Distribution Integrity Management Program A discussion document
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Transcript of Distribution Integrity Management Program A discussion document
Distribution Integrity Management Program
A discussion document
January 19, 2009
DIMP Interest Group Steering Committee• Mike Beatty, Manager, Engineering & Construction, South Carolina Electric & Gas Company• Craig Hoeferlin, Vice President, Operations, Laclede Gas Company• Phillip Murdock, Director, Asset Management, Atmos Energy• David Cicoria, Manager, Systems Operations, Columbia Gas of Virginia, a Nisource Company • Mike Grubb, Staff Executive, SGA• Fraser Farmer, Staff Executive, SGA
Some material provided by Andrew Lu, American Gas Association
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49CFR192 - Federal Regulation
Needs modification to include risk-based distribution integrity management process: High-level, performance-based flexible federal
reg Implementation guidance Nation-wide education program (as part of
implementing 3-digit One-call)<DIMP or Damage Prevention>
Continuing research & development
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Distribution Characteristics1) Distribution pipeline systems exist in restricted geographical areas
that are predominantly urban/suburban, because the purpose of these pipelines is to deliver natural gas to end users – residential, commercial, industrial and institutional customers.
2) Distribution pipelines are generally small in diameter (as small as 5/8 inch), and are constructed of several kinds of materials including a significant percentage of plastic pipe.
3) Distribution pipelines also have frequent branch connections, since service lines, providing gas to individual customers, branch off of a common “main” pipeline, typically installed under the street.
4) The dominant cause of distribution incidents is excavation damage with third party damage being the major contributor to these incidents.
5) Other than as caused by excavation damage, distribution pipeline failures almost always involve leaks, rather than ruptures, because the internal gas pressure is much lower than
for transmission pipelines.
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The 7 Key Elements as noted in NPRM 192.1007 June 25, 2008
a) Knowledge of the system’s infrastructure
b) Identify threats (existing and potential)
c) Evaluate and prioritize risk
d) Identify and implement measures to address risks
e) Measure performance, monitor results and evaluate effectiveness
f) Periodic evaluation and improvement
g) Report results
Notable Required Elements in a DIMP Plan
• 192.1007 d) Formal risk assessment of threats to an operator’s distribution system, including risk posed by operator’s employees – “Assuring Individual Performance” - “PTP”
• Data integration (Leaks, corrosion data, 3rd party damages, etc.)
• Mechanism or process to identify any potential problems with compression couplings
• 192.1007 d) Requirement to identify and implement risk reduction strategies, w/ emphasis on effective leak management program (“LEAKS”) and “enhanced” damage prevention program.
• 192.1009 Proposed requirement for operator to report all plastic pipe ‘failures’ (including fittings, couplings, valves and joints) to the state agency.
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• 192.1019 a) Special provisions are proposed for master meter and liquefied petroleum operators
• 192.1007 f) Operator must conduct a complete DIMP program re-evaluation at least every five years
• 192.1005 a) Operator is given 18 months from the date of final rule issuance to develop and implement a written IM program
• Eliminates § 192.383
• Invites comment on the desirability of requiring permanent markings on plastic pipe and the proposed approach of relying on ASTM. (Would possibly help with risk management)
• SHRIMP for smaller operators - APGA
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Notable Required Elements in a DIMP Plan
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ThreatsThe categories of threats to be considered should include the eight threats identified in the Pipeline and Hazardous Materials Safety Administration (PHMSA) Annual Distribution Report, PHMSA Form 7100.1-1 as “Cause of Leaks” in Part C: 1) Excavation 2) Other outside force 3) Natural Forces 4) Incorrect Operations5) Equipment 6) Corrosion 7) Material or welds (construction)8) Other
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Implementation Establish a Framework (SGA/NGA joint project) Region = system vs. segment Prioritize threats, using risk assessment methods,
in each segment based on personnel (SME) knowledge and construction, operation & maintenance records
Assess needs, opportunities & plans to address each threat/region
Develop metrics to evaluate performance Document Continuous improvement cycle
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Timeline
DOT Inspector General issues report to Congress on DIMP (June 2004)
AGF Study on “Safety Performance and Integrity of the Natural Gas Distribution Infrastructure” (Jan 2005)
DIMP Phase 1 Report is published by PHMSA (Dec 2005) GPTC working on DIMP Guidance Material. Final “draft” is
completed and awaits issuance of regulation (late 2006) 2006 PIPES Act passed, mandating DIMP by Dec 31, 2007
and EFVs by June 1, 2008 (Dec 2006) NPRM on DIMP issued (June 25, 2008)
Comments due Sep 23, 2008
Final Rule for DIMP anticipated (mid- 2009) DIMP Plan will be required within 18 months from Rule
issuance (late-2010)
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PHMSA - data driven
PHMSA wants to be data driven in DIMP reporting
AGA/PHMSA task group on national metrics Christina Sames, AGA - indicators to demonstrate
improvements Internal vs. external reporting metrics
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Guidance
Need particular support for smaller operatorsShould develop guidance to assist operators in determining:
(a) threat prioritization methods (b) risk control practices(c) performance measures that are most appropriate for their risk
control program.
