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The ±«Óãtv (“INGAA”) submits the following comments in response to the U.S. Environmental Protection Agency (“EPA”) Notice of Proposed Rulemaking (“NOPR”) in this docket, 73 [...] Read More
This study focuses on the pipeline infrastructure requirements for carbon capture and sequestration (CCS) in connection with compliance with mandatory greenhouse gas emissions reductions. The major conclusion of the study is that while CCS [...] Read More
INGAA sent a letter to Senator Harry Reid, the Majority Leader of the Senate, regarding energy infrastructure development and interstate natural gas pipelines. The letter was sent to coincide with the National Clean Energy Project: Building [...] Read More
INGAA sent a letter to Senator Harry Reid, the Majority Leader of the Senate, regarding energy infrastructure development and interstate natural gas pipelines. The letter was sent to coincide with the National Clean Energy Project: Building [...] Read More
INGAA members operate equipment that requires continuous parameter monitoring systems (CPMS) for compliance assurance. The proposed requirements in 40 CFR 60, Appendix B, Performance Specification 17 (PS 17) and 40 CFR 60, Appendix F, [...] Read More
2008 INGAA Foundation Survey results are now [...] Read More
These guidelines were developed using a consensus process by a work group formed by Foundation members. The guidelines draw upon the experience and leading practices of the full breadth of INGAA Foundation members as well as practices used [...] Read More
We are in a period of increased pipeline construction activity that is expected to continue through 2011, and possibly beyond. The Federal Energy Regulatory Commission (FERC) and other Federal agencies are encouraging and sometimes requiring [...] Read More
INGAA letter to the Obama Transition, regarding natural gas infrastructure and the upcoming economic stimulus and energy bill [...] Read More
INGAA would like to file the following information to docket PHMSA–2008–0255 in order to clarify the INGAA position discussed in the previously filed document. There has been Corrective Action Orders (CAO) published recently [...] Read More
When it issued Order No. 720, requiring interstate pipelines to report no notice service on a point basis, the Commission stated that the requirement would not be unduly burdensome because “[a]n interstate natural gas pipeline should [...] Read More
The ±«Óãtv (INGAA) appreciates the Commission's Final Rule in this proceeding, Order No. 717, Standards of Conduct for Transmission Providers, 125 FERC ¶ 61,024 (October 16, 2008). As the Commission [...] Read More
On July 30, 2008, the EPA issued an Advance Notice of Proposed Rulemaking (ANPR) requesting public comment on whether and how the agency should regulate emissions of greenhouse gases (GHG) using its authority under the Clean Air Act (CAA). The [...] Read More
The INGAA Foundation, Inc. retained BBI International (BBI) to analyze the natural gas implications for future alternative fuels plants. This analysis looked at current and future biofuels plants and quantities and estimated thermal energy [...] Read More
On November 12, INGAA filed comments on PHMSA’s notice of proposed rulemaking proposing an extension of regulations that would govern control room management for natural gas transmission pipelines and hazardous liquid pipelines. The [...] Read More
This report forecasts that North American unconventional natural gas recoverable reserves from tight gas, coalbed methane, and shale gas formations exceed 900 trillion cubic feet (Tcf). The report states that overall recoverable natural gas [...] Read More
The ±«Óãtv supports the Draft Environmental Assessment and shares the Services’ conclusion that the proposed amendments are wholly procedural, not substantive, and adopting these regulations would not [...] Read More
Amici Curiae of INGAA, NGSA, AGA and IPAA in support of Petitioner Islander East Pipeline Company. In PUD No. 1 of Jefferson County v. Washington Dep’t of Ecology, 511 U. S. 700, 722 (1994), the Court reserved the question whether a [...] Read More