{"operation":"document","citation":"PHMSA sc2014ngprogramevaluation","title":"2014 SC NG Program Evaluation - sc2014ngprogramevaluation (South Carolina; Natural Gas State Program Evaluation)","source_type":"inspection","agency":"Pipeline and Hazardous Materials Safety Administration","status":"historical","official":true,"published_on":"2014-01-01","effective_on":null,"summary":"2014 PHMSA natural gas program evaluation for South Carolina.","machine_formats":{"json":"https://regulus.evalyn.ai/document/phmsa-state-evaluation-sc-ng-program-evaluation-sc2014ngprogramevaluation.json","markdown":"https://regulus.evalyn.ai/document/phmsa-state-evaluation-sc-ng-program-evaluation-sc2014ngprogramevaluation.md"},"app_url":"https://regulus.evalyn.ai/document/phmsa-state-evaluation-sc-ng-program-evaluation-sc2014ngprogramevaluation","source_url":"https://www.phmsa.dot.gov/sites/phmsa.dot.gov/files/docs/subdoc/2281/sc2014ngprogramevaluation.pdf","body":"1200 New Jersey Avenue SE Washington DC 20590 U.S. Department of Transportation Pipeline and Hazardous Materials Safety Administration 2014 Gas State Program Evaluation for Office of Regulatory Staff of South Carolina Document Legend PART: O -- Representative Date and Title Information A -- Progress Report and Program Documentation Review B -- Program Inspection Procedures C -- Program Performance D -- Compliance Activities E -- Incident Investigations F -- Damage Prevention G -- Field Inspections H -- Interstate Agent State (If Applicable) I -- 60106 Agreement State (If Applicable) DUNS: 805889529 2014 Gas State Program Evaluation South Carolina Office of Regulatory Staff of South Carolina, Page: 1\n\n2014 Gas State Program Evaluation -- CY 2014 Gas State Agency: South Carolina Rating: Agency Status: 60105(a): Yes 60106(a): No Interstate Agent: No Date of Visit: 10/20/2015 - 10/22/2015 Agency Representative: Mr. Vernon L. Gainey, Pipeline Safety Supervisor, Office of Regulatory Staff PHMSA Representative: Jim Anderson Agustin Lopez Commission Chairman to whom follow up letter is to be sent: Name/Title: Mr. C. Dukes Scott, Executive Director Agency: Office of Regulatory Staff Address: 1401 Main Street, Suite 900 City/State/Zip: Columbia, South Carolina 29201 INSTRUCTIONS: Complete this evaluation in accordance with the Procedures for Evaluating State Pipeline Safety Program. The evaluation should generally reflect state program performance during CY 2014 (not the status of performance at the time of the evaluation). All items for which criteria have not been established should be answered based on the PHMSA representative's judgment. A deficiency in any one part of a multiple part question should be scored as needs improvement. Determine the answer to the question then select the appropriate point value. If a state receives less then the maximum points, include a brief explanation in the space provided for general comments/regional observations. If a question is not applicable to a state, select NA. Please ensure all responses are COMPLETE and ACCURATE, and OBJECTIVELY reflect state program performance. Increasing emphasis is being placed on performance. This evaluation together with selected factors reported in the state's annual progress report attachments provide the basis for determining the state's pipeline safety grant allocation. Field Inspection (PART G): The field inspection form used will allow different areas of emphasis to be considered for each question. Question 13 is provided for scoring field observation areas. In completing PART G, the PHMSA representative should include a written summary which thoroughly documents the inspection. Scoring Summary PARTS Possible Points Points Scored A Progress Report and Program Documentation Review 10 10 B Program Inspection Procedures 13 13 C Program Performance 37 36 D Compliance Activities 15 15 E Incident Investigations 8 8 F Damage Prevention 8 8 G Field Inspections 12 12 H Interstate Agent State (If Applicable) 0 0 I 60106 Agreement State (If Applicable) 0 0 TOTALS 103 102 State Rating................................................................................................................................................... 99.0 DUNS: 805889529 2014 Gas State Program Evaluation South Carolina Office of Regulatory Staff of South Carolina, Page: 2\n\nPART A - Progress Report and Program Documentation Review Points(MAX) Score 1 Accuracy of Jurisdictional Authority and Operator/Inspection Units Data - Progress 1 1 Report Attachment 1 Yes = 1 No = 0 Needs Improvement = .5 Evaluator Notes: Verified unit counts with ORS records which supported the unit data. Compared number of operators with annual reports which were accurate. 2 Review of Inspection Days for accuracy - Progress Report Attachment 2 Yes = 1 No = 0 Needs Improvement = .5 1 1 Evaluator Notes: ORS has a Master Schedule which tracks inspections by type, operator, inspector and person days spent. Inspection days in Progress report was verified with Master Schedule. 