Implementation guidance (GPTC - Gas Piping Technology Committee)
SHRIMP NGA/SGA Framework
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GPTC
Final draft issued (Oct 13/06) Approval of draft - Nov 6/07 - ANSI Reno
meeting Sync with NPRM in July 2008 Sync with final rule in mid-2009 Good working relationship industry<>PHMSA.
Important not to have major industry objections later in the process.
GPTC web site.
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SHRIMPsimple, handy, risk-based, integrity, management, plan A Plan implementation resource Being developed by APGA - John Erickson Focus > smaller operators (also for large) A software tool using interactive rule/expert techniques to derive a
DIMP document Proscriptive, not customizable Consistent with Final Rule & GPTC guidelines Like tax preparation software Expert working group - APGA, AGA, PHMSA … Consultants - to make the software Grant from PHMSA Available upon issuance of Final Rule Extension to include interfaces to workflow etc for DIMP reporting
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NGA/SGA GenericDistribution Integrity Management Plan
A joint NGA/SGA project A Plan implementation resource Generic part + customizable part Expert working group (DIWG) – NGA, SGA Consultants - to make the Plan Apr 2009 to July 2009 Available 1 month after issuance of Final Rule
Available to joint industry project participants
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DIMP or separate initiatives?Stand-alone programs?
Prevention & Mitigation
Damage prevention programs Leak management programs
Public Awareness programs Operator Qualifications programs
Other programs
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State Damage Prevention Programs
1. Enhanced communication between operators and excavators
2. Fostering support and partnership of all stakeholders in all phases (enforcement, system improvement, etc.) of the program
3. Operator’s use of performance measures for persons performing locating of pipelines and pipeline construction
4. Partnership in employee training
5. Partnership in public education
6. Enforcement agencies’ role as partner and facilitator to help resolve issues
7. Fair and consistent enforcement of the law
8. Use of technology to improve all parts of the process
9. Analysis of data to continually evaluate/improve program effectiveness
Some states have implemented effective comprehensive damage prevention programs that have resulted in significant reductions in the frequency of damage from excavation. Effective programs include nine elements:
Potential obstacle: Other utilities may have different priorities (e.g. telecoms want lost revenue recovery)
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Not all states have implemented such programs.
Federal legislation and/or funding is likely needed to support the development and implementation of such programs by all states. Work on this legislation can begin immediately.
This represents the greatest single opportunity for distribution pipeline safety improvements.
State Damage Prevention Programs
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Leak Management
1. Locate the leak
2. Evaluate its severity
3. Act appropriately to mitigate the leak
4. Keep records, and
5. Self-assess to determine if additional actions are necessary to keep the system safe.
Management of gas leaks is fundamental to successful management of distribution risk, and an effective leak management program is thus a vital risk control practice. Effective programs include the following elements:
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Excess Flow Valves
Congress passed PIPES Act in 2006 mandating the installation of EFVs as of June 1, 2008.
