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U.S. Department of Transportation U.S. Department of Transportation Icon United States Department of Transportation United States Department of Transportation

Interpretation Response #PI-71-061 ([Shell Oil Company] [R. L. Brown])

Below is the interpretation response detail and a list of regulations sections applicable to this response.

Interpretation Response Details

Response Publish Date:

Company Name: Shell Oil Company

Individual Name: R. L. Brown

Location State: MA Country: US

View the Interpretation Document

Response text:

July 8, 1971

Mr. R. L. Brown
Plant Manager
Shell Oil Company
One New Street
Fall River, Massachusetts 02722

Dear Mr. Brown:

An examination of information reported on the accident form filed in connection with the accident on
January 29, 1971, in Waltham, Massachusetts, revealed two possible violations of the liquid pipeline
safety regulations contained in Part 195.

The first concerns the design pressure which was reported under Item M to be 2407(?) psig. Section
195.406 establishes the maximum allowable operating pressure for liquid pipelines. This section, which
became effective on January 8, 1971, sets the limit on operating pressure for pipelines in existence on
January 8, 1971, to be the lesser of two pressures:

  • The internal design pressure of the pipe determined in accordance with Section
    195.106, or
  • The design pressure of any other component of the pipeline.

Calculating the internal design pressure by the formula contained in Section 195.106, for 6-inch pipe
with 0.250 inch wall thickness and made of Grade B material, gives an internal design pressure of 1902
psig based on a same joint factor of 1.00.

The second concerns the patrol interval. The length of time between patrols on this pipeline was
reported in Item J to be monthly. Section 195.412(a) requires each carrier to inspect the surface
condition on or adjacent to each pipeline right-of-way at least every two weeks.

Please provide this office with the explanation of this apparent noncompliance with the liquid pipeline
safety regulations. Your prompt response to this request will be appreciated.

Sincerely,

Joseph C. Caldwell
Acting Director
Office of Pipeline Safety

Regulation Sections