# U.S. DOT/RSPA - Environmental Assessment-Revised August 2003, Final Rule, Pipeline Integrity Management in High Consequence Areas (Gas Transmission Pipelines)

- **operation:** document
- **citation:** 0900006480e8a888
- **title:** U.S. DOT/RSPA - Environmental Assessment-Revised August 2003, Final Rule, Pipeline Integrity Management in High Consequence Areas (Gas Transmission Pipelines)
- **source type:** rulemaking
- **agency:** Pipeline and Hazardous Materials Safety Administration
- **status:** current
- **official:** true
- **published on:** Not available
- **effective on:** Not available
- **summary:** - Research and Special Programs Administration U.S. Department of Transportation Environmental Assessment - Revised August 2003 Final Rule Pipeline Integrity Management in High Consequence Areas (Gas Transmission Pipelines) Docket: RSPA-00-7666; Amendment 192-95 RIN 2137-AD54 Table of Contents Summary A. Purpose and Need for Action B. Description of Action C. Alternatives Considered D. Affected Environment E. Environmental Consequences of Action and Alternatives E. 1 Enviroiiinental Consequences of Action E.2 Environmental Consequences of Alternatives F. Environmental Justice Considerations...
- **machine formats:** - **json:** https://regulus.evalyn.ai/document/regulations-gov-attachment-0900006480e8a888.json
- **markdown:** https://regulus.evalyn.ai/document/regulations-gov-attachment-0900006480e8a888.md
- **app url:** https://regulus.evalyn.ai/document/regulations-gov-attachment-0900006480e8a888
- **source url:** https://downloads.regulations.gov/PHMSA-RSPA-2000-7666-0355/attachment_1.pdf
**body:**

<<<PAGE 1>>>

-
Research and Special Programs Administration
U.S. Department of Transportation
Environmental Assessment - Revised August 2003
Final Rule
Pipeline Integrity Management in High Consequence Areas
(Gas Transmission Pipelines)
Docket: RSPA-00-7666; Amendment 192-95
RIN 2137-AD54

<<<PAGE 2>>>

Table of Contents
Summary
A.
Purpose and Need for Action
B.
Description of Action
C.
Alternatives Considered
D.
Affected Environment
E.
Environmental Consequences of Action and Alternatives
E. 1
Enviroiiinental Consequences of Action
E.2
Environmental Consequences of Alternatives
F.
Environmental Justice Considerations
G .
Information Made Available to States, Local Governments, and Individuals
H.
List of Agencies and Persons Consulted
I.
Conclusion
..
11
...
111
1
1
3
4
5
5
6
6
7
8
9

<<<PAGE 3>>>

Summary
This document is an update of the Environmental Assessment prepared in support of the
proposed rule to establish integrity management program requirements for operators of natural
gas transmission pipelines (68 FR 4278: January 28,2003). The document was modified to
reflect changes that were made to the proposed requirements in response to public comments.
This document has been prepared in accordance with section 102(2)(c) of the National
Environniental Policy Act (42 U.S.C. Section 4332)’ the Couiicil on Environmental Quality
regulations (40 CFR Sections 1500-1 508), and Department of Transportation Order 5610. IC,
Procedures for Considering Environmental Impacts. It was prepared to assist in thc agency’s
planning and decision-making. This document describes the Research and Special Programs
Administration’s (RSPA) final nile to establish integrity management program requirements for
operators of natural gas transmission pipelines, the alternative requirements considered, the
environment affected by this action, the consequences to the environment of the action and the
alternatives, and a list of the agencies and organizations consulted. This document, along with
the Environmental Assessment prepared in June 2002, provides sufficient evidence to determine
that the provisions of the final rule are expected to have no significant impact on the
environment.
...
111