After June 1, 2008, EFVs must be installed where: New/replacement services lines serving single
residential customers Operating pressure > 10 psig Contamination will not prevent proper operation EFV in size required is commercially available
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Performance Tracking
Track damage prevention metrics both for internal use in evaluating the effectiveness of an operator’s program (by operators) and for evaluating progress at the national level.
Once reportable Performance Measures are finalized, develop a national baseline from which trends in performance can be monitored, and a means of tracking trends from the baseline.
Form a joint stakeholder group to conduct an annual data review, to resolve issues, and to produce a national performance measures report.
7 performance measures as noted in § 192.1007:
1. # hazardous leaks eliminated/repaired, by cause
2. # of excavation damages
3. # of excavation tickets
4. # of EFVs installed
------------------------------------------------------------------
5. Total # of leaks eliminated/repaired, by cause
6. Total # of hazardous leaks eliminated/repaired, by material
7. Any additional measures to evaluate effectiveness of operator’s program in controlling each identified threat
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Performance Measures
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Data ReportingConsidering changes to data reporting:1. Require additional information for incidents when cause is
excavation damage – identify useful information from review of the Damage Information Reporting Tool (DIRT) and state reporting requirements
2. Expand incident report form to add information on the causes of incidents resulting from vehicles hitting gas facilities
3. Report hazardous leaks eliminated by material in addition to cause; indicate presence of protection (e.g., coating, cathodic protection)
4. Report hazardous leaks eliminated rather than all leaks eliminated/repaired during the year and the known system leaks at the end of the year scheduled for repair
5. Add a check box (and appropriate criteria) on whether the regulations clearly require reporting or whether the report is submitted at the discretion of the operator
• In 2001, national effort was initiated to collect data on plastic pipe performance
• AGA is the administrator of this database
• PHMSA has expressed concern with the transparency of how the effort is being managed; specifically how the data is collected , who has access to it and whether it is effective based upon how it is currently set up.
• The DIMP NPRM asks questions whether the reporting should be mandatory; who should manage the database; and if it makes sense to start a new effort to improve availability of results and sharing of “information” to all operators.
• Obstacles may include anti-trust issues, legal disclosures, and data integrity.
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Plastic Pipe Data Collection
• Companies submit data to the PPDC because they trust that it is kept strictly confidential.
• PPDC has been successful and changing the reporting structure or the administrator will jeopardize this success.
• Those who are involved in PPDC are in favor of keeping it status quo.
• If there were a national problem with couplings or a particular plastic pipe, then the PPDC is equipped to identify such a problem for the industry.
• It doesn’t make sense to have two separate plastic pipe databases. 24
Plastic Pipe Data Collection – AGA perspective
• Prevention Through People is a concept that was promoted by Admiral Barrett, and it has been used in public meetings to discuss CRM.
• Under 192.1007 “What are the required IM program elements?”, it would require operators to evaluate and manage the contribution of human error and intervention to risk. (cites human factors, including fatigue management)
• This section must consider existing programs the operator has implemented to comply with Damage prevention programs, public awareness, OQ and drug & alcohol testing.
• Read Section XI. Prevention Through People on p.36027-36028 of Federal Register NPRM.
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Assuring Individual Performance
• PTP was not included in DIMP Phase 1 Report.
• OQ, DP, Drug & Alcohol Testing and Public Education requirements should sufficiently address how an operators manages human error.
• Operator error historically has been the cause of a very small % of reportable incidents. (< 5% in past 10 years)
• What does an effective fatigue management plan look like?
• How can an operator directly control the actions of people that it does not employee?
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Assuring Individual Performance – AGA perspective
• DIMP is supposed to be a performance-based rule, yet there are existing sections in the code that are counter to this philosophy - - § 192.481 Atmospheric Corrosion and § 192.723 Leakage Surveys.
• In 2007, AGA worked with NAPSR and PHMSA to form a government-industry Service Line Inspection Committee to discuss issues relating to leak surveys and corrosion inspections on both inside and outside meter installations.
• Objective: To collect data from service line inspections performed throughout North America and evaluate the true effectiveness of these surveys and inspection requirements and the potential consequences of changing the regulations.
