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PHMSA Class Change NPRM Comments

The American Gas Association (AGA), American… Read More

Appendix A – Blade Report – Reliability Based Assessment of Pipeline Class Changes

Underground gas… Read More

INGAA Comments on Subpart OOOOa

Dear Docket Clerk: The Interstate… Read More

INGAA Comments on Subpart OOOOa Appendix A

In June 2018, INGAA provided several documents to EPA regarding fugitive emissions data to substantiate its position… Read More

INGAA Comments on Methane Policy

Dear Ms. Hambrick, The Interstate Natural Gas Association of America (INGAA), a trade association… Read More

Joint Association Comments on Draft Farm Tap FAQs

The American Gas Association (AGA), American… Read More

Joint Association Comments on “Pipeline Safety: Regulatory Reform for Hazardous Liquid Pipelines”

On April 16, 2020, the Pipeline and Hazardous Materials Safety Administration (PHMSA) published a… Read More

Joint Association Comments on PHMSA�s Automated Valve Proposed Rulemaking

The American Gas Association (AGA), American… Read More

Joint Association Petition for Reconsideration Regarding � 192.5(d) and � 192.624(a)(1) of the Gas Transmission Rule

Introduction In accordance with 49 C.F.R. § 190.335(a), the American… Read More

Joint Trade Comments to DOE Regarding Resilience Standards

The American Petroleum Institute, American… Read More

Joint Association Comments to DOT on Notice of Review of Guidance

The American Gas Association (AGA)1 , American… Read More

Comments to FERC on Draft HDD Plan Guidance

Pursuant to the Environmental Staff of the Federal… Read More

Joint Association Comments to PHMSA Concerning Guidance on the Extension of the 7-year Integrity Management Reassessment Interval

INGAA, AGA, APGA, and API submitted these joint comments in response to PHMSA’s “Guidance on the Extension of the 7-year Integrity Management Reassessment Interval by 6 Months.” The Associations support PHMSA’s proposed FAQs.  In the comments, the Associations provide recommendations intended to enhance the clarity of the new/revised FAQs and… Read More

Comments to FERC on Proposed Incorporation of Latest NAESB Standards

Pursuant to the Federal… Read More

Comments to EPA Regarding Revisions to New Source Review Program

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

Joint-Industry Comments to PHMSA Concerning Gas & Hazardous Liquid Pipeline Risk Models

The American Gas Association (AGA)1, American… Read More

Comments Concerning Class Location Change Requirements Advance Notice of Proposed Rulemaking

The American Gas Association (AGA), American… Read More

Joint Association Comments on Fish and Wildlife Service’s and National Marine Fisheries Service’s Three Proposals to Revise Endangered Species Act Regulations

The ESA Cross-Industry Coalition is pleased to provide the unified position of a major portion of our nation’s economic… Read More

INGAA & AGA Response to Advance Notice of Proposed Rulemaking to Revise Regulations Concerning the National Environmental Policy Act

The Interstate Natural Gas Association of America (“INGAA”) and the American… Read More

Comments in Response to FERC Notice of Inquiry on Its 1999 Certificate Policy Statement

The Interstate Natural Gas Association of America (“INGAA”) submits these comments in response to… Read More