<<<PAGE 4>>>

A. Purpose and Need for Action
The purpose and need for this action was described in the Environmental Assessment that
accompanied the Notice of Proposed Rulemaking proposing to define requirements for gas
pipeline integrity management program in high consequence areas’. The Environmental
Assessment’ is available in the Docket (#7666). This document updates the earlier analysis to
reflect the changed provisions in the final rule.
A number of individuals and organizations provided comment on the proposed rule described in
the NPRM. These comments are available in the Docket and summarized in the preamble to the
final rule. In response to comments, RSPA modified the proposed rule language, altering the
definition of high consequence areas, the allowable intervals for integrity reassessments, the
allowable assessment intervals for direct assessment, requirements for preventive and mitigative
measures, and requirements for confirmatory direct assessment. The provisions of the final rule
are described in Section B.
B. Description of Action
RSPA is adding a new section to 49 CFR 192 to establish integrity management program
requirements for operators of natural gas transmission pipelines. The rule requires each operator
to develop and implement an integrity management program that provides for continual
assessment of the integrity of all pipeline segments located in high consequence areas. The
proposed rule further requires that the program evaluate the entire range of threats to each
pipeline segment’s integrity through comprehensive information analysis and ensure additional
protection to a pipeline segment’s integrity though remedial actions and preventive and
mitigative measures.
The nile applies to all gas transmission pipelines, as defined in Section 192.3. This includes
transmission pipelines transporting petroleum gas, hydrogen, and other gas products covered
under Part 192.
The rule requires that no later than one year from the rule effective date, an operator of a covered
pipeline segment must develop and follow a written integrity management program that contains
all the elements listed below and that addresses the risks on each covered segment. The initial
integrity management program must consist, at a minimum, of a framework describing how each
I “Pipeline Safety: Integrity Management in High Consequence Areas (Gas
Transmission Pipelines),” Notice of Proposed Rulemaking, 68 FR 4278, January
28, 2003.
2 “Environmental Assessment: Proposed Rulemaking Integrity Management in
High Consequence Areas (Gas Transmission Pipelines),” Docket: RSPA-OO-
7666, June, 2002.
1

<<<PAGE 5>>>

element will be implemented, how relevant decisions will be made, and what near-term
improvements are planned. As an operator further develops the integrity management program,
the operator must document all actions the operator will take to implement each element. An
operator’s initial integrity management program framework and subsequent integrity
management program must, at minimum, contain the following elements:
(a) An identification of all high consequence areas that define segments - covered by the rule. The
rule has added to the definition of high consequence areas from the previously issued rule on
high consequence areas for gas transmission pipelines’ and has changed the definition in the
proposed rulc. The rule includes, as a high consequence area, any area outside a Class 3 or Class
4 location where the potential impact radius4 is greater than 660 feet and the area within a
potential impact circle contains 20 or more buildings intended for human occupancy. The
definition of high consequence areas in the rule includes “identified sites”: locations where
people congregate and locations occupied by persons of limited mobility. The rule involves the
use of local public safety or emergency planning organizations to provide information on the
locations of identified sites.
(b) A baseline integrity assessnient plan including all covered segments. This plan must include
the assessment method, the schedule for completion of assessments, and explanation of the
choice of assessment methods and the risk factors considered in establishing the assessment
schedule. The assessment method used could be an internal inspection tool or tools, pressure test,
Direct Assessment, or other technology that the operator demonstrates can provide an equivalent
understanding of the condition of the line pipe. The required completion date for all baseline
assessments is the same whether or not direct assessment is used as the assessment method.
(c) An identification of threats to each covered pipeline segment, which must include a risk
assessment to evaluate the failure likelihood of each covered segment. An operator must use the
threat identification and risk assessment to prioritize covered segments for assessment and to
evaluate the merits of additional preventive and mitigative measures for each covered segment.
(d) A direct assessment plan, if direct assessment is used as an integrity assessment method.
(e) Provisions for remediating conditions found during an integrity assessment.
(9 A process for continual evaluation and assessment. Unlike the proposed rule, the required
interval for completing integrity reassessments is the same whether or not direct assessment is
used as the assessment method. The reassessment intervals now required by the rule are seven
3 “Pipeline Safety: High Consequence Areas for Gas Transmission Pipelines,’’ Final
Rule, 67 FR 50824, August 6, 2002.
4 A distance that represents the extent of the area that could be impacted by a
pipeline leak, calculated based on pipeline characteristics.
2

