Pipeline Safety: Deactivation of Threats, 14106-14108 [2017-05262]

Download as PDF 14106 Federal Register / Vol. 82, No. 50 / Thursday, March 16, 2017 / Notices like to know that they reached the facility, please enclose a stamped, selfaddressed postcard or envelope. We will consider all comments and materials received during the comment period. FMCSA may issue a final determination any time after the close of the comment period. V. Viewing Comments and Documents To view comments, as well as any documents mentioned in this preamble, go to https://www.regulations.gov and in the search box insert the docket number FMCSA–2016–0315 and click ‘‘Search.’’ Next, click ‘‘Open Docket Folder’’ and you will find all documents and comments related to this notice. Issued on: March 9, 2017. Larry W. Minor, Associate Administrator for Policy. [FR Doc. 2017–05256 Filed 3–15–17; 8:45 am] BILLING CODE 4910–EX–P DEPARTMENT OF TRANSPORTATION Pipeline and Hazardous Materials Safety Administration [Docket No. PHMSA–2016–0131] Pipeline Safety: Deactivation of Threats Pipeline and Hazardous Materials Safety Administration (PHMSA), DOT. ACTION: Notice; issuance of advisory bulletin. AGENCY: PHMSA is issuing this Advisory Bulletin to inform owners and operators of gas transmission pipelines that PHMSA has developed guidance on threat identification and the minimum criteria for deactivation of threats, as established by a previously issued rule. This Advisory Bulletin also provides guidance to gas transmission pipeline operators regarding documenting their rationale of analyses, justifications, determinations, and decisions related to threat deactivation. FOR FURTHER INFORMATION CONTACT: Allan Beshore by phone at (816) 329– 3811 or email at allan.beshore@dot.gov. All materials in this docket may be accessed electronically at https:// www.regulations.gov. Information about PHMSA may be found at https:// www.phmsa.dot.gov. mstockstill on DSK3G9T082PROD with NOTICES SUMMARY: SUPPLEMENTARY INFORMATION: I. Background A critical element in an integrity management (IM) program is the identification of threats to pipeline integrity. As required by section VerDate Sep<11>2014 17:12 Mar 15, 2017 Jkt 241001 192.911(c), an IM program must contain ‘‘[a]n identification of threats to each covered pipeline segment, which must include data integration and a risk assessment. An operator must use the threat identification and risk assessment to prioritize covered segments for assessment (section 192.917) and to evaluate the merits of additional preventive measures and mitigative measures (section 192.935) for each covered segment.’’ Further requirements detailed in section 192.921(a) state, ‘‘[a]n operator must select the [assessment] method or methods best suited to address the threats identified to the covered segment.’’ The threats to a particular pipeline segment dictate the type of assessments the operator must perform to fulfill the requirements of section 192.921(a). According to the Standard established by the American Society of Mechanical Engineers (ASME), ASME B31.8S–2004, Section 2.2, an operator must consider nine individual threat categories as part of an IM program. As stated by ASME B31.8S–2004, Section 5.10, an IM program should provide criteria for eliminating a threat from consideration during a risk assessment; however, 49 CFR part 192—Subpart O does not include provisions for the permanent elimination of threats. An operator, therefore, must continually consider all threats in the evaluation of their IM program through periodic reviews and assessments, as required by section 192.937. PHMSA acknowledges that threats may be categorized as active, requiring an integrity assessment, or inactive, meaning that during a specific assessment cycle the threat does not trigger an integrity assessment, per section 192.921(a). Operators, however, must understand that threats to a pipeline are not static, but vary over time. Changes in threats can occur suddenly, as in the case of catastrophic outside forces like hurricanes, earthquakes, or down-slope land movements, or they can be gradual changes, such as the introduction of new wet-production gas sources into a previously dry gas environment. Issues may also develop into active threats over time, such as coating degradation that allows stress corrosion cracking or external corrosion to develop. In other cases, threats may become inactive over time due to pipeline replacement programs, the implementation of effective preventative actions, or other improvements to systems. The periodic review required by section 192.937 for a mature IM plan must include the re-analysis of the nine threat categories to determine status PO 00000 Frm 00134 Fmt 4703 Sfmt 4703 changes for active or inactive threats. An operator must continually monitor operations and maintenance (O&M) and other activities, integrating relevant information during a threat analysis that might indicate a change in the status of a threat. Some operators inappropriately label threats as inactive after they are eliminated from consideration during prior reviews and assessments, ignoring the continuous supply of new information provided during routine O&M activities. Some operators have opted to eliminate threats from consideration based on a lack of data, including missing, incomplete, or unsubstantiated data. Using insufficient data to eliminate a threat is not technically justified and is contrary to the guidance in ASME B31.8S–2004, Appendices A1– A9. Each of these appendices includes language that states, ‘‘[w]here the operator is missing data, conservative assumptions shall be used when performing the risk assessment or, alternatively, the segment shall be prioritized higher.’’ Additionally, section 192.947(d) requires that operators maintain, ‘‘[d]ocuments to support any decision, analysis and process developed and used to implement and evaluate each element of the baseline assessment plan and integrity management program.’’ Section 192.947(d) further states, ‘‘[d]ocuments include those developed and used in support of any identification, calculation, amendment, modification, justification, deviation and determination made, and any action taken to implement and evaluate any of the program elements.’’ PHMSA provides the following guidance for determining the active or inactive status of the nine threat categories, with the understanding that the status of a threat will change over time: Time-Dependent Threats 1. External Corrosion For steel pipelines, the threat of external corrosion may never be eliminated. 2. Internal Corrosion An operator should consider the past operational history of the pipeline, including, but not limited to: Upset conditions, gas monitoring (including partial-pressure analysis), bacterial culture tests, flow direction and rates, gas sources, solid and liquid analyses, critical angles and liquid holdup points, pigging and other cleaning history, the presence of internal coatings, chemical E:\FR\FM\16MRN1.SGM 16MRN1 Federal Register / Vol. 82, No. 50 / Thursday, March 16, 2017 / Notices treatments, and internal pipeline inspection reports. After consideration of operational history and supporting documentation, the threat of internal corrosion may be deemed inactive if: i. It can be demonstrated that a corrosive gas is not being transported, per section 192.475(a); ii. In-line inspection data confirms that a corrosive environment does not exist within the pipeline; or iii. Application of internal corrosion direct assessment (ICDA) demonstrates that there is no internal corrosion occurring at the most likely locations, and is accompanied by sufficient documentation to demonstrate the assumptions used with the ICDA model (normally dry gas with occasional upsets) are valid for the pipeline’s entire operating history. The threat of internal corrosion should be considered active if: i. Production, storage, or nonpipeline-quality gas was transported at any time during the history of the pipeline; ii. The pipeline has been converted from another type of service that is susceptible to internal corrosion; iii. Unmonitored or inoperative drips, siphons, dead legs, or other liquid holdup points are present anywhere in the pipeline; iv. There is evidence that liquids from drips, siphons, dead legs, or other liquid holdup points are present anywhere in the pipeline; v. Pipe inspection reports, as required by section 192.475(b), indicate evidence of internal corrosion; or vi. The operator does not have a complete pipeline operating history. 3. Stress Corrosion Cracking The threat of stress corrosion cracking (SCC) should always be considered active. The operator must continually inspect the pipeline for the presence of SCC during pipeline examination, as required by section 192.459. Static or Stable Threats mstockstill on DSK3G9T082PROD with NOTICES 4. Manufacturing There is substantial guidance provided in the original Gas Transmission IM protocols (e.g. Protocol C.01 Threat Identification), part 192— subpart O, ASME B31.8S–2004, and the PHMSA Gas Transmission IM FAQs (e.g., 219, 220, 221, and 231) regarding the deactivation of manufacturing threats for a segment for any given assessment cycle. Some of this guidance includes FAQ 219 (manufacturing and construction (M&C) defects when subpart J tested), FAQ 220 (M&C defects VerDate Sep<11>2014 17:12 Mar 15, 2017 Jkt 241001 when never subpart J tested), and FAQ 231 (5-year operating history). Additionally, section 192.917(e)(3) provides guidance for determining when a manufacturing threat is active. Section 192.917(e)(3) states, ‘‘[i]f any of the following changes occur in the covered segment, an operator must prioritize the covered segment as a highrisk segment for the baseline assessment or a subsequent reassessment. i. Operating pressure increases above the maximum operating pressure experienced during the preceding five years; ii. MAOP increases; or iii. The stresses leading to cyclic fatigue increase.’’ 5. Construction There is substantial guidance provided in the original Gas Transmission IM protocols, part 192— subpart O, ASME B31.8S–2004, and the PHMSA Gas Transmission IM FAQs regarding deactivation of construction threats for a segment for any given assessment cycle. Some of this guidance includes FAQ 219 (M&C defects when subpart J tested), FAQ 220 (M&C defects when never subpart J tested), and FAQ 231 (5-year operating history). Section 192.917(e)(3) provides guidance for determining when a construction threat is active, stating, ‘‘[i]f any of the following changes occur in the covered segment, an operator must prioritize the covered segment as a high-risk segment for the baseline assessment or a subsequent reassessment: i. Operating pressure increases above the maximum operating pressure experienced during the preceding five years; ii. MAOP increases; or iii. The stresses leading to cyclic fatigue increase.’’ 