Kiefner Final Report Repair Replace
Kiefner Final Report Repair Replace
Kiefner Final Report Repair Replace
15-019
Final Report
Repair/Replace Considerations
for Pre-Regulation Pipelines
0339-1401
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Final Report No. 15-019
Final Report
On
to
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0339-1401
DISCLAIMER
The analysis and conclusions provided in this report are for the sole use and benefit of the
Client. No information or representations contained herein are for the use or benefit of any
party other than the party contracting with Kiefner. The scope of use of the information
presented herein is limited to the facts as presented and examined, as outlined within the body
of this document. No additional representations are made as to matters not specifically
addressed within this report. Any additional facts or circumstances in existence but not
described or considered within this report may change the analysis, outcomes and
representations made in this report.
E XECUTIVE SUMMARY
The objective of this project was to develop a standardized process for making repair/replace
decisions for pre-regulation pipelines to assure that they will be replaced if they deteriorate to
the point that their integrity and safety can no longer be maintained. Pre-regulation pipelines
are those that were installed prior to November 12, 1970 when Federal pipeline safety
regulations were first promulgated. The guidelines provide a standardized method for pipeline
operators to decide which of their pre-regulation pipelines can be maintained safely and which
of them should be replaced because of technical and/or integrity shortcomings that cannot be
satisfactorily mitigated at an acceptable cost. The guidelines are intended to apply to
hazardous liquid pipelines, natural gas transmission pipelines, and natural gas distribution
systems. Pipeline operators would need to apply repair/replace processes in a manner that
meets the operational and integrity standards of all applicable Federal and State pipeline safety
codes.
These guidelines focus strictly on technical and safety related factors that must be addressed to
safely maintain a pre-regulation pipeline, in service, independent of the cost or the
convenience. It is recognized that no realistic repair/replace decision scenario is independent of
considerations for feasibility, cost-benefit analysis, restrictions on cost recovery through rates,
and assessment of risk, which are matters not addressed in this report. However, it is expected
that pipeline operators will apply their own analyses to these latter aspects of a repair/replace
decision.
The guidelines presented herein are intended to assist a pipeline operator in deciding whether
or not to replace a given pre-regulation pipeline or distribution system. Replacement is not
necessary if it is feasible to continue to maintain the integrity of the pipeline, main, or service
through on-going integrity assessments and mitigation of findings. This report provides criteria
for assessing what is required to preserve the integrity of a pipeline to assure that it does not
constitute a substantial risk to public safety. The guidelines also show what should be done to
maintain the integrity of an existing main or service operated under Part 192, Subpart P, “Gas
Distribution Integrity Management”. Examples of hypothetical pipelines, mains, and services
are presented. These examples illustrate how an operator can consider pipeline attributes,
potential threats to pipeline integrity, and mitigative responses that would be required to make
a decision either to do what is necessary to maintain the integrity of the pipeline and continue
to operate it or to replace it. It is up to the operator to decide whether or not pipeline integrity
can or will be preserved via the necessary maintenance and repairs or whether, instead, the
pipeline, main, or service will be replaced.
The process for making repair/replace decisions in each case is based on a series of flow charts.
It will be seen that these flowcharts constitute prescriptive procedures for making repair/replace
decisions. These procedures are not meant to prevent a pipeline operator from conducting an
engineering critical assessment of a pipeline that would allow the decision to be made outside
of these prescriptive procedures.
The process of deciding whether to repair or replace depends on having the essential data on
the pipeline, main, or service. Certain data are essential if the pipeline or distribution system
component is to remain in service. The essential data include but are not necessarily limited to
the type and vintage of pipe; its mechanical properties; the type of coating on the pipe (unless
it is plastic pipe); the operating pressure of the pipeline as a function of time; the leak and
rupture history of the pipeline, main, or service; and the pressure test history. These guidelines
define which data elements are essential for deciding whether or not a given pipeline, main, or
service should remain in service.
Replacement of a pipeline segment, a main, or a service is not necessary if the operator can
afford to mitigate the active time-dependent threats such that the risk of pipeline failures from
such threats is acceptably small. Replacement becomes necessary whenever one or more of
the “driver” integrity threats cannot be mitigated and the risk of failures is not acceptably small.
Replacement also may become the best choice where addressing the threats and/or assuring
safety is technically feasible but the cost of properly addressing the threat and/or assuring
safety is more than the cost of replacement.
The time-dependent nature of the driver threats implies that mitigative responses must either
be continually or periodically applied. This, in turn, implies that reassessment intervals must be
estimated for each active threat that must be addressed periodically. The adequacy of the re-
assessment interval is validated by the absence of frequent in-service failures from time-
dependent threats over the life of a pipeline or by experience that reflects a declining or steady-
state leak history for a distribution system main or service. Replacement is likely to become the
preferred option to a continuing re-assessment and repair program when the cost of the latter
exceeds the cost of replacement. But, in any case it will be up to the operator to decide. The
criteria presented herein are intended only to give the operator a sound technical basis for
defining a mitigative repair plan, one that would be expected to prevent in-service failures of a
pipeline from time-dependent threats or that avoids an increasing leak rate in a distribution
system main or service.
In some cases the appropriate time for replacement can be deferred if the rate of degradation
is slow enough. Lowering the operating pressure of a pipeline in stages may be one way to
extend the time before replacement is needed because the effect of lowering pressure is to
reduce the likelihood of a failure from time-dependent degradation. In the case of a main or
service, replacement can be deferred if there is a likelihood that the leakage rate will not
increase with time.
• The pipeline is recoated to prevent external corrosion or to replace a coating that shields
the pipe from cathodic protection to mitigate SCC.
• Cathodic protection is enhanced such that external corrosion is mitigated.
• The maximum operating pressure is reduced to a level that mitigates exposure to SCC or
PCIF.
• An operational change involving increasing flow velocity above the water entrainment
threshold or change of service to a less corrosive product to mitigate internal corrosion.
This document begins with a background section, a list of acronyms used throughout the
document, and a list of definitions applicable to repair/replace decision making. The guidelines
are then presented in three main segments:
The third segment presents numerous examples of the process of making a repair/replace
decision for the three types of pipeline systems (hazardous liquid pipelines, natural gas
transmission pipelines, and natural gas distribution systems).
The user of this document must refer to the governing Federal and/or State pipeline safety
codes and referenced standards to properly implement this guidance document and to maintain
safety.
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T ABLE OF C ONTENTS
BACKGROUND ....................................................................................................................... 1
ACKNOWLEDGEMENTS ............................................................................................................ 3
ACRONYMS .......................................................................................................................... 4
DEFINITIONS ....................................................................................................................... 6
General Terms Used in These Guidelines ........................................................................ 6
49 CFR 192.3 Definitions Applicable to These Guidelines .................................................. 7
49 CFR 195.2 Definitions Applicable to These Guidelines .................................................. 8
FACTORS TO CONSIDER IN MAKING REPAIR/REPLACE DECISIONS ...................................................... 8
Threats to Pipeline Integrity that Could Influence a Repair/Replace Decision ..................... 9
Hazardous Liquid Pipelines ...................................................................................... 10
Natural Gas Transmission Pipelines .......................................................................... 12
Pipe Body Hard Spots and Hard Heat-Affected Zones ................................................ 15
Natural Gas Distribution Systems ............................................................................. 16
Attributes of Pipelines that Matter in Making a Repair/Replace Decision ............................ 19
Hazardous Liquid Pipelines ...................................................................................... 19
Natural Gas Transmission Pipelines .......................................................................... 21
Natural Gas Distribution Systems ............................................................................. 25
Records that Matter in Making a Repair/Replace Decision ................................................ 31
Material Specifications ............................................................................................ 31
Design Records ...................................................................................................... 31
Construction Records .............................................................................................. 31
Welding Procedure and Welder Qualification ............................................................. 32
Girth Weld Inspection Records................................................................................. 32
Pressure Test Records ............................................................................................ 32
Operating Records.................................................................................................. 35
In-Line Inspection Records ...................................................................................... 36
Direct Assessment Records ..................................................................................... 36
Bell-Hole Examination Records ................................................................................ 36
Repair Records ....................................................................................................... 37
Leak Survey Records .............................................................................................. 37
Conditions that Matter in Repair/Replace Decisions ......................................................... 37
Piggability .............................................................................................................. 37
i
Pressure Testability ................................................................................................ 38
Operating Stress Level (applies to steel pipe only)..................................................... 38
MITIGATIVE RESPONSES TO AVOID OR DELAY REPLACEMENT ...........................................................40
Pressure Testing .......................................................................................................... 40
Why Pressure Tests Work ....................................................................................... 40
Limitations ............................................................................................................. 46
Trade-off between Test Pressure and Retest Interval ................................................ 49
Spike Testing ......................................................................................................... 64
Anticipating Test Failures ........................................................................................ 66
Test Medium .......................................................................................................... 66
In-Line Inspection........................................................................................................ 67
ILI for Corrosion-Caused Metal Loss ......................................................................... 68
ILI for Crack-Like Defects........................................................................................ 68
ILI for Dents .......................................................................................................... 71
ILI for Pipe Body Hard Spots ................................................................................... 71
Influence of Failure Stress Prediction Capabilities on Use of ILI-Crack Detection Tools.. 71
Calculating Re-Assessment Intervals for Integrity Assessment by ILI .......................... 72
Direct Assessment ....................................................................................................... 74
ECDA .................................................................................................................... 74
ICDA ..................................................................................................................... 78
SCCDA .................................................................................................................. 79
