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Testimony: 

Before the Subcommittee on Energy and Air Quality, Committee on Energy 
and Commerce, House of Representatives: 

United States Government Accountability Office: 

GAO: 

Submitted August 4, 2006: 

Gas Pipeline Safety: 

Views on Proposed Legislation to Reauthorize Pipeline Safety 
Provisions: 

Statement for the Record by: 

Katherine Siggerud, Director Physical Infrastructure Issues: 

GAO-06-1027T: 

GAO Highlights: 

Highlights of GAO-06-1027T, a testimony before the Subcommittee on 
Energy and Air Quality, Committee on Energy and Commerce, House of 
Representatives 

Why GAO Did This Study: 

The Pipeline Safety Improvement Act of 2002 established a risk-based 
program for gas transmission pipelines—termed integrity 
management—which requires pipeline operators to identify areas where 
the consequences of a pipeline incident would be the greatest, such as 
highly populated areas. Operators must assess pipelines in these areas 
for safety threats (such as corrosion), repair or replace defective 
segments, and reassess their pipelines at least every 7 years. Under 
the Pipeline and Hazardous Materials Safety Administration’s (PHMSA) 
regulations, operators must reassess their pipelines for corrosion at 
least every 7 years and for all safety threats at least every 10, 15, 
or 20 years. State pipeline safety agencies that assist PHMSA are 
eligible to receive matching funds up to 50 percent of the cost of 
their pipeline safety programs. 

This statement is based on ongoing work for this Subcommittee and for 
others. It focuses on three areas germane to current legislative 
reauthorization proposals: (1) an overall assessment of the integrity 
management program, (2) the 7-year reassessment requirement, and (3) 
provisions to increase state pipeline safety grants. GAO contacted more 
than 50 pipeline operators and a broad range of stakeholders and 
surveyed state pipeline agencies. GAO also reviewed PHMSA and industry 
guidance and reviewed PHMSA pipeline performance data. 

What GAO Found: 

While the gas integrity management program is still being implemented, 
early indications show that the program benefits pipeline safety. For 
example, the condition of transmission pipelines is improving as 
operators assess and repair their pipelines. As of December 31, 2005 
(latest data available), 33 percent of the pipelines in highly 
populated or frequently used areas had been assessed and over 2,300 
repairs had been completed. In addition, we estimate that up to 68 
percent of the population that lives close to natural gas transmission 
pipelines is located in highly populated areas and is expected to 
receive additional protection as a result of improved pipeline safety. 
Furthermore, despite some uncertainty on the part of operators over the 
program’s documentation requirements, operators, gas pipeline industry 
representatives, state pipeline officials, and safety advocate 
representatives all agree that the program enhances public safety, 
citing operators’ improved knowledge of the threats to their pipelines 
as the primary benefit. 

Although periodic reassessments of pipeline threats are beneficial, the 
7-year reassessment requirement appears to be conservative. Through 
December 2005, 76 percent of the operators (182 of 241) reporting 
baseline assessment activity to PHMSA reported that their pipelines 
were in good condition, requiring only minor repairs. Most of the 
problems found were concentrated in just 7 pipelines. These results are 
encouraging, since operators are required to assess their riskiest 
segments first and operators are required to repair defects, making 
them safer before reassessments begin toward the end of the decade. 
There have been no deaths or injuries from corrosion related pipeline 
incidents over the past 5-1/2 years. An alternative approach is to 
permit pipeline operators to reassess their pipeline segments at 
intervals based on technical data, risk factors, and engineering 
analyses. Such an approach is consistent with the overall philosophy of 
the 2002 act and would meet its safety objectives. Under this approach, 
operators could reassess their pipelines at intervals longer than 7 
years only if operators can adequately demonstrate that corrosion will 
not become a threat within the chosen time intervals. Otherwise, the 
reassessment must occur more frequently. As a safeguard to ensure that 
operators have identified threats facing these pipeline segments and 
have determined appropriate reassessment intervals, PHMSA and state 
regulatory agencies are already conducting integrity management 
inspections of operators. They plan to inspect most operators’ 
integrity management activities by 2009. 

The provision to increase the cap on pipeline safety grants to states 
appears reasonable given that states’ workloads are expanding, but 
funding sources and oversight of states’ expanded activities would need 
to be addressed in order to ensure that the increased grants are 
appropriately carried out. PHMSA has identified several potential 
funding sources, such as reprioritizing the agency’s budget and 
increasing pipeline user fees. For oversight, PHMSA anticipates 
integrating states’ expanded activities into the agency’s current 
oversight approach that relies on annual reports from states and field 
evaluations. 

[Hyperlink, http://www.gao.gov/cgi-bin/getrpt?GAO-06-1027T]. 