6. Equipment An equipment threat is defined in ASME B31.8S–2004, Appendix A6.1, as pressure control equipment, relief equipment, gaskets, O-rings, seal/pump packing, or any equipment other than pipe and pipe components. The equipment threat may be inactive depending on an operator’s history and review of the records, as required by sections 192.613, 192.617, 192.603, 192.605, 192.739, and 192.743. Operating history, failures, and abnormal operations records should be evaluated by integrity personnel to assist in determining trends and issues that may not be recognized by local or other operations personnel. As identified in ASME B31.8S–2004, Appendix A6.4, assessments for PO 00000 Frm 00135 Fmt 4703 Sfmt 4703 14107 equipment threats are normally conducted during maintenance activities, per the requirements of the O&M procedures. Monitoring the data from operating history and failures is essential for identifying trends related to this threat. Communication between O&M and integrity personnel is a key component to integrating this threat, as well as the potential increased risk that it poses to pipeline segments, into risk assessments. Preventative measures and mitigative measures are an important factor in maintaining the inactive status of equipment threats. For example, recognizing a system-wide problem with set point drift in a particular regulator may necessitate a shorter maintenance cycle or the replacement of the inservice regulators impacted by this problem. Time Independent Threats 7. Third-Party Damage The third-party threat should never be considered inactive. 8. Incorrect Operations Incorrect operations are defined in ASME B31.8S–2004, Appendix A8.1, as incorrect operating procedures or failure to follow a procedure. This threat should always be considered active. 9. Weather-Related and Outside Forces Weather-related and outside forces are defined in ASME B31.8S–2004, Appendix A9.1, as earth movement, heavy rains or floods, cold weather and lightning, or events that may cause pipe to be susceptible to extreme loading. This threat should always be considered active. Cyclic Fatigue In addition to the nine threats referenced in ASME B31.8S–2004, § 192.917(e)(2) states, ‘‘[a]n operator must evaluate whether cyclic fatigue or other loading condition (including ground movement, suspension bridge condition) could lead to a failure or a deformation, including a dent or gouge, or other defect in the covered segment. An evaluation must assume the presence of threats in the covered segment that could be exacerbated by cyclic fatigue. An operator must use the results from the evaluation together with the criteria used to evaluate the significance of this threat to the covered segment to prioritize the integrity baseline assessment or reassessment.’’ Cyclic fatigue is a concern because it is a threat that interacts with all other threats. Interactive threats are two or more threats acting on a pipeline or pipeline segment that increase the E:\FR\FM\16MRN1.SGM 16MRN1 14108 Federal Register / Vol. 82, No. 50 / Thursday, March 16, 2017 / Notices probability of failure to a level significantly greater than the effects of the individual threats acting alone. In order to manage cyclic fatigue, therefore, operators must have systemspecific data applicable to their unique operating environment to justify the inactive status of the cyclic fatigue threat. A system-wide or generic study of cyclic fatigue may be used by an operator as long as the operator documents why the study is applicable to the segment-specific conditions. II. Advisory Bulletin (ADB–2017–01) To: Owners and Operators of Natural Gas Transmission Pipelines Subject: Deactivation of Threats Advisory: The threats identified in ASME B31.8S–2004 may be considered active or inactive, but are never permanently eliminated. ASME B31.8S– 2004, Appendix A, identifies the information an operator must collect and analyze for threats, which must demonstrate an individual threat is not acting on the pipe before an operator can properly declare the threat inactive for each assessment period. A threat must be considered active if any data required by Appendix A is missing, as lack of data indicating the existence of a threat is not acceptable justification for considering the threat inactive. Documents to support the determination of an inactive threat status must be maintained, as per the requirements of § 192.947(d). An operator does not need to assess a threat for the current assessment cycle if that threat is properly deemed inactive. When conditions warrant a review or new information becomes available during the required § 192.937 evaluation operators are required to examine each applicable threat to determine its active or inactive status. Issued in Washington, DC, on March 9, 2017, under authority delegated