Mitigative Response for the HSC Threat to a Hard Heat-Affected Zone ........................ 79
Mitigative Responses for Gas Distribution Systems .......................................................... 80
A/A (Additional or accelerated) Actions (Risk Mitigation Measures) for Specific Threats
from Table 6.1 of ANSI/GPTC Guidance Appendix G-192-8 ........................................ 82
CRITERIA FOR MAKING REPAIR/REPLACE DECISIONS .....................................................................88
Flowcharts for Transmission Pipelines ............................................................................ 89
Pipeline or System Attributes, Operational Data, and History ........................................... 89
Base Case Example No. 1: Hazardous Liquid Pipeline Comprised of LF-ERW Pipe .............. 89
Base Case Example No. 2: A Natural Gas Pipeline Comprised of Flash-Welded Pipe
Operated at a Stress Level of 72% of SMYS ................................................................. 100
Base Case Example No. 3: A Natural Gas Pipeline Operated at Stress Levels Less than 30%
of SMYS .................................................................................................................... 114
Other Examples for Transmission Pipelines .................................................................. 122
ii
A Pipeline with an SSAW Seam .............................................................................. 123
A Pipeline Comprised of Furnace Lap-Welded Pipe, Constructed with Acetylene Girth
Welds .................................................................................................................. 127
A Pipeline Comprised of Pipe with a DSAW Seam .................................................... 133
A Pipeline Comprised of Pipe with an HF-ERW Seam ............................................... 139
A Pipeline Comprised of Seamless Pipe................................................................... 142
A Pipeline Susceptible to Internal Corrosion ............................................................ 145
A Pipeline Containing Legacy Repairs ..................................................................... 147
A Pipeline Susceptible to HSC in Pipe Body Hardspots.............................................. 150
A Pipeline Susceptible to HSC in the HAZ of its DC-ERW Seam ................................. 152
Flowcharts for Gas Distribution Systems ...................................................................... 154
System Attributes, Operational Data, and History ......................................................... 154
Base Case Example No. 4: A Steel Gas Distribution Main ............................................... 154
Base Case Example No. 5: A Plastic Gas Distribution System ......................................... 161
Base Case Example No. 6: A Cast Iron Gas Distribution Main ......................................... 165
APPENDIX A - PIPELINE MILEAGE INSTALLED BY AGE .................................................................. 171
APPENDIX B - DETAILS OF REPORTABLE INCIDENTS BY CAUSE ....................................................... 176
APPENDIX C - FLOWCHARTS .................................................................................................. 178
REFERENCES ..................................................................................................................... 206
L IST OF T ABLES
Table 1. Summary of Reportable Incidents by Category for the Period 2004 through 2013 ....... 9
Table 2. Miles of Mains by Material in 2011 .........................................................................17
Table 3. Numbers of Services by Material in 2011 ................................................................17
Table 4. Example of Attributes of a Hazardous Liquid Pipeline ...............................................19
Table 5. Example of Attributes of a Natural Gas Transmission Pipeline ...................................22
Table 6. Example of Attributes of Steel Main or Service in a Natural Gas Distribution System ...26
Table 7. Example of Attributes of Plastic Main or Service in a Natural Gas Distribution System .27
Table 8. Example of Attributes of Cast Iron Main or Service in a Natural Gas Distribution System
..................................................................................................................................30
Table 9. Differences in Defect Sizes that Cause Failures at Various Pressures for a 30-inch-OD,
0.375-inch-wall, X52 Material Depending on Whether the Material Fails in a Ductile Manner
or a Brittle Manner .......................................................................................................44
Table 10. Retest Intervals for a Pressure Test to 1,170 psig with a Test-Pressure-to-Operating-
Pressure Ratio of 1.25 ..................................................................................................50
iii
Table 11. Retest Intervals for a Pressure Test to 1,300 psig with a Test-Pressure-to-Operating-
Pressure Ratio of 1.39 ..................................................................................................50
Table 12. Retest Intervals for a Pressure Test to 813 psig with a Test-Pressure-to-Operating-
Pressure Ratio of 1.25 ..................................................................................................51
Table 13. Retest Intervals for a Pressure Test to 975 psig with a Test-Pressure-to-Operating-
Pressure Ratio of 1.5....................................................................................................53
Table 14. Effect of Test-Pressure-to-Operating-Pressure Ratio Based on the Original
Fessler/Rapp Model......................................................................................................59
Table A1. Miles of Hazardous Liquid Pipelines by Decade of Installation ............................... 172
Table A2. Miles of Natural Gas Transmission Pipelines by Decade of Installation ................... 173
Table A3. Miles of Natural Gas Distribution Mains by Decade of Installation.......................... 174
Table A4. Number of Natural Gas Distribution Services by Decade of Installation .................. 175
Table B1. Reportable Incidents by Cause 1994-2013 – Part 1 of 2 ....................................... 176
L IST OF F IGURES
Figure 1. Failure Pressure Levels of Defects in the Pipe Body of a 30-inch-OD, 0.375-inch-wall,
X52 Pipe Material that Exhibits a Full-Size-Equivalent Charpy Upper Shelf Energy of 40 ft-lb
(Modified Ln-Sec Model) ...............................................................................................41
Figure 2. Failure Pressure Levels of Defects in a 30-inch-OD, 0.375-inch-wall, X52 Pipe Seam
Material that Exhibits a Fracture Toughness of 25.8 ksi-root-inch (equivalent to 5 ft lb of
Charpy energy according to the Barsom and Rolfe correlation) (API 579, Level II) ............43
Figure 3. Test Intervals Based on Fessler/Rapp....................................................................56
Figure 4. Test Intervals Based on Modified Fessler/Rapp ......................................................57
Figure 5. Test Intervals Based on Modified Fessler/Rapp that Decrease with Time ..................59
Figure 6. The Non-Constant Nature of Crack Growth from PCIF ............................................61
Figure 7. Start of Process to Decide Whether to Repair or Replace Base Case Hazardous Liquid
Pipeline.......................................................................................................................90
Figure 8. Threats to Address for Base Case Hazardous Liquid Pipeline Comprised of LF-ERW
Pipe............................................................................................................................92
Figure 9A. Feasibility of Preventing in-Service Failures from PCIF or SSWC by Hydrostatic
Testing or ILI ..............................................................................................................93
Figure 9B. Feasibility of Preventing in-Service Failures from PCIF or SSWC by Lowering
Operating Pressure ......................................................................................................94
Figure 10. Feasibility of Preventing In-Service Failures from External Corrosion ......................96
Figure 11. Feasibility of Preventing In-Service Failures from SCC ...........................................98
Figure 12. Time to Failure at the MOP after a Test (HTP) to 110% of SMYS ......................... 101
Figure 13. Times for Retests to Control SCC based on the Fessler/Rapp Method ................... 102
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Figure 14. Start of Process to Decide Whether to Repair or Replace the Base Case Natural Gas
Pipeline that is Operated at a Stress Level of 72% of SMYS ........................................... 105
Figure 15. Threats to Address for Base Case Natural Gas Pipeline Comprised of Flash-welded
Pipe that is Operated at a Stress Level > 30% of SMYS ................................................ 106
Figure 16A. Feasibility of Preventing in-Service Failures from PCIF or SSWC by Hydrostatic
Testing or ILI ............................................................................................................ 108
Figure 16B. Feasibility of Preventing in-Service Failures from PCIF or SSWC by Lowering
Operating Pressure .................................................................................................... 109
Figure 17. Feasibility of Preventing In-Service Failures from External Corrosion .................... 111
Figure 18. Feasibility of Preventing In-Service Failures from SCC ......................................... 113
Figure 19. Start of Process to Decide Whether to Repair or Replace the Base Case Natural Gas
Pipeline that is Operated at a Stress Level < 30% of SMYS ........................................... 115
Figure 20. Threats to Address for Base Case Natural Gas Pipeline Comprised of Flash-welded
Pipe that is Operated at a Stress Level < 30% of SMYS ................................................ 116
Figure 21A. Feasibility of Preventing in-Service Failures from PCIF ...................................... 118
Figure 21B. Feasibility of Preventing in-Service Failures from SSWC..................................... 120
Figure 22. Feasibility of Preventing In-Service Failures from External Corrosion .................... 121
Figure 23. Consideration of the Miter Bends in the Low-Stress Gas Pipeline.......................... 122
Figure 24. Flowchart for Evaluating a Repair/Replace Decision for SSAW Pipe in a Hazardous
Liquid Pipeline ........................................................................................................... 125
Figure 25. Flowchart for Evaluating a Repair/Replace Decision of Furnace Lap-Welded Pipe in a
Hazardous Liquid Pipeline ........................................................................................... 130
Figure 26. A Process by Which the Operator Can Deal with Acetylene Girth Welds ................ 131
Figure 27. Flowchart for Evaluating a Repair/Replace Decision for DSAW Pipe in a Hazardous
Liquid Pipeline ........................................................................................................... 136
Figure 28. Flowchart for Evaluating a Repair/Replace Decision for HF-ERW Pipe in a Hazardous
Liquid Pipeline ........................................................................................................... 141
Figure 29. Flowchart for Evaluating a Repair/Replace Decision for Seamless Pipe in a Hazardous
Liquid Pipeline ........................................................................................................... 144
Figure 30. Preventing Leaks and Ruptures from Internal Corrosion ...................................... 146
Figure 31. Process for Responding to Legacy Repairs ......................................................... 149
Figure 32. Process for Responding to an HSC Threat in a Pipe Body Hard Spot ..................... 151
Figure 33. Process for Responding to an HSC Threat in a Hard HAZ .................................... 153
Figure 34. Start of Process to Decide Whether to Repair or Replace the Base Case Steel Gas
Distribution Main ....................................................................................................... 155
Figure 35. Feasibility of Preventing in-Service Failures from SSWC (for steel gas distribution
main) ....................................................................................................................... 157
v
Figure 36. Feasibility of Preventing in-Service Failures from External Corrosion (for steel gas
distribution main) ...................................................................................................... 158
Figure 37. Feasibility of Preventing in-Service Failures from Internal Corrosion (for steel gas
distribution main) ...................................................................................................... 160
Figure 38. Start of Process to Decide Whether to Repair or Replace the Base Case involving a
Plastic Distribution System.......................................................................................... 162
Figure 39. Feasibility of Preventing in-Service Failures from Slow Crack Growth .................... 163
Figure 40. Feasibility of Preventing in-Service Failures from Joining or Tap Connection type
Failures in a Plastic Main ............................................................................................ 164
Figure 41. Start of Process to Decide Whether to Repair or Replace the Base Case involving a
Cast Iron Distribution Main ......................................................................................... 166
Figure 42. Feasibility of Preventing in-Service Failures from Graphitization ........................... 168
Figure 43. Feasibility of Preventing in-Service Failures from Breakage due to Soil Movement . 169
Figure A1. Trends in the Amounts of Pre-Regulation Pipe in Hazardous Liquid Pipelines (2005-
2012) ....................................................................................................................... 172
Figure A2. Trends in the Amounts of Pre-Regulation Pipe in Natural Gas Transmission Pipelines
(2005-2012) .............................................................................................................. 173
