# Rain Hill Group — Pipeline Safety Interpretation

- **operation:** document
- **citation:** PI-92-0106
- **title:** Rain Hill Group — Pipeline Safety Interpretation
- **source type:** guidance
- **agency:** Pipeline and Hazardous Materials Safety Administration
- **status:** guidance
- **official:** true
- **published on:** 1992-08-05
- **effective on:** Not available
- **summary:** PI-92-0106 response to Rain Hill Group concerning 192.53, 192.55, 195.112, 195.8.
- **machine formats:** - **json:** https://regulus.evalyn.ai/document/phmsa-interpretation-pi-92-0106.json
- **markdown:** https://regulus.evalyn.ai/document/phmsa-interpretation-pi-92-0106.md
- **app url:** https://regulus.evalyn.ai/document/phmsa-interpretation-pi-92-0106
- **source url:** https://www.phmsa.dot.gov/sites/phmsa.dot.gov/files/legacy/interpretations/Interpretation%20Files/Pipeline/1992/g92_08_05_THOMAN_195.8_lmx.pdf
**body:**

<<<PAGE 1>>>

PI-92-0106
August 5, 1992
Ms. Wenke B. Thoman
Rain Hill Group
27 East 61st Street
New York, NY 10021
Dear Ms. Thoman:
I received your letter dated June 23, 1992, in which you indicate that you represent a client
interest in marketing bimetallic centrifugally cast pipe for use in accordance with the Federal
Regulations applicable to the operation of oil and gas pipelines, particularly in applications
where severely corrosive oil or gas is to be transported. I thank you and your client for your
interest in assuring that pipe materials intended to be marketed by your client comply with the
pipeline safety regulations.
New steel pipe for gas transportation is qualified for use under 49 CFR Part 192 if it was
manufactured in accordance with a specification listed in section I of Appendix B of Part 192
(See 49 CFR § 192.55). The ASTM specifications listed in the manufacturer's brochure enclosed
in your letter are not among those listed in Appendix B. Nonetheless, non-steel metallic
materials meeting other specifications are not prohibited from being used in gas pipelines if these
materials meet § 192.53 requirements. This section requires that all pipe and components be
suitable for those applications in which they are used.
The regulations for hazardous liquid pipelines, 49 CFR Part 195, require that new or used pipe
installed in a pipeline must meet the performance requirements of § 195.112. There are no other
material specifications in Part 195, such as the nickel based alloys listed in the pipe brochure
enclosed with your letter. However, under
§ 195.8, an operator may use a material other than steel, if the Department determines the use
would not be unduly hazardous.
The Office of Pipeline Safety (OPS) recognizes that corrosion resistant alloys, suitable for
service in severely corrosive situations, are manufactured in pipe form to specifications that are
not listed in Part 192, and that such pipe technically is not steel under Part 195. In evaluating
materials other than steel to be used in hazardous liquid pipelines, as required by § 195.8, RSPA
recognizes that corrosion resistant alloy materials commonly are superior to steel with respect to
their suitability for service in specific severely corrosive situations and are the appropriate
alternative to steels. The criteria OPS applies under § 195.8 regarding the use of pipe made from
a non-steel corrosion resistant alloy, such as a nickel based alloy are:
- The corrosion resistant alloy materials for pipe must otherwise conform with § 195.112,
as appropriate.

<<<PAGE 2>>>

- The pipe must be manufactured in conformance with a published specification and
documented quality assurance program.
- The procedure for joining lengths of pipe must be qualified for both the pipe material
and the intended service.
- It is the responsibility of the pipeline operator to demonstrate that the corrosion resistant
alloy pipe and joining procedures are acceptable for the intended service.
The following responds to your questions which I have paraphrased below:
1. Q. Where is the process started too obtain approval for pipe manufactured to a
specification not listed in Part 192?
A. No approval is required for pipe to be used in gas service that is not manufactured to a
specification not listed in Part 192. In accordance with § 192.53, a pipeline operator is
responsible to select materials for severely corrosive conditions that are suitable for the
intended service.
2. Q. Under Parts 192 and 195, which standards are applicable to corrosion resistant
bimetallic pipe?
A. There are no standards listed in Part 192 or Part 195 that specifically apply to
corrosion resistant bimetallic pipe. However, a pipeline made of such pipe would have to
meet all requirements that apply generally to pipelines or pipeline facilities without regard
to pipe material.
3. Q. When does the Department of Transportation (DOT) get involved with the approval
process?
A. The OPS does not get involved in the process of selecting or approving material
suitable for a gas pipeline. With regard to the use of such material in a hazardous liquid
pipeline, a notice of intended use of such material must be made to this office in
accordance with § 195.8. Our evaluation of the use of such material would be made
using the criteria set forth above.
I note that of the ASTM Specifications listed in Section 3 of the pipe brochure enclosed with
your letter, none of the specifications referenced are for bimetallic pipe. ASTM A872 is for
corrosion resistant centrifugally cast pipe. Specifications A351, A743, and A744 are for
corrosion resistant castings. Specifications B423 and B444 are for corrosion resistant wrought
seamless pipe. Specification B662 is not for pipe or corrosion resistant alloys in any form.
Rather than B662, the brochure probably intended to reference Specification B622, which is for
corrosion resistant wrought seamless pipe.

<<<PAGE 3>>>

I thank you for your inquiry. If you have further questions, please contact G. Joseph Wolf of my
staff at (202) 366-4560.
Sincerely,
Cesar De Leon
Director, Regulatory Programs
Office of Pipeline Safety

<<<PAGE 4>>>

Rain Hill Group INC.
TELEFAX COMMUNICATION SHEET
Please deliver the attached to: Mr. Joseph Wolf. Dept, of Transportation
TOTAL PAGES INCLUDING THIS PAGE: 6 FROM: Wenke B. Thoman
Transmitted by: WBT on: June 23. 1992
Dear Mr. Wolf,
Attached is a descriptive brochure of the Bimetallic Pipe our client would like to offer to U.S.
pipeline operators for offshore applications.
This pipe has particular appeal in sourgas fields and other applications if severely corrosive oil and gas
is to be carried.
My quick reading of the Federal Regulations suggests that pipelines must meet certain standards and
that this be law. The standard requirements incorporated by reference in Appendix A and B are set
by various private self regulated industry bodies such as API, ASTM etc.
Our questions are where do we start the "approval" process and which standards are applicable in
Bimetallic Pipe and when does DOT get involved with the approval process?
I thank very much for your assistance and suggestions.
Yours truly,
Wenke B. Thoman
If you do not receive legible copies of all pages, please call:
(212) 752-2722, and ask for Ilka
Telefax number: ( 202 ) 366 4566
Company: ________________________________________________________________________________
27 EAST 61ST STREET, NEW YORK, NY 10021
TEL: (212) 752-2722 FAX: (212) 752-3288/3156
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