in 49 CFR 1.97. Alan K. Mayberry, Associate Administrator for Pipeline Safety. [FR Doc. 2017–05262 Filed 3–15–17; 8:45 am] BILLING CODE 4910–60–P DEPARTMENT OF THE TREASURY mstockstill on DSK3G9T082PROD with NOTICES Comptroller of the Currency Agency Information Collection Activities: Information Collection Renewal; Submission for OMB Review; Financial Management Policies— Interest Rate Risk Office of the Comptroller of the Currency (OCC), Treasury. AGENCY: VerDate Sep<11>2014 17:12 Mar 15, 2017 Jkt 241001 ACTION: Notice and request for comment. The OCC, as part of its continuing effort to reduce paperwork and respondent burden, invites the general public and other Federal agencies to take this opportunity to comment on a continuing information collection as required by the Paperwork Reduction Act of 1995 (PRA). In accordance with the requirements of the PRA, the OCC may not conduct or sponsor, and the respondent is not required to respond to, an information collection unless it displays a currently valid Office of Management and Budget (OMB) control number. The OCC is soliciting comment concerning renewal of its information collection titled, ‘‘Financial Management Policies—Interest Rate Risk.’’ The OCC also is giving notice that it has sent the collection to OMB for review. DATES: Comments must be submitted on or before April 17, 2017. ADDRESSES: Because paper mail in the Washington, DC area and at the OCC is subject to delay, commenters are encouraged to submit comments by email, if possible. Comments may be sent to: Legislative and Regulatory Activities Division, Office of the Comptroller of the Currency, Attention: 1557–0299, 400 7th Street SW., Suite 3E–218, Mail Stop 9W–11, Washington, DC 20219. In addition, comments may be sent by fax to (571) 465–4326 or by electronic mail to prainfo@occ.treas.gov. You may personally inspect and photocopy comments at the OCC, 400 7th Street SW., Washington, DC 20219. For security reasons, the OCC requires that visitors make an appointment to inspect comments. You may do so by calling (202) 649–6700 or, for persons who are deaf or hard of hearing, TTY, (202) 649–5597. Upon arrival, visitors will be required to present valid government-issued photo identification and submit to security screening in order to inspect and photocopy comments. All comments received, including attachments and other supporting materials, are part of the public record and subject to public disclosure. Do not include any information in your comment or supporting materials that you consider confidential or inappropriate for public disclosure. Additionally, please send a copy of your comments by mail to: OCC Desk Officer, 1557–0299, U.S. Office of Management and Budget, 725 17th Street NW., #10235, Washington, DC 20503 or by email to oira submission@ omb.eop.gov. SUMMARY: PO 00000 Frm 00136 Fmt 4703 Sfmt 4703 FOR FURTHER INFORMATION CONTACT: Shaquita Merritt, OCC Clearance Officer, (202) 649–5490 or, for persons who are deaf or hard of hearing, TTY, (202) 649–5597, Legislative and Regulatory Activities Division, Office of the Comptroller of the Currency, 400 7th Street SW., Washington, DC 20219. SUPPLEMENTARY INFORMATION: Under the PRA (44 U.S.C. 3501–3520), Federal agencies must obtain approval from OMB for each collection of information that they conduct or sponsor. The term ‘‘collection of information’’ is defined in 44 U.S.C. 3502(3) and 5 CFR 1320.3(c) and includes agency requests or requirements that members of the public submit reports, keep records, or provide information to a third party. The OCC requests that OMB extend approval of the following information collection. Title: Financial Management Policies—Interest Rate Risk. OMB Control No.: 1557–0299. Type of Review: Regular. Affected Public: Businesses or other for-profit. Frequency of Response: On occasion. Burden Estimate: Estimated Number of Respondents: 372. Estimated Annual Burden: 14,880. Description: This information collection covers the recordkeeping burden for maintaining data in accordance with OCC’s regulation on interest rate risk procedures for Federal savings associations, 12 CFR 163.176. The purpose of the regulation is to ensure that Federal savings associations are managing their exposure to interest rate risk appropriately. To comply with this reporting requirement, institutions need to maintain sufficient records to document how their interest rate risk exposure is monitored and managed internally. Comments: The OCC issued a notice for 60 days of comment on December 27, 2016, 81 FR 95302. The OCC received one comment from an individual. The commenter stated that the OCC should rescind 12 CFR 163.176 or, if the OCC determines that it is important and should not be removed, it should be amended to also apply to national banks. The commenter stated that, while interest rate risk exposure at one time was different for savings associations and commercial banks, today there is no difference and the two charter types should be subject to similar regulation. The commenter also stated that the regulation is outdated and unnecessary and should be rescinded, citing several OCC bulletins that the commenter claims state expectations for interest rate risk E:\FR\FM\16MRN1.SGM 16MRN1

