# State of Michigan Department of Labor Bureau of Construction Codes — Pipeline Safety Interpretation

- **operation:** document
- **citation:** PI-93-057
- **title:** State of Michigan Department of Labor Bureau of Construction Codes — Pipeline Safety Interpretation
- **source type:** guidance
- **agency:** Pipeline and Hazardous Materials Safety Administration
- **status:** guidance
- **official:** true
- **published on:** 1993-09-20
- **effective on:** Not available
- **summary:** PI-93-057 response to State of Michigan Department of Labor Bureau of Construction Codes concerning 192.3.
- **machine formats:** - **json:** https://regulus.evalyn.ai/document/phmsa-interpretation-pi-93-057.json
- **markdown:** https://regulus.evalyn.ai/document/phmsa-interpretation-pi-93-057.md
- **app url:** https://regulus.evalyn.ai/document/phmsa-interpretation-pi-93-057
- **source url:** https://www.phmsa.dot.gov/sites/phmsa.dot.gov/files/legacy/interpretations/Interpretation%20Files/Pipeline/1993/PI93057.pdf
**body:**

<<<PAGE 1>>>

September 20, 1993
Robert J. Aben Jr.
Chief, Boiler Division
State of Michigan
Department of Labor
Bureau of Construction Codes
7150 Harris Drive
P.O. Box 30254
Lansing Michigan 48909
Dear Mr. Aben:
This responds to your letter of August 4, 1993, concerning the issue of jurisdiction at
ANR Pipeline Company (ANR) compressor stations in regard to boilers.
ANR has claimed that the boilers in their compressor stations used in the interstate
transportation of natural gas are "pipeline facilities" and are, therefore, subject to the
jurisdiction of the Department of Transportation under the Natural Gas Pipeline Safety
Act of 1968.
The natural gas pipeline safety regulations are found at 49 CFR, Part 192 and are
applicable to pipeline facilities and the transportation of gas. Pipeline facilities, as used
in both the NGPSA and the pipeline safety regulations, includes gas pipelines, rights-of-
way, and any equipment, facility, or building used in the transportation of gas or the
treatment of gas during the course of transportation.
In initial conversations I had indicated that the boilers in question were not subject to our
jurisdiction. I was later informed by our Regulatory Programs section that previous
determinations had been made to the contrary in regard to the jurisdiction of boilers.
Upon further review, it was determined that the subject boilers are pipeline facilities and,
therefore, subject to the authority of the NGPSA and the pipeline safety regulations. I
then contacted Mr. Jorgensen, and provided him with this information. I regret any
inconvenience which the erroneous information previously provided might have caused.
dal\192.3\93-09-20

<<<PAGE 2>>>

I hope that this information is helpful to you. If you require additional information,
please contact me.
Sincerely,
Ivan A. Huntoon
Director, Central Region
Office of Pipeline Safety
dal\192.3\93-09-20

<<<PAGE 3>>>

9/14/93
Subject: ANR Pipeline Boilers
From: Cesar DeLeon
To: Ivan Huntoon
I have reviewed the information about the subject boilers attached to your memo of June
16, 1993. I find that the boilers bear a substantial relation to the transportation of gas in
ANR's compressor stations. Therefore, the boilers are "pipeline facilities" under the
Natural Gas Pipeline Safety Act of 1968 and 49 CFR Part 192.
dal\192.3\93-09-20

<<<PAGE 4>>>

June 3, 1993
SUBJECT: DOT JURISDICTION - BOILERS
TO: I. Huntoon
FROM: R.J. Lecznar
As we discussed last Friday, attached is a summary of various uses of process heat
at our compressor stations. Simply stated, the compressor stations can not operate
without the steam/hot water boilers. We believe that our boilers are used in the
"transportation of gas" and therefore, are "pipeline facilities." Also, our compressor
stations are subject to the jurisdiction of the Federal Energy Regulatory Commission
(FERC) and, therefore are "interstate transmission facilities."
ANR Pipeline currently operates pipeline facilities in sixteen states and includes
inspection/maintenance requirements for boilers in our O & M Manual. These
requirements apply to all boilers regardless which state the boiler is located.
Hopefully, this information will be useful in your discussions of boilers at your
meeting next week.
dal\192.3\93-09-20

