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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 [...] 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 feasibility of implementing non-EGU NOx [...] Read More
INGAA appreciates the Commission’s initiative to update its Guidance Manual for Environmental Report Preparation. Since it was published in 2002, there have been numerous developments both generally under the National Environmental Policy Act [...] Read More
The Interstate Natural Gas Association of America (INGAA) appreciates the opportunity to comment on the Source Determination for Certain Emission Units in the Oil and Natural Gas Sector Proposed Rule. INGAA and its member companies have a long [...] Read More
INGAA and its members have a long history of working with a variety of stakeholders on greenhouse gas (GHG) issues, including methane. Nonetheless, INGAA has serious concerns with the rule proposed by the Environmental Protection Agency (EPA). The [...] Read More
Executive Summary INGAA supports PHMSA’s desire to improve its National Pipeline Mapping System (NPMS) and acknowledges that the agency has made certain revisions to its initial information collection proposal (Initial ICR). INGAA [...] Read More
INGAA and its member companies have a long history of working collaboratively with a variety of stakeholders on greenhouse gas issues, including methane issues. INGAA appreciates the opportunity to comment on EPA's Natural Gas STAR Methane [...] 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 not be [...] 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 [...] Read More
The Interstate Natural Gas Association of America (INGAA), a trade association that advocates regulatory and legislative positions of importance to the interstate natural gas pipeline industry in North America, respectfully submits these comments in [...] 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 [...] Read More
INGAA submitted comments to PHMSA in response to PHMSA's Notice of Proposed Rulemaking entitled “Operator Qualification, Cost Recovery, Accident and Incident Notification, and Other Pipeline Safety Proposed Changes. INGAA has summarized a [...] Read More
INGAA filed comments on August 24, 2015 in support of the Commission’s proposal to amend its regulations to incorporate by reference Version 3.0 of the business practices standards adopted by the Wholesale Gas Quadrant (WGQ) of the North [...] Read More
INGAA joined 259 associations and businesses in a letter urging President Obama to maintain Environmental Protection Agency (EPA)’s existing ozone (smog) protection standard at 75 parts per billion (ppb) rather than making the standard [...] Read More
The Interstate Natural Gas Association of America (INGAA), a trade association that advocates regulatory and legislative positions of importance to the interstate natural gas pipeline industry in North America, respectfully submits these comments in [...] Read More
UNITED STATES OF AMERICA BEFORE THE FEDERAL ENERGY REGULATORY COMMISSION Guidelines for Reporting on Cultural Resources Investigations for Pipeline Projects Docket No. AD15-10-000 COMMENTS OF THE INTERSTATE NATURAL GAS ASSOCIATION OF [...] Read More
On July, 1, 2015, INGAA submitted supplemental comments in response to the U.S. Fish and Wildlife Service (Service)’s interim 4(d) rule (Interim Rule) for the northern long-eared bat (NLEB). A number of INGAA members own and operate natural [...] Read More
U.S. Environmental Protection Agency Air and Radiation Docket and Information Center Mailcode: 28221T 1200 Pennsylvania Avenue, N.W. Washington, D.C. 20460 Re: “Fine Particulate Matter National Ambient Air Quality Standards: State [...] Read More
The Natural Gas Council sent a letter to Chairman Bay of the Federal Energy Regulatory Commission (FERC or Commission) on May 15, 2015 regarding prioritizing implementation of the new pipeline scheduling timeline prior to embarking on further [...] Read More