Agencies

[Federal Register Volume 82, Number 50 (Thursday, March 16, 2017)]
[Notices]
[Pages 14106-14108]
From the Federal Register Online via the Government Publishing Office [www.gpo.gov]
[FR Doc No: 2017-05262]


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DEPARTMENT OF TRANSPORTATION

Pipeline and Hazardous Materials Safety Administration

[Docket No. PHMSA-2016-0131]


Pipeline Safety: Deactivation of Threats

AGENCY: Pipeline and Hazardous Materials Safety Administration (PHMSA), 
DOT.

ACTION: Notice; issuance of advisory bulletin.

-----------------------------------------------------------------------

SUMMARY: PHMSA is issuing this Advisory Bulletin to inform owners and 
operators of gas transmission pipelines that PHMSA has developed 
guidance on threat identification and the minimum criteria for 
deactivation of threats, as established by a previously issued rule. 
This Advisory Bulletin also provides guidance to gas transmission 
pipeline operators regarding documenting their rationale of analyses, 
justifications, determinations, and decisions related to threat 
deactivation.

FOR FURTHER INFORMATION CONTACT: Allan Beshore by phone at (816) 329-
3811 or email at allan.beshore@dot.gov. All materials in this docket 
may be accessed electronically at https://www.regulations.gov. 
Information about PHMSA may be found at https://www.phmsa.dot.gov.

