# U.S. DOT/RSPA - Draft Regulatory Evaluation and Regulatory Flexibility Assessment Liquefied Natural Gas Facilities Clarifying and Updated Safety Standards

- **operation:** document
- **citation:** 0900006480e85872
- **title:** U.S. DOT/RSPA - Draft Regulatory Evaluation and Regulatory Flexibility Assessment Liquefied Natural Gas Facilities Clarifying and Updated Safety Standards
- **source type:** rulemaking
- **agency:** Pipeline and Hazardous Materials Safety Administration
- **status:** current
- **official:** true
- **published on:** Not available
- **effective on:** Not available
- **summary:** , 0 193.2717 fire drills must include evacuation and personnel performing fire control duties, and updating references to NFPA 59A to the 2001 edition. The agency states these changes should clarify rules, reflect current industry practice, and have minimal economic impact.
- **machine formats:** - **json:** https://regulus.evalyn.ai/document/regulations-gov-attachment-0900006480e85872.json
- **markdown:** https://regulus.evalyn.ai/document/regulations-gov-attachment-0900006480e85872.md
- **app url:** https://regulus.evalyn.ai/document/regulations-gov-attachment-0900006480e85872
- **source url:** https://downloads.regulations.gov/PHMSA-RSPA-2003-14456-0002/attachment_1.pdf
**body:**

<<<PAGE 1>>>

4
2t133 ::/,y 23 ;?+, f 1: 9 1
RESEARCH AND SPECIAL PROGRAMS ADMINISTRATION
49 CFR Part 193
[Docket No. RSPA-03-14456; Notice 11 - 2
RIN 2137-AD80
Draft Regulatory Evaluation and Regulatory Flexibility Assessment
Liquefied Natural Gas Facilities Clarifying and Updating Safety Standards
Backmound
The Research and Special Programs Administration (RSPA) is proposing to clarifjr its safety
standards for liquefied natural gas (LNG), Part 193. In addition, this notice proposes to revise
standards that contain incorrect cross-references, make minor editorial changes to sections
concerning fire protection and training standards, and require annual reviews of plans and
procedures. The notice also proposes to update present references to the National Fire Protection
Association (NFPA) 59A standard to the 2001 edition of that standard. These actions are neec ed
to remove ambiguities, assure that plans and procedures are up-to-date, and modernize present
references to NFPA 59A. The changes would improve the clarity and effectiveness of RSPA’:;
LNG facility safety standards.
Need for the remlation
In the Federal Register of March 1,2000 (65 FR 10950), RSPA published a Final Rule amending
the safety standards in 49 CFR Part 193 for liquefied natural gas facilities used in gas pipeline

<<<PAGE 2>>>

transportation. The purpose of the Final Rule, which took effect March 3 1,2000, was to replace
many existing standards on siting, design, construction, equipment, and fire protection with
references to a consensus standard, NFPA 59A, “Standard for the Production, Storage, and
Handling of LNG’ (1996 edition).
However, an amendment to 3 193.2005 inadvertently made the application of Part 193 to existing
LNG facilities unclear. As amended by the Final Rule,
193.2005(a) can now be interpreted to
exclude LNG facilities existing on March 3 1,2000, from all changes the Final Rule made to
operation, maintenance, and fire protection standards. However, RSPA did not intend such a
broad exclusion. This NPRM would clarifL that LNG facilities existing or now under
construction are exempt only from new or amended standards on siting, design installation, and
construction of LNG facilities. Below is a summary of the changes proposed in the NPRM.
Part 193 contains several sections with cross-references to sections in Subpart I, Fire Protection,
that were removed by the Final Rule published March 1,2000. RSPA is proposing to delete tl e
incorrect cross references.
Part 193 requires operators to prepare and follow written plans and procedures for various LNIS
plant activities. For example, plans are required for personnel health (0 193.271 1) and training
($3 193.271 1-193.2717) and procedures are required for operations (0 193.2503), emergencies
($ 193.2509(b)), fluid transfers (0 193.2513(a)), maintenance ($ 193.2605(b)), and security
(8 193.2903). Under 3 193.2017 operators must make their plans and procedures available fcr
review by federal and state inspectors. Reviews by RSPA personnel have disclosed that while
2

<<<PAGE 3>>>

operators generally keep their plans and procedures up-to-date, not all plans and procedures are
kept up-to-date. And outmoded plans and procedures can be a source of safety problems. Our
safety standards in 49 CFR Part 192, which apply to gas pipelines serving LNG plants, address
this potential problem by requiring operators to review and update their operating and
maintenance procedures at intervals not exceeding 15 months, but at least once each calendar
year (8 192.605(a)). We think a similar requirement should apply to plans and procedures for
LNG plants. Therefore, we are proposing to establish a new 0 193.2017(c) to require annual
reviews and updates of plans and procedures required by Part 193.
Section 193.27 17 requires operators of LNG plants to train their operations and maintenance
personnel in fire protection. The training must include “plant fire drills.” To meet this fire dri 1
requirement, some operators use only tabletop exercises. We believe such exercises are
inconsistent with the ordinary meaning of “fire drill,” which includes the evacuation of buildings
and personnel performing fire control duties. Therefore, to insure that proper fire drills are
conducted, we are proposing to amend 5 193.2717 to require that fire drills include personnel
performing fire control duties and the evacuation of buildings. See proposed 0 193.27 17(c)
below.
At present, many sections in Part 193 concerning siting, design, construction, equipment, fire
protection, and operating and maintenance records incorporate by reference the 1996 edition csf
NFPA 59A, “Standard for the Production, Storage, and Handling of LNG.” However, the 195’6
edition of the standard is now out-of-date and is no longer available in book form from NFPA .
3

