualify the pipeline now
to meet the most severe class location requirements that may be anticipated for the future then
increase in class location will have minimal effect on the operation of the pipeline. This is a
procedure many operators follow. Requirements for class location changes are detailed in
Sections 192.609 and 192.611 of the regulations.
dal\192.1-a\5\76-04-21
1

<<<PAGE 2>>>

OPSO regulations prescribe safety goals to be achieved, while permitting pipeline operators the
flexibility of choosing the best method of accomplishment. As this relates to your interest in class
locations, the regulations do not limit the number of buildings, units, or occupants. Instead, they
prescribe safety requirements which vary by degree in many instances according to the
characteristics of a pipeline's location.
We trust that this has answered your particular questions.
If we can be of further assistance, please let us know.
Sincerely,
Cesar Deleon
Acting Director
Office of Pipeline
Safety Operations
dal\192.1-a\5\76-04-21
2

<<<PAGE 3>>>

BASF Wyandotte Corporation
January 22, 1976
Mr. Cesar DeLeon, Acting Director
Office of Pipeline Safety
Department of Transportation
2100 Second Street SW
Washington, D.C. 20590
Dear Mr. DeLeon:
At a recent meeting in your office I agreed to formally request interpretations of the Gas Pipeline
Regulations as they relate to facilities at our Geismar, Louisiana Works. The regulations are
written to describe residential areas and require interpretation when applied to chemical plant
facilities. The buildings and areas described below may be found on the attached portion of our
site plan drawing. In the present preliminary design phase, the areas shown represent the best
guess of building areas according to the scale noted.
Section 192.5(c) uses the phrase "intended for human occupancy." We request your
interpretation as applied to the following:
1. Administration Building (ADMIN) - Normal daytime occupancy is thirteen people, plus
visitors, plus locker room facilities for sixty-two men on day shift and twenty men on the
odd shifts. This means a normal occupancy at beginning and end of the day shift of
ninety-five people. Between second and third shifts, the combined occupancy is forty
people. In addition to the above questions, is this also considered normal occupancy by
more than twenty people?
2. Warehouse (WHSE) - The warehouse will be used for the storage of equipment and
supplies. It will not have continuous occupancy but will have frequent in and out usage
for storage and withdrawal of materials.
3. Maintenance Building (MAINT) - Normal occupancy of this building will be up to forty-
four men on day shift and some lesser number during second and third shifts.
4. Control House - This building will be occupied on a continuous basis with twelve men on
day shift and approximately eight men on the off shifts.
dal\192.1-a\5\76-04-21
3

<<<PAGE 4>>>

5. Boilers, Unit 1300 - Each of the three initial boilers, designed for alternate coal firing, will
be approximately 55 feet in height and will have approximately five platform levels. Two
or three operators will be assigned on each shift for continuous operation.
6. Process Units (Units 100 and 200) - The process units will consist of multiple level
structures, housing process equipment such as reactors, columns, rotating equipment,
tanks, etc., and manned on a continuous basis by one or more people per unit. Each unit
will consist of multiple independent structures, some roofed, such as compressor house,
vacuum pump house, etc. The structures are typical of chemical process plants and are
comparable in function and manning to those found in petroleum refineries. (If the
process units are determined "for human occupancy," should each independent structure
or each level of structure be considered a unit in determining the class location?)
7. Meter Buildings - These are masonry block buildings housing gas metering equipment but
not normally occupied. The buildings are regularly visited for meter reading, calibration,
and other maintenance activities.
Section 192.5 (d)(2)(ii) refers to "a small, well defined outside area that is occupied by twenty or
more people during normal use ---." The parking lot adjacent to the administration building is
designed for 150 cars. The normal daytime use will be ninety people plus visitors, and the off-
shifts will have twenty people. Similar to the case of the administration building, at either end of
the day shift, the normal count of people will be 110, and between the odd shifts it will be a total
of forty.
8. Parking Lot - Does the above described lot fall within the definition of a Class 3 location?
We will appreciate receiving your interpretations of these buildings and lot as they relate to
pipeline class locations. Your opinions will enable us to anticipate possible pipeline changes and
the resultant construction activity within our plant areas.
I thank you for the courtesy extended to me on my visit to your office, and will look forward to
receiving you opinions in the above matters.
Very truly
yours,
BASF
WYANDOTTE CORPORATION
John W.
Milroy
dal\192.1-a\5\76-04-21
4

<<<PAGE 5>>>

Chief Engineer
- Design
dal\192.1-a\5\76-04-21
5
- **truncated:** false
- **body characters:** 7345