SUPPLEMENTARY INFORMATION: 

I. Background

    A critical element in an integrity management (IM) program is the 
identification of threats to pipeline integrity. As required by section 
192.911(c), an IM program must contain ``[a]n identification of threats 
to each covered pipeline segment, which must include data integration 
and a risk assessment. An operator must use the threat identification 
and risk assessment to prioritize covered segments for assessment 
(section 192.917) and to evaluate the merits of additional preventive 
measures and mitigative measures (section 192.935) for each covered 
segment.'' Further requirements detailed in section 192.921(a) state, 
``[a]n operator must select the [assessment] method or methods best 
suited to address the threats identified to the covered segment.'' The 
threats to a particular pipeline segment dictate the type of 
assessments the operator must perform to fulfill the requirements of 
section 192.921(a).
    According to the Standard established by the American Society of 
Mechanical Engineers (ASME), ASME B31.8S-2004, Section 2.2, an operator 
must consider nine individual threat categories as part of an IM 
program. As stated by ASME B31.8S-2004, Section 5.10, an IM program 
should provide criteria for eliminating a threat from consideration 
during a risk assessment; however, 49 CFR part 192--Subpart O does not 
include provisions for the permanent elimination of threats. An 
operator, therefore, must continually consider all threats in the 
evaluation of their IM program through periodic reviews and 
assessments, as required by section 192.937.
    PHMSA acknowledges that threats may be categorized as active, 
requiring an integrity assessment, or inactive, meaning that during a 
specific assessment cycle the threat does not trigger an integrity 
assessment, per section 192.921(a). Operators, however, must understand 
that threats to a pipeline are not static, but vary over time. Changes 
in threats can occur suddenly, as in the case of catastrophic outside 
forces like hurricanes, earthquakes, or down-slope land movements, or 
they can be gradual changes, such as the introduction of new wet-
production gas sources into a previously dry gas environment. Issues 
may also develop into active threats over time, such as coating 
degradation that allows stress corrosion cracking or external corrosion 
to develop. In other cases, threats may become inactive over time due 
to pipeline replacement programs, the implementation of effective 
preventative actions, or other improvements to systems.
    The periodic review required by section 192.937 for a mature IM 
plan must include the re-analysis of the nine threat categories to 
determine status changes for active or inactive threats. An operator 
must continually monitor operations and maintenance (O&M) and other 
activities, integrating relevant information during a threat analysis 
that might indicate a change in the status of a threat. Some operators 
inappropriately label threats as inactive after they are eliminated 
from consideration during prior reviews and assessments, ignoring the 
continuous supply of new information provided during routine O&M 
activities.
    Some operators have opted to eliminate threats from consideration 
based on a lack of data, including missing, incomplete, or 
unsubstantiated data. Using insufficient data to eliminate a threat is 
not technically justified and is contrary to the guidance in ASME 
B31.8S-2004, Appendices A1-A9. Each of these appendices includes 
language that states, ``[w]here the operator is missing data, 
conservative assumptions shall be used when performing the risk 
assessment or, alternatively, the segment shall be prioritized 
higher.'' Additionally, section 192.947(d) requires that operators 
maintain, ``[d]ocuments to support any decision, analysis and process 
developed and used to implement and evaluate each element of the 
baseline assessment plan and integrity management program.'' Section 
192.947(d) further states, ``[d]ocuments include those developed and 
used in support of any identification, calculation, amendment, 
modification, justification, deviation and determination made, and any 
action taken to implement and evaluate any of the program elements.''
    PHMSA provides the following guidance for determining the active or 
inactive status of the nine threat categories, with the understanding 
that the status of a threat will change over time:

Time-Dependent Threats

1. External Corrosion
    For steel pipelines, the threat of external corrosion may never be 
eliminated.
2. Internal Corrosion
    An operator should consider the past operational history of the 
pipeline, including, but not limited to: Upset conditions, gas 
monitoring (including partial-pressure analysis), bacterial culture 
tests, flow direction and rates, gas sources, solid and liquid 
analyses, critical angles and liquid holdup points, pigging and other 
cleaning history, the presence of internal coatings, chemical

