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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 Pipeline Safety: Pipeline Damage Prevention Programs.  INGAA is in support of PHMSA's effort to improve One Call [...] Read More

Status of Waste Heat to Power Projects on Natural Gas Pipelines

This report, “Status of Waste Heat to Power Projects on Natural Gas Pipelines,” (Status Report) prepared by ICF International, provides an update to INGAA’s February 2008 white paper entitled “Waste Energy Recovery [...] Read More

INGAA Letter to Senators Bennet & Murkowski

INGAA sent a letter on October 19, 2009, to Senators Bennet, Murkowski and others regarding suggestions for natural gas related provisions to be included in climate change [...] Read More

Natural Gas Pipeline and Storage Infrastructure Projections Through 2030 Press Release

FOR IMMEDIATE RELEASE: OCTOBER 20, 2009  CONTACT: Richard Hoffmann (202-216-5909) Multi-Billion Dollar Investments in Natural Gas Infrastructure Required to Meet Projected Long-Term Supply and Demand Outlook New Study Indicates Robust Domestic [...] Read More

Natural Gas Pipeline and Storage Infrastructure Projections Through 2030

Abstract: The Natural Gas Pipeline and Storage Infrastructure Projections Through 2030 study, analyzes future natural gas infrastructure requirements under various market scenarios. It projects a range of investment from $133 to $210 billion in [...] Read More

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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 Natural Gas Co., et al., 128 FERC ¶ 61,198 (“Order Granting Abandonment Authority and Issuing Certificates”) and its order of [...] Read More

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NAESB Standards INGAA Comments 9-08-09

INGAA supports the Commission's proposal to adopt NAESB standards for index-based pricing of capacity releases and flexible receipt and delivery points in accordance with the foregoing comments, and respectfully requests that the Commission defer [...] Read More

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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 it forthcoming Pipeline Security [...] Read More

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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 [...] Read More

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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 [...] Read More

The Interstate Natural Gas Infrastructure Authorization Process

The INGAA Foundation, Inc. prepared an analysis of the process by which natural gas pipeline and storage facilities are approved to provide service in interstate commerce in the United States.  The study presents a review of the evolution of [...] Read More

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PHMSA’s One Rule Comments and Appendix A

INGAA appreciates PHMSA’s interest in improving its incident, infrastructure and performance database.  Consistent with this focus, the proposed definition of “incident” should be substantially modified to reflect the central [...] Read More

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Endangered Species Act Section 7 Comments

INGAA’s members and the Services have a mutual interest in improving the efficiency of the conference and consultation processes implementing section 7 of the Endangered Species Act (“ESA”).  For interstate pipelines, improved [...] Read More

Don Santa Response to Jeff Wiese Construction Concern Letter and Response from PHMSA on the INGAA Action Plan on Pipe Quality

The following letter is Don Santa's response to Jeff Wiese's letter denoting construction conerns and outlining PHMSA's reaction to INGAA's action plan regarding pipe quality.  This letter has been shared with the INGAA Board of Directors, the [...] Read More

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Natural Gas Council Comments to EPA: GHG Emissions Reporting Rule

NGC understands EPA’s goal in developing the Proposed Rule is to obtain data of sufficient quality to support climate change policies and regulations, while at the same time minimizing the Proposed Rule’s administrative burdens – [...] Read More

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INGAA Comments to EPA: GHG Emissions Reporting Rule

EPA proposed a rule for the mandatory reporting of greenhouse gases (hereinafter referred to as the GHG Reporting Rule) in the Federal Register on April 10, 2009. The GHG Reporting Rule revises a number of mobile source rules in Title 40 of the [...] Read More

Natural Gas Council Whitepapers on Natural Gas Interchangeability and Gas Quality

  Objective of the Gas Interchangeability Report The objective of this white paper is to define acceptable ranges of natural gas characteristics that can be consumed by end users while maintaining safety, reliability, and environmental [...] Read More

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INGAA Comments to EPA: ICE NESHAP Revisions Proposed Rule

The Interstate Natural Gas Association of America (INGAA), submits comments on the U.S. EPA’s proposed rule National Emission Standards for Hazardous Air Pollutants (NESHAPs) for Reciprocating Internal Combustion Engines (RICE), hereinafter [...] Read More

INGAA Congressional Letter on Bonus Depreciation

The attached letter to House and Senate tax writing committees asks that they consider extending the bonus depreciation for capital expenditures contained in recent stimulus legislation, for those projects like pipelines that have longer [...] Read More

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SPCC Support Letter Request for a Minimum One Year Extension of Implementation Date

With all of the amendments and changes to the SPCC rule, the regulated community is placed in a race against time to comply, assuming the current 2009 implementation dates are not extended. The amendments have significantly altered many elements of [...] Read More