3 Accuracy verification of Operators and Operators Inspection Units in State - Progress 1 1 Report Attachment 3 Yes = 1 No = 0 Needs Improvement = .5 Evaluator Notes: ORS keeps Operator list with all operator units. List was reviewed to verify Progress report data along with Annual Reports in Pipeline Data Mart. 4 Were all federally reportable incident reports listed and information correct? - Progress Report Attachment 4 Yes = 1 No = 0 Needs Improvement = .5 Evaluator Notes: ORS reported one reportable incident in their Progress Report which was verified in Pipeline Data Mart. 1 1 5 Accuracy verification of Compliance Activities - Progress Report Attachment 5 1 1 Yes = 1 No = 0 Needs Improvement = .5 Evaluator Notes: There was a discrepancy with the Progress Report from 2014 to 2013. The 2013 Progress report stated that there were 10 carry over Probable Violations to the next year but the 2014 Progress Report had only 1 carry over from previous year. The discrepancy was a clerical error and was reported to PHMSA through email by Vernon Gainey. The other non-compliance data was accurate and was verified with ORS records and data. 6 Were pipeline program files well-organized and accessible? - Progress Report 2 2 Attachment 6 Yes = 2 No = 0 Needs Improvement = 1 Evaluator Notes: All ORS pipeline files are locked and only accessible by certain personnel. Files were reviewed and were well-organized by year , operator name and in alphabetical order. Files are now being electronically filed but paper copies are still kept in the files. 7 Was employee listing and completed training accurate and complete? - Progress Report 1 1 Attachment 7 Yes = 1 No = 0 Needs Improvement = .5 Evaluator Notes: Reviewed training in Progress Report and compared to PHMSA T&Q database. Two ORS employees have left the pipeline safety program so only two current employees have completed all required training. John Iglesias was hired in January 2015 is currently scheduled for 8 classes in 2016. 8 Verification of Part 192,193,198,199 Rules and Amendments - Progress Report Attachment 8 DUNS: 805889529 2014 Gas State Program Evaluation 1 1 South Carolina Office of Regulatory Staff of South Carolina, Page: 3\n\nYes = 1 No = 0 Needs Improvement = .5 Evaluator Notes: June, 1976 is the original adoption date of the Federal Regulations by SC. All subsequent standards are adopted when revised and updated as part of state law, and as provided for in SC Public Service Commission Rules and Regulations. 9 List of Planned Performance - Did state describe accomplishments on Progress Report in detail - Progress Report Attachment 10 Yes = 1 No = 0 Needs Improvement = .5 Evaluator Notes: ORS described their accomplishments in detail. There were no issues identified with the data submitted. 1 1 10 General Comments: Info Only = No Points Evaluator Notes: Part A of this evaluation. Info Only Info Only With the review of the Progress Report, PDM, and ORS reocrds it seems that the ORS is complying with the requirements of Total points scored for this section: 10 Total possible points for this section: 10 DUNS: 805889529 2014 Gas State Program Evaluation South Carolina Office of Regulatory Staff of South Carolina, Page: 4\n\nPART B - Program Inspection Procedures Points(MAX) Score 1 Standard Inspection procedures should give guidance to state inspectors that insure 2 2 consistency in all inspections conducted by the state? The following elements should be addressed at a minimum - pre-inspection activities, inspection activities, post-inspection activities. Yes = 2 No = 0 Needs Improvement = 1 Evaluator Notes: ORS PLS Guidelines state that ORS will conduct Pipeline Safety Compliance Inspection activities at least once each year at each jurisdictional Operator. These may include Standard Inspections. The ORS PLS Guidelines also state that a Standard Inspection as defined by PHMSA will be conducted at each Operator at least once each 5 year period. This is consistent with Guidelines for States Participating in the Pipeline Safety Program. Pre and Post inspection activities are also included in the ORS Procedures 2 IMP and DIMP Inspection procedures should give guidance to state inspectors that insure 1 1 consistency in all inspections conducted by the state? The following elements should be addressed at a minimum - pre-inspection activities, inspection activities, post-inspection activities. Yes = 1 No = 0 Needs Improvement = .5 Evaluator Notes: ORS PLS Guidelines state that ORS will conduct Pipeline Safety Compliance Inspection activities at least once each year of each jurisdictional Operator. These may include IMP and DIMP inspections. DIMP inspections have been conducted of all Dist. Operators in SC (completed 2014) and IMP Inspections were completed of all Trans. Operators with the exception of one LFG Operator, who began operation in 2013. IMP inspections are being conducted during the last quarter of 2015 to cover seven of the oldest Operators. The remainder of Trans. IMP inspections will be conducted during 2016. PHMSA inspection forms are utilized for these inspections. Suggested to ORS to include in their procedures that all IMP inspections should be uploaded to PHMSA's IM and DIMP databases. 