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Interpretation Response #PI-90-004 ([Public Utility Commission of Oregon] [Mike Kane])

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

Interpretation Response Details

Response Publish Date:

Company Name: Public Utility Commission of Oregon

Individual Name: Mike Kane

Location State: OR Country: US

View the Interpretation Document

Response text:

Mr. Mike Kane

Assistant Commissioner

Utility Program

Public Utility Commission of Oregon

Labor & Industries Building

Salem, Oregon, 97310-0335

Dear Mr. Kane:

Thank you for the copy of your September 7, 1989, letter to Kevin Madden of FERC regarding the safety of customer-owned lines that are supplied high-pressure gas by taps on interstate transmission lines. The letter indicates we need to explain the application of the Part 192 regulations to these high-pressure customer-owned lines.

Part 192 applies to the transportation of gas by pipeline, which includes each of the recognized stages of gas pipeline transportation - gathering, transmission, and distribution. As the Part 192 definition of "service line " indicates, the jurisdiction of Part 192 over the distribution of gas ends at the customer meter or the connection to customer-owned piping, whichever point is farther downstream. In contrast, the regulations do not specify a point on a pipeline at which jurisdiction over the gathering or transmission of gas ends. Thus, the full length of pipelines used in the gathering or transmission of gas comes under the jurisdiction of Part 192, without limitation by customer meters or the beginning of customer-owned piping.

Under Part 192 the question of whether a pipeline is used on the transmission or distribution of gas is determined by the definitions of "transmission line" and "distribution line." Note that the distribution-line definition provides that a pipeline is not a distribution line if it qualities as a transmission line.

Applying these definitions to taps on interstate transmission lines, we find that the taps are classified as transmission lines when, in accordance with out longstanding interpretation of the definition of "transmission line," they are used to deliver a large volume of gas to a customer. Large volumes include delivery in the 400-800 psig range you mentioned. The high-pressure customer-owned lines located downstream from meters at these high-pressure taps are merely lateral extensions of transmission lines.

The jurisdiction of Part 192 over customer-owned gas transmission lines was made evident when we granted the International Paper Company a waiver from a Part 192 corrosion control rule for an interstate transmission line the company operates to supply its paper mill in Natchez, Mississippi. (50 FR 45186, October 30, 1985).

We recognize that because the regulations lack an express jurisdictional end point for the transmission of gas, confusion may arise regarding the bounds of Federal or State authority over customer-owned transmission lines. In this regard, a rulemaking proceeding has been scheduled to propose that our large-volume-customer interpretation be codified in the Part 192 definition of transmission line. We will include in that proceeding a proposal to adopt a suitable end point for the jurisdiction of Part 192 over customer-owned transmission lines.

Your letter does not say whether the Oregon Public Utility Commission has jurisdiction over the customer-owned high pressure lines in question. We prefer that enforcement of Part 192 against operators of such intrastate lines handled directly by State agencies.


George W. Tenley, Jr.


Office of Pipeline Safety

Regulation Sections

Section Subject
192.1 What is the scope of this part?