# U.S. DOT/RSPA - Draft Regulatory Evaluation and Regulatory Flexibility Assessment

- **operation:** document
- **citation:** 0900006480e8f830
- **title:** U.S. DOT/RSPA - Draft Regulatory Evaluation and Regulatory Flexibility Assessment
- **source type:** rulemaking
- **agency:** Pipeline and Hazardous Materials Safety Administration
- **status:** current
- **official:** true
- **published on:** Not available
- **effective on:** Not available
- **summary:** 49 CFR Part 195 [Docket No. RSPA-97-27171 - 9 Draft Regulatory Evaluation and Regulatory Flexibility Assessment Pipeline Safety: Recommendations to Change Hazardous Liquid Pipeline Safety Standards Backmound The Research and Special Programs Administration (RSPA) is proposing to change some of its regulations regarding hazardous liquid and carbon dioxide pipelines. These... costs This section will discuss the costs of adopting these five changes. 1) 195.222 Welders: Oualification of Welders. RSPA believes there will be little additional cost of this amendment as this is already the general practice in the gas pipeline industry. Additionally, RSPA is adopting ASME B3 1.4 which is itself an...
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- **source url:** https://downloads.regulations.gov/PHMSA-RSPA-1997-2717-0009/attachment_1.pdf
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49 CFR Part 195
[Docket No. RSPA-97-27171 - 9
Draft Regulatory Evaluation and Regulatory Flexibility Assessment
Pipeline Safety: Recommendations to Change Hazardous Liquid Pipeline Safety Standards
Backmound
The Research and Special Programs Administration (RSPA) is proposing to change some of its
regulations regarding hazardous liquid and carbon dioxide pipelines. These changes are based on
recommendations from the National Association of State Pipeline Representatives (NAPSR).
NAPSR is a non-profit association of officials from state agencies that participate with RSPA in
the Federal pipeline safety regulatory program.
Need for the repulation
Annually NAPSR meets and discusses safety and administrative concerns of state pipeline
officials. Following NAPSR’s comprehensive review of gas pipeline safety standards in 49 CFR
Part 192, (4 recommendations were proposed and adopted, 65 FR 15290: March 22,2000) RSPA
asked NAPSR to perform a similar review of hazard liquid pipeline regulations found in 49 CFR
Part 195. The purpose of the review was to identify regulations that were unclear or hard to
enforce. NAPSR’s report can be found in the docket. The report made 30 different
recommendations.
Eighteen recommendations have previously been adopted. This Notice of Proposed Rulemaking

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proposes to adopt 5 additional recommendations.
Alternatives
RSPA considered 2 alternative scenarios. First, the status quo alternative or do not adopt any
NAPSR recommendations. Second, adopt the NAPSR recommendations which will clarify Part
195 making the regulations clearer and more easily enforceable. RSPA chose the second
altemative as it felt that modifying 5 separate sections in Part 195 at virtually no cost would
clarify the intent of these sections, make them more enforceable with minimal additional burden
to industry and the public.
Benefits
This section will describe the benefits of the 5 recommendations chosen for adoption.
1) 195.222 Welders: Oualification of Welders.
This recommendation suggests a requirement that welders who do not engage in a particular
welding process for a period of 6 months or more, must be requalified. This recommendation is
identical to American Society of Mechanical Engineers (ASME) B3 1.4. This 6 month provision
is already required for welders on gas pipelines (49 CFR 192.229(b). This proposed requirement
will bring the welding requirements of hazardous liquid operators to the same standard as
welders on gas pipelines.
2) 195.252 Backfilling.
This recommendation suggests that the hazardous liquid requirements for backfilling 195.252 be
replaced by a regulation identical to the backfilling requirement found in 192.319(b) which
specifically states that pipe and coating are not to be damaged by either the backfilling equipment
or material. RSPA believes that this proposed requirement is merely a clarification but may

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potentially increase safety as inspections have shown that poor quality backfill could lead to
dents and gouges on the pipeline.
3) 195.3 10 Hydrostatic Testing
This recommendation suggests that hydrostatic test reports must include the temperature of the
test medium or pipe. RSPA agrees that temperature data are an important consideration in
determining the validity of a hydrostatic test. A pressure rise due to an increase in temperature
could hide the indication of a small leak. It is necessary to mathematically account for any
temperature-related pressure change to ensure the absence of leaks during the test.
4) 195.403 Training.
This recommendation suggests a requirement to amend the training required for personnel to
evaluate and respond to fire emergencies to clarify specifically what training is needed. This
proposed requirement requires that emergency response training include basic evaluation of fire
hazards and the appropriate use of portable fire extinguishers and other on-site fire control
equipment. The regulation that this proposal updates required training in “the proper use of
firefighting procedures and equipment, fire suits and breathing apparatus.” This earlier standard
is unclear regarding the level of training required. The terms “fire suit” and “breathing
apparatus’ are ambiguous. RSPA sees this proposal as a clarification.
5 ) 195.434 Sims.
This recommendation suggests a clarification that the emergency telephone number on signs at
pump stations and breakout tank areas be a number where the operator is always available.
NAPSR stated that some emergency numbers were not answered at all times.

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costs
This section will discuss the costs of adopting these five changes.
1) 195.222 Welders: Oualification of Welders.
RSPA believes there will be little additional cost of this amendment as this is already the general
practice in the gas pipeline industry. Additionally, RSPA is adopting ASME B3 1.4 which is
itself an industry standard that is well known and commonly followed in the hazardous liquid
pipeline industry. Therefore, RSPA believes that the practice concerning welders in the gas
pipeline industry is also followed by the hazardous liquid pipeline industry.
2) 195.252 Backfilling.
RSPA believes that this change will cause no additional costs to the public or industry as it is
merely a clarification that states that pipe and coating are not to be damaged by either the
backfilling equipment of material. This is already the general practice in the hazardous liquid
pipeline industry and adopts exactly the requirement of the gas pipeline industry.
3) 195.310 Hydrostatic Test Records. RSPA believes that the cost of this requirement should be
minimal as operators already routinely measure temperature during the hydrostatic test. This
requirement merely requires the operator to keep this temperature recording with its other test
records.
4) 195.403 Training;. RSPA believes that this requirement is also simply a clarification that
focuses emergency response training away from fire suits and breathing apparatus to focus on the
basics of fire hazard evaluation and the use of fire extinguishers and other on-site equipment.
Because this requirement clarifies the training needs of personnel there is no additional costs to
this change.
5 ) 195.434 Sirms. RSPA believes that this requirement states that the emergency signs at

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breakout tanks and pump stations must have an operator available to answer the phone at all
times. All operators have emergency operators available, this requirement just ensures that the
appropriate telephone number is written on the emergency signs. Therefore, this change should
have no additional costs.
Conclusion
OPS has analyzed this proposal and found that the 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 pipeline safety regulations has the potential for enhanced public safety.
RePulatorv Flexibility Certification
Based upon the above information showing that the economic impact of this rule will be
minimal, as they merely clarify the regulations and adopt general industry practices, 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.
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