3 OQ Inspection procedures should give guidance to state inspectors that insure 1 1 consistency in all inspections conducted by the state? The following elements should be addressed at a minimum - pre-inspection activities, inspection activities, post-inspection activities. Yes = 1 No = 0 Needs Improvement = .5 Evaluator Notes: ORS PLS Guidelines state that ORS will conduct Pipeline Safety Compliance Inspection activities at least once each year at each jurisdictional Operator. These may include OQ Inspections, Protocol #9 or any part of the OQ compliance requirements. Inspectors generally verify Operator personnel are current with OQ requirements and training during our routine compliance inspections of each Operator. Suggested to ORS to amend their procedures to include that all OQ inspections will be uploaded to PHMSA's OQ database. Also recommended to ORS to perform an OQ Protocol 9 field inspection since the inspectors are already verifying the operators OQ records during most inspections. 4 Damage Prevention Inspection procedures should give guidance to state inspectors that 1 1 insure consistency in all inspections conducted by the state? The following elements should be addressed at a minimum - pre-inspection activities, inspection activities, post- inspection activities. Yes = 1 No = 0 Needs Improvement = .5 Evaluator Notes: ORS PLS Guidelines state that ORS will conduct Pipeline Safety Compliance Inspection activities at least once each year at each jurisdictional Operator. These may include damage prevention activities which is covered in the Standard Inspections. There were no Damage Prevention inspection performed in 2014. 5 Any operator training conducted should be outlined and appropriately documented as needed. DUNS: 805889529 2014 Gas State Program Evaluation 1 1 South Carolina Office of Regulatory Staff of South Carolina, Page: 5\n\nYes = 1 No = 0 Needs Improvement = .5 Evaluator Notes: This type of activity is generally provided on an as needed basis, and can be performed as per PLS Guidelines. There was no operator training conducted in 2014. 6 Construction Inspection procedures should give guidance to state inspectors that insure consistency in all inspections conducted by the state? The following elements should be addressed at a minimum - pre-inspection activities, inspection activities, post-inspection activities. Yes = 1 No = 0 Needs Improvement = .5 Evaluator Notes: 1 1 ORS PLS Guidelines state that ORS will conduct Pipeline Safety Compliance Inspection activities at least once each year at each jurisdictional Operator. These may include Construction Inspections which can also be conducted each year. 7 Does inspection plan address inspection priorities of each operator, and if necessary each 6 6 unit, based on the following elements? Yes = 6 No = 0 Needs Improvement = 1-5 a. Length of time since last inspection (Within five year interval) Yes No Needs Improvement b. Operating history of operator/unit and/or location (includes leakage, incident and compliance activities) Yes No Needs Improvement c. Type of activity being undertaken by operators (i.e. construction) Yes No Needs Improvement d. Locations of operators inspection units being inspected - (HCA's, Geographic areas, Population Density, etc) Yes No Needs Improvement e. Process to identify high-risk inspection units that includes all threats - (Excavation Damage, Corrosion, Natural Forces, Outside Forces, Material and Welds, Equipment, Yes No Needs Improvement Operators and any Other Factors) f. Are inspection units broken down appropriately? Yes No Needs Improvement Evaluator Notes: The ORS Pipeline Safety Program Procedures were reviewed and seem to meet the PHMSA guidelines. The procedures state that to assist in determining a schedule of inspection activities with Operators, the following must be considered: a. Abnormal number of potential non-compliances historically found. b. Length of time since last inspection. c. Past leakage and/or incident history. d. Prior frequency and number of non-compliances observed, addressed, and documented. e. Any other event(s) within or without the Operator's facilities which may impose difficulty in administering O & M and compliance efforts and procedures. Priority ranking for chronological order and frequency of inspections is established by the Risk Ranking and will also reflect other known factors. These include as follows: a. Significant percentage of Operator facilities located in metropolitan and/or highly populated areas. b. Significant number of Operator facilities located and operated within high concentrations of commercial/industrial areas. c. Significant number of pipeline damages or failures recurring in specific geographic locations of Operator Service territory. d. Greater potential for facility damage in HCA's or other sensitive areas where these damages to a gas pipeline would probably cause major consequences. e. Operators' damages to facilities per 1000 locate notifications. f. Other indicative factors as determined to be germane to optimum compliance and safe operation of each Gas Operator's system. These factors are calculated and inserted into a Risk Ranking Plan so that Inspections can be scheduled at Operators presenting and dealing with the most risks and proceeding to inspections of Operators with fewer risks. 