Filings, Letters, and Testimonies
Summary of INGAA Comments 1. INGAA supports consistency between different regulatory programs in order to reduce redundancies and allow for consistent use of measurement techniques and reporting. 2. This Proposed Rule is premature since it incorporates provisions from… Read More
INGAA, together with the American Gas Association, the… Read More
INGAA opposes a provision of Pipeline Safety reauthorization… Read More
INGAA urges Congress to pass a pipeline safety reauthorization bill this year. Industry continues to make significant… Read More
INGAA urged the Environmental Protection Agency to improve its GHG inventory by updating emissions factors and incorporating new data from a joint industry-environmental group-academia study. INGAA noted that data from the Colorado State University-led study, which addressed the issue of super-emitters – a few, large methane releases that account for… Read More
INGAA supports EPA proposal not to include non-EGUs among the sources subject to the updated CSAPR. In addition, INGAA urges the Agency to continue seeking information and input from stakeholders regarding the… Read More
INGAA appreciates the Commission’s initiative to update its Guidance Manual for Environmental Report Preparation. Read More
Don Santa, the President and CEO of INGAA, testified before the Senate Committee on Commerce, Science and Transportation Subcommittee on Surface Transportation and Merchant Marine Infrastructure, Safety and… Read More
Dear Chairman Thune and Chairman Fischer, On behalf of the Interstate Natural Gas Association… Read More
The Interstate Natural Gas Association of America (INGAA) appreciates the opportunity to comment on… Read More
INGAA and its members have a long history of working with a variety of stakeholders on greenhouse… Read More
Dear Speaker Ryan and Chairman Upton, With the “North American… Read More
Executive Summary INGAA supports PHMSA’s desire to improve its National Pipeline Mapping… Read More
INGAA and its member companies have a long history of working collaboratively with a variety of stakeholders on greenhouse… Read More
The U.S. Environmental Protection Agency’s proposed revisions to the existing Regional Consistency Regulations are inconsistent with the authority granted to EPA in the Clean Air Act and are therefore unlawful and should… Read More
INGAA sent a letter on September 25 to the Bureau of Indian Affairs (BIA) regarding its outstanding rulemaking, Rights-of-Way on Indian Land. BIA recently granted authorizations to the Pueblo of Sandia and Seminole Tribe of Florida to issue business surface leases without BIA approval. INGAA is concerned that these authorization… Read More
The Interstate Natural Gas Association of America (INGAA), a trade association that advocates regulatory… 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 filed comments on August 24, 2015 in support of the Commission’s proposal to amend… Read More