[[Page 14107]]

treatments, and internal pipeline inspection reports.
    After consideration of operational history and supporting 
documentation, the threat of internal corrosion may be deemed inactive 
if:
    i. It can be demonstrated that a corrosive gas is not being 
transported, per section 192.475(a);
    ii. In-line inspection data confirms that a corrosive environment 
does not exist within the pipeline; or
    iii. Application of internal corrosion direct assessment (ICDA) 
demonstrates that there is no internal corrosion occurring at the most 
likely locations, and is accompanied by sufficient documentation to 
demonstrate the assumptions used with the ICDA model (normally dry gas 
with occasional upsets) are valid for the pipeline's entire operating 
history.
    The threat of internal corrosion should be considered active if:
    i. Production, storage, or non-pipeline-quality gas was transported 
at any time during the history of the pipeline;
    ii. The pipeline has been converted from another type of service 
that is susceptible to internal corrosion;
    iii. Unmonitored or inoperative drips, siphons, dead legs, or other 
liquid holdup points are present anywhere in the pipeline;
    iv. There is evidence that liquids from drips, siphons, dead legs, 
or other liquid holdup points are present anywhere in the pipeline;
    v. Pipe inspection reports, as required by section 192.475(b), 
indicate evidence of internal corrosion; or
    vi. The operator does not have a complete pipeline operating 
history.
3. Stress Corrosion Cracking
    The threat of stress corrosion cracking (SCC) should always be 
considered active. The operator must continually inspect the pipeline 
for the presence of SCC during pipeline examination, as required by 
section 192.459.

Static or Stable Threats

4. Manufacturing
    There is substantial guidance provided in the original Gas 
Transmission IM protocols (e.g. Protocol C.01 Threat Identification), 
part 192--subpart O, ASME B31.8S-2004, and the PHMSA Gas Transmission 
IM FAQs (e.g., 219, 220, 221, and 231) regarding the deactivation of 
manufacturing threats for a segment for any given assessment cycle. 
Some of this guidance includes FAQ 219 (manufacturing and construction 
(M&C) defects when subpart J tested), FAQ 220 (M&C defects when never 
subpart J tested), and FAQ 231 (5-year operating history).
    Additionally, section 192.917(e)(3) provides guidance for 
determining when a manufacturing threat is active. Section 
192.917(e)(3) states, ``[i]f any of the following changes occur in the 
covered segment, an operator must prioritize the covered segment as a 
high-risk segment for the baseline assessment or a subsequent 
reassessment.
    i. Operating pressure increases above the maximum operating 
pressure experienced during the preceding five years;
    ii. MAOP increases; or
    iii. The stresses leading to cyclic fatigue increase.''
5. Construction
    There is substantial guidance provided in the original Gas 
Transmission IM protocols, part 192--subpart O, ASME B31.8S-2004, and 
the PHMSA Gas Transmission IM FAQs regarding deactivation of 
construction threats for a segment for any given assessment cycle. Some 
of this guidance includes FAQ 219 (M&C defects when subpart J tested), 
FAQ 220 (M&C defects when never subpart J tested), and FAQ 231 (5-year 
operating history).
    Section 192.917(e)(3) provides guidance for determining when a 
construction threat is active, stating, ``[i]f any of the following 
changes occur in the covered segment, an operator must prioritize the 
covered segment as a high-risk segment for the baseline assessment or a 
subsequent reassessment:
    i. Operating pressure increases above the maximum operating 
pressure experienced during the preceding five years;
    ii. MAOP increases; or
    iii. The stresses leading to cyclic fatigue increase.''
6. Equipment
    An equipment threat is defined in ASME B31.8S-2004, Appendix A6.1, 
as pressure control equipment, relief equipment, gaskets, O-rings, 
seal/pump packing, or any equipment other than pipe and pipe 
components. The equipment threat may be inactive depending on an 
operator's history and review of the records, as required by sections 
192.613, 192.617, 192.603, 192.605, 192.739, and 192.743. Operating 
history, failures, and abnormal operations records should be evaluated 
by integrity personnel to assist in determining trends and issues that 
may not be recognized by local or other operations personnel.
    As identified in ASME B31.8S-2004, Appendix A6.4, assessments for 
equipment threats are normally conducted during maintenance activities, 
per the requirements of the O&M procedures. Monitoring the data from 
operating history and failures is essential for identifying trends 
related to this threat. Communication between O&M and integrity 
personnel is a key component to integrating this threat, as well as the 
potential increased risk that it poses to pipeline segments, into risk 
assessments.
    Preventative measures and mitigative measures are an important 
factor in maintaining the inactive status of equipment threats. For 
example, recognizing a system-wide problem with set point drift in a 
particular regulator may necessitate a shorter maintenance cycle or the 
replacement of the in-service regulators impacted by this problem.