8 General Comments: Info Only = No Points Evaluator Notes: In reviewing the ORS Procedures it seems that they are complying with Part B of this evaluation. Info Only Info Only Total points scored for this section: 13 Total possible points for this section: 13 DUNS: 805889529 2014 Gas State Program Evaluation South Carolina Office of Regulatory Staff of South Carolina, Page: 6\n\nPART C - Program Performance Points(MAX) Score 1 Was ratio of Total Inspection person-days to total person days acceptable? (Director of State Programs may modify with just cause) Chapter 4.3 Yes = 5 No = 0 5 5 A. Total Inspection Person Days (Attachment 2): 379.00 B. Total Inspection Person Days Charged to the Program (220 X Inspection Person Years) (Attachment 7): 220 X 2.95 = 649.00 Ratio: A / B 379.00 / 649.00 = 0.58 If Ratio >= 0.38 Then Points = 5, If Ratio < 0.38 Then Points = 0 Points = 5 Evaluator Notes: Reviewed ORS person days data and compared with submitted information. The data matched with the progress report and the ORS has met the required Total Inspection person-days ratio. 2 Has each inspector and program manager fulfilled the T Q Training Requirements? (See 5 5 Guidelines Appendix C for requirements) Chapter 4.4 Yes = 5 No = 0 Needs Improvement = 1-4 a. Completion of Required OQ Training before conducting inspection as lead? Yes No Needs Improvement b. Completion of Required DIMP*/IMP Training before conducting inspection as lead? *Effective Evaluation CY2013 Yes No Needs Improvement c. Root Cause Training by at least one inspector/program manager Yes No Needs Improvement d. Note any outside training completed Yes No Needs Improvement e. Verify inspector has obtained minimum qualifications to lead any applicable standard inspection as the lead inspector. Yes No Needs Improvement Evaluator Notes: All required core courses have been completed by Supervisor and one Inspector. Senior Inspector also has taken all OQ, PAP, DIMP, CRM, Root Cause, and IMP courses; #2 Inspector has taken PL0250 Course and is on track to take several courses next year. With recent retirement of our Senior Inspector (Michael Bunting, Sept. 14, 2015) we are interviewing for a replacement now. That individual will be placed on waitlist for TQ courses as soon as possible, taking the PL0250 Course first. No Inspector will lead any Inspection where subject matter has qualification TQ Course as a pre-requisite until he/she has completed that Course(s). 3 Did state records and discussions with state pipeline safety program manager indicate adequate knowledge of PHMSA program and regulations? Chapter 4.1,8.1 Yes = 2 No = 0 Needs Improvement = 1 2 2 Evaluator Notes: Mr. Gainey displays a wide variety of knowledge regarding Pipeline Safety Regulatory requirements. He is familiar with PHMSA requirements as well as SC Commission regulations. He does an outstanding job managing this Program and has hired and trained several Inspectors during his time. He has been responsible for the Program here at ORS since 2005, and prior to that he managed the Program at the SCPSC from 1999 until 2005. 4 Did state respond to Chairman's letter on previous evaluation within 60 days and correct or address any noted deficiencies? (If necessary) Chapter 8.1 Yes = 2 No = 0 Needs Improvement = 1 2 2 Evaluator Notes: The ORS responded to the Chairman's letter within 60 days there is no mention of attempting to correct the deficiency of civil penalty amounts equal to PHMSA's limits. Even though the letter does mention that there is no need for raising the civil penalty levels due to the good compliance record of the state operators, the ORS needs to attempt to adopt PHMSA's levels. 5 Did State hold PHMSA TQ Seminar in Past 3 Years? Chapter 8.5 Yes = 2 No = 0 2 2 DUNS: 805889529 2014 Gas State Program Evaluation South Carolina Office of Regulatory Staff of South Carolina, Page: 7\n\nEvaluator Notes: Yes, the last seminar was held on August 6-8, 2013. 6 Did state inspect all types of operators and inspection units in accordance with time intervals established in written procedures? Chapter 5.1 Yes = 5 No = 0 Needs Improvement = 1-4 5 5 Evaluator Notes: All Operators and Inspection units were inspected during CY 2014. The ORS utilizes a risk ranking model to prioritize each Operators chronological order for Inspection activities. Files were also reviewed to verify the type of inspection performed and to verify the time frame between comprehensive inspections. 