<<<PAGE 6>>>

years by one of the allowed assessment methods, unless the operator establishes that a longer
interval is sufficient. However, if under one of the methods, an operator establishes an interval
longer than seven years, a reassessment by confirmatory direct assessment must be done by the
seventh year. If a pipeline operates above 50% SMYS, the maximum interval is ten years with a
confirmatory direct assessment by the seventh year. For pipelines operating between 30% and
50% SMYS, the maximum interval is fifteen years, with confirmatory direct assessment in the
seventh and 14“’ years. And for pipelines operating below 30% SMYS, the maximum is twenty
years, with either a confirmatory direct assessment, or a low-stress reassessment in the seventh
and 14‘” years. A low stress reassessment involves electrical surveys.
(g) A plan for confirmatorv direct assessment, if this assessment method is used as part of the
operator’s process for continual evaluation and assessment.
(h) Provisions for evaluating and carrying - out additional preventive and mitigative measures to
protect high consequence areas. The rule requirks these evaluations for all covered segments,
regardless of operating pressure.
(i) A performance plan that includes performance measures.
(j) Record keeping provisions.
(k ) A management of change process.
(1) A quality assurance process.
(m) A communication plan that includes procedures for addressing safety concerns raised by
OPS and State or local pipeline safety authorities.
(n) Procedures for providing (when requested), by electronic or other means, a copy of the
operator’s risk analysis or integrity management program to OPS or State or local pipeline safety
authorities with which OPS has an interstate agent agreement.
(0) Procedures for ensuring that each integrity assessment is being conducted in a manner that
minimizes environmental and safety risks.
(p) A process for identification and assessment of newly-identified high consequence areas.
Further definition of requirements for these integrity management program elements is found in
sections of the rule and in ASME/ANSI Standard B31.8S.
C. Alternatives Considered
3

<<<PAGE 7>>>

RSPA considered alternatives in the decision process that led to the high consequence area
definition given in Section B above. These alternatives are summarized below:
1, Take No Action. In this alternative, RSPA would not propose new integrity management
requirements for high consequence areas but would rely on the existing regulatory requirements
to protect all areas. This alternative would not be responsive to Congressional mandates or NTSB
recommendations. This alternative would not provide the protection provided by the rule of
required integrity assessment and repair of detected defects or the consideration of additional
preventive and mitigative measures to protect high consequence areas.
2. Use the Same Provisions as in the Hazardous Liquids Integritv Management Rule ( I 92.452).
The main differences between the rule and the requirements of 192.452 are:
A. the time limits for completing the baseline integrity assessment and reassessment
of pipeline segments that could affect high consequence areas and
B. the option of using direct assessment as an assessment method (not allowed in
192.452).
The time limit for baseline assessment under the liquid rule is seven years, while the limit for
baseline assessments under the gas rule is ten years. The liquid pipeline rule requires
reassessment every five years, while the gas rule allows a maximum interval for reassessment of
ten years (for pipelines operating above 50% SMYS), fifteen years (for pipelines operating
between 30% and 50% SMYS), or twenty years (for pipelines operating below 30% SMYS), if
confirmatory direct assessment is done every seven years. OPS believes that requiring the shorter
periods for completing baseline assessments and reassessments would cause negative impacts on
gas supply, the cost of gas to consumers, and the quality of integrity assessment services. In
addition, gas transmission pipelines in high population areas generally operate at lower stresses
than liquid pipelines in populated areas, which lowers the risk from allowing longer intervals to
complete baseline assessments and longer intervals between reassessments.
Studies indicate that internal inspection is not possible for a substantial percentage of gas
transmission lines, except at high cost. Pressure testing all these lines could impose negative
effects on the supply of gas to consumers. Direct assessment is the only assessment method that
could be employed in these lines to avoid these negative impacts. Hence, it is important for the
gas rule to allow direct assessnient as an assessment method.
Because of the significant differences between gas transmission and hazardous liquid pipelines,
OPS has defined different provisions for the gas integrity management rule than the provisions
for liquid pipelines under 195.452.
D. Affected Environment
4

