# U.S. DOT/RSPA - Regulatory Evaluation and Regulatory Flexibility Certification - Periodic Underwater Inspections - TPSSC & THLPSSC June 30, 2004

- **operation:** document
- **citation:** 0900006480e8d449
- **title:** U.S. DOT/RSPA - Regulatory Evaluation and Regulatory Flexibility Certification - Periodic Underwater Inspections - TPSSC & THLPSSC June 30, 2004
- **source type:** rulemaking
- **agency:** Pipeline and Hazardous Materials Safety Administration
- **status:** current
- **official:** true
- **published on:** Not available
- **effective on:** Not available
- **summary:** DEPARTMENT OF TRANSPORTATION RESEARCH AND SPECIAL PROGRAMS ADMINISTRATION 49 CFR Parts 192 and 195 Docket No. RSPA-97-3001 RIN 2137-AC54 PIPELINE SAFETY: PERIODIC UNDERWATER INSPECTIONS FINAL REGULATORY EVALUATION AND REGULATORY FLEXIBILITY CERTIFICATION Background and Need for the Regulation The Research and Special Programs Administration’s (RSPA) Office of Pipeline Safety... developing the plans is $50,000 (500 hours X $100 per hour = $50,000). The total industry costs of developing the plans is $6.25 million ($50,000 X 125 companies = $6.25 million). The initial underwater surveys cited above indicated that 2% of all surveyed lines in the Gulf of Mexico were exposed. For purposes of...
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DEPARTMENT OF TRANSPORTATION
RESEARCH AND SPECIAL PROGRAMS ADMINISTRATION
49 CFR Parts 192 and 195
Docket No. RSPA-97-3001
RIN 2137-AC54
PIPELINE SAFETY: PERIODIC UNDERWATER INSPECTIONS
FINAL REGULATORY EVALUATION AND
REGULATORY FLEXIBILITY CERTIFICATION
Background and Need for the Regulation
The Research and Special Programs Administration’s (RSPA) Office of Pipeline Safety
(OPS) is responsible for ensuring adequate safety and environmental protection for the risks
posed by the nation’s approximately 2 million miles of gas and hazardous liquid pipelines.
Twice in the late 1980's in the Gulf of Mexico, fishing vessels struck offshore gas pipelines.
These incidents resulted in the deaths of 13 fishermen. The National Transportation Safety
Board (NTSB) investigation of these incidents cited among the causes the pipeline operators
failure to maintain the pipeline at its initial burial depth. Further, NTSB cited RSPA’s failure to
require pipeline operators to inspect and maintain submerged pipelines in a protected condition.
NTSB recommended that RSPA develop and implement requirements to ensure that pipeline
operators inspect and maintain submerged pipelines in areas subject to damage by surface
vessels.
A joint task force of Federal Agencies was formed to study offshore pipeline issues. The

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conclusions were similar to those of the NTSB. However, they concluded the problems of
underwater buried pipeline were not confined to the Gulf of Mexico.
The Congress in 1990, required that operators of offshore pipeline facilities in the Gulf of
Mexico conduct a one-time underwater depth of burial inspection of pipeline facilities and report
to the Department of Transportation on any exposed portion of pipeline or any pipeline that
would pose a hazard to navigation (49 U.S.C. 2002 Sec 203 (1)(A)). On December 5, 1991,
RSPA required that pipeline operators in the Gulf perform a one-time inspection of underwater
pipelines that could cause a threat to navigation (56 FR 63764). Over 1,560 miles of pipeline in
the Gulf of Mexico were inspected. Approximately 25 miles or less than 2% of the inspected
pipeline was reported to be exposed or to be a hazard to navigation.
Congress also required the Department of Transportation to establish a mandatory,
systematic and where appropriate, periodic pipeline inspection and reburial program for all
shallow water submerged pipelines in the Gulf of Mexico. In 1992 Congress expanded the
requirement to include all offshore pipelines, underwater abandoned pipeline facilities, and all
facilities which cross under, over, or through navigable waters, if the location could pose a
hazard to navigation (Pub. L. 102-508 (49 U.S.C. 1692(h)(3).
Benefits
RSPA believes that the main benefit of this final regulation requiring operators to
develop a procedure that would assess the probability of the pipeline being exposed or a hazard