Figure A3. Trends in the Amounts of Pre-Regulation Natural Gas Distribution Mains (2005-2012)
................................................................................................................................ 174
Figure A4. Trends in the Numbers of Pre-Regulation Natural Gas Distribution Services (2005-
2012) ....................................................................................................................... 175
Figure C1. Flowchart START (for hazardous liquid pipelines, high-stress natural gas transmission
pipelines, and low-stress natural gas transmission pipelines) ......................................... 178
Figure C2. Flowchart LEGACY PIPE ................................................................................... 179
Figure C3A. Flowchart LF ERW (Part A) ............................................................................. 180
Figure C3B. Flowchart LF ERW (Part B) ............................................................................. 181
Figure C4. Flowchart SSAW .............................................................................................. 182
Figure C5. Flowchart LAP-WELDED ................................................................................... 183
Figure C6. Flowchart LEGACY FEATURES........................................................................... 184
Figure C7. Flowchart LEGACY REPAIRS ............................................................................. 185
Figure C8. Flowchart MODERN PIPE ................................................................................. 186
Figure C9. Flowchart HF ERW........................................................................................... 187
Figure C10. Flowchart DSAW............................................................................................ 188
Figure C11. Flowchart SEAMLESS ..................................................................................... 189
Figure C12. Flowchart EC ................................................................................................. 190
Figure C13. Flowchart IC ................................................................................................. 191
Figure C14. Flowchart SCC ............................................................................................... 192
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Figure C15. Flowchart HSC............................................................................................... 193
Figure C16. Flowchart START (for steel gas distribution system main) ................................. 194
Figure C17. Flowchart SSWC (for steel gas distribution system main) .................................. 195
Figure C18. Flowchart EC (for steel gas distribution system main) ....................................... 196
Figure C19. Flowchart IC (for steel gas distribution system main)........................................ 197
Figure C20. Flowchart LEGACY FEATURES (for steel gas distribution system main) ............... 198
Figure C21. Flowchart START (for plastic gas distribution system) ....................................... 199
Figure C22. Flowchart SCG (for plastic gas distribution system)........................................... 200
Figure C23. Flowchart PLASTIC CONNECTIONS (for plastic gas distribution system) ............. 201
Figure C24. Flowchart START (for cast iron gas distribution system main)............................ 202
Figure C26. Flowchart GRAPHITIZATION (for cast iron gas distribution system main) ........... 204
Figure C27. Flowchart BREAKAGE (for cast iron gas distribution system main)...................... 205
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FINAL
15-019
Repair/Replace Considerations
for Pre-Regulation Pipelines
J.F. Kiefner and M. Van Auker
BACKGROUND
Based on data submitted through natural gas transmission 2012 annual reports to the Pipeline
and Hazardous Materials Safety Administration (PHMSA), 176,363 miles of the 298,422 miles of
natural gas transmission and gathering pipelines in the U.S. (59%) are “pre-regulation”
pipelines, that is, pipelines installed prior to 1970, when Federal pipeline safety regulations went
into effect. Based on data submitted through hazardous liquid pipeline 2012 annual reports to
PHMSA, 97,316 miles of the 185,922 miles of hazardous liquid pipelines in the U.S. (52%) are
“pre-regulation” pipelines. As shown in Appendix A, trends of annual mileage show that these
numbers are gradually decreasing due to some older pipelines being taken out of service or
replaced. Older pipelines are not necessarily less safe than more modern pipelines. If their
integrity can be maintained by appropriate and timely inspections followed by remedial
responses to restore their serviceability, they can continue to operate without excessive risk to
the public. The primary reason for conducting this project was to develop guidelines that
pipeline operators can use to determine when replacement makes more sense than continuing
to do the necessary repairs to maintain serviceability of a pre-regulation pipeline
In response to concerns raised by PHMSA and the National Transportation Safety Board (NTSB)
with regard to the safety of these older pipelines, the Interstate Natural Gas Association of
America (INGAA) has developed a fitness-for-service (FFS) process that a pipeline operator may
use to assess the safety of pre-regulation pipelines, expecting that over time operators will
adopt the process in making repair/replace decisions regarding their pre-regulation pipelines.
To aid pipeline operators with making repair/replace decisions, this project was initiated to
create guidelines for implementing and executing a pre-regulation pipeline repair/replace
program. While INGAA’s approach to FFS for natural gas transmission pipelines was considered
in this work, the guidelines described in this document were tailored not only to natural gas
transmission pipelines but to the special concerns associated with natural gas distribution
systems and hazardous liquid pipelines as well. The resulting guidelines may be suitable for
inclusion in consensus pipeline safety standards including ASME B31.4 and ASME B31.8.
These guidelines were developed with the view that all pipelines of all types are “pre-
regulation” pipelines if installed prior to November 12, 1970. The rationale for using one date
In general, operators of natural gas transmission pipelines and hazardous liquid pipelines
seldom consider replacing a pipeline because satisfactory tools are available to periodically
assess the integrity of their pipelines, namely, in-line inspection, hydrostatic testing, and direct
assessment. Operators who employ these techniques at timely intervals based on engineering
analysis and actual operating experience and respond in a timely manner to repair anomalies
discovered during the assessments have established remarkably good safety records.
Nevertheless, there may be cases where conducting the necessary periodic integrity
assessments needed to prevent failures is not feasible. For those cases the guidelines
developed on this project can be a useful decision-making tool.
In contrast to the transmission segments of the pipeline industry, the natural gas distribution
industry for more than 40 years has considered and often chosen pipe replacement as another
alternative to continued repair and mitigation activities. There are two reasons for this. First,
some distribution systems contain mains and services comprised of obsolete materials, mainly
cast iron pipe and uncoated steel pipe that are subject to severe degradation resulting in
numbers of leaks out of proportion to the amounts of such materials in the systems. Second,
the nature of distribution piping systems is such that the standard integrity assessment tools,
in-line inspection, hydrostatic testing, and direct assessment are generally not applicable.
Distribution operators with systems containing obsolete materials generally have often
established replacement schedules based on available prioritization models. These
circumstances have led the industry, through the American Gas Association, to assemble a
compendium of papers describing the repair/replace strategies used by various operators,
consultants, and research organizationsi. The facts that about 60,000 miles of cast iron mains
were in service in 1984 and that less than 34,000 miles of cast iron mains were still in service in
2011 show that the amount of replacement has been significant.
With the promulgation of 49 CFR 192, Subpart P, “Gas Distribution Integrity Management” in
2009, operators of gas distribution systems must establish a Distribution Integrity Management
Program (DIMP) that covers all parts of each distribution system. Prior to the DIMP regulation,
gas distribution operators had company specific policies and procedures to safely manage their
distribution systems. While many gas distribution operators already have repair/replace
programs in progress based on proprietary models, the DIMP regulations may change the way
1
Hazardous liquid pipelines are governed by 49 CFR Part 195, which was effective on April 1, 1970.
2
Natural gas pipelines are governed by 49 CFR Part 192, which was effective November 12, 1970.
ACKNOWLEDGEMENTS
The authors are extremely grateful for the guidance and comments provided by a team of
advisors from the pipeline industry. The team was comprised of the following individuals.
The authors also greatly appreciate the assistance of Steve Nanney, the technical
representative from the Pipeline and Hazardous Materials Safety Administration (PHMSA).
Steve provided the focus for the numerous conference calls with the industry advisors as well as
reviews and approvals of documents we prepared.
ACRONYMS
A/A Additional or accelerated (actions that a gas distribution operator may need to
take in order to comply with DIMP)
49 CFR 192 That part of the Code of Federal Regulations which applies to natural gas
transmission pipelines and natural gas distribution systems
49 CFR 195 That part of the Code of Federal Regulations which applies to hazardous liquid
pipelines
HF-ERW electric resistance welded pipe made with high frequency current (e.g., 450 KHz)
LF-ERW electric resistance welded pipe made with low frequency current (by definition in
API Specification 5L, a frequency less than or equal to 70 KHz. Commonly, 120
Hz was used in making older LF-ERW materials.)
MAOP maximum allowable operating pressure (usually associated with a natural gas
transmission pipeline or a natural gas distribution system)
PE polyethylene
D EFINITIONS
General Terms Used in These Guidelines
Grandfathered
“Grandfathered” is a term associated with natural gas transmission pipelines. It refers to a pipe
segment installed before July 1, 1970 with an MAOP established in accordance with 49 CFR
§ 192.619(c).
A High Consequence Area (HCA) with respect to a natural gas transmission pipeline is defined in
49 CFR § 192.903. A High Consequence Area (HCA) with respect to a hazardous liquid pipeline
is defined in 49 CFR § 195.452.
Legacy Pipe
Legacy pipe means steel pipe manufactured using any now-obsolete technique including
furnace butt-welded, furnace lap-welded, low-frequency-welded electric resistance welded (LF-
ERW), direct-current-welded electric resistance welded (DC-ERW), single submerged-arc welded
(SSAW), or Flash Welded (A.O. Smith) pipe or any pipe with an unknown type of longitudinal
seam. Legacy pipe also includes wrought iron pipe, pipe made from Bessemer steel, pipe of
unknown specification or pipe for which the yield strength is unknown, and any pipe made prior
to 1942 when the minimum levels of API-required manufacturers’ pressure tests were raised
significantly. Lastly, legacy pipe includes polyethylene (PE) plastic pipe materials that have a
history of premature failures from slow crack growth.
Modern Pipe
Iron or steel rolled or forged into narrow strips and ready to be made into pipe by being bent
and welded.
Gathering line means a pipeline that transports gas from a current production facility to a
transmission line or main.
High-pressure distribution system means a distribution system in which the gas pressure in the
main is higher than the pressure provided to the customer.
Low-pressure distribution system means a distribution system in which the gas pressure in the
main is substantially the same as the pressure provided to the customer.
Main means a distribution line that serves as a common source of supply for more than one
service line.
Maximum actual operating pressure means the maximum pressure that occurs during normal
operations over a period of 1 year.
Maximum allowable operating pressure (MAOP) means the maximum pressure at which a
pipeline or segment of a pipeline may be operated under this part.
Service line means a distribution line that transports gas from a common source of supply to an
individual customer, to two adjacent or adjoining residential or small commercial customers, or
to multiple residential or small commercial customers served through a meter header or
manifold. A service line ends at the outlet of the customer meter or at the connection to a
customer's piping, whichever is further downstream, or at the connection to customer piping if
there is no meter.
Transmission line means a pipeline, other than a gathering line, that: (1) Transports gas from a
gathering line or storage facility to a distribution center, storage facility, or large volume
customer that is not down-stream from a distribution center; (2) operates at a hoop stress of
20 percent or more of SMYS; or (3) transports gas within a storage field.
Highly volatile liquid or HVL means a hazardous liquid which will form a vapor cloud when
released to the atmosphere and which has a vapor pressure exceeding 276 kPa (40 psia) at
37.8 °C (100 °F).
Low-stress pipeline means a hazardous liquid pipeline that is operated in its entirety at a stress
level of 20 percent or less of the specified minimum yield strength of the line pipe.
Maximum operating pressure (MOP) means the maximum pressure at which a pipeline or
segment of a pipeline may be normally operated under this part.
Petroleum means crude oil, condensate, natural gasoline, natural gas liquids, and liquefied
petroleum gas.
Petroleum product means flammable, toxic, or corrosive products obtained from distilling and
processing of crude oil, unfinished oils, natural gas liquids, blend stocks and other
miscellaneous hydrocarbon compounds.