<<<PAGE 8>>>

The purpose of the rule is to provide additional protection to high consequence areas in the
vicinity of gas transmission pipelines throughout the United States. The baseline integrity
assessment, periodic reassessments, and additional preventive and mitigative activities apply to
segments on the operator’s pipeline that could affect high consequence areas. Thus the primary
areas of the environment impacted by this rule are high consequence areas, as defined in the rule
for defining high consequence areas for gas transmission pipelines’ and further defined in the
integrity management rule (see Section B above).
The actions that operators take to comply with the integrity management rule are likely to affect
areas of the environment beyond the defined high consequence areas. For example, some
operators will choose to use internal inspection to fulfill certain rule requirements. Because the
launchers and receivers used to insert and remove internal inspection tools can be located many
miles apart, a large extent of pipe may be inspected beyond the portion of the pipe located in high
consequence areas. Thus, in addition to the information about the condition of the line segment
that could affect a high consequence area, the operator may obtain integrity data about a much
larger section of pipe.
Similarly, the evaluation and potential implementation of additional preventive and mitigative
measures can affect additional areas beyond the boundaries of high consequence areas. For
example, if Remove Control Valves (RCVs) are installed to mitigate the release of gas following
a line rupture or leak, then this mitigation extends along the full length of the section of the pipe
between valves. This may include both pipe segments that could affect high consequence areas
and segments that do not affect high consequence areas.
The changes to the rule that have been included since the NPRM do not change the type of
environment affected by the rule.
E. Environmental Consequences of Action and Alternatives
This section describes the expected impact to the environment from the action (Section E.l) and
the alternatives (Section E.2).
E. 1 Environmental Consequences of Action
The baseline integrity assessment (pressure testing, internal inspection, or direct assessment), the
subsequent integrity reassessments, the integrated and continuous evaluation of line integrity,
additional preventive and mitigative measures that may be implemented for pipeline segments
affecting high consequence areas, and performance measurement of the integrity management
program will result in positive environmental impacts. The number of incidents and the
5
67 FR 50824.
5

<<<PAGE 9>>>

cnvironniental damage from failures of segments that are in high consequence areas are likely to
be reduccd. However, from a national perspective, the impact is not expected to be significant.
The overall result of the changes to the rule since the NPRM is to reduce the number of pipeline
segments that are covered by the rule (due to changes to the definition of a high consequence
area), to reduce the frequency of reassessments for some pipelines, and to reduce the frequency
of direct assessments. This somewhat reduces the positive effects of the rule on the likelihood of
incidents. Because integrity assessments will be required for fewer pipeline segments and
required to be less frequent, the discovery of pipeline conditions during assessments and
remediation of those conditions will likely occur less frequently. The net effect of the rule,
however, is still expected to be a reduction in incidents and environmental damage.
E.2 Environmental Consequences of the Alternatives
E.2.1 Tuke No Action
Under this alternative, RSPA would not require additional operator programs for integrity
management of gas pipelines in high consequence areas. This alternative would have no
additional impact on the environment.
E.2.2 Use the Same Provisions as in the Hazurdozw Liquids Integrity Matzagement Rule
( 1 92.452)
Under this alternative, the integrity management rule for gas transmission pipelines would adopt
the sanie provisions as the integrity management rule for hazardous liquid pipelines. As stated in
Section C, the primary differences between the gas rule and the liquid rule are that the gas rule
allows longer intervals to complete the baseline integrity assessments and reassessments and that
the gas rule allows the use of direct assessment as an integrity assessment method. This
alternative would have the same overall effect on the environment that would be provided by the
rule. Shorter intervals for completing the baseline integrity assessments and reassessments might
provide a small degree of additional reduction in the failure rate of pipeline segments that could
affect high consequence areas, but this additional protection would be small, while the practical
difficulties of accelerating the schedule of baseline assessments (see Section C) could result in
reduccd quality of assessment information. Without the option of direct assessment, gas
operators would have to conduct pressure tests on a much larger portion of the pipe segments for
which pigging is not feasible, with potential negative impacts on gas supply and price to the
consumer, but without additional protection of the population or environment.
F. Environmental Justice Considerations
In accordance with Executive Order 12898 (Federal Actions to Address Environmental Justice in
Minority and Low-Income Populations), RSPA has considered the effects on minority and
G