7 Did inspection form(s) cover all applicable code requirements addressed on Federal 2 2 Inspection form(s)? Did State complete all applicable portions of inspection forms? Chapter 5.1 Yes = 2 No = 0 Needs Improvement = 1 Evaluator Notes: Operators' facilities are inspected on odd/even years using the comprehensive (Standard) inspection form from PHMSA. For example, all LDC Operators are inspected odd years and all Trans. Operators inspected on even years. In addition, various areas of focus are inspected at more frequent intervals utilizing forms developed mostly by ORS. These may include but would not be limited to Corrosion Control Monitoring, Critical Valve Maintenance, Leak Survey, Pressure Regulation Stations, New Construction, PAP, DIMP, Drug and Alcohol Abuse Prevention plans, Propane Air plants, Liquefied Natural gas facilities, OQ plan and utilization (mostly Protocol 9), and several others. Inspection records were reviewed to verify completion of all forms used during the inspections. All forms reviewed were complete and covered the applicable code for the type of inspection. 8 Did the state review operator procedures for determining if exposed cast iron pipe was 1 NA examined for evidence of graphitization and if necessary remedial action was taken? (NTSB) Chapter 5.1 Yes = 1 No = 0 Evaluator Notes: There has been no cast iron pipe in service in SC since 1996. All was completely replaced by removal, abandonment, or insertion. 9 Did the state review operator procedures for surveillance of cast iron pipelines, including 1 NA appropriate action resulting from tracking circumferential cracking failures, study of leakage history, or other unusual operating maintenance condition? (Note: See GPTC Appendix G-18 for guidance) (NTSB) Chapter 5.1 Yes = 1 No = 0 Evaluator Notes: There has been no cast iron pipe in service in SC since 1996. All was completely replaced by removal, abandonment, or insertion. 10 Did the state review operator emergency response procedures for leaks caused by 1 1 excavation damage near buildings and determine whether the procedures adequately address the possibility of multiple leaks and underground migration of gas into nearby buildings Refer to 4/12/01 letter from PHMSA in response to NTSB recommendation P-00-20 and P-00-21? (NTSB) Chapter 5.1 Yes = 1 No = 0 Evaluator Notes: ORS utilizes the PHMSA Standard Inspection form and this is covered in the form. Since all applicable portions of the form are completed by ORS Inspectors, this has been covered. In addition, ORS has a \"Daily Inspection Form\" formulated specifically for Leak Survey and other leak response, categorization, and mitigation procedures. This form is utilized at various Operators in addition to the Standard Inspection. DUNS: 805889529 2014 Gas State Program Evaluation South Carolina Office of Regulatory Staff of South Carolina, Page: 8\n\n11 Did the state review operator records of previous accidents and failures including reported third party damage and leak response to ensure appropriate operator response as required by 192.617? Chapter 5.1 Yes = 1 No = 0 Evaluator Notes: 1 1 ORS utilizes the PHMSA Standard Inspection form and this is covered in the form. Inspection reports were reviewed to confirm all question were answered by the inspector. All applicable portions of the form were completed by ORS Inspectors. 12 Has the state reviewed Operator Annual reports, along with Incident/Accident reports, for accuracy and analyzed data for trends and operator issues? Yes = 2 No = 0 Needs Improvement = 1 2 2 Evaluator Notes: ORS reviews Operator Annual Reports sent to PHMSA (Operators are asked to forward this office a copy) for accuracy and to identify any negative trends that may be appearing. Operators are contacted with any abnormalities or other issues that may be identified. Also, some of the information that is collected, summarized, and reviewed is used to generate the Risk Ranking Model. 13 Did state input all applicable OQ, IMP inspection results into federal database in a timely 2 1 manner? This includes replies to Operator notifications into IMDB database. Chapter 5.1 Yes = 2 No = 0 Needs Improvement = 1 Evaluator Notes: On September 21, 2014 a printout of South Carolina's OQ database inspections was generated which only included one OQ inspection in 2014. During the evaluation there were several OQ inspections in the database which were uploaded after September 21, 2014. The OQ inspection were performed in December 2014 which exceeds the recommended guidelines of uploading OQ inspections within 6 months of completing the inspection. All the inspections were uploaded 9 months after completing the inspections which is a point deduction. 14 Has state confirmed intrastate transmission operators have submitted information into NPMS database along with changes made after original submission? Yes = 1 No = 0 Needs Improvement = .5 1 1 Evaluator Notes: The ORS reviews the submissions during their comprehensive inspections. NPMS was reviewed during the evaluation to confirm transmission pipeline operators were mapped in NPMS. 15 Is the state verifying operators are conducting drug and alcohol tests as required by 2 NA regulations? This should include verifying positive tests are responded to in accordance with program. 49 CFR 199 Yes = 2 No = 0 Needs Improvement = 1 Evaluator Notes: There were no Drug and Alcohol inspections performed in 2014. ORS stated that all operator Drug and Alcohol inspections have been performed in 2015. 