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to navigation by taking into account the particular dynamics of the water bottom, including the
probability of floatation, scour, erosion and the impacts of a major storm is that it will further
reduce the amount of exposed pipeline that is underwater either offshore or in navigable
waterways and reduce the likelihood to these pipelines being struck by vessels.
By requiring the development of a procedure to identify which pipelines offshore or in
navigable waterways are subject to becoming exposed, operators will be able to identify problem
pipelines before they become a hazard. OPS acknowledges that indeed most pipeline are
adequately buried and pose little to no danger to navigation. However, as evidenced by the two
accidents in the 1980's, that exposed pipelines offshore and in navigable waterways have the
potential for serious harm to the public. In the proposed rule RSPA chose to regulate pipeline in
all offshore waterways of the United States and those crossing navigable waterways. Several
commenters suggested that RSPA did not demonstrate the need for this reuglation in waterways
outside of the Gulf of Mexico. RSPA agrees with this argument and is limiting its final rule to
pipelines in the Gulf waterways and its inlets.
Costs
As the above discussion indicates, only a small percentage of pipeline in the Gulf appears
to pose a threat to navigation. OPS spoke with several safety officials from pipeline operators
who had both hazardous liquid and gas pipelines that was offshore. All the operators who were
contacted confirmed that they periodically inspect their pipelines offshore waterways to ensure
that it does not pose a threat to navigation. One operator did suggest that they did not have a

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formal procedure on underwater inspection. However, after further conversation he conceded
that the engineering department did have a procedure for inspection of these pipelines. All the
pipeline operators readily admitted that they knew which pipelines were more likely to be subject
to scour. Scour is the erosion of the seabed that covers buried underwater pipeline. In light of
these conversations, OPS believes while operators likely have written procedures for performing
inspections they may not have written procedures for determining the likelihood (risk
assessment) for pipelines being exposed. They may rely more on an intuitive sense of which
pipelines are subject to problems. Furthermore, even if operators have written procedures it is
very likely they will need to review the adequacy of these procedures in light of a proposed
RSPA regulation.
OPS data suggests that there are approximately 50 hazardous liquid and 75 gas
transmission operators that may be subject to this proposed rule. However, some of the pipeline
mileage may not be subject to this proposed rule as some pipeline may be in water of greater
than 15 feet. Some operators have less than 1 mile of pipeline that may be subject to this
proposal while other operators may have hundreds of miles.
For those companies with considerable mileage that would be subject to regulation, the
process of developing a formal written procedure could take a lot of time. However, as stated
above it is likely that these operators already have procedures for inspection of these pipelines.
Nonetheless, OPS estimates that this proposal will take an operator 1/4 person year (500 hours)
to review the proposed regulation and ensure that its procedures meet those mandated by RSPA.
If the loaded wage for this employee is estimated at $100 per hour, the cost per company of

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developing the plans is $50,000 (500 hours X $100 per hour = $50,000). The total industry
costs of developing the plans is $6.25 million ($50,000 X 125 companies = $6.25 million).
The initial underwater surveys cited above indicated that 2% of all surveyed lines in the Gulf of
Mexico were exposed. For purposes of analysis, OPS estimates that 5 times the 2% of pipelines
that were estimated to be exposed in the initial survey could be subject to scour and potentially
become exposed. Therefore, periodic inspection would be conducted annually. If 10% of
companies have pipelines subject to scour this is approximately 13 companies per year that
would perform annual underwater inspections.
According to operators and companies that perform this type of inspection the costs
generally range from $10,000 to $20,000 per inspection. If a mid point estimate of $15,000 is
used the cost of inspection annually to the entire industry is $195,000 (13 X $15,000 =
$195,000). Therefore, total initial cost is $6.25 million for plan development and $195,000
annually for periodic inspection.
Some commenters to the proposed rule suggested that RSPA underestimated the costs to he
proposal by not counting reburial costs. RSPA disagrees with this conclusion because
if an operator finds that the pipeline is uncovered they are already required to bury that pipeline.
Some commenters were concerned with the potential impact on gas distribution operators. By
limiting the final rule to the Gulf waters and its inlets no gas distribution pipelines will come
under this regulation.
Conclusion

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While exposed underwater pipelines do not appear to pose a daily threat to public safety,
the incidents that occurred in the 1980's show the devastating potential for harm and resulting
loss of life should vessels strike and rupture them. The Office of Pipeline Safety believes that
the benefits of protecting the public from these potential catastrophic incidents outweighs the
costs of this final rule.
Regulatory Flexibility Certification
The costs of this final rule are relatively minor to pipeline operators. As discussed above,
the costs are a one-time cost of $50,000 for developing a risk-management based plan to
examine the potential for buried underwater pipeline to become exposed and a cost of $15,000
per inspection (for the 10% of operators who will be required to inspect their pipelines annually).
Most if not all small pipeline operators that are regulation by RSPA are gas distribution
operators. By limiting the final rule to pipelines in Gulf waters and its inlets all gas distribution
operators are eliminated from coverage of this requirement. Therefore the Office of Pipeline
Safety believes few if any small pipeline operators will be impacted by this rule. The Office of
Pipeline Safety does not believe that these costs will pose an undue burden to any pipeline
operator. Based upon the above analysis I certify under Section 605 of the Regulatory
Flexibility Act that this proposed rule will not have significant impact on a substantial number of
small entities.
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