Filing

Show Filters
INGAA Comments on Bidding of Affiliates in Open Seasons for Pipeline Capacity

INGAA comments on a Federal… Read More

Submission by Interstate Natural Gas Association of America to “The State of the National Pipeline Infrastructure – A Preliminary Report”

The Interstate Natural Gas Association of American (INGAA) is a trade association representing approximately… Read More

Integration of Variable Energy Resources

In these Reply and Supplemental Comments, the Interstate Natural Gas Association of America (INGAA)… Read More

INGAA’s Comments Regarding the U.S. Army Corps of Engineers’ Proposal to Reissue and Modify Nationwide Permits

           The Interstate Natural Gas Association of America (INGAA) is a trade association of… Read More

INGAA Comments to Clean Energy Standards White Paper

Natural gas is abundant, clean, and ready to contribute in an affordable manner to… Read More

INGAA Comment to OSHA’s Proposed Noise Standard Interpretation

The Interstate Natural Gas Association of America (INGAA), a trade association of the interstate… Read More

Performance Specification and Quality Assurance Requirements for Continuous Parameter Monitoring Systems and Amendments to Standards of Performance for New Stationary Sources

  INGAA members operate equipment that requires continuous parameter monitoring systems (CPMS) for compliance assurance.  The proposed requirements in 40 CFR 60, Appendix B, Performance Specification 17 (PS 17) and 40 CFR 60, Appendix F, Procedure 4 (Procedure 4) will affect INGAA member operations.  INGAA comments discuss our concern that… Read More

INGAA Comments to EPA’s GHG Mandatory Reporting Rule Subpart W Reproposal

INGAA member companies transport more than 90 percent of the nation’s natural gas, through… Read More

INGAA Petition for Reconsideration – National Emission Standards for Hazardous Air Pollutants for Reciprocating Internal Combustion Engines

       Pursuant to Clean Air Act (“CAA”) section 307(d)(7)(B), 42 U.S.C. § 7607(d)(7)(B), and for the reasons set forth below, the Interstate… Read More

INGAA’s Comments to GHG Mandatory Reporting Rule Regarding Subparts A and C

 INGAA member companies transport more than 85 percent of the nation’s natural gas, through… Read More

INGAA’s Written Comments to PCB ANPRM

 INGAA’s comments to the EPA’s ANPRM are in large part founded on the collective experience, knowledge, and expertise of its constituent members. Altogether, INGAA’s membership represents many decades of practical, hands-on experience… Read More

Prevention of Significant Deterioration (PSD): Reconsideration of Interpretation of Regulations that Determine Pollutants Covered by the Federal PSD Permit Program

INGAA submits this comment letter pursuant to the notice issued by the Environmental Protection Agency (“EPA”) on September 30, 2009, and published in the Federal Register on October 7, 2009, (the “Reconsideration… Read More

INGAA Letter Comment re FEMA’s Proposed PS-Prep Standards

On January 15, 2010, the Interstate Natural Gas Association of America (“INGAA”) sent a… Read More

Prevention of Significant Deterioration (PSD) and Title V Permits Issued Under the Clean Air Act (CAA)

The Interstate Natural Gas Association of America (“INGAA) submits these comments regarding the… Read More

Pipeline Safety: Pipeline Damage Prevention Programs Filing

On December 14, 2009 INGAA filed a letter of support and comments to docket number PHMSA-2009-0192 regarding… Read More

Allowance for Funds Used During Construction INGAA Motion to Interevene and Request for Rehearing 9-28-09

  INGAA seeks rehearing of the Commission’s order of August 27, 2009, in Southern… Read More

NAESB Standards INGAA Comments 9-08-09

INGAA supports the Commission’s proposal to adopt NAESB standards for… Read More

TSA Pipeline Operator Security Information Comments

On September 28, 2009, INGAA filed comments addressing the Transportation Security Administration’s proposal to solicit contact information and establish a voluntary incident reporting program as part of… Read More

PHMSA “Standards Barrel” Filing

INGAA supports the proposed incorporation of updated consensus standards into 49 C.F.R. Part 192 (“Part 192”).  INGAA and its members participate in many of the committees responsible for developing these standards, and INGAA recognizes that the value of the consensus process cannot be fully… Read More

INGAA Comments to U.S. EPA proposed Rule

INGAA is concerned that the NO2 NAAQS Proposal could result in onerous regulatory requirements for NOx sources throughout the U.S., without commensurate societal benefit or compelling evidence that the proposed 1-hour standard is necessary to protect public health and welfare.  In addition, NO2 will continue… Read More