16 Is state verifying operators OQ programs are up to date? This should include verification 2 2 of any plan updates and that persons performing covered tasks (including contractors) are properly qualified and requalified at intervals determined in the operators plan. 49 CFR 192 Part N Yes = 2 No = 0 Needs Improvement = 1 Evaluator Notes: ORS has conducted OQ Inspections of all Operators. This is also discussed during the Comprehensive Inspections. In addition, individual qualifications are reviewed when routine Inspections are conducted at the Operator facilities. We verify that the individual is properly qualified to perform any task that he will be asked to perform during the inspection. The ORS has not performed OQ Plan reviews since 2004. DUNS: 805889529 2014 Gas State Program Evaluation South Carolina Office of Regulatory Staff of South Carolina, Page: 9\n\n17 Is state verifying operator's gas transmission integrity management programs (IMP) are 2 NA up to date? This should include a previous review of IMP plan, along with monitoring progress on operator tests and remedial actions. In addition, the review should take in to account program review and updates of operators plan(s). 49 CFR 192 Subpart 0 Yes = 2 No = 0 Needs Improvement = 1 Evaluator Notes: There were no IMP inspections performed in 2014 but have completed an IMP inspection on all Transmission Operators in recent years. 18 Is state verifying operator's gas distribution integrity management Programs (DIMP)? 2 2 This should include a review of DIMP plans, along with monitoring progress. In addition, the review should take in to account program review and updates of operators plan(s). 49 CFR 192 Subpart P DIMP ? First round of program inspections should be complete by December 2014 Yes = 2 No = 0 Needs Improvement = 1 Evaluator Notes: The ORS completed all DIMP inspections of each Distribution Operator by the end of 2014 per the guidelines. Reviewed records to verify completion of DIMP inspections. 19 Is state verifying operators Public Awareness programs are up to date and being followed. State should also verify operators have evaluated Public Awareness programs for effectiveness as described in RP1162. 49 CFR 192.616 (I13-16) PAPEI Effectiveness Inspections should have been completed by December 2013 Yes = 2 No = 0 Needs Improvement = 1 Evaluator Notes: 2 NA The ORS completed all PAPEI inspections of each operator in 2013. They did not perform any PAPEI inspections in 2014. 20 Does the state have a mechanism for communicating with stakeholders - other than state 1 1 pipeline safety seminar? (This should include making enforcement cases available to public). Yes = 1 No = 0 Needs Improvement = .5 Evaluator Notes: ORS has a website and the Pipeline Safety Program has a portion. Announcements regarding Dig Safe Month, Pipeline Safety Seminar, and other events are posted. In addition, Inspection and enforcement activity is posted for use by stakeholders, as well as SCPSC Rules and Regulations Governing Gas Systems. 21 Did state execute appropriate follow-up actions to Safety Related Condition (SRC) Reports? Chapter 6.3 Yes = 1 No = 0 Needs Improvement = .5 Evaluator Notes: There were no SRCR in South Carolina in 2014. Verified information in PHMSA's Pipeline Data Mart. 1 NA 22 Did the State ask Operators to identify any plastic pipe and components that has shown a 1 1 record of defects/leaks and what those operators are doing to mitigate the safety concerns? Yes = 1 No = 0 Needs Improvement = .5 Evaluator Notes: ORS covers this during Comprehensive Inspections and discussed with the Operators. ORS also encourages Operators to participate in the PPDC. Also have set of plastic pipe questions developed by ORS. 23 Did the state participate in/respond to surveys or information requests from NAPSR or PHMSA? Yes = 1 No = 0 Needs Improvement = .5 Evaluator Notes: DUNS: 805889529 2014 Gas State Program Evaluation 1 1 South Carolina Office of Regulatory Staff of South Carolina, Page: 10\n\nORS participates in surveys by NAPSR and PHMSA and files information electronically. 24 If the State has issued any waivers/special permits for any operator, has the state verified conditions of those waivers/special permits are being met? This should include having the operator amend procedures where appropriate.(New Question for CY2013, no points until CY2015 evaluation conducted in CY2016) Info Only = No Points Evaluator Notes: ORS has not issued any special permits/ waivers to operators. 