<<<PAGE 5>>>

June 2, 1993
Natural Gas Compressor Station
Gas Fired Steam and Hot Water Boilers
ANR Pipeline Company utilizes either natural gas fired steam or hot water boilers
at its gas compression facilities for the following uses:
a) Process heating of the incoming gas stream in the fuel gas system to raise the
gas temperature above the predicted hydrate formation temperature prior to regulating the
pressure from the higher pipeline pressure to the lower fuel gas system operating
pressure. If a hydrate formed, the "freeze off" would block the flow of gas through the
fuel system, and the station would cease to operate. Fuel gas is used by the
engine/compressor units, generator sets, gas fired water bath heaters, gas fired glycol
regenerators, boilers, etc.
b) Process heating of the Compressor Engine lubricating oil, prior to engine start-
up. Lubricating oil is preheated and pumped through the engine/compressor unit to
assure proper lubrication of all metal to metal contact points, i.e. crank and rod bearings,
cylinder walls, turbochargers, etc. Allowing the oil to reach its proper viscosity also
provides for an easier roll of the engine and faster engine starts.
c) Process heating of the engine coolant prior to engine start-up. Like the
lubricating oil preheat, preheating the coolant provides for easier starts of the engine
compressor units and allows the unit to come up to operating temperature more quickly.
d) Building heat for personnel and equipment.
Gas compression facilities within the ANR system that have boilers, regardless of
location, use them for both heating of the fuel gas (item a) and building heat (item d).
Northern locations, in addition to items a and d above, also use the boilers for items b and
c to assure proper and timely starting during peak winter heating periods. While there are
other substitute pieces for most of the above processes, i.e. catalytic heaters, electrical
insertion or immersion heaters, etc., it would be difficult to provide a safe and effective
alternative for fuel gas preheating. The steam/hot water boiler system has thus far
proven to be the best arrangement for providing a heating medium source for ANR
Pipeline.
dal\192.3\93-09-20

<<<PAGE 6>>>

PART 192 - TRANSPORTATION OF NATURAL AND OTHER GAS BY PIPELINE:
MINIMUM FEDERAL SAFETY STANDARDS
§192.13 General.
(a)
(b)
(c) Each operator shall maintain, modify as appropriate, and follow the plans,
procedures, and programs that it is required to establish under this part.
[35 FR 13257, Aug. 19, 1970, as amended by Amdt. 192-27, 41 FR 34605, Aug.
16, 1976; Amdt. 192-30, 42 FR 60148, Nov. 25, 1977]
§192.603 General provisions.
(a) No person may operate a segment of pipeline unless it is operated in
accordance with this subpart.
(b) Each operator shall establish a written operating and maintenance plan
meeting the requirements of this part and keep records necessary to administer the
plan.
(c) The Administrator or the State Agency that has submitted a current
certification under section 5(a) of the Natural Gas Pipeline Safety Act with respect
to the pipeline facility governed by an operator's plans and procedures may, after
notice and opportunity for hearing as provided in 49 CFR 190.237 or the relevant
State procedures, require the operator to amend its plans and procedures as
necessary to provide a reasonable level of safety.
[Amdt. 192-66, 56 FR 31090, July 9, 1991]
§192.605 Essentials of operating and maintenance plan.
Each operator shall include the following in its operating and maintenance plan:
(a) Instructions for employees covering operating and maintenance procedures
during normal operations and repairs.
(b) Items required to be included by the provisions of Subpart M of this part.
dal\192.3\93-09-20