To view the full product, including the scope and methodology, click on 
the link above. For more information, contact Katherine Siggerud at 
(202) 512-2834 or siggerudk@gao.gov. 

[End of Section] 

Mr. Chairman and Members of the Subcommittee: 

We appreciate the opportunity to assist the Subcommittee in its efforts 
to reauthorize the Pipeline Safety Improvement Act of 2002, which 
strengthened federal pipeline safety programs and enforcement, state 
oversight of pipeline operators, and public education on pipeline 
safety. This statement is based on the preliminary results of our 
ongoing work for this Subcommittee and others on aspects of the 
integrity management program for gas transmission pipelines established 
under the 2002 act.[Footnote 1] We appeared before this subcommittee in 
April to discuss these topics.[Footnote 2] This statement focuses on 
three areas that are related to the Subcommittee's July 20, 2006, draft 
bill; H.R. 5782, as introduced; and the administration's pipeline 
reauthorization, introduced as H.R. 5678. These three areas are (1) an 
overall assessment of the integrity management program, (2) the 7-year 
reassessment requirement, and (3) provisions to increase state pipeline 
safety grants. 

Our work is based on our review of laws, regulations, pipeline 
performance data, and other guidance from the federal regulator--the 
Pipeline and Hazardous Materials Safety Administration (PHMSA)--as well 
as discussions with a broad range of stakeholders, including industry 
trade associations, pipeline safety advocate groups, state pipeline 
agencies, pipeline inspection contractors, and consensus standards 
organizations.[Footnote 3] We also reviewed industry consensus 
standards for maximum reassessment intervals developed by the American 
Society of Mechanical Engineers. In addition, we surveyed the 47 state 
pipeline agencies responsible for inspecting intrastate gas 
transmission pipeline operators on their plans for conducting 
inspections of operators' integrity management programs.[Footnote 4] We 
also contacted 52 pipeline operators. These operators represent nearly 
60 percent of the miles of pipeline assessed to date. We relied on 
pipeline operators' professional judgment in reporting on the 
conditions that they found during their assessments of safety threats. 
Because we used a non-probability method of selecting these operators, 
we cannot project our findings nationwide.[Footnote 5] As part of our 
work, we assessed the internal controls and the reliability of the data 
elements needed for this engagement, and we determined that the data 
elements were sufficiently reliable for our purposes. We performed our 
work in accordance with generally accepted government auditing 
standards from August 2005 to July 2006. 

In summary: 

* While the gas integrity management program is still being 
implemented, early indications show that the program benefits pipeline 
safety, as intended by Congress. First, the condition of transmission 
pipelines is improving as operators complete their first round of 
pipeline assessments and make repairs. For example, 33 percent of the 
identified pipelines in highly populated or frequently used areas had 
been assessed and over 2,300 repairs had been completed as of December 
31, 2005 (latest data available). In addition, we estimate that up to 
68 percent of the population that lives close to natural gas 
transmission pipelines is located in highly populated areas and is 
expected to receive additional protection as a result of improved 
pipeline safety as operators complete their baseline assessments by 
December 2012, as required. Furthermore, despite some uncertainty on 
the part of operators over the program's documentation requirements, 
operators, gas pipeline industry representatives, state pipeline 
officials, and safety advocate representatives all agree that the 
program enhances public safety, citing operators' improved knowledge of 
the threats to their pipeline systems that stems from systematic 
assessments as the primary benefit of the program. 

* Regarding the 7-year reassessment requirement, the draft Subcommittee 
bill would require the Secretary of Transportation to submit a 
legislative proposal after it receives our report on the subject. Our 
work, which is nearing completion, concludes that periodic 
reassessments are beneficial, but that the 7-year reassessment 
requirement appears to be conservative based on a number of factors. 
Among these are results of the baseline assessments conducted to date 
and the overall safety record of the gas transmission industry. In this 
regard, through December 2005, 76 percent of the operators (182 of 241) 
reporting baseline assessment activity reported to PHMSA that their 
pipelines were in good condition and free of major defects, requiring 
only minor repairs. Most of the 340 problems found were concentrated in 
just 7 pipelines, although it is not known how many of these problems 
were due to corrosion. (These assessments reported by the 241 operators 
covered about 6,700 miles, or about one-third of the nationwide total 
to be assessed by 2012.) These results are encouraging, since operators 
are required to assess their riskiest segments first. Furthermore, 
since operators are required to repair these pipelines, the overall 
safety and condition of the pipeline system should be improved before 
reassessments begin toward the end of the decade. Regarding safety, 
PHMSA data show corrosion incidents are relatively rare: over the past 
5-1/2 years (from January 2001 through early July 2006), there were 26 
corrosion-related incidents over the 295,000-mile transmission system 
per year, on average--none of which resulted in death or 
injury.[Footnote 6] 