Stress level means the level of tangential or hoop stress, usually expressed as a percentage of
specified minimum yield strength.
Supervisory Control and Data Acquisition (SCADA) system means a computer-based system or
systems used by a controller in a control room that collects and displays information about a
pipeline facility and may have the ability to send commands back to the pipeline facility.
Surge pressure means pressure produced by a change in velocity of the moving stream that
results from shutting down a pump station or pumping unit, closure of a valve, or any other
blockage of the moving stream.
Table 1. Summary of Reportable Incidents by Category for the Period 2004 through
2013
A more detailed breakdown is given in Appendix B. The main things these data show are that
the percentages of incidents by cause were different for hazardous liquid pipelines, natural gas
transmission pipelines, and natural gas distribution systems. Corrosion was a significant cause
of failure for hazardous liquid pipelines and natural gas transmission pipelines but not for
natural gas distribution pipelines. Equipment failure accounted for the largest percentage of
failures in hazardous liquid pipelines, a moderate percentage of failures for natural gas
transmission pipelines, but only a small percentage of failures in natural gas distribution
systems. The largest percentages of failures in natural gas distribution systems were caused by
Pipeline operators are required by federal regulations to identify and mitigate pipeline integrity
threats via an integrity management plan. For gas distribution lines, these threats are managed
under the operator’s DIMP program. Integrity management plans embody periodic integrity
assessment activities. In most cases repairs made in response to these integrity assessments
will be an effective means to achieve reductions in incidents. In the development of guidelines
for repair/replace decisions, the essential goal is to be able to determine for a particular pipeline
segment whether or not all relevant threats can be successfully mitigated via periodic integrity
assessments via the “repair” option. If it is not technically feasible to successfully mitigate one
or more integrity threats via periodic integrity assessment, then it may be necessary to exercise
the “replace” option. Threats to pipeline or system integrity are described in industry
consensus standards and/or federal regulations.
1) External corrosion
2) Internal corrosion
3
The relatively low rates of failure from excavation damage attributed to hazardous liquid pipelines and natural gas transmission
pipelines are believed to be the result of a focus over the last 20 years or so by pipeline operators, other utility operators,
government regulators, and excavators on preventing such damage. Near-universal adoption of “one-call” network systems
including the 811 phone number, enhanced communication between pipeline operators and excavators, and the development of
public awareness programs by pipeline operators no doubt have contributed to a significant reduction in excavation damage
accidents. Operators of gas distribution systems, as well, have adopted these improved practices. However, the fact that
distribution piping is located in areas of high exposure to damage tends to explain why these systems exhibited a higher rate of
incidents.
5) Manufacturing defects (defective pipe seams including hard heat-affected zones and
defective pipe including pipe body hard spots4)
11) Weather and outside force (cold weather, lightning, heavy rains or floods, and earth
movement)
12) The growth of an initially non-injurious anomaly arising from any one of several of the
above causes into an injurious defect via pressure-cycle-induced fatigue (including
transit fatigue)
In terms of guidelines for repair/replace decisions, any systematic threat that affects an entire
segment such as bare pipe could make the segment a candidate for replacement. In addition
threats that could affect locations at random along buried segments of a pipeline could also
become a reason for replacement because of the efforts required to detect and repair the
affected locations and to mitigate future occurrences of incidents attributable to certain causes.
External corrosion, internal corrosion, SCC, selective seam weld corrosion, manufacturing
defects (which tend to become threats as the result of pressure-cycle-induced fatigue (PCIF)),
and construction and fabrication defects constitute threats that could lead to a decision to
replace a segment rather than to repair it. At the other extreme, threats arising from the
potential for equipment failure and incorrect operations can be mitigated by means of regular
4
Hard-heat affected zones and pipe body hard spots are confined to specific vintages of pipe made by specific manufacturers.
While these phenomena are not wide spread, the can cause failures and may constitute a reason for replacing a pipeline segment.
One segment of these guidelines is dedicated to discussing the nature of this threat and the means by which it may be mitigated is
discussed in another segment.
From the standpoint of immediate failure from mechanical damage, incidents seem to be
declining in numbers with time because of increased focus on damage prevention (e.g., better
one-call systems, mandated damage prevention programs, improved state one-call laws).
Therefore, it seems unlikely that a hazardous liquid pipeline segment would require replacement
to mitigate immediate failures from mechanical damage. Moreover, to the extent the threat
exists, the replacement segment could be just as exposed as the original segment although the
new pipe could be made more resistant to damage by increased wall thickness, deeper burial,
and/or installing a passive or active warning system.
It seems unlikely that replacement of a segment would be a practical means of mitigating the
threat of delayed failure from mechanical damage. Such damage is not likely to be as wide-
spread as damage from the threats of corrosion, SCC, and manufacturing and construction
defects. Besides, it is relatively easy to locate and repair such damage using an appropriate ILI
technology.
The threat of weather and outside force incidents falls into a special repair/replace decision
category. The areas along a pipeline most likely to be affected by heavy rains/flood are at river
crossings. In some cases it might be necessary to replace a river crossing to decrease its
exposure to damage from flooding. Similarly, areas of earth movement are generally easy to
identify such that a local replacement of pipe could be a rational mitigative response. There is
no expectation that replacement of a pipe segment would be a rational mitigative response to
the threat of cold weather or lightning.
(a) Time-Dependent
1. External corrosion
2. Internal corrosion
(b) Stable
1. Manufacturing-related defects
b. Defective pipe
2. Welding/fabrication related
3. Equipment
d. miscellaneous
(c) Time-Independent
c. vandalism
a. Cold weather
b. Lightning
d. Earth movements
For natural gas transmission pipelines, the threats of external corrosion, internal corrosion,
selective seam weld corrosion (SSWC), and SCC constitute threats that could lead to a decision
to replace a segment rather than to repair it. In addition, the existence of features such as
miter bends and wrinkle bends in pipelines that are operated at stress levels of 30% of SMYS or
more, non-standard fittings, Dresser couplings, and acetylene girth welds (legacy construction
techniques) need to be considered in the context of making repair/replace decisions.
As discussed previously in conjunction with threats to hazardous liquid pipelines, it is likely that
replacement will not constitute a reasonable response to the threat of immediate mechanical
damage or the threat of delayed failure from prior mechanical damage. Similarly, threats arising
from the potential for equipment failure and incorrect operations can be mitigated by means of
regular maintenance and training programs and, therefore, would not be expected to lead to
replacement of a pipeline segment.
The threat of weather and outside force incidents with respect to making repair/replace
decisions is the same for a gas transmission pipeline as discussed previously in conjunction with
hazardous liquid pipelines. In some cases it might be necessary to replace a river crossing to
decrease its exposure to damage from flooding. Similarly, replacement of pipe could be a
rational mitigative response in areas of earth movement. There is no expectation that
replacement of a pipe segment would be a rational mitigative response to the threat of cold
weather or lightning.
A final point relevant to repair/replace decision-making with respect to natural gas transmission
pipelines is that, unlike in the case of a hazardous liquid pipeline, small leaks in a gas pipeline
From the late 1940s until about 1960, high-yield-strength line pipe materials (API 5L Grades
X42 through X52) tended to rely heavily on carbon and manganese contents 5 higher than
typically used to produce the lower-yield-strength Grade A and Grade B line pipe materials
commonly used prior to the late 1940s. As a result, the ”X-grade” materials tended to be highly
hardenable if quenched rapidly to room temperature from the hot-rolling temperature range or
if allowed to cool too quickly after being welded. An X-Grade material of this vintage cooled too
quickly could end up having an untempered martensite microstructure, a very hard material (35
Rockwell C or more), that is susceptible to HSC if subjected to a high-enough stress level in the
presence of atomic hydrogen. The operating hoop stress levels in many pipelines constitute
sufficient stress, and the atomic hydrogen can be generated at areas of damaged coating by
cathodic protection current.
In the normal production of line pipe skelp in the period from 1947 through 1960, hot-rolled
plates or coils underwent controlled cooling to room temperature so that the microstructure
achieved (pearlite-ferrite) was not susceptible to HSC. During welding processes, the cooling
rate could also be controlled to prevent rapid quenching by means of preheating, by controlling
inter-pass temperatures, or by post-weld heat treatment. The latter, post-weld heat treatment,
was often employed after the making of line pipe with an ERW longitudinal seam to prevent
excessive hardness. By 1960 most line pipe producers had switched to micro-alloyed skelp
where elements such as vanadium or columbium were used in small quantities in place of
excessive amounts of carbon and manganese to achieve the high strength levels characteristic
5
Carbon contents of some (not all) heats could range as high as 0.29 to 0.34 percent by weight and manganese contents could
exceed 1.0 percent by weight. Materials that had both carbon and manganese contents within these ranges tended to be easily
hardenable.
The threat of HSC in pipelines (gas or liquid) made from these vintage materials can arise if
areas of the skelp were accidentally quenched at the end of the hot-rolling process or if an ERW
seam made in such a material was given inadequate post-weld heat treatment. One of the best
references on the HSC phenomenon is a paper by Groeneveld ii in 1974. This paper explains the
phenomenon and indicates that HSC had accounted for several pipeline failures. The paper also
discusses steps that pipeline operators may take to mitigate the threat of failures from HSC.
Some of these mitigating measures turned out to be practical, and they are discussed later in
these guidelines.
In 2011 the data from annual reports required by PHMSA iii showed the following distribution of
materials in the nationwide network of mains and services.
6
As noted previously, with the promulgation of 49 CFR 192, Subpart P, “Gas Distribution Integrity Management” in 2009, operators
of gas distribution systems must establish a Distribution Integrity Management Program (DIMP) that covers all parts of each
distribution system.
According to the Code of Federal Regulation 49 CFR §192.1007(b) distribution system operators
must consider the following integrity threats.
1) Corrosion
2) Natural forces
3) Excavation damage
5) Material or welds
6) Equipment failure
7) Incorrect operations
These threats correspond to the major categories of accidents shown in Table 1, but
determining the bases for repair/replace decisions requires consideration of more detailed
analysis of these threats. As one can see from the detailed incident data in Appendix B, neither
external nor internal corrosion has been a significant cause of incidents affecting natural gas
The threat of natural forces, (i.e., heavy rains/floods, earth movement, temperature, and
lightning) can be a significant factor in a repair/replace decision for a gas distribution system,
particularly a system containing cast iron mains and/or services. In some cases it might be
necessary to replace a segment of cast iron pipe if it is susceptible to damage from flooding.
Similarly, replacement of cast iron pipe could be a rational mitigative response in areas of earth
movement. The threat of cast iron, coupled pipe, or pipe joined by threaded connections being
damaged by frost heave or any situation resulting in soil subsidence exists particularly if the
pipe is not properly supported or protected. Therefore, the situation where a segment is
installed in soil that is prone to frost heave or other soil subsidence could influence a
repair/replace decision for a cast iron or threaded-joint segment. There is no expectation that
replacement of a pipe segment would be a rational mitigative response to the threat of
lightning.
