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Comments on Pipeline Safety: Repair Criteria

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

Answer to Notice of Inquiry on Accumulated Deferred Income Taxes

INGAA responds to the argument made by commenters that the elimination of a tax allowance for MLPs and potentially other pass-through entities must result in the expeditious return of excess ADIT to customers of such pipelines.  For the reasons stated in INGAA’s comments, ADIT issues relating to MLPs and other… Read More

INGAA Comments on EPA�s ICR Regarding the Voluntary Natural Gas STAR Methane Challenge Program

Dear Mr. Pryor, The Interstate Natural Gas Association of America (“INGAA”) respectfully submits these… Read More

Joint Petition for Rulemaking on Pressure Relief Device (PRD) Testing Requirements

AGA and INGAA are petitioning PHMSA to amend 49 CFR Part 193.2619 to recognize and enforce the pressure relief device (PRD) testing requirements in NFPA 59A (2001 edition) at 11.5.5.1(e) (incorporated by reference in 49 CFR Part 193) instead of the current requirements in 49 CFR Part 193.2619 and… Read More

Supplemental Joint Comments on the Safety of Underground Natural Gas Storage Facilities Interim Final Rule

On February 17, 2017, November 20, 2017 and March 2, 2018, the Associations, along with the American Public… Read More

INGAA Comments on ADIT Notice of Inquiry

On December 22, 2017, the President signed the Tax Cut and Jobs Act (“TCJA”) into law, which reduced the federal corporate income tax rate… Read More

INGAA Answer in Notice of Proposed Rulemaking on Rate Changes Relating to the Federal Income Tax Rate

A few commenters request the Commission to clarify that negotiated… Read More

INGAA Reply Comments on Grid Resilience in RTOs/ISOs

INGAA supports the… Read More

INGAA Reply Comments on Grid Resilience

Comments on Pipeline Safety: Safety Of Gas Transmission Pipelines

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

INGAA Comments on Income Tax Rate Notice of Proposed Rulemaking

INGAA appreciates the Commission’s efforts to chart a path forward to address the TCJA’s reduction… Read More

Motion to Intervene and Comments in Support of EEI Accounting Request

INGAA respectfully submits this motion to intervene and associated comments pursuant to the Federal… Read More

Request for Clarification

INGAA requests that the Commission grant rehearing or reconsider its conclusion that INGAA and other… Read More

Comments on Policy and Procedural Guidance for Processing Requests to Alter U.S. Army Corps of Engineers Civil Works Projects Pursuant to Section 408

Dear Ms. Conforti, The American Gas Association (“AGA”)… Read More

Comments on PHMSA Gas Pipeline Advisory Committee (GPAC) Teleconference

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

Motion for Leave to Answer and Answer of INGAA to February Filings by APGA and Petitioners

The Interstate Natural Gas Association of America (“INGAA”), pursuant to Rules 212 and 213… Read More

Amici Curiae in Support of Constitution Pipeline Company in Supreme Court Case Concerning Section 401 of the Clean Water Act

This case raises critical questions regarding the careful federal-State balance Congress struck in the process for approving… Read More

INGAA Answer Opposing Petition for Initiation of Show Cause Proceedings

The Interstate Natural Gas Association of America (“INGAA”), pursuant to Rule 213 of the… Read More

INGAA Comments on U.S. Forest Service’s Revision of National Environmental Policy Act Procedures

Dear Ms. Barker,   The Interstate Natural Gas Association of America (“INGAA”)… Read More

Comments on PHMSA Gas Pipeline Advisory Committee (GPAC) Meeting

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