<<<PAGE 4>>>

The latest edition, the 2001 edition, is available from NFPA either in book or electronic form.
We have considered the differences between the 1996 and 2001 editions of NFPA 59A and
believe it is in the interest of LNG facility safety to amend Part 193 to reference the 2001 edition
instead of the 1996 edition. This update would be accomplished by changing Appendix A to
Part 193 as set forth below. In addition, the specific reference to the 1996 edition in
5 193.2019(a) would be replaced by a general reference to NFPA 59A. As indicated by
5 193.2013(a), any general reference to NFPA 59A refers to the latest edition listed in
Appendix A.
Alternatives
RSPA considered two alternative scenarios. First, the status quo alternative or do not adopt an:i of
the clarifjmg changes. Second, adopt the changes that add clarity and update the rules, RSPA
chose the second alternative as it felt that adopting these changes would clarify the regulations and
update the rules to reflect general industry practice.
Benefits
This section describes the benefits of the proposed changes.
The first proposed change is amending the rule that potentially excluded existing LNG facilitic s
from all changes made to operation, maintenance, and fire protection standards that were mad€ in
the final rule published in March 3 1,2000. RSPA believes making this change will benefit thc
public by allowing RSPA to enforce its regulations in this area. However, since
4

<<<PAGE 5>>>

operators likely continued to follow the pre-2000 changes in this area the safety benefits of this
change would be minimal.
The second proposed change concerned the deleting of incorrect cross references. The benefit of
this be to lessen the confusion of operators who when trying to check a cross reference finds out
that the reference does not exist.
The third proposed revision is operators must review and revise their plans and procedures onc 2 a
year. The major benefit of this change is ensure that operators have up-to-date information in
their plans and procedures. Outmoded plans and procedures could lead to potential safety
problems if operators are following outmoded safety precautions.
The fourth proposed change is to require operators to perform “plant fire drills” which include the
evacuation of buildings and personnel performing fire control duties. RSPA has observed that a
small number of LNG operators have been performing “table top” fire drills instead of “plant lire
drills” as described above. RSPA believes that the practicing of “plant fire drills” will better
prepare LNG personnel in times of emergency.
The fifth and final change involves updating the incorporation by reference from the 1966 edil ion
of the National Fire Protection Administration (NFPA) 59A, “Standard for the Production,
Storage, and Handling of LNG, which is out-of-date and unavailable with the 2001 edition of the
NFPA Standard. The newer addition includes differences regarding the concept of maximum
5

<<<PAGE 6>>>

credible earthquake, new models of vapor dispersion distances, testing frequencies for LNG tank
relief valves, and changes to training and security standards. RSPA believes that these changes
represent industry’s most current views on LNG safe practices.
RSPA believes that adoption of these changes should lead to more clear and coherent regulatioiis
that will be easier to follow and enforce and represent the most current thinking on the safe
operation of LNG facilities.
costs
This section examines the costs of adopting the regulation changes described above.
The first proposed change concerns amendments to the LNG regulations that were made in 2000.
These changes included sections on operations, maintenance, and fire protection. RSPA does lot
believe that any LNG operators changed their practices as a result of amendments to these
sections in the 2000 Federal Register notice. Therefore, RSPA does not believe that any opera tors
will face a cost impact to this proposed change.
The second change concerned the deletion of incorrect cross references. This will have not cost
impact as it will only remove some incorrect text references.
The third proposed change concerns the requirement for an annual updating and review of plans
and procedures. The vast majority of LNG facilities already own and operate natural gas
6

<<<PAGE 7>>>

pipelines. Therefore they already comply with similar regulations in Part 192 that require annuit1
review and updating. RSPA believes that because they already comply with these similar
requirements they are likely to be complying with this proposed requirement for annual updating
of LNG facilities and that this proposed change will have little to no economic impact on LNG
facility owners and operators.
The fourth requirement concerns the requirement for LNG “plant fire drills” in lieu of table top
exercises. An internal survey by RSPA revealed that the majority of LNG operators were
performing “plant fire drills” rather than table top drills. Therefore, RSPA concludes that this
change will only impact a small number of operators.
The fifth and final change involves the updating of the referencing of the NFPA LNG standards
from the out-of-date 1996 edition to the more current 2001 edition. NFPA is an industry led
standards organization. As such they represent a group which develops safety guidelines deve‘ op
with industry coordination and collaboration. RSPA believes that as a recognized standards
organizations their guidelines are being universally adopted by the LNG industry. Therefore,
RSPA believes there will be no cost impact on making this change in reference.
After performing its review, RSPA believes that these changes will have little or no economic
impact on LNG operators.
7

<<<PAGE 8>>>

Conclusion
RSPA has analyzed this proposal and found that none of the changes proposed will have an
adverse consequence on costs to operators or safety to the general public. Rather, the updating of
and the clarification of LNG regulations has the potential for enhanced public safety.
R e d a t o w Flexibilitv Certification
Based upon the above information showing that the economic impact of this rule will be minirrlal,
as they merely clarify the regulations and adopt general industry practices and offer additional
options to pipeline operators, I certify under Section 605 of the Regulatory Flexibility Act that
this regulation will not have a significant impact on a substantial number of small entities.
8
- **truncated:** false
- **body characters:** 11315