* The administration's proposal would require the Secretary of 
Transportation to issue regulations basing reassessment intervals on 
technical data, risk factors, and engineering analyses. Based on our 
nearly completed work, we think that this approach is reasonable and 
would achieve the safety objectives of the 2002 act. It is also 
consistent with the overall philosophy of the integrity management 
legislation passed by the Congress in 2002. As discussed later in this 
statement, if PHMSA incorporates existing industry consensus standards 
for corrosion into its regulations, operators would be allowed to 
reassess their pipelines for time-dependent threats at least every 10, 
15, or 20 years only if the operator can adequately demonstrate that 
corrosion will not become a threat within the chosen time interval. If 
not, then the reassessment must occur more frequently, perhaps at 7 or 
even fewer years. As a safeguard for ensuring that operators have 
identified threats facing pipeline segments and have determined 
appropriate reassessment intervals, PHMSA and state regulatory agencies 
are already conducting inspections. They plan to inspect most 
operators' integrity management activities by 2009. 

* The provision in the Subcommittee's draft bill to increase the cap on 
pipeline safety grants to states from 50 percent to 80 percent of the 
cost of their expanded pipeline safety programs appears reasonable 
given that states' workload is increasing to, among other activities, 
enforce integrity management requirements and damage prevention 
programs. However, if Congress approves this provision, two areas would 
need to be addressed to ensure that the increased grants are 
appropriately carried out: the source of funding for the increased 
grant amounts and oversight of the expanded state pipeline safety 
activities. According to PHMSA, the agency has identified funding 
options--including reprioritizing the agency's budget to channel funds 
from other activities (such as research) and increasing user fees 
charged to pipeline companies --but has not developed a specific plan 
for how to provide additional funds to states. PHMSA currently oversees 
state pipeline safety activities through annual reports from the states 
and field evaluations. According to PHMSA officials, expanded state 
pipeline safety agency activities would be included in PHMSA's 
oversight approach. 

Background: 

The United States has a 295,000-mile network of natural gas 
transmission pipelines that are owned and operated by approximately 900 
operators. These pipelines are important to the nation because they 
transport nearly all the natural gas used, which provides about a 
quarter of the nation's energy supply. Gas transmission pipelines 
typically move gas products over long distances from sources to 
communities and are primarily interstate. They generally deliver 
natural gas to local distribution pipelines, which distribute the gas 
to commercial and residential end-users. Local distribution companies 
may also operate small portions of transmission pipelines. 

PHMSA administers the national regulatory program to ensure the safe 
transportation of natural gas and hazardous liquid by pipeline. In 
general, PHMSA retains full responsibility for inspecting and enforcing 
regulations on interstate pipelines, but it has arrangements with 48 
states, the District of Columbia, and Puerto Rico to assist with 
overseeing intrastate pipelines. These states are currently authorized 
to receive reimbursement of up to 50 percent of the costs of their 
pipeline safety programs from PHMSA. 

Traditionally, PHMSA has carried out its oversight role using minimum 
safety standards that were uniformly applied to all pipelines based on 
the "class location" of the pipeline. A pipeline's class location-- 
based on factors such as population within 660 feet of the pipeline-- 
determines the applicable standards such as the thickness of the pipe 
required and the pressure at which it can operate. The Pipeline Safety 
Improvement Act of 2002 modified PHMSA's traditional oversight approach 
by supplementing the minimum standards with a risk-based program for 
gas transmission pipelines. This program--termed "integrity 
management"--requires gas transmission pipeline operators to assess and 
mitigate safety threats, such as leaks or ruptures due to incorrect 
operation or corrosion, to pipeline segments that are located in highly 
populated or frequently used areas, such as parks. Specifically, 
operators are required to perform baseline assessments on half of the 
pipeline mileage located in these areas by December 2007, and the 
remainder by December 2012. Those pipeline segments potentially facing 
the greatest risks of failure from leaks or ruptures are to be assessed 
first. As of December 2005 (latest data available), 447 gas pipeline 
operators reported to PHMSA that about 20,000 miles of their pipelines 
(about 7 percent of all gas transmission pipeline miles) lie in highly 
populated or frequently used areas. Individual operators reported that 
they have as many as about 1,600 miles and as few as 0.02 miles of 
pipeline in these areas. 

The 2002 act also requires that operators reassess these pipeline 
segments for safety threats at least every 7 years. Under flexibility 
provided by the act, PHMSA requires that operators reassess these 
pipeline segments for corrosion damage at least every 7 years in its 
implementing regulations, because corrosion is the most frequent cause 
of failures that can occur over time.[Footnote 7] (See fig. 1.) PHMSA's 
regulations also incorporated, as mandatory, voluntary industry 
consensus standards on maximum reassessment intervals into these 
regulations for other types of safety threats. The industry standards 
require that operators reassess gas pipelines at least every 10, 15, or 
20 years for all safety threats depending primarily on the condition of 
the pipelines and the pressure under which they operate. If conditions 
warrant, reassessments must occur more frequently. In addition, 
operators must perform prevention and mitigation activities--such as 
monitoring their pipelines for excavation or corrosion damage--on a 
continuing basis. 