• Report to be issued by consultant by October 2008.
• Study will hopefully support industry’s case for special permits under DIMP Rule.
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Service Line Inspections
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Research & Development
Review Phase 1 report for R&D conclusions.
AGA Comments1 of 4. Documentation for Gas Distribution Integrity Management Plans
Avoid excessive record keeping requirements
The primary concern that AGA has with sections 192.1007 and 192.1015 is that PHMSA deviates from the recommendations of the DIMP phase 1 report in that the proposed rule appears to require unnecessary and excessive documentation within an operator’s distribution integrity management plan.
The regulation’s requirement that operators document all of the decisions they make in implementing distribution integrity management is not practical.
Gas distribution systems are so intricate that it would require an enormous paperwork burden to document all the decisions associated with providing service to millions of customers. 29
AGA Comments2 of 4. Plastic Pipe Data Collection and Analysis
The need to modify the Plastic Pipe Database Committee (PPDC)
AGA notes that the existing Plastic Pipe Database Committee (PPDC) has done an excellent job in tracking the trends in plastic material performance and believes that eliminating this committee and creating a completely new plastic pipe database is unnecessary and counterproductive.
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AGA Comments3 of 4. Prevention Through People
Inability of operators to implement vague and unenforceable human factor requirements in integrity management programs
The proposed distribution integrity management program regulations include
requirements for operators to understand the threats affecting the integrity of their
systems and to implement appropriate actions to mitigate risks associated with these
threats. These include a first step towards instituting a ‘‘Prevention Through People’’
(PTP) program to address human impacts on pipeline system integrity. Human impacts
include both errors contributing to events and intervention to prevent or mitigate events.
As part of considering the threat of inappropriate operation (i.e., inappropriate actions by
people), this proposed rule would require operators to evaluate the potential for human
error.
Seeking to reduce incidents by minimizing human error is commendable. However, the
AGA has some fundamental problems with the PTP concept in the proposed rule. A
major problem is that the concept as presented in the rule is too vague to be an
enforceable regulation.31
AGA Comments4 of 4. Alternative Inspection Intervals
The need to efficiently implement alternative inspection intervals
AGA supports the concept of alternative inspection intervals. When the pipeline safety
code was adopted in the early 1970s it was reasonable and prudent to adopt a
consistent set of federal pipeline safety standards for the entire nation. Now, in the 21st
century, data analysis can distinguish the effectiveness of pipeline safety inspections.
Operators and regulators can use this analysis to tailor their regulations to meet the
needs of the local stakeholders.
The underlying purpose of PHMSA’s integrity management requirements is to improve
knowledge of the condition of each operator’s pipeline and to use that information to
identify new risk control solutions and to better focus risk reduction efforts. Resources
would be better allocated to higher risk threats. Furthermore, AGA does not believe the
DIMP regulation would be cost beneficial unless an effective method to implement
alternative inspection intervals is included in a final rule.
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SGA - Assisting its members
Work with DIMP Interest Group Steering Committee to define implementation issues that should be addressed and to manage desired outcomes. Keep Interest Group on track, on timeline.
Do a survey to define current practices Do WebCon on the 7 elements – Fall 2009 Support the ‘guidance’ process Develop a starter shell DIMP for members (similar process to
Transmission; NGA/SGA DIWG) – Fall 2009 Face-to-face meeting when Rule is issued – Fall 2009
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More Information
SGA DIMP IG web page http://www.southerngas.org click on “Interest Groups” then on “DIMP”
Please contact any member of the steering committee for further information: Mike Beatty, Manager, Engineering & Construction, South Carolina
Electric & Gas Company Craig Hoeferlin, Vice President, Operations, Laclede Gas Company David Huff, Director Distribution Operations, E.ON/U.S. (L.G.&E.) Phillip Murdock, Director, Asset Management, Atmos Energy David Cicoria, Manager, Systems Operations, Columbia Gas of Virginia, a
Nisource Company SGA contacts:
Randy Randolph, Staff Executive, SGA Mike Grubb, Staff Executive, SGA Fraser Farmer, Staff Executive, SGA