<<<PAGE 7>>>

(c) Specific programs relating to facilities presenting the greatest hazard to
public safety either in an emergency or because of extraordinary construction or
maintenance requirements.
(d) A program for conversion procedures, if conversion of a low-pressure
distribution system to a higher pressure is contemplated.
(e) Provision for periodic inspections to ensure that operating pressures are
appropriate for the class location.
(f) Instructions enabling personnel who perform operation and maintenance
activities to recognize conditions that potentially may be safety-related conditions
that are subject to the reporting requirements of §191.23 of this subchapter.
[Amdt. 192-59, 53 FR 24950, July 1, 1988]
dal\192.3\93-09-20

<<<PAGE 8>>>

July 8, 1985
Mr. A.D. Simpson, III
Attorney at Law
Tennessee Gas Pipeline
Division of Tenneco Inc.
Tenneco Building
P.O. Box 2511
Houston, Texas 77001
Dear Mr. Simpson:
This responds to your letter of January 22, 1985, transmitting a November 13, 1984, letter
jointly submitted by you and Guy N. Rogers of the Mississippi State Department of
Health, which describes three categories of gas compressor station facilities operated by
your company in Mississippi. You ask for a ruling and interpretation on whether, under
the Natural Gas Pipeline Safety Act of 1968, as amended (NGPSA) (49 U.S.C. 1671 et
seq.), the facilities are "pipeline facilities," whether they are "used in the transportation of
gas," and whether they are preempted from State safety regulation. The Department of
Transportation has no mechanism for issuing formal rulings or interpretations on the issue
of preemption under the NGPSA.
The gas pipeline safety standards (49 CFR Part 192) issued pursuant to the NGPSA are
applicable, with enumerated exceptions, to pipeline facilities and the transportation of
gas. The term "Pipeline facilities," as used in both the NGPSA and the standards (49
U.S.C. 1671(4) and 49 CFR 192.3), includes gas pipelines, rights-of-way, and any
equipment, facility, or building used in the transportation of gas or the treatment of gas
during the course of transportation. Many of the standards are written in terms that apply
to particular kinds of pipeline facilities, including compressor stations. Others apply to
pipeline facilities in general. Part 192 does not contain standards that are particularly
applicable to boilers or air receivers. Nevertheless, if such equipment is used in the
transportation of gas by pipeline, it would have to meet applicable Part 192 regulations
that govern pipeline facilities in general.
Use in gas transportation is not defined. However, in light of the NGPSA's safety
purpose, we view the circumstances under which a facility is used in gas transportation
broadly. Thus, pipeline facilities include not only equipment that is used directly or
physically connected to the movement of gas, but also equipment that is related to the
transportation process. Equipment in this latter category would include, for example, fire
protection facilities and fencing located at compressor stations because their purpose is
related to the gas carrying facilities. It also would include boilers and air receivers
dal\192.3\93-09-20

<<<PAGE 9>>>

located in shops, yards, or offices at compressor stations when the purpose of the
equipment is transportation related. Whether particular boilers or air receivers at
compressor stations are sufficiently related to the transportation of gas to be pipeline
facilities would depend on the circumstances surrounding their use.
In regard to the three categories of facilities of concern to you, their general description
and drawings indicate that the air tanks and boilers each bear a substantial relation to
operation of gas compressors. We think, therefore, it is reasonable to view these facilities
as "used in the transportation of gas" and, thus, "pipeline facilities." Furthermore,
assuming that the lines to which these facilities appertain are interstate, that is, subject to
the jurisdiction of the Federal Energy Regulatory Commission, we consider these
facilities to be interstate transmission facilities.
As to the question of preemption, the NGPSA restricts the application of State laws to
pipeline facilities as follows:
"Any State agency may adopt additional or more stringent safety standards for
intrastate pipeline transportation if such standards are compatible with the Federal
minimum standards. No State agency may adopt or continue in force any such
standards applicable to interstate transmission facilities, after the Federal minimum
standards become effective." (49 U.S.C. 1672(a))
We trust that this letter is helpful to you. A similar letter is being mailed to Guy N.
Rogers. The individual compressor station drawings are being returned to you separately.
Sincerely,
Richard L. Beam
Associate Director for
Pipeline Safety Regulation
Materials Transportation Bureau
dal\192.3\93-09-20
- **truncated:** false
- **body characters:** 11994