Time Independent Threats

7. Third-Party Damage
    The third-party threat should never be considered inactive.
8. Incorrect Operations
    Incorrect operations are defined in ASME B31.8S-2004, Appendix 
A8.1, as incorrect operating procedures or failure to follow a 
procedure. This threat should always be considered active.
9. Weather-Related and Outside Forces
    Weather-related and outside forces are defined in ASME B31.8S-2004, 
Appendix A9.1, as earth movement, heavy rains or floods, cold weather 
and lightning, or events that may cause pipe to be susceptible to 
extreme loading. This threat should always be considered active.

Cyclic Fatigue

    In addition to the nine threats referenced in ASME B31.8S-2004, 
Sec.  192.917(e)(2) states, ``[a]n operator must evaluate whether 
cyclic fatigue or other loading condition (including ground movement, 
suspension bridge condition) could lead to a failure or a deformation, 
including a dent or gouge, or other defect in the covered segment. An 
evaluation must assume the presence of threats in the covered segment 
that could be exacerbated by cyclic fatigue. An operator must use the 
results from the evaluation together with the criteria used to evaluate 
the significance of this threat to the covered segment to prioritize 
the integrity baseline assessment or reassessment.''
    Cyclic fatigue is a concern because it is a threat that interacts 
with all other threats. Interactive threats are two or more threats 
acting on a pipeline or pipeline segment that increase the

[[Page 14108]]

probability of failure to a level significantly greater than the 
effects of the individual threats acting alone. In order to manage 
cyclic fatigue, therefore, operators must have system-specific data 
applicable to their unique operating environment to justify the 
inactive status of the cyclic fatigue threat. A system-wide or generic 
study of cyclic fatigue may be used by an operator as long as the 
operator documents why the study is applicable to the segment-specific 
conditions.

II. Advisory Bulletin (ADB-2017-01)

To: Owners and Operators of Natural Gas Transmission Pipelines
Subject: Deactivation of Threats

    Advisory: The threats identified in ASME B31.8S-2004 may be 
considered active or inactive, but are never permanently eliminated. 
ASME B31.8S-2004, Appendix A, identifies the information an operator 
must collect and analyze for threats, which must demonstrate an 
individual threat is not acting on the pipe before an operator can 
properly declare the threat inactive for each assessment period. A 
threat must be considered active if any data required by Appendix A is 
missing, as lack of data indicating the existence of a threat is not 
acceptable justification for considering the threat inactive. Documents 
to support the determination of an inactive threat status must be 
maintained, as per the requirements of Sec.  192.947(d). An operator 
does not need to assess a threat for the current assessment cycle if 
that threat is properly deemed inactive. When conditions warrant a 
review or new information becomes available during the required Sec.  
192.937 evaluation operators are required to examine each applicable 
threat to determine its active or inactive status.

    Issued in Washington, DC, on March 9, 2017, under authority 
delegated in 49 CFR 1.97.
Alan K. Mayberry,
Associate Administrator for Pipeline Safety.
[FR Doc. 2017-05262 Filed 3-15-17; 8:45 am]
 BILLING CODE 4910-60-P
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