0 0 25 Did the state attend the National NAPSR Board of Directors Meeting in CY being 0 0 evaluated? (New Question for CY2014, no points first year) Info Only = No Points Evaluator Notes: Due to illness, no one from SC attended the NAPSR National Meeting in CY 2014. Two Inspectors did attend the Region Meeting in TN. 26 Discussion on State Program Performance Metrics found on Stakeholder Communication 0 0 site. (question will be rolled up and included as part of Question C12 on future evaluations) http://primis.phmsa.dot.gov/comm/states.htm Info Only = No Points Evaluator Notes: ORS is aware of information posted in the PDM and reviews this information periodically. ORS agrees that the information is generally representative of the atmosphere in SC. 27 General Comments: Info Only Info Only Info Only = No Points Evaluator Notes: After review of ORS records, procedures and data, it seems that the ORS is generally complying with the requirements of Part C of this evaluation. Total points scored for this section: 36 Total possible points for this section: 37 DUNS: 805889529 2014 Gas State Program Evaluation South Carolina Office of Regulatory Staff of South Carolina, Page: 11\n\nPART D - Compliance Activities Points(MAX) Score 1 Does the state have written procedures to identify steps to be taken from the discovery to 4 4 resolution of a probable violation? Chapter 5.1 Yes = 4 No = 0 Needs Improvement = 1-3 a. Procedures to notify an operator (company officer) when a noncompliance is identified Yes No Needs Improvement b. Procedures to routinely review progress of compliance actions to prevent delays or breakdowns Yes No Needs Improvement Evaluator Notes: The ORS provides the operator with a written non-compliance letter stating the probable violation(s) found during the inspection(s). The operator is given 15 days to provide a written response. If the operator does not dispute the violation(s) then corrective action must be taken and communicated to the ORS. The ORS follows up with the operator and verifies the corrective action(s) stated by the operator. The operator may also provide information that shows a probable violation(s) may not not been committed. If agreed to by the ORS, non-compliance(s) will be considered corrected. The ORS officially closes reports where all corrective actions have taken place or is cleared when operators provide supporting evidence that a violation did not occur, and follow-up inspections validate same. ORS also has option of referring cases to legal for further action. ORS has a master list of operator officials which is kept updated but needs to be in procedures stating that it will be updated regularly. 2 Did the state follow compliance procedures (from discovery to resolution) and adequately 4 4 document all probable violations, including what resolution or further course of action is needed to gain compliance? Chapter 5.1 Yes = 4 No = 0 Needs Improvement = 1-3 a. Were compliance actions sent to company officer or manager/board member if municipal/government system? Yes No Needs Improvement b. Were probable violations documented? Yes No Needs Improvement c. Were probable violations resolved? Yes No Needs Improvement d. Was the progress of probable violations routinely reviewed? Yes No Needs Improvement Evaluator Notes: Reviewed randomly selected CY 2014 inspection report files and all probable violations were documented on the inspection forms and compliance letters sent to the operator. The proper company officers of private company operators and/or managers of municipal operators and other systems were sent compliance letters. The ORS followed its procedures to determine if corrective actions were completed by the operators by reviewing submitted documents or performing follow-up inspections. 3 Did the state issue compliance actions for all probable violations discovered? Yes = 2 No = 0 Needs Improvement = 1 2 2 Evaluator Notes: Reviewed several randomly selected CY 2014 which had compliance actions. ORS sends \"Non-compliance letters\" under Program Manager's signature as per Pipeline Safety Program Guidelines for all non-compliance issues found during inspections. Records were very well documented with compliance issues identified 4 Did compliance actions give reasonable due process to all parties? Including \"show 2 2 cause\" hearing if necessary. Yes = 2 No = 0 Evaluator Notes: The ORS procedures give reasonable due process to operators. The ORS provides a 15 day response time for the operator to reply with a statement of the action taken to correct the probable violation(s), request additional time to correct or provide information that shows a violation(s) was not committed. The operator has the option to request a show cause hearing to argue its case that a violation(s) did not occur. Reviewed randomly selected CY 2014 records and found that reasonable due process is given to operators per ORS procedures. 5 Is the program manager familiar with state process for imposing civil penalties? Were civil penalties considered for repeat violations (with severity consideration) or violations resulting in incidents/accidents? (describe any actions taken) 2 2 DUNS: 805889529 2014 Gas State Program Evaluation South Carolina Office of Regulatory Staff of South Carolina, Page: 12\n\nYes = 2 No = 0 Needs Improvement = 1 Evaluator Notes: The Program Manager is familiar with the show cause hearing process which ORS may initiate to impose a civil penalty on an operator. The ORS must petition the South Carolina Public Service Commission, separate agency, for a Show Cause Hearing. There were no record of repeat violations or violations issued during incidents/accidents. 