There likely could be instances where repair/replace decisions will arise from the threat of
material/weld failures. The relatively low operating stress levels of steel pipe in natural gas
distribution systems (hoop stress levels of less than 20% of SMYS) eliminate the threats of SCC
and PCIF that can affect steel pipe in high-pressure transmission pipelines. However, in spite of
the relatively low operating stress levels, plastic, cast iron, and steel mains and services can be
susceptible to failure, and the threat of systematic failures could be a basis for deciding to
replace pipe instead of repairing it. Specifically, some older grades of plastic pipe may be
susceptible to the phenomenon of “slow crack growth” iv. Cast iron pipe is quite brittle and is
known to be susceptible to breakage from earth movement, washouts, and weakening from
“graphitization” v. Bare steel mains or services without cathodic protection could be candidates
for replacement. Steel pipe with an ERW seam that is susceptible to selective seam weld
corrosion could be subject to rupture in spite of a low operating stress level. Systems affected
by these phenomena could become candidates for a repair/replace decision.
Except for cast iron pipe, replacement of mains and services is generally not an appropriate
response to the threats of excavation damage and other outside force damage. Cast iron is
especially susceptible to any disturbances of nearby soil, so it is not unusual to consider
replacement of cast iron pipe in conjunction with activities such as repaving streets or the
The threat of equipment failure is best addressed by an effective maintenance program, and
the threat of failure from incorrect operations is best addressed by appropriate training of the
operator’s personnel and of contractors employed by the operator. So, these threats do not
appear appropriate for repair/replace decision-making for a natural gas distribution system.
The attributes listed in Table 4 are important for making repair/replace decisions because they
are needed to assess the ability of a pipeline to be operated safely with minimal risk of leaks or
ruptures. Methods for calculating failure stresses and remaining lives of defects depend on the
As was the case for hazardous liquid pipelines, the attributes listed in Table 5 are important for
making repair/replace decisions because they are needed to assess the ability of a pipeline to
be operated safely with minimal risk of leaks or ruptures. Methods for calculating failure
stresses and remaining lives of defects depend on the pipe geometry (diameter and wall
thickness), pipe material properties (yield strength, ultimate tensile strength, fracture
toughness, transition temperature), and maximum operating stress. The type of longitudinal
seam, grade, and era of manufacture must be known to determine the amount of legacy pipe in
the system. The mileage of HCAs is helpful in assessing the consequences of failures. The
types and locations of circumferential joints should be known in order to assess the risk of
failures from external forces such as earth movement and heavy rains/floods. The locations of
7
Whereas §195.106(b) for liquid pipelines and §192.107 for gas pipelines give specific guidance for determining the yield strength
of a pipe material of unknown yield strength, no such guidance exists for determining toughness and transition temperature. If an
operator orders API 5L pipe to a certain toughness and/or transition temperature level, the number of such determinations would
be one per heat or one per 100 joints depending on pipe size. An operator would need to make a similar number of determinations
for an existing pipeline by cutting out and testing samples to ascertain a reliable value of base metal toughness and/or transition
temperature. Because of the extreme variability of toughness in the bond line regions of LF-ERW, DC-ERW, and flash-welded pipe
materials, it is doubtful that this number of determinations would be sufficient to ascertain the bond line toughness. For bond line
toughnesses in such materials it is reasonable to assume that a defect in the bond line (e.g., a cold weld) will fail in a brittle manner
and that the effective toughness will be less than or equal to a full-size-equivalent Charpy V-notch impact energy of 1 ft lb.
Note that miter bends (misalignments at circumferential joints with more than 3 degrees of
angle change) are not permitted in natural gas pipelines that are operated at hoop stress levels
of 30% of SMYS or more. Miter bends with angle changes not exceeding 12.5 degrees are
permitted if the pipeline is operated at a hoop stress level less than 30% of SMYS, miter bends
with angle changes not exceeding 90 degrees are permitted if the pipeline is operated at a hoop
stress level of 10% of SMYS or less. Wrinkle bends are permitted if the pipeline is operated at
a hoop stress level less than 30% of SMYS.
The attributes of steel mains and services that need to be considered in a repair/replace
decision for a gas distribution system are summarized in Table 6. Leaks from steel mains or
services most commonly arise from external corrosion, excavation damage, mechanical
couplings, and damage from earth movement or heavy rains/floods. Therefore, pipe geometry,
material strength, operating pressure, locations of appurtenances, the existence of legacy pipe
or joining methods, and the coating and cathodic protection are the essential attributes.
Attribute Example
Attribute Remedy if Unknown and Essential
Number Value
1 Diameter, inches 4.5 Measure at selected locations.
Wall Thickness, See 49 CFR 192.109
2 0.188
inch
Design Pressure, See 49 CFR 192.105
3 1805
psig
4 MAOP, psig 150 Set by the requirements for throughput.
5 Grade of pipe A
6 SMYS, psi 30,000 use 24,000 psi or see 49 CFR 192.107
Type of Seam Metallurgical examination of selected
7 LF-ERW
pieces
8 Design Factor 0.72 Based on Class 3 (49 CFR 192.111)
9 Joint Factor 1.0 See 49 CFR 192.113
Length of Main
10 10
or Service, miles
11 Year installed 1942
Feet of Legacy
12 52,800
Pipe
Electric-arc Girth
14 2,640
Welds
Acetylene Girth
15 0
Welds
16 Miter Bends 0
17 Wrinkle Bends 0
Mechanical
18 0
Couplings
Locations of
Provided in
19 Valves and
a list
Fittings
Locations of
Provided in
20 Service Taps if a
a list
Main
Coating Type Can be established through direct
21 Uncoated
examination
Type of Cathodic Can be established through direct
22 None
Protection examination
The attributes of plastic mains and services that need to be considered in a repair/replace
decision are summarized in Table 7.
8
This is required in the print line at the time of installation. Print lines may not be present or legible upon excavation at later dates.
Widespread occurrences of failures from slow crack growth could be a reason for considering
replacement of certain vintage(s) of PE plastic mains and services. From the standpoint of the
occurrence of slow crack growth, it is essential to know the type and grade of PE plastic
(Material Designation Code, e.g. PE2306), the pipe manufacturer, the date of manufacture, the
operating pressure, the maximum environmental operating temperature, the hydrostatic design
basis (HDB), the type of fusion joining method, and the locations of possible stress
concentrations (particularly regions where excessive deformation may be induced by inadequate
support at joints, appurtenances, couplings, rock impingement, excessive bending and
connections of services to mains).
Federal regulations do not permit the installation of new mains or services comprised of cast
iron because of inherent risks associated with the material. However, as of 2011, 33,624 miles
of cast iron mains and 14,908 cast iron services were still in existence. Cast iron pipe is
extremely brittle and has been known to fail circumferentially from stresses associated with
earth movement or loss of support from flooding. Moreover, the typical bell and spigot joints in
The attributes of cast iron mains and services that need to be considered in a repair/replace
decision are summarized in Table 8. The attributes are based largely on a historical document
produced by American Cast Iron Pipe Company vi. It is noted that this document discusses pipe
that was made for water service because the dimension tables refer to “AWWA” (American
Water Works Association) standards (probably AWWA Standard C101) and the working
pressures are given in feet of head. However, it is assumed that the cast iron pipe described in
the above-mentioned document was similar to or the same as the cast iron pipe that was used
in gas service. Operators must manage the safety and integrity of their cast iron systems in
accordance with the provisions of Part 192 and their respective DIMP Programs. In addition,
PHMSA has issued the following alert notices and an advisory bulletin on cast iron pipe:
• ALN-91-02, (Relates to recommended timely removal from service of cast iron pipe that
is constitutes a risk to public safety), October 11, 1991
• ALN-92-02, (Reminds operators that surveillance plans must include surveillance of cast
iron to identify problems and take appropriate action concerning graphitization), January
26, 1992
• ADB-12-05, (urges owners and operators to conduct a comprehensive review of their
cast iron distribution pipelines and replacement programs and accelerate pipeline repair,
rehabilitation and replacement of high-risk pipelines, requests state agencies to consider
enhancements to cast iron replacement plans and programs, and alerts owners and
operators of the pipeline safety requirements for the investigation of failures), March 23,
2012
These alert notices and the advisory bulletin may be downloaded from the following website:
http://phmsa.dot.gov/pipeline/regs/advisory-bulletin
9
Cast iron systems were typically installed at a time when most distribution systems transported only manufactured gas. The
moisture and oils inherent in the manufacturing of the gas tended to saturate the original joint packing, keeping the joints moist
and leak-tight. With the advent of dry natural gas, the packing was prone to drying out leading to leakage. All joints on most cast
iron systems had to be retrofitted with external or internal sealing devices.
Attribute Example
Attribute Remedy if Unknown and Essential
Number Value
1 Type of Material Class A Assume as a worst case
Nominal Measure at selected locations
2 4
Diameter, inches
Barrel OD, Measure at selected locations
3 4.80
inches
Nominal Wall Measure at selected locations
4 0.48
Thickness, inch
Design pressure, See AMERICAN Pipe Manual, Section 12
5 624
psig
6 MAOP, psig 25 Set by the requirements for throughput.
Length of Can be determined by examining selected
7 12
Pieces, feet joints
Length of Main
8 9.5
or Service, miles
Support On blocks Can be established by excavation
9 condition with tamped
backfill
10 Year installed 1925
Method of Can be determined by examining selected
Bell and
11 Joining End-to- joints
Spigot Joints
End
Type of Can be determined by examining selected
12 Subsequent External joints
Joint Sealing
Mechanical
13 0
Couplings
Bell and Spigot
14 4,180
Joints
Locations of
Provided in a
15 Valves and
list
Fittings
Number and
Locations of Provided in a
16
Service Taps if a list
Main
Corrosivity of Susceptibility Determine from operator records (e.g.,
17 soil for cast iron to exposed pipe reports, repairs records,
graphitization graphitization continuing surveillance reports, etc.)
Material Specifications
The pipeline operator must know the specification to which the pipe material was made (e.g.,
API 5L, ASTM A53, ASTM D2513, etc.). Such specifications certify the type of material (e.g.,
steel, wrought iron, cast iron, plastic), the manufacturing process (e.g., seamless, ERW,
DSAW), the diameter, the wall thickness, and the specified minimum yield strength (SMYS) of
the pipe (or hydrostatic design basis in the case of polyethylene pipe). The design formulas for
determining the wall thickness for various types of pipe materials embody the quantities:
diameter, design pressure, SMYS (or hydrostatic design basis in the case of polyethylene pipe),
and the joint factor for the type of longitudinal seam in steel or wrought iron pipe.