Figure 1: Reassessments Every 7 Years for Corrosion Supplement Broader 
Periodic Reassessments: 

[See PDF for image] 

Source: GAO. 

Note: Periodic reassessments occur at least every 10, 15, or 20 years. 
Both periodic and 7-year reassessments are supposed to occur more 
frequently if conditions warrant. 

[End of figure] 

Gas Integrity Management Program Benefits Pipeline Safety: 

Operators are making good progress in assessing and repairing their 
pipelines, thereby improving the safety of their pipeline systems. As 
of December 2005, operators had assessed about 6,700 miles of their 
20,000 miles--or about 33 percent--of pipelines located in highly 
populated or frequently used areas. This progress indicates that they 
are well on their way to meeting the requirement to conduct baseline 
assessments on 50 percent of their pipelines in these areas by December 
2007. In addition to assessing their pipelines, operators are also 
making progress in fulfilling the requirement to repair problems found 
on their pipelines in highly populated or frequently used areas. In the 
2 years that operators have reported the results of integrity 
management, they have completed 340 repairs that were immediately 
required and another 1,981 scheduled repairs in highly populated or 
frequently used areas.[Footnote 8] While it is not possible to 
determine how many of these needed repairs would have been identified 
without integrity management, it is clear that the requirement to 
routinely assess pipelines enables operators to identify problems that 
may otherwise go undetected. Furthermore, the benefits of integrity 
management expand beyond highly populated or frequently used areas 
because a large number of operators are using internal inspection tools 
to assess their pipelines. These tools must be inserted and removed 
from the pipelines at designated locations that often run through other 
areas. Consequently, operators reported having assessed about 44,000 
miles of pipelines located outside highly populated or frequently used 
areas, representing about 15 percent of all gas transmission pipelines. 
While operators are not required to report to PHMSA the results of 
these expanded assessments, operators we spoke with said that they plan 
to make necessary repairs identified through the assessments regardless 
of where they are identified. 

We estimate that the integrity management program should offer 
additional safety benefits over the minimum safety standards for up to 
68 percent of the population living close to gas transmission 
pipelines. This estimate corresponds with PHMSA's estimate of two- 
thirds of the population. 

A number of representatives from pipeline industry organizations, state 
pipeline agencies, safety advocate groups, and operators that we 
contacted agree that integrity management benefits public safety 
because it requires all operators to systematically assess their 
pipelines to gain a comprehensive knowledge about the risks to their 
pipeline systems. Other benefits cited by operators include improved 
communications within their companies and more strategic resource 
allocation. 

While the operators we contacted generally believe integrity management 
is beneficial, the program is not without its costs. For example, over 
half of the operators we spoke with said that they have hired 
additional staff or contractors as a result of the integrity management 
requirements. In addition, 19 of the operators we contacted (37 
percent) were concerned about the level of documentation needed to 
support their gas integrity management programs. PHMSA requires 
operators to develop an integrity management program and provides a 
broad framework for the elements that should be included in the 
program. The regulations provide operators the flexibility to develop 
their programs to best suit their companies' needs, but each operator 
must develop and document specific policies and procedures to 
demonstrate its commitment to compliance with and implementation of the 
integrity management program. Operators may use existing policies and 
procedures if they meet the requirements of integrity management. In 
addition, an operator must document any decisions made related to 
integrity management to demonstrate that it understands the threats to 
their pipelines and is systematically managing their pipelines for 
these threats. While the operators we contacted generally agreed with 
the need to document their policies and procedures, some said that the 
detailed documentation required for every decision is very time 
consuming and does not contribute to the safety of pipeline operations. 
In addition, a few operators expressed concern that they will not know 
if they have sufficient documentation until their programs have been 
inspected. Initial inspections of operators by PHMSA and state pipeline 
agencies have confirmed that some operators are experiencing difficulty 
with documentation but are generally doing well with assessments and 
repairs. According to PHMSA and state officials, as operators continue 
to develop and implement their integrity management programs and as 
they are provided feedback during inspections, the documentation issues 
identified during these initial inspections should be resolved. 

Another concern raised by 33 (65 percent) of the operators is the 
requirement to reassess their pipelines for corrosion problems at least 
every 7 years. This issue is discussed in the following section. 

