# Vinson & Elkins — Pipeline Safety Interpretation

- **operation:** document
- **citation:** PI-91-031
- **title:** Vinson & Elkins — Pipeline Safety Interpretation
- **source type:** guidance
- **agency:** Pipeline and Hazardous Materials Safety Administration
- **status:** guidance
- **official:** true
- **published on:** 1991-10-22
- **effective on:** Not available
- **summary:** PI-91-031 response to Vinson & Elkins concerning 192.243, 192.611.
- **machine formats:** - **json:** https://regulus.evalyn.ai/document/phmsa-interpretation-pi-91-031.json
- **markdown:** https://regulus.evalyn.ai/document/phmsa-interpretation-pi-91-031.md
- **app url:** https://regulus.evalyn.ai/document/phmsa-interpretation-pi-91-031
- **source url:** https://www.phmsa.dot.gov/sites/phmsa.dot.gov/files/legacy/interpretations/Interpretation%20Files/Pipeline/1991/PI91031.pdf
**body:**

<<<PAGE 1>>>

Oct 22 1991
Mr. Gary M. Kotara
Vinson & Elkins
The Willard Office Building
1455 Pennsylvania Avenue, N.W.
Washington, DC 20004-1007
Dear Mr. Kotara:
We have considered LFC Pipeline Corporation's petition, dated March 15, 1991, (Pet. No. P-91-1W),
which you submitted by letter of the same date. This petition requests waiver of certain welding
requirements of 49 CFR 192.243(d)(3) and (f) for a pipeline system in Sutter County, California. The
pipeline system transports gas from local wells to two congeneration plants.
It is our policy not to waive compliance with a pipeline safety standard unless compliance would be
inappropriate under the circumstances. In addition, we may not waive compliance with a safety standard
issued under the Natural Gas Pipeline Safety Act of 1968 (NGPSA) unless we determine the waiver "is
not inconsistent with gas pipeline safety" (49 App. U.S.C. 1672 (d)). So in evaluating your first waiver
request, we have considered the circumstances that affect compliance and how noncompliance would
affect safety. As explained below, we have denied this request.
We also explain below why we consider waivers unnecessary under the circumstances involved in the two
other requests. We have neither granted nor denied these requests.
The first waiver request concerns four segments of the pipeline system, which the petition identifies as
Areas 1-4. For these segments, the petition requests waiver of the requirement of 192.243(d)(3) to test
nondestructively 100 percent of the girth welds within Class 3 locations or highway rights-of-way; or at
least 90 percent if 100 percent is impracticable. The petition states that in these four segments, tie-in
welds were all x-rayed, but only 30 to 75 percent of the other girth welds were x-rayed.
Of the adverse consequences the petition projects to result from post-construction compliance in Areas 1-
4, we regard additional cost and inconvenience to landowners and road users as most likely to occur.
But, we do not think these consequences are so onerous that compliance would be inappropriate. They
typically occur when long pipeline segments in populated areas are replaced or rehabilitated to meet Part
192 safety requirements. In addition, the projected cost ($280,000) seems overstated, because it includes
the cost of hydrostatically testing the affected segments of pipeline. Under Part 192, LFC Pipeline
Corporation could x-ray girth welds in the affected segments without additional hydrostatic testing. If x-
ray tests reveal a defective girth weld that is repaired later by removing the weld, the short replacement
pipe may be hydrostatically tested separately, and tie-in welds need not be hydrostatically tested.
As for the projected adverse consequences of depressurizing the affected segments, Part 192 allows x-ray
tests of girth welds that are under pressure. Depressurization would be necessary if LFC Pipeline
Corporation removes a defective girth weld. To minimize the impact on customers, such removal could
be done after the peak-use season, provided a hazardous leak is not present.
91-10-22.doc 192.243, 192.611

<<<PAGE 2>>>

The petition does not persuade us that safety would not be jeopardized by failing to complete all the
required x-ray tests in the affected segments. Part 192 requires both hydrostatic testing and
nondestructive testing for the safety of these segments. Thus, we cannot conclude the segments are safe
merely because they have passed a hydrostatic test. Even a hydrostatic test that exceeds 90 percent of
SMYS is not an adequate substitute for x-ray tests of girth welds, because hydrostatic testing is incapable
of detecting all unacceptable weld defects that could contribute to weld failure. LFC Pipeline
Corporation's alleged low defect rate on x-rayed girth welds is commendable. Yet, if we assume the
same rate applies to the girth welds not x-rayed, a probability remains that some unacceptable weld
defects exist in the affected segments. We cannot overlook this threat to safety in the affected segments,
especially since Areas 1-4 are populated areas or near highways.
Also, 192.611 does not, as the petition asserts, allow operators to uprate pipelines (increase their
maximum allowable operating pressures) through hydrostatic testing (see 192.611(a)(3)(ii)). Subpart K
of Part 192 governs uprating. Section 192.611 does allow certain existing pipeline segments that were
not constructed to Class 3 standards to operate in Class 3 locations if their integrity is confirmed by
hydrostatic testing. However, the purpose of this provision is to mitigate the impact of 192.611 on
existing pipeline segments that are in satisfactory physical condition. By no means does the provision
suggest that such a segment is as safe as if it were constructed to Class 3 standards. Thus, we could not
waive 192.243(d)(3) on the basis of this provision of 192.611 and be sure the waiver would not
compromise safety.
Second, the petition requests waiver of 192.243(f) to avoid recording the total number of girth welds and
the precise location of each girth weld on portions of the system where Part 192 requires nondestructive
testing. The petition suggests that LFC Pipeline Corporation could construct a record of the total
number of girth welds by estimating the number.
If such a record were constructed properly, we would consider it in compliance with the provision of
192.243(f) regarding the number of girth welds made. Also, 192.243(f) does not require operators to
record the precise location of girth welds. Thus, this requested waiver of 192.243(f) is unnecessary.
Finally, the petition requests waiver of 192.243(d)(3) and (f) for portions of the system that LFC Pipeline
Corporation believes are now outside the jurisdiction of Part 192, but may come under Part 192 because
of land development or change in operation from rural gathering to transmission. Under Section 3(a) of
the NGPSA (49 App. U.S.C. 1672(a)), standards affecting construction (such as the welding standards in
part 192) do not apply to pipelines existing when the standards are adopted. Because of this provision of
the NGPSA, the welding standards in Part 192 do not apply to girth welds existing in rural gas gathering
lines that come under the jurisdiction of part 192 after they are put into operation. Thus, this requested
waiver of 192.243(d)(3) and (f) is unnecessary.
The petition refers to the subject pipeline system as a gathering system. Our review of the petition,
however, suggests that portions of the system may be transmission. Correctly classifying a pipeline as
gathering or transmission involves several considerations and affects whether part 192 applies to the
pipeline. We suggest, therefore, that LFC Pipeline Corporation discuss this matter with the Chief of our
Western Region office. That office is responsible for inspecting gas pipelines in California that do not
come under the jurisdiction of the California Public Utilities Commission. The Western Region address is
555 Zang Street, Lakewood, Colorado 80228; phone 303-236-3424.
91-10-22.doc 192.243, 192.611

<<<PAGE 3>>>

If you have any recent additional information that bears on the above decisions, please let us know. will gladly reconsider the petition.
We
Sincerely,
George W. Tenley, Jr.
Associate Administrator for
Pipeline Safety
91-10-22.doc 192.243, 192.611
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