Design Records
Whether or not an operator has the original design records, the following parameters need to
be established for integrity management purposes and/or repair/replace decisions. The
essential records are: the design pressure, the location of the pipeline, the diameter(s), the wall
thickness(es), the grade(s) and type(s) of pipe (including the type(s) of seams), the types of
field joints, and the types and locations of appurtenances and other features (such as miter
bends, wrinkle bends, reducers, elbows, tees, flanges, scraper traps, valves, etc.). Alignment
sheets showing the locations of some or all of these attributes are useful. An elevation profile
of the pipeline is essential for planning hydrostatic tests, for mitigating possible internal
corrosion, and for establishing proper operating conditions in the case of a hazardous liquid
pipeline. It is helpful if the design records for a pipeline list the design code and edition that
governed its design. Unfortunately this was not often the case for legacy pipelines, but it is a
good idea for future pipelines. PHMSA issued an advisory bulletin (Verification of Records -
ADB-12-06, dated May 7, 2012, Docket No. PHMSA–2012–0068) to pipeline operators
concerning material and pressure test records needed to confirm pipeline MAOP/MOP.
Construction Records
Construction records should reveal the contractor involved, the dates of construction, and
descriptions of the progress of the work. However, these documents are not essential to
making a repair/replace decision, and no mitigative action is necessary if they cannot be located
or do not exist.
The following paragraphs list the current (2014) regulatory requirements for record keeping
with respect to pressure testing. It is recognized that keeping pressure test records was not
required prior to the advent of federal regulations (November 12, 1970). It is also noted that
the requirements for record keeping have evolved since the regulatory requirements were first
promulgated. Therefore, while the following listings are what is required currently, pipeline
operators should not be expected to have all of these items for all historic tests. By far the
most important records pertain to the pressure levels achieved in the most recent pressure test.
10
As previously noted, it is recognized that distribution operators will generally not be able to conduct pressure tests of their
infrastructure once the assets have been placed in service.
Section 195.310 of the 49 CFR 195 requires that the following records of each pressure test to
be kept as long as the facility is in use.
The test pressure for a hazardous liquid pipeline must be at least 125% of the MOP of the
pipeline, and it must be held at or above that level for 4 hours. For buried segments where
direct visual inspection for leaks is not possible, the pressure must be held an additional 4 hours
at a level not less than 110% of the MOP. If hydrostatic testing is used periodically to validate
the integrity of an existing pipeline for integrity management purposes or to keep from having
to replace it, the operator may want to consider spike testing for a short time to a level
significantly higher than 125% of MOP before completing the required 4-hour test at 125% of
MOP.
Requirements for Test Records for a Natural Gas Transmission Pipeline or a Natural
Gas Distribution Main or Service
Section 192.517 of the 49 CFR 192 requires that the following records of each pressure test be
kept as long as the facility is in use unless the facility operates at a pressure level below 100
Natural gas pipelines that are operated at stress levels of 30% of SMYS or more must be
strength tested for a period of at least 8 hours. With some exceptions12 the test must be a
hydrostatic test to a minimum pressure level of 125% of MAOP for Class 1 and Class 2 locations
and 150% of MAOP for Class 3 and Class 4 locations. If hydrostatic testing is to be used once
or periodically to validate the integrity of an existing pipeline for integrity management
purposes or to keep from having to replace it, the operator may want to consider spike testing
for a short time to a level significantly higher than 125% of MAOP before completing the
required 8-hour test.
Natural gas pipelines that are operated at stress levels of less than 30% of SMYS, steel
services, and plastic pipe can be tested with water or pneumatically with natural gas, air, or
inert gas. Except for the initial pre-service test of plastic pipe which is a minimum of 150% of
MAOP (49 CFR 192.619), these tests are primarily for the purpose of establishing the absence
of leakage and the MAOP. Leak-tightness could be a significant factor in a repair/replace
decision. Therefore, the records on any leak tests could be useful for repair/replace decisions.
Besides the above-described records that are required by federal regulations in conjunction with
a pressure test, the occurrences of test failures, the locations and elevations of test failures, the
11
A prudent operator should keep material mechanical/chemical properties test reports and pressure test reports to document the
pipeline MAOP for the life of the pipeline no matter what the minimum Code criteria say. These records are required for an integrity
management program to comply with Part 192 or Part 195
12
Class 1 locations may be tested with air or natural gas to a pressure level of 1.1 times MAOP except for locations within 300 feet
of a building intended for human occupancy. In the latter locations the pipeline may be tested with air of inert gas, but the test
pressure level must be at least 1.25 times MAOP for a distance of 300 feet upstream and downstream from the building. Air or
Inert gas pressure testing is permitted in other class locations, but the pressure limits are such that the resulting MAOP will be less
than the level one can validate via a hydrostatic test where the test pressure can be significantly higher.
Operating Records
From the standpoint of making repair/replace decisions, an essential part of the operational
history of a pipeline is its pressure history with the passage of time. Ideally, for a hazardous
liquid pipeline, the pressure history should consist of a record of pressures measured at regular
intervals of not more than 15 seconds such that the pressure-cycle history can be examined to
assess the exposure to pressure-cycle-induced fatigue (PCIF). The interval for pressure
sampling for a natural gas transmission pipeline could be up to one hour (not an hourly
average, high and low values must be captured) because the rate of change with time is usually
much slower than is the case for a hazardous liquid pipeline. While a natural gas pipeline tends
to have a much lower risk of defect growth from fatigue than a hazardous liquid pipeline, the
pressure-cycle history of a natural gas pipeline still needs to be assessed 13.
Another essential part of the operating history of a pipeline is its safety performance in terms of
in-service leaks and ruptures that may have occurred over its service life. Examining the history
of leaks and ruptures versus time, especially where the causes are known, allows one to assess
the risks to the pipeline of failures from the various time-dependent threats, and it also allows
one to assess whether or not the risk of continuing failures of any one particular type can
become or is becoming excessive. While the term excessive is subjective, it refers to a situation
in which replacement becomes the preferred option to continuing repair and mitigative
responses.
For steel pipelines, the history of cathodic protection is useful when a repair/replace decision is
being considered. 49 CFR 195 requires operators of hazardous liquid pipelines and 49 CFR 192
requires operators of natural gas pipelines to maintain records of cathodically protected
pipelines, rectifiers, galvanic anodes and interference bonds and to conduct annual surveys of
pipe-to-soil potential readings. Occasionally, an operator may conduct a comprehensive pipe-
to-soil potential survey (a “close-interval survey”) by walking the right-of-way and taking
readings at intervals of generally between 3 feet and 6 feet. Operators are required to correct
inadequate levels of protection within a reasonable period of time, and the mitigation may
consist of increasing the current at existing rectifiers or adding new rectifiers or anodes, or
eliminating stray currents to enhance the pipe-to-soil potentials. Reviewing the history of these
types of efforts should be part of any repair/replace decision.
13
This is particularly true for natural gas pipelines that have never been subjected to a pressure test sufficiently high to assure the
absence of potentially large defects, for example, a pipeline with an MAOP of 40% of SMYS that has been tested only to a level of
50% of SMYS.
Records of earth movements and floods and the associated effects on a pipeline, if any, should
be examined as part of the repair/replace decision process.
Probability of Exceedance analysis of corrosion anomalies can be useful here. If the pipe
segment is badly deteriorated (for example it is uncoated or the coating exhibits widespread
failure), such an analysis may show that the probability of a leak or rupture in the remaining
uninvestigated anomalies cannot be significantly reduced no matter how many additional digs
are performed. Such a line would be a candidate for possible replacement.
Repair Records
Pipeline operators are required to keep records of times and locations where repairs are made
to their pipelines. The repair records typically indicate where, when, why, and how the pipeline
was repaired. These data should be considered in making a repair/replace decision. Analysis of
repair rate trends over time or by segment or geographic region may be useful.
Piggability
For pipelines that are operated at hoop stress levels at or above 30% of SMYS, in-line
inspection is a key method for dealing with time-dependent threats to pipeline integrity such as
external corrosion, internal corrosion, SCC, and the growth of defects via pressure-cycle-
induced fatigue (PCIF). Therefore, the following questions are relevant to making a
repair/replace decision.
14
Areas of disbonded pipe coatings should be inspected for SCC.
Pressure Testability
For pipelines that are operated at hoop stress levels at or above 30% of SMYS, pressure testing
is another key method for dealing with time-dependent threats to pipeline integrity such as
external corrosion, internal corrosion, SCC, and the growth of defects via pressure-cycle-
induced fatigue (PCIF). The questions that should be considered in making a repair/replace
decision are:
• Can the segment be taken out of service, filled with water, and subjected to a
hydrostatic test?
• If the segment cannot be tested with water, would a pneumatic pressure test with inert
gas or air to levels permitted by 49 CFR 192 or 49 CFR 195 be sufficient to demonstrate
pipeline integrity?
• As a last resort, can the segment be tested safely with natural gas or a liquid petroleum
product? (Part 192 limits pressure testing with natural gas to a stress level not
exceeding 80% of SMYS in Class 1 locations and to a stress level not exceeding 30% of
SMYS in all other class locations. Part 195 limits pressure testing with a petroleum
product to fluids that do not vaporize rapidly, and testing with such a medium may not
be done in populated areas.)
Another benchmark is 30% of SMYS. Under 49 CFR 192, miter bends of less than 12.5 degrees
and wrinkle bends are permitted in natural gas pipelines that are operated at hoop stress levels
less than 30% of SMYS. In addition, the pressure testing requirements for natural gas pipelines
that operate at stress levels of 30% of SMYS or more differ from those for pipelines that
operate at less than 30% of SMYS.
Legacy Pipe
Legacy pipe means steel pipe manufactured using any now-obsolete technique including
furnace butt-welded, furnace lap-welded, low-frequency-welded electric resistance welded (LF-
ERW), direct-current-welded electric resistance welded (DC-ERW), single submerged-arc welded
(SSAW), or Flash Welded (A.O. Smith) pipe or any pipe with an unknown type of longitudinal
seam. Legacy pipe also includes wrought iron pipe, pipe made from Bessemer steel, pipe of
unknown specification or pipe for which the yield strength is unknown, and any pipe made prior
to 1942 when the minimum levels of API-required manufacturers’ pressure tests were raised
significantly. Lastly, legacy pipe includes polyethylene (PE) plastic pipe materials that have a
history of premature failures from slow crack growth.
Pressure Testing
One way to verify the safety and integrity of a pipeline segment is to pressure test it to a level
sufficiently above the maximum operating pressure to show that the segment contains no
defects that could fail at the operating pressure. Pressure testing can be carried out on any
pipeline segment that can be taken out of service for the time required to conduct the test.