The 7-year Reassessment Requirement Appears to be Conservative: 

Periodic reassessments of pipeline threats are beneficial because 
threats--such as the corrosive nature of the gas being transported--can 
change over time. However, the findings from baseline assessments 
conducted to date and the generally safe condition of gas transmission 
pipelines leads us to conclude that the 7-year requirement appears to 
be conservative. Through December 2005 (latest data available), 76 
percent of the operators (182 of 241) reporting baseline assessment 
activity to PHMSA told the agency that their pipelines were in good 
condition, free of major defects, and requiring only minor 
repairs.[Footnote 9] (See fig. 2.) The remaining 59 operators found 340 
problems requiring immediate repairs. About 60 percent of these 
problems occurred in seven operators' pipelines. Since PHMSA does not 
require that operators tell it the nature of the problems found, we do 
not know how many, if any, were due to corrosion. These assessments 
covered about 6,700 miles, or about one-third of the nationwide total 
to be assessed.[Footnote 10] 

Figure 2: Most Operators Reported That Their Pipelines Are In Good 
Condition, as of December 2005: 

[See PDF for image] 

Source: GAO presentation of PHMSA data. 

Note: Results of 241 operators that reported to PHMSA that they 
completed 6,700 miles of baseline assessments. Of those operators that 
reported no problems, 82 operate smaller pipeline systems (1-49 miles), 
41 operate mid-sized pipeline systems (50-199 miles), and 59 operate 
larger pipeline systems (200 or more miles). 

[End of figure] 

It is encouraging that the majority of operators nationwide reported 
that they found few or no problems requiring immediate repairs, because 
operators are supposed to assess pipeline segments facing the greatest 
risk of failure from leaks or ruptures first, as required by the 2002 
act. In addition, since operators are required to identify and repair 
significant problems, the overall safety and condition of the pipeline 
system should be enhanced before reassessments begin toward the end of 
the decade. 

Regarding the industry's overall safety record, over the past 5-1/2 
years (from January 2001 through early July 2006), there were 143 
corrosion-related incidents over the 295,000-mile transmission system 
(26 per year, on average)--none of which resulted in death or injury. 
Over the past 10-1/2 years, 12 people have died and 3 have been injured 
in two corrosion-related incidents.[Footnote 11] Neither of these 
incidents occurred in a highly populated or frequently used area. 

About 80 percent of the 52 operators that we contacted prefer that 
reassessment intervals be based on the condition and characteristics of 
the pipeline segment rather than on a prescriptive standard. About half 
of these operators (28) expressed a preference for the industry 
consensus standard developed by the American Society of Mechanical 
Engineers (ASME B31.8S-2004) for setting reassessment intervals for 
time-dependent threats because it incorporates a risk-based approach 
(for pipeline failure) and is based on science and engineering 
knowledge. This standard sets reassessment intervals at a maximum of 10 
years for high-stress pipeline segments, 15 years for medium-stress 
segments, and 20 years for low-stress segments.[Footnote 12] Maximum 
reassessment intervals, such as those in the industry consensus 
standard, incorporate such risk concepts as built-in safety factors 
(e.g., wall stress, test pressure, or predicted failure), conditions, 
and potential consequences of a pipeline incident on a segment-by- 
segment basis. The maximum intervals of 10, 15, and 20 years are based 
on worst-case corrosion growth rates. 

Industry consensus standards allow for maximum reassessment intervals 
for time-dependent threats of 10, 15, or 20 years only if the operator 
can adequately demonstrate that corrosion will not become a threat 
within the chosen time interval. If not, then the reassessment must 
occur sooner, perhaps at 7 or even 5 or fewer years. Furthermore, 
according to industry consensus standards, it typically takes longer 
than the 10, 15, or 20 years specified in the standard for corrosion 
problems to result in a leak or rupture. 

The industry consensus standards were developed in 2001 and updated in 
2004 based on, among other things, the experience and expertise of 
engineers, contractors, operators, local distribution companies, and 
pipeline manufacturers; more than 20 technical studies conducted by the 
Gas Technology Institute, ranging from pipeline design factors to 
natural gas pipeline risk management; and other industry consensus 
standards including the National Association of Corrosion Engineers 
standards, on topics such as corrosion. Contributors have been 
practicing aspects of risk-based assessments successfully for over 10 
years. The ASME standard serves as a foundation for nearly every 
section of PHMSA's integrity management regulations. The ASME standard 
was reviewed by the American National Standards Institute.[Footnote 13] 
The Institute found that the standard was developed in an environment 
of openness, balance, consensus, and due process and therefore approved 
it as an American National Standard. 

