Archive
The American Gas Association (AGA), American… Read More
INGAA filed comments on the Pipeline and Hazardous Materials Safety Administration’s (“PHMSA”) interim final rule (“IFR”) concerning Enhanced Emergency Order Procedures, on December 13. PHMSA… Read More
INGAA appreciates the opportunity to provide comments on proposed revisions to the National Pipeline Mapping… Read More
INGAA appreciates the opportunity to provide comments on proposed revisions to the incident and accident report forms and associated instructions included in this Docket. INGAA collaborated with PHMSA… Read More
The Interstate Natural Gas Association of America (INGAA) offers these comments on the… Read More
INGAA, together with the American Gas Association, the… Read More
Executive Summary INGAA supports PHMSA’s desire to improve its National Pipeline Mapping… Read More
The INGAA Foundation requests that PHMSA revise its proposed regulations to incorporate the ASME B31Q task list, to endorse use of a generalized qualification platform that can be enhanced at specific job sites, and that builds portability into the regulations. The proposed rule should account for significant implementation timeframes and PHMSA… Read More
INGAA submitted comments to PHMSA in response to PHMSA’s Notice of Proposed Rulemaking entitled “… Read More
INGAA supports PHMSA’s desire to improve its National Pipeline Mapping… Read More
The Interstate Natural Gas Association of America (INGAA), a trade organization that advocates regulatory… Read More
Annual Report: Part C Volume Transported by… Read More
The Interstate Natural Gas Association of America (INGAA), a trade organization that advocates… Read More
Based on its interpretations, INGAA offers the following high-level comments on PHMSA’s IVP proposal: MAOP verification and IM should not be combined into a single process. INGAA fully supports extending and improving IM. A single pressure test during a… Read More
The attached joint letter from the Interstate Natural Gas Association of America and… Read More