The pressure test demonstrates the current serviceability of the segment, and the higher the
ratio of test pressure to operating pressure is, the more confidence the operator can have that
the segment is fit for service and free of injurious defects. Also, the higher the ratio of test
pressure to operating pressure is, the longer the time interval will be before retesting is needed.
The technical issues that illustrate the effectiveness of pressure testing are presented below. A
good summary of the practical aspects of hydrostatic pressure testing is available in a document
recently published by the INGAA Foundation vii.
The failure pressure levels for axial, part-through defects in the body of a 30-inch-OD, 0.375-
inch-wall, X52 line pipe material that exhibits a full-size-equivalent Charpy V-notch upper shelf
energy (CVN) of 40 ft-lb as predicted by the Elliptical C-equivalent Modified Ln-Sec Model are
illustrated in Figure 1.
D = 30.000", t = 0.375", SMYS = 52,000 psi, CVN = 40 ft-lb, CVN Area = 0.124
in^2
1,800
d/t
1,600
0.0
1,000 MOP
0.4
800 0.5
Rupture
600 0.6
0.7
400 Leak
0.8
200 0.9
0
0.0 5.0 10.0 15.0 20.0 25.0
Total Length, inch
Figure 1. Failure Pressure Levels of Defects in the Pipe Body of a 30-inch-OD, 0.375-
inch-wall, X52 Pipe Material that Exhibits a Full-Size-Equivalent Charpy Upper Shelf
Energy of 40 ft-lb (Modified Ln-Sec Model)
For predicting failure stress levels of defects located in a brittle material such as a LF-ERW or
flash-welded seam where one can expect the Charpy energy to be less than 15 ft lb, it is
inappropriate to use the Modified Ln-Sec model. Instead, one could use a model such as
PAFFC, Corlas™, API 579-Level II, or API 579-Level III. An example prepared by using the API
579-Level II approach is presented in Figure 2. In this application the Newman/Raju model is
used to account for the linear elastic (i.e., brittle) fracture behavior, and Maxey’s surface flaw
equation (described in Reference XII) is used to account for the plastic collapse behavior. The
curves in Figure 2 are the result of numerous calculations using the API 579-Level II approach.
The intent of Figure 2 is to illustrate the fact that small defects can have a significant impact on
the failure pressure of a brittle pipe seam. This is demonstrated via Figure 2 below, where the
material is assumed to have a fracture toughness of 25.8 ksi-root-inch (equivalent to 5 ft lb of
Charpy energy (CVN) according to the Barsom and Rolfe correlation: 9.35*CVN0.63).
1400
HTP 2, 1300 psig d/t
1200
HTP 1, 1170 psig 10%
1000
20%
Failure Pressure, psig
800
30%
600
40%
400
60%
200 80%
0
0 1 2 3 4 5 6
Total Length, Inches
Figure 2. Failure Pressure Levels of Defects in a 30-inch-OD, 0.375-inch-wall, X52
Pipe Seam Material that Exhibits a Fracture Toughness of 25.8 ksi-root-inch
(equivalent to 5 ft lb of Charpy energy according to the Barsom and Rolfe
correlation) (API 579, Level II)
As in Figure 1, Figure 2 gives predicted failure pressures for various combinations of defect
length and depth (actually, depth-to-wall-thickness ratios). The difference is that the failure
pressures given in Figure 2 reflect brittle or quasi-brittle behavior whereas those of Figure 1
represent ductile behavior 15.
Given a defect with a particular length and depth, one may determine its failure pressure using
Figure 1 if the material is expected to behave in a ductile manner (or from Figure 2 if brittle
behavior is expected). For example, the failure pressure of a defect that is 15 inches long and
80% of the way through the wall at its deepest point is 400 psig based on the point in Figure 1
where the curve of d/t = 0.8 intersects the vertical line at 15 inches total length. It is probably
15
Note that unlike the relatively evenly spaced d/t curves of Figure 1, the d/t curves of Figure 2 become more closely spaced as d/t
increases. This is the result of the material behavior trending from quasi-brittle (or elastic-plastic) to brittle over the range of
increasing defect depths for the particular range of defect lengths.
To resume demonstrating how pressure testing works, consider two situations, one in which the
material fails in a ductile manner and one in which the material fails in a brittle manner. The
maximum operating pressure (MOP) is 936 psig (72% of SMYS) as represented by the
horizontal line labeled MOP in both Figure 1 and Figure 2. A pressure test to 1,170 psig (90%
of SMYS) is represented by the HTP 1 lines, and a pressure test to 1,300 psig (100% of SMYS)
is represented by the HTP 2 lines in both figures. The following table, Table 9, gives the depth-
to-thickness ratios taken from Figure 1 and Figure 2 that would cause failures at the three
pressure levels (936 psig, 1,170 psig, and 1,300 psig) for defects with lengths of 1, 2, 5, 10, 15,
and 20 inches for the 40-ft-lb ductile material and for lengths of 1, 2, and 5 inches for the 5-ft-
lb brittle material.
Table 9. Differences in Defect Sizes that Cause Failures at Various Pressures for a
30-inch-OD, 0.375-inch-wall, X52 Material Depending on Whether the Material Fails
in a Ductile Manner or a Brittle Manner
Defect d/t, %
Length, Ductile Behavior Using Figure 1 Brittle Behavior Using Figure 2
inches (CVN = 40 ft lb) (CVN = 5 ft lb)
MOP HTP 1 HTP 2 MOP HTP 1 HTP 2
936 psig 1,170 psig 1,300 psig 936 psig 1,170 psig 1,300 psig
1 97 95 92 23 11 5
2 92 85 76 22 10 4
5 71 55 42 21 10 4
10 54 36 24 - - -
15 45 27 18 - - -
20 40 23 15 - - -
First, consider the 40-ft-lb ductile material. Note that each depth-to-thickness ratio at a
particular defect length represents a lower bound value of depth-to-thickness ratio at a
particular pressure level. All defects with the same length but greater depth-to-thickness ratios
would fail at lower pressure levels. Hence, the test represented by HTP 1 (1,170 psig) causes
Next consider the 5-ft-lb brittle material. As in the case of the 40-ft-lb material, each depth-to-
thickness ratio at a particular defect length represents a lower bound value of depth-to-
thickness ratio at a particular pressure level. All defects with the same length but greater
depth-to-thickness ratios would fail at lower pressure levels. Hence, the test represented by
HTP 1 (1,170 psig) causes failure of all 5-inch-long defects with depth-to-thickness ratios
exceeding 10%, and the test represented by HTP 2 (1,300 psig) causes failure of all 5-inch-long
defects with depth-to-thickness ratios exceeding 4%. This means that after the HTP 1 test, any
5-inch-long, 21%- through or deeper defect that would cause failure at or below the MOP
would have been eliminated by the test. The HTP 2 test eliminates all 5-inch-long defects
deeper than 4% through the wall, so it is more effective than the HTP 1 test for assuring safe
operation at the MOP.
On the basis of Figures 1 and 2 and Table 9, one can see why pressure testing works. It
eliminates or proves the absence of defects that would fail at pressure levels lower than the test
pressure. It should also be clear from Figures 1 and 2 and Table 9 that the higher the ratio of
test pressure to the maximum operating pressure is, the less likely it is that a failure will occur
at the maximum operating pressure. Note that the same is true whether the material exhibits
ductile (i.e., a typical pipe body material) or brittle behavior (i.e., typical of the bond line region
of a LF-ERW seam or a flash-welded seam) it’s just that the defect sizes causing failure at a
given stress level would be much smaller for the brittle material. But, a higher-test-pressure-to-
operating-pressure ratio (1,300 psig to 936 psig) is still more effective at assuring pipeline
integrity than a lower test-pressure-to-operating-pressure ratio (1,170 psig to 936 psig) even
for a brittle material.
The concepts embodied in Figure 1 and Figure 2 demonstrate that if defects can grow after the
test, the margin of safety will be eroded with the passage of time, and retesting will be required
to once again to revalidate the integrity of the pipeline. Note that the time to failure after the
test will be longer for a higher test-pressure-to-operating-pressure than for a lower test-
pressure-to-operating-pressure. That is because defects have to grow to a certain predictable
size in order for a failure to occur at the maximum operating pressure, and the starting sizes of
defects that survive a test decrease with increasing test pressure.
For the vast majority of cases where pressure testing is chosen for integrity assessment of high-
pressure hazardous liquid pipelines or high-pressure gas transmission pipelines, the test
medium will be water. Not just any water can necessarily be used. To avoid introducing
bacteria or corrosive compounds into the pipeline, potable water purchased from a utility is
often the preferred test medium. If untreated water must be used, it is prudent to run a
biocide disinfectant slug after the test and prior to the line being placed into service. The water
becomes contaminated by residual liquids and solids remaining after the product is displaced,
and the pipeline operator usually must pay for satisfactory treatment of the water before
discharging it to a sewer system, a river, or a reservoir.
It has been demonstrated by actual operating experience xviii that testing natural gas pipelines
that are operated at 72% of SMYS to pressure levels at or above 90% of SMYS (a 1.25 test-
pressure-to-operating-pressure ratio) eliminates manufacturing defects that otherwise might
cause in-service failures. However, there are circumstances that one should be aware of
wherein service failures have occurred after a pressure test to at least 1.25 times MOP. A
recent review of the track record of pressure testing xix revealed the existence of such cases.
The authors of Reference XVIII (Page 18) documented a case where a pressure surge that
caused pressures to rise significantly above the MOP resulted in an in-service failure. It was
speculated that additional in-service failures may have also involved unknown or unmeasured
pressure upsets where the MOP was significantly exceeded. In other cases, it was evident that
As noted in the previous paragraph, not all leaks can be prevented by high-pressure testing.
Leaks might occur a short time after a pressure test from short, deep defects. This
phenomenon is explainable in terms of the previous fracture mechanics discussion on the way
testing works. For example, Table 9 shows that a 1-inch-long, 92% through-the-wall defect
could survive a test to 1,300 psig (HTP1). Yet, this defect needs to grow only to a depth of
97% through the wall to fail at the MOP. A 2-inch-long, 76% through-the-wall defect also could
survive a 1,300-psig test, and it would have to grow to a depth of 92% of the wall thickness to
fail at the MOP. In contrast, the longer defects (5, 10, 15, and 20 inches) have to grow to
depths of 71, 54, 45, and 40% through the wall to fail at the MOP. This indicates that short,
deep defects can survive a high-pressure test but grow to failure a short time after the test. As
indicated by the leak/rupture curve, such defects would tend to fail as leaks because they are
too short to fail as ruptures. However, the fact that a pressure test may not be very effective at
preventing future leaks could be a limitation on the effectiveness of such testing, particularly for
a hazardous liquid pipeline where a small leak occurring over a period of time can create
significant environmental damage. In the case of short, deep corrosion pits such leaks can
usually be prevented by using ILI to find them either before the test is performed or shortly
thereafter, so that they can be repaired. However, ILI has not been particularly successful at
locating short, deep lack-of-fusion defects in ERW seams.