While the mechanical engineering standards are voluntary for the 
industry, PHMSA incorporated them as mandatory in its gas transmission 
integrity management regulations. The mechanical engineering society's 
standard for setting reassessment intervals is not the only industry 
consensus standard in PHMSA's integrity management regulations. The 
regulations incorporate other industry consensus standards for 
assessing corrosion threats and for determining temporary reductions in 
operating pressure. In addition, it is federal policy to encourage the 
use of industry consensus standards: Congress expressed a preference 
for technical standards developed by consensus bodies over agency- 
unique standards in the National Technology Transfer and Advancement 
Act of 1995. The Office of Management and Budget's Circular A-119 
provides guidance to federal agencies on the use of voluntary consensus 
standards, including the attributes that define such standards. 

Of the 52 operators we contacted, 44 had undertaken baseline 
assessments, and 23 of these have calculated their own reassessment 
intervals.[Footnote 14] Twenty of these 23 operators indicated that, 
based on the conditions they identified during their baseline 
assessments, they would reassess their pipelines at maximum intervals 
of 10, 15, or 20 years--as allowed by industry consensus standards--if 
the 7-year reassessment requirement were not in place. The remaining 
three operators told us that they would reassess their pipelines at 
intervals shorter than the industry consensus standards but longer than 
7 years because of the condition of their pipelines. These results add 
weight to our assessment that the 7-year requirement appears to be 
conservative for most pipelines. 

Safeguards Exist if an Alternative Standard for Corrosion Reassessments 
is Allowed: 

PHMSA and the state pipeline agencies plan to inspect all operators' 
compliance with integrity management reassessment requirements, among 
other things, to ensure that operators continually and appropriately 
assess the conditions of their pipeline segments in highly populated or 
frequently used areas. These inspections should serve as a check as to 
whether operators have identified threats facing these pipeline 
segments and determined appropriate reassessment intervals. PHMSA and 
states have begun inspections and expect to complete most of the first 
round of inspections no later than 2009. As of June 2006, PHMSA has 
completed 20 of about 100 inspections and, as of January 2006, states 
have begun or completed about 117 of about 670 inspections. Initial 
results from these inspections show that operators are doing well in 
assessing their pipelines and making repairs, but, as discussed 
earlier, some need to better document their programs. Based on the 
initial inspection results to date, PHMSA and states did not find many 
issues that warranted enforcement actions. 

Finally, it is important to note that, in addition to periodic 
reassessments, operators must perform prevention and mitigation 
activities on a continuing basis. PHMSA regulations require that all 
operators of pipelines, including those outside highly populated or 
frequently used areas, patrol their pipelines for excavation and other 
damage, survey for leakage, maintain valves, ensure that corrosion- 
preventing protections are working properly, and take other prevention 
and mitigation measures. 

(Attachment I summarizes results of our work to date on the expected 
availability of resources for pipeline reassessments and the likely 
impact of assessment activity (including reassessments) on the nation's 
natural gas supply. We will discuss these topics in more detail in when 
we report on the 7-year reassessment requirement this fall.) 

Increasing State Funding Appears Reasonable, but Funding Sources and 
Oversight Plans Would Need To Be Addressed: 

The Subcommittee's draft bill proposes to increase the matching funds 
that PHMSA provides to states for pipeline safety program activities 
from a maximum of 50 percent to a maximum of 80 percent of a state's 
pipeline safety program costs. The increased funding would offset 
states' increased workload, such as activities related to gas 
transmission integrity management and other provisions in the 2002 act. 
All three legislative proposals also contain provisions, such as damage 
prevention programs, that could increase states' workloads. 
Furthermore, state pipeline safety activities would increase if PHMSA 
implements its planned integrity management program for distribution 
pipelines. Our recent survey to state pipeline safety agencies about 
their integrity management oversight programs showed that 39 of 47 
state agencies are experiencing challenges in staffing, which could 
require increased funding. For example, two state officials told us 
that state agencies are losing trained inspectors because the state 
salaries are typically lower than what operators pay. PHMSA proposes to 
implement the increased funding in 5 percent increments over a 6-year 
period starting in fiscal year 2008. 

We believe that the proposed increase in state grants to offset 
expanded state activities appears reasonable, provided that appropriate 
funding sources are identified and that the activities are included in 
PHMSA's oversight of state pipeline safety programs. According to 
PHMSA, the agency has several options for increasing funding for state 
grants, but has not developed a specific plan for how to provide 
additional funds. One option is for PHMSA to reprioritize its budget to 
channel additional funds from other activities, such as research, to 
states. Another option may be to increase user fees that are charged to 
pipeline companies. User fee assessments in fiscal year 2006 were about 
$150 per pipeline mile for natural gas transmission operators and about 
$76 per pipeline mile for hazardous liquid pipelines. All of these 
options involve tradeoffs among PHMSA's pipeline safety oversight 
activities or could result in increased fees from the pipeline 
industry. Therefore, the effects of these options would need to be 
carefully analyzed in order to find a balanced solution. 

