PI-92-015
PI-92-015
Page 1April 6, 1992 Mr. W. N. Hall Associate Petroleum Engineer Dome Pipeline Corporation Plaza Center One P.O. Box 1430 Iowa City, IA 52244-1430 Dear Mr. Hall: This is in response to your letter of November 7, 1991, concerning the recordkeeping requirements of ?195.404(c)(3). The letter asks whether magnetic media (computer hard drive or diskettes ) may be used in place of hard copies to record and maintain the required records. Section 194.404(c)(3) requires that each operator maintain a record of each inspection and test required by Subpart F. Records must be maintained for at least 2 years or until the next inspection or test is performed, whichever is longer. Section 195.404(c((3) does not prohibit operators from maintaining the required records on magnetic media. Also, original hard-copy (paper) records need not be retained after their conversion to magnetic media. However, like the original hard copy records, magnetic media records must contain sufficient information to comply with the recordkeeping requirements of ?195.404(c)(3). We trust that this adequately responds to your request. sorry we were not able to answer your letter sooner. please let us know if we can be of further assistance. We are However, Sincerely, /signed/ Cesar De Leon Director, Regulatory Programs Office of Pipeline Safety DB C:\WP51\INTERPRT\195\404\92-04-06 1#
This material provides agency context. It does not replace binding regulatory text, and its legal effect depends on the underlying authority and facts.