# Wisconsin Public Service Commission — Pipeline Safety Interpretation

- **operation:** document
- **citation:** PI-82-002
- **title:** Wisconsin Public Service Commission — Pipeline Safety Interpretation
- **source type:** guidance
- **agency:** Pipeline and Hazardous Materials Safety Administration
- **status:** guidance
- **official:** true
- **published on:** 1982-02-01
- **effective on:** Not available
- **summary:** PI-82-002 response to Wisconsin Public Service Commission concerning 192.201.
- **machine formats:** - **json:** https://regulus.evalyn.ai/document/phmsa-interpretation-pi-82-002.json
- **markdown:** https://regulus.evalyn.ai/document/phmsa-interpretation-pi-82-002.md
- **app url:** https://regulus.evalyn.ai/document/phmsa-interpretation-pi-82-002
- **source url:** https://www.phmsa.dot.gov/sites/phmsa.dot.gov/files/legacy/interpretations/Interpretation%20Files/Pipeline/1982/PI82002.pdf
**body:**

<<<PAGE 1>>>

February 1, 1982
Mr. William A. Slagg, P.E., Director
Gas Bureau, Engineering Division
Wisconsin Public Service Commission
Hill Farms State Office Building
Madison, WI 53702
Dear Mr. Slagg:
We regret the delay in responding to your request for an interpretation of §192.201(a)(2)(i), and
it is our conclusion that an interpretation, as such, is not necessary.
You are correct in stating that §192.201(a)(2)(i), when it states "may not exceed," means "may
never exceed."
The allowable override of 10 percent of the MAOP is included in the regulation which, for your
example, amounts to 6 psig. The MAOP plus the 6 psig equals 66 psig and not the 105 psig
which the calculations, submitted by the operator, showed that the system could be subjected to
for 21 seconds.
According to the relief regulator's manufacturer (see copy of Bulletin P-13F enclosed), the 2-inch
model 63F back pressure regulator is undersized for this application.
If you have any further questions, please contact me.
Sincerely,
Melvin A. Judah
Acting Associate Director
for Pipeline Safety Regulation
Materials Transportation Bureau
Enclosure
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<<<PAGE 2>>>

September 29, 1980
Mr. Frank Fulton, Chief of Pipeline Safety
Enforcement Division
Room 8430 NASSIF Building
400 7th Street, South West
Washington, DC 20590
Dear Mr. Fulton:
The Gas Bureau of the Public Service Commission of Wisconsin encountered a field problem
involving the sizing of relief valves which we believe requires an interpretation of the gas safety
code by your office. The situation is not a particularly compli-
cated one, per se, but neither is it an obvious one and the interpretation can have a considerable
effect on both our inspec-
tion procedures and the design criteria of the gas utilities in Wisconsin.
Section 192.201 is entitled "Required capacity of pressure relieving and limiting stations" and
states in subsection 192.201(a)(2)(i) that "If the maximum allowable operating pressure is 60 psig
or more, the pressure may not exceed the maximum allowable operating pressure plus 10 percent
or the pressure which produces a hoop stress of 75 percent of SMYS, whichever is lower."
The Wisconsin Gas Bureau has been interpreting the above usage of the term "may not exceed" as
"may never exceed", (at least as far as overpressure relief design criteria are concerned) even for a
period as short as a few seconds. Gas industry design criteria would appear to more generally
base its calculations on the hourly considerations. It is this variance in interpretations which we
are asking to be resolved by your office.
The problem which illustrates the differences in interpretations resulted from the Gas Bureau
inspection of the Browntown town border and district regulator stations. The first district
regulator station in Browntown in 10,900 feet of 2-inch pipe (equivalent) downstream from the
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<<<PAGE 3>>>

town border station. The town border station supplies gas at 270 psig, which is assumed to be
the maximum pressure available at the first regulator station inlet. The outlet of this single, 2 inch
body, Fisher 57 "S" regulator supplies a distribution system with an MAOP of 60 psig which is
protected against overpressuring by a 2-inch Fisher 63F relief valve set at 66 psig with a rated
capacity of 186,000 cubic feet per hour. Calculations and flow chart data agree that the critical
flow to this regulator station is 50,000 cubic feet per hour. Interpretation of the situation on an
hourly basis
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would indicate that the overpressure relief capacity is more than adequate. Gas Bureau
interpretation of the attached data (supplied to us by the utility) would indicate that failure of the
single regulator in a wide open position would subject the downstream distribution system to
pressures in excess of MAOP + 10% (up to 105 psig.) for up to 21 seconds and therefore, the
relief valve capacity is inadequate under subsection 192.201(a)(2)(i).
Our analysis of the situation is that the single Fisher 57 "S" regulator in wide open position with
any pressure at its inlet in excess of approximately 173 psig can supply more gas to the relief
valve than it can vent without increasing its inlet pressure (and thus the downstream system
pressure) above the MAOP plus 10% figure. In the "worst case" condition, the drawdown of the
linepack is a significant factor for some 21 seconds in the overpressuring situation. The data on
the attached lateral analysis sheets are from standard computations, flow chart review and
manufacturer's data.
We will be awaiting your interpretation.
Sincerely,
William A. Slagg, P.E., Director
Gas Bureau
Engineering Division
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