According to PHMSA, the agency plans to monitor increased state 
pipeline safety activities through its current oversight approach, 
which consists of reviewing annual reports from states and field 
evaluations of state activities. States are required to submit 
documentation annually about their pipeline safety program activities 
for the previous year, including information on the state's pipeline 
operators, inspections conducted, and enforcement of pipeline 
regulations. States are also required to submit a description of all 
ongoing and planned activities and an estimate of the total expenses 
for the next calendar year. PHMSA validates the information submitted 
by each state and attends at least one state inspection during field 
evaluations. As state pipeline safety activities expand, PHMSA would 
need to determine the best approach for including the new activities in 
its oversight of state pipeline safety programs. 

Concluding Observations: 

The overall integrity management framework laid out in the Pipeline 
Safety Improvement Act is improving the safety of gas transmission 
pipelines. We have not identified issues that bring into question the 
basic framework of integrity management. Overall, we believe that PHMSA 
has done a good job in implementing the act. While we expect to make 
several recommendations to PHMSA when we complete our work, they will 
be aimed at incremental improvements, rather than major restructuring. 
Finally, regarding the 7-year reassessment requirement, our preliminary 
view is that these reassessment intervals should be based on technical 
data, risk factors, and engineering analyses rather than a prescribed 
term. We expect to make a recommendation to the Congress that the 2002 
act be amended along these lines when we report on this issue. We 
expect to report to this Subcommittee and to other committees both on 
PHMSA's implementation of integrity management and the 7-year 
reassessment requirement in September. 

GAO Contact and Staff Acknowledgements: 

For further information on this statement, please contact Katherine 
Siggerud at (202) 512-2834 or siggerudk@gao.gov. Individuals making key 
contributions to this statement were Jennifer Clayborne, Anne Dilger, 
Seth Dykes, Maria Edelstein, Heather Frevert, Bert Japikse, Timothy 
Guinane, Matthew LaTour, James Ratzenberger, and Sara Vermillion. 

[End of section] 

Appendix: Availability of Resources to Conduct Reassessments and 
Possible Impacts on the Nation's Natural Gas Supply: 

This appendix summarizes results of our work to date on the expected 
availability of resources for pipeline reassessments and the likely 
impact of assessment activity (including reassessments) on the nation's 
natural gas supply. 

Sufficient Resources May Be Available for Pipeline Reassessments: 

Sufficient resources may be available for operators to reassess their 
pipelines, but some uncertainty exists. Thirty-seven of the 52 
operators, an in-line inspection association and four inspection 
contractors that we contacted told us that services and tools needed to 
conduct assessments will likely be available for baseline assessments 
and they do not anticipate difficulties obtaining these resources in 
the future. Operators that reported both baseline and reassessment 
schedules told us they plan to reassess 42 percent of their pipeline 
miles in highly populated or frequently used areas using in-line 
inspection.[Footnote 15] An in-line inspection association and two 
contractors we contacted said that the in-line inspection industry is 
well established and has the capacity to expand readily. Operators plan 
to use direct assessment or confirmatory direct assessment methods in 
reassessing another 54 percent of their pipeline miles.[Footnote 16] 
However, they told us that expertise for direct assessment methods is 
limited; therefore, they may not be as readily available to all 
operators. 

The Interstate Natural Gas Association of America (INGAA), the American 
Gas Association (AGA) and we asked operators to estimate the number of 
miles of pipeline they planned to assess through 2012 in order to 
determine whether an increase in overall assessment activity would 
occur because of the overlap between completing baseline assessments 
and beginning reassessments from 2010 through 2012. The results were 
conflicting: the industry effort showed an increase in activity, while 
ours showed a decrease. (See fig. 3.) The reasons for these contrasting 
findings are unclear but may be due, in part, to the difference in 
methods used in collecting this information. 

Figure 3: GAO and INGAA/AGA Results Show Different Trends in their 
Required Assessment Activity During the Overlap Period: 

[See PDF for image] 

Source: GAO discussions with 52 operators and GAO analysis of INGAA/AGA 
results. 

[End of figure] 

Impact of Periodic Reassessments on Natural Gas Supply May be Less than 
Foreseen: 

As the Pipeline Safety Improvement Act of 2002 was being considered, 
INGAA analyzed the possible impact of requiring assessments and 
periodic reassessments and found that significant disruptions in the 
natural gas supply and considerable price increases could 
occur.[Footnote 17] A more moderate impact was predicted in three 
subsequent analyses--two reviews of the INGAA study performed for PHMSA 
by the John A. Volpe National Transportation Systems Center and by the 
Department of Energy during the congressional debate over the pipeline 
bill, and a post-act PHMSA evaluation of its implementing 
regulations.[Footnote 18] A waiver provision was included in the 2002 
act after INGAA's study was completed; this may serve as a safety valve 
if it appears that the natural gas supply may be disrupted. Finally, of 
the 44 natural gas pipeline operators that we contacted that had begun 
baseline assessments,[Footnote 19] 26 operators (59 percent) indicated 
that their assessments and repairs did not require them to shutdown 
their pipelines or reduce their operating pressure. Sixteen (36 
percent) reported minor disruptions in their gas supply because they 
temporarily shut down pipelines and reduced operating pressure to 
conduct assessments or repairs. They told us that they used alternate 
gas sources, such as liquefied natural gas, to sustain their customers' 
gas supply. The remaining two operators told us that they were not able 
to meet all their customers' needs, but the customers were able to 
obtain natural gas from other sources. 