6 Can the State demonstrate it is using their enforcement fining authority for pipeline safety 1 1 violations? Yes = 1 No = 0 Needs Improvement = .5 Evaluator Notes: The ORS has not issued a civil penalty in the form of a cash payment to the state treasury however, the ORS has stipulated actions that an operator must take which does cause the operator to incur expense to do so. In order to pursue a civil penalty through the South Carolina Public Service Commission the ORS weighs the gravity of the probable violation. In recent history the ORS has not documented a probable violation that was grievous enough to pursue a civil penalty. Several of the 28 probable violations found during CY 2014 were associated with DIMP inspections which were more appropriately addressed by requiring changes to plans. 7 General Comments: Info Only = No Points Evaluator Notes: evaluation. Info Only Info Only Upon review of compliance procedures and records, the ORS seems to be generally in compliance with Part D of this Total points scored for this section: 15 Total possible points for this section: 15 DUNS: 805889529 2014 Gas State Program Evaluation South Carolina Office of Regulatory Staff of South Carolina, Page: 13\n\nPART E - Incident Investigations Points(MAX) Score 1 Does the state have written procedures to address state actions in the event of an incident/ 2 2 accident? Yes = 2 No = 0 Needs Improvement = 1 Evaluator Notes: The ORS has procedures for addressing incident/accident notifications. A telephone list is published for contact information for the operators. ORS can be reached 24 hours a day for reporting incidents. ORS Program Manager makes decision whether to conduct an on site investigation. If incident meets federal reporting requirements, an on-site investigation is required per the procedures. 2 Does state have adequate mechanism to receive and respond to operator reports of 2 2 incidents, including after-hours reports? And did state keep adequate records of Incident/ Accident notifications received? Chapter 6 Yes = 2 No = 0 Needs Improvement = 1 a. Acknowledgement of MOU between NTSB and PHMSA (Appendix D) Yes No Needs Improvement b. Acknowledgement of Federal/State Cooperation in case of incident/accident (Appendix E) Yes No Needs Improvement Evaluator Notes: The ORS has procedures to receive and respond to operator incidents/accidents. ORS can be reached 24 hour a day by operators to report incidents. The Program Manager is aware of the MOU between NTSB and PHMSA. He is also aware of the federal/state cooperation in case of an incident. Only one incident occurred in CY 2014 which was reportable to PHMSA. It is summarized in the Progress Report and the Operator filed a PHMSA Incident Report. This incident was investigated by ORS Inspector. Report was reviewed and was well documented. 3 If onsite investigation was not made, did state obtain sufficient information from the 1 NA operator and/or by other means to determine the facts to support the decision to not go on-site? Chapter 6 Yes = 1 No = 0 Needs Improvement = .5 Evaluator Notes: The ORS conducted an on-site investigation of all federal reported incidents in CY 2014. There was only one report that met the requirements in 2014. 4 Were all incidents investigated, thoroughly documented, and with conclusions and 3 3 recommendations? Yes = 3 No = 0 Needs Improvement = 1-2 a. Observations and document review Yes No Needs Improvement b. Contributing Factors Yes No Needs Improvement c. Recommendations to prevent recurrences when appropriate Yes No Needs Improvement Evaluator Notes: Investigation of the one incident which occurred in CY 2014 was investigated thoroughly and sufficient documentation was completed. Suggest that the ORS use PHMSA Accident investigation form for all incidents that meet the PHMSA reportable requirements. 5 Did the state initiate compliance action for violations found during any incident/accident investigation? Yes = 1 No = 0 Evaluator Notes: There were no probable violations found during incident/accident investigations in CY 2014. 1 NA DUNS: 805889529 2014 Gas State Program Evaluation South Carolina Office of Regulatory Staff of South Carolina, Page: 14\n\n6 Did the state assist region office by taking appropriate follow-up actions related to the operator incident reports to ensure accuracy and final report has been received by PHMSA? (validate report data from operators concerning incidents/accidents and investigate discrepancies) Chapter 6 Yes = 1 No = 0 Needs Improvement = .5 Evaluator Notes: There were no requests made by PHMSA for assistance from the ORS in CY 2014. 1 NA 7 Does state share lessons learned from incidents/accidents? (sharing information, such as: 1 1 at NAPSR Region meetings, state seminars, etc) Yes = 1 No = 0 Evaluator Notes: The ORS shares information regarding incidents in South Carolina at the NAPSR Southern Region Meetings, and \"State of the State\" presentations which are available on the NAPSR Website. 8 General Comments: Info Only = No Points Evaluator Notes: this evaluation. Info Only Info Only Upon review of incident/accident procedures and records its seems that th","truncated":true,"body_characters":52405}