<<<PAGE 10>>>

low-income populations of the provisions of this rule. This mlemaking action proposes to define
new requirements for integrity management for gas transmission pipelines in high consequence
areas. These requirements provide additional protection for those areas. The requirements apply
nation-wide and do not specifically target any community, based on the income or economic
status of the community.
The additional protection afforded by the requirements will benefit all citizens in proximity to
gas transmission pipelines, regardless of a person’s economic or minority status. Therefore, the
action does not have disproportionately high or adverse health or environmental effects on any
minority or low-income populations near gas transmission pipelines.
G. Information Made AvaiIable to States, Local Governments, and Individuals
RSPA has made the following documents publicly available, and incorporates them by reference
into this environmental assessment:
“Pipeline Safety: Integrity Management in High Consequence Areas (Gas Transmission
Pipelines),” Notice of Proposed Rulemaking, 68 FR 4278, January 28, 2003.
“Pipeline Safety: High Consequence Areas for Gas Transmission Pipelines,” Final Rule,
67 FR 50824, August 6,2002.
“Environmental Assessment-Revised August 2002 Final Rule High Consequence Areas
for Gas Transmission Pipelines,” Docket: RSPA-00-7666, August, 2002.
“Environmental Assessment: Proposed Rulemaking Integrity Management in High
Consequence Areas (Gas Transmission Pipelines),” Docket: RSPA-00-7666, June, 2002.
“Pipeline Safety: High Consequence Areas for Gas Transmission Pipelines,” Notice of
Proposed Rulemaking, 67 FR 1108, January 9, 2002.
“Environmental Assessment: Proposed Rulemaking High Consequence Areas for Gas
Transmission Pipelines,” Docket: RSPA-00-7666, January, 2002.
“Pipeline Safety: Pipeline Integrity Management in High Consequence Areas (Gas
Transmission Pipelines),” Notice of Request for Comnients, 66 FR 343 18, June 27, 2001.
“Pipeline Safety: Pipeline Integrity Management in High Consequence Areas (Hazardous
Liquid Operators With Less Than 500 Miles of Pipelines),” Final Rule, 67 FR 2136,
January 16, 2002.
“Pipeline Safety: Pipeline Integrity Management in High Consequence Areas (Hazardous
7

<<<PAGE 11>>>

a
a
a
a
0
Liquid Operators With Less Than 500 Miles of Pipelines),” Notice of Proposed
Rulemaking, 66 FR 15821, March 21, 2001.
“Pipeline Safety: Pipeline Integrity Management in High Consequence Areas,” Final
Rule, 65 FR 75378, December I , 2000.
“Environmental Assessment: Final Rule Pipeline Integrity Management in High
Consequence Areas for Hazardous Liquid Pipeline Operators Operating 500 or More
Miles of Pipe,” Docket: RSPA 99-6355, November 13, 2000.
“Pipeline Safety: Pipeline Integrity Management in High Consequence Areas,” Notice of
Proposed Rulemaking, 65 FR 21695, April 24, 2000.
“Environmental Assessment: Proposed Rulemaking Pipeline Integrity Management in
High Consequence Areas for Hazardous Liquid Pipeline Operators Operating 500 or
More Miles of Pipe,” Docket: RSPA 99-6355, April 2000.
“Pipeline Safety: Enhanced Safety and Environmental Protection for Gas Transmission
and Hazardous Liquid Pipelines in High-Consequence Areas,” Notice Extending
Comment Period and Establishing Electronic Public Discussion Forum, 64 FR 7171 3,
December 22, 1999.
a
“Pipeline Safety: Enhanced Safety and Environmental Protection for Gas Transmission
and Hazardous Liquid Pipelines in High Consequence Areas,” 64 FR 56725, October 21,
1999.
H.
List of Agencies and Persons Consulted
During the process of developing the integrity management rule, RSPA interacted and consulted
with numerous organizations. These participants included:
a
Interstate Natural Gas Association of America (INGAA)
a American Gas Association (AGA)
a Battelle Memorial Institute
a Gas Technology Institute (GTI)
a Western States Land Commissioners
a National Governors Association
8

<<<PAGE 12>>>

e National League of Cities
National Council of State Legislators
Environmental Defense Fund
0 Public Interest Reform Group
e Working Group on Communities Right-To-Know
I. Conclusion
Gas pipeline failures that impact human health or the environment occur infrequently.
Nonetheless, RSPA believes additional assurance of a pipeline system’s integrity is important for
areas where the consequences of a gas pipeline failure could be significant. The iule defines
integrity management requirements to provide additional assurance. This Environmental
Assessment has determined that the effect of the rule should be reduced risk associated with
pipelines operating in the vicinity of high consequence areas. However, because the
environniental consequences of gas pipeline failures are limited and some pipeline operators are
currently carrying out activities similar to what the rule proposes, the impact is expected to be
limited. Therefore, RSPA has concluded that the rule’s requirements for gas pipeline integrity
management in high consequence areas will not have a significant environmental impact.
9
- **truncated:** false
- **body characters:** 23584