FOOTNOTES 

[1] Under integrity management, operators are required to develop 
programs to systematically assess and mitigate safety threats, such as 
leaks or ruptures, for the portions of their pipelines that are in 
highly populated or frequently used areas (such as parks). They must 
complete baseline assessments by 2012 and then reassess these pipeline 
segments every 7 years. Under PHMSA's regulations, operators must 
reassess their pipelines for corrosion at least every 7 years and for 
all time-dependent safety threats at least every 10, 15, or 20 years. 
Transmission pipelines transport gas products from sources to 
communities and are primarily interstate. 

[2] GAO, Gas Pipeline Safety: Preliminary Observations on the 
Implementation of the Integrity Management Program, GAO-06-588T 
(Washington, D.C.: April 27, 2006). 

[3] Standards are technical specifications that pertain to products and 
processes, such as the size, strength, or technical performance of a 
product. National consensus standards are developed by standard-setting 
entities on the basis of an industry consensus. 

[4] For the purpose of this statement, we treat the District of 
Columbia as a state pipeline agency. 

[5] Results from nonprobability samples cannot be used to make 
inferences about a population because, in a nonprobability sample, some 
elements of the population being studied have no chance or have an 
unknown chance of being selected as part of the sample. 

[6] There have been two corrosion-related incidents in the last 10-1/2 
years that have resulted in a death or injury. Neither occurred in a 
highly populated or frequently used area. 

[7] Other types of failures are independent of time, such as damage 
from cold weather, land movement, or incorrect operation. 

[8] A repair must be made immediately when specific conditions are 
identified related to the strength of a pipeline such as, a dent with 
an indication of metal loss or cracking, or an anomaly judged to 
require immediate action. Scheduled repairs must be made within 1 year 
and generally include conditions where a dent has been identified but 
there is no indication of metal loss. 

[9] We contacted 52 operators about the results of their baseline 
assessments, and the results were largely consistent with the overall 
data reported to PHMSA. 

[10] Another way to assess progress in completing baseline assessments 
and the effect of problems found would be to measure gas flows or 
pipeline capacity in those areas. This information is not readily 
available. 

[11] All the fatalities and all but one of the injuries occurred in one 
incident. Over the same period, an average of 3 people have died and 8 
people have been injured per year from all causes of natural gas 
transmission pipeline incidents. 

[12] Stress is measured in terms of operating pressure in relation to 
wall strength. 

[13] The American National Standards Institute is a private, non-profit 
organization whose mission is to promote and facilitate voluntary 
consensus standards and promote their integrity. The Institute does not 
approve the technical merits of proposed national standards. 

[14] The other 21 operators either (1) have not yet calculated 
reassessment intervals; (2) do not intend to, given prescriptive 
federal (7 years) or state (5 years in Texas) reassessment 
requirements; or (3) did not supply us with information on their 
reassessment intervals. 

[15] In-line inspection involves running a specialized tool through a 
pipeline to detect and record anomalies, such as metal loss and damage. 

[16] Direct assessment and confirmatory direct assessment involve using 
above-ground detection instruments, and then excavating suspected 
problem areas. 

[17] Prepared for The INGAA Foundation, Inc., by Energy and 
Environmental Analysis, Inc., Consumer Effects of the Anticipated 
Integrity Rule for High Consequence Areas, 2002. 

[18] See, Department of Transportation docket, RSPA-00-7666, Energy 
Impact Statement for Pipeline Integrity Management in High Consequence 
Areas (Gas Transmission Pipelines), March 28, 2002, prepared by John A. 
Volpe National Transportation Systems Center and the U.S. Department of 
Transportation; Comments from U.S. Department of Energy on INGAA's 
Consumer Effects of the Anticipated Integrity Rule for High Consequence 
Areas, April 2, 2002; and Research and Special Programs Administration, 
Final Regulatory Evaluation, Pipeline Integrity Management in High 
Consequence Areas (Gas Transmission Pipelines), March 28, 2002. 

[19] Fifty of the 52 operators that we contacted operate natural gas 
pipeline and six have not yet begun baseline assessment activities. 

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