A phenomenon sometimes associated with pressure testing that constitutes more of nuisance
than a real limitation is the likelihood of occurrence of “pressure reversals”. Pressure reversals
are nothing new; they have been observed in pressure testing for a long time xx. A pressure
reversal is said to have occurred when a test failure takes place at a pressure level lower than
the level achieved in a recent pressurization. The potential for such an occurrence tends to be
unsettling because it suggests that reaching a given level of test pressure may not be an
absolute guarantee that the margin of safety is equal to the test-pressure-to-operating-pressure
ratio associated with that pressure level. However, research has shown how pressure reversals
arise and that they are normally not a threat to the integrity of a pipeline after it has been
subjected to a pressure test.
Research xxi has demonstrated that when pressurized to a near-failure level, a defect will tend to
grow, and as its failure level is approached, the growth will continue until failure occurs even if
Fortunately, experience has shown xxii that the likelihood of a pressure reversal occurring
decreases exponentially with the difference in pressure between its failure pressure and the
highest previous pressure. Thus, for example, while a pressure reversal equal to 1% of the test
pressure might be expected to occur in one of every 10 to every 100 pressurizations, a pressure
reversal exceeding 20% of the test pressure would be expected to occur only once in several
million pressurizations. As a result one need not be concerned that a defect surviving a
pressure test might subsequently fail upon pressurization to the maximum operating pressure.
The chance of such an occurrence is not zero, but it is so small that it constitutes a negligible
risk. Moreover, if a test is carried out successfully with no test failures and depressurized
slowly, then there would seem to be little likelihood of a pressure reversal of any size occurring.
A significant limitation on pressure testing is the fact that a test does not identify the types or
locations of defects that may exist after the test. As Figure 1 shows, no matter what test
pressure level is chosen (short of the level that would cause sound pipe to burst), the possibility
of defects with failure pressures above the test pressure remaining in the pipeline certainly
exists. The pipeline operator will have no knowledge of the natures or locations of any such
defects. The only way to assure that such defects will not grow to failure at the operating
pressure at some time in the future after the test is to find and eliminate them (for example, by
means of ILI) or to subject the pipeline to another pressure test before they have time to grow
to failure in service. The concept of timely retesting is explained in the next section.
Finally, it is noted that hydrostatic testing is not effective for preventing failures from HSC in
pipe body hard spots or hard heat-affected zones of ERW seams. This is because hydrostatic
testing will not cause a pipe body hard spot or a hard heat-affected zone of an ERW seam to
fail unless it is already cracked sufficiently by HSC. It is not possible to predict the rate of
growth for HSC. If HSC starts to occur, the failure can occur rapidly, even instantaneously, so
there is no way to predict when a hydrostatic test would be effective. The practical means for
mitigating an HSC threat (which do not include hydrostatic testing) are discussed separately
later in these guidelines.
If a pipeline operator chooses to use periodic pressure testing to prevent failures from time-
dependent defect growth, each test must be done in a timely manner to prevent in-service
failures. Higher test-pressure-to-operating-pressure ratios lead to longer intervals between
tests because as test pressure is increased, the maximum size of surviving defects decreases.
The number of test failures tends to grow exponentially with increasing test pressure, and the
number of test failures that can be tolerated generally sets an upper bound on test pressure.
Also, if pipe is tested to pressure levels approaching or exceeding 110% of SMYS, some yielding
of pipe may occur. Most pipeline operators prefer to either limit the amount of yielding or to
avoid it altogether. Described below are methods a pipeline operator can use to estimate an
appropriate combination of test pressure and retest interval.
It is usually assumed that corrosion-caused metal loss and SCC grow at constant rates with the
passage of time. For any such growth mechanism it is possible to predict an appropriate retest
interval using a defect failure stress prediction model such as the Modified Ln-Secant Model
described in Figure 1 or the API 579-Level II model described in Figure 2. Because the principle
is the same whether the material is ductile or brittle, the process for predicting retest intervals
described below is based on the assumption that the material exhibits ductile fracture initiation.
Hence, the curves of Figure 1 based on the Modified LnSec model will be used. The same
principle could be applied to a material that exhibits brittle fracture behavior. Note, however,
that because the defects that cause failures at the various test pressure levels and at the MOP
are much smaller for the brittle material, the predicted retest intervals are likely to be much
shorter for the defects in a brittle material for the same defect growth rates.
The data in Table 9 for the ductile (40-ft-lb) material indicates that a pressure test to 1,170 psig
(HTP 1) would be expected to eliminate 1-inch-long defects that are deeper than 95% of the
wall thickness. The data also indicates that if a 1-inch-long defect that is 95-percent-through
survives the test, it must grow (in depth only) to a depth of 97% through-the-wall to fail at the
MOP of 936 psig. Since the wall thickness of the pipe was given as 0.375 inch, this 2%-of-wall-
Table 10. Retest Intervals for a Pressure Test to 1,170 psig with a Test-Pressure-to-
Operating-Pressure Ratio of 1.25
Table 11. Retest Intervals for a Pressure Test to 1,300 psig with a Test-Pressure-to-
Operating-Pressure Ratio of 1.39
Pipeline operators need to be aware of the fact that the benefit of a given test-pressure-to-
operating-pressure ratio decreases as the maximum operating stress level decreases as a
percentage of SMYS. Consider the case where the 30-inch-OD, 0.375-inch-wall, X52 pipeline
with a Charpy upper shelf energy of 40 ft-lb used in the previous examples is operated at a
maximum stress level of 50% of SMYS (650 psig). The same defects in terms of lengths now
have to be deeper to fail at the maximum operating pressure of 650 psig than they would have
to be to fail at the maximum operating pressure of 936 psig. If a test-pressure-to-operating-
pressure of 1.25 times MOP is utilized (referred to as HTP 3), the test pressure would be 813
psig. The results of such a test in terms of retest intervals can be seen in Table 12.
Table 12. Retest Intervals for a Pressure Test to 813 psig with a Test-Pressure-to-
Operating-Pressure Ratio of 1.25
1 99 98 1 0.00375 4 2
2 95 93 2 0.0075 8 4
5 83 77 6 0.0225 23 11
10 72 62 10 0.0375 38 19
15 64 53 11 0.04125 41 21
20 60 48 12 0.045 45 23
The data in Table 12 indicate that the safe retest interval for the longer defects is 19 years (the
5-inch-long defect in this case is predicted to fail as a leak). By comparison the test to 1,170
psig for a maximum operating pressure of 936 psig (with the same test-pressure-to-operating-
pressure ratio of 1.25) assures a retest interval of 30 years for the longer defects. This
situation is created by the fact that the sizes of defects remaining after a test increase with
decreasing test pressure.
If the example pipeline is operated at 650 psig because it is a natural gas transmission pipeline
in a Class 3 area, then the operator would have to conduct a pressure test to 975 psig to
comply with 49 CFR 192.619(a)(2)(ii) (test-pressure-to-operating-pressure ratio of 1.5). Table
13 indicates that such a test would result in a safe retest interval of 39 years for the longer
defects. This retest interval is shorter than the 47-year interval associated with testing a similar
pipeline with a maximum operating pressure of 936 psig to a level of 1,300 psig (a test-
For PCIF:
For SCC:
where
One can determine from Equation 1 that the suggested HTP/MOP ratio for a pressure test for a
pipeline that is operated at 72% of SMYS is 1.39, and that the suggested HTP/MOP ratio for a
pressure test for a pipeline that is operated at 50% of SMYS is 1.55. Similarly, one can
determine from Equation 6 that the suggested HTP/MOP ratio for a pressure test for a pipeline
that is operated at 72% of SMYS is 1.53, and that the suggested HTP/MOP ratio for a pressure
test for a pipeline that is operated at 50% of SMYS is 2. It is emphasized that these are only
guidelines. An operator should evaluate the circumstances of each particular pipeline segment
to be pressure tested to select the appropriate test-pressure-to-operating-pressure ratio.
16
The Research and Special Programs Administration (RSPA) was the predecessor Federal agency to PHMSA.
Predicting Retest Intervals from Prior Test Results for Defects Having a Constant
Rate of Growth
Fessler and Rapp xxiv developed a novel approach to predicting retest intervals for SCC. Though
developed for use with pipelines affected by SCC, it would seem that the method is applicable
to any defect growth mechanism where the rate of growth is constant. This method involves
conducting an initial pressure test after an SCC problem has been identified, and conducting a
second pressure test an appropriate amount of time after the first test. The appropriate
amount of time can be estimated via the type of analysis described above. However, all future
tests after the second can then be determined on the basis of a rational schedule established as
follows.
The pressure level reached in the first pressure test is used to establish the maximum sizes of
remaining defects. The time for the second test can be calculated as shown previously using a
failure pressure prediction model and a rate of defect growth that has either been established
from the history of the pipeline of interest or can be obtained from standards such as ASME
B31.8S or research studies xxv. Alternatively, one can use observed depths of defects and a
distribution of starting times of defect growth via a Monte Carlo simulation to obtain a probable
maximum crack growth rate xxvi.
The second test allows one to calculate the “effective” crack growth rate for establishing the
time of the “next” retest. The time of the first hydrostatic test is again used as the starting
point and the “next” hydrostatic test allows one to calculate the crack growth rate for
establishing the time to conduct the “next after the next” hydrostatic test. Certain assumptions
must be made:
• The pipeline contains SCC (or another type of time-dependent defect with a constant
rate of growth).
The Fessler/Rapp approach focuses on an “important” crack that is “zero” depth at the time of
the first test. The important crack is assumed to be the right depth to barely survive the
second test and that it becomes deep enough to fail at the MOP/MAOP some time after the
second test. The projected time required for the important defect to grow to failure at the
MOP/MAOP becomes the maximum time interval before the third test must be performed. The
process for projecting the times for the fourth, fifth, and subsequent tests involves the crack
starting at zero-size after the first test and growing to a size that just survives the current test.
This crack is assumed to grow after the current test until it becomes large enough to fail at the
MOP/MAOP. The time for the next test is less than or equal to the time it takes for the crack to
grow to failure at the MOP/MAOP.
Cracks that are larger than zero-size at the time of the first test will either fail in service before
the next test (in which case their growth rate does not matter and the arbitrarily chosen interval
was too long) or survive the next test (in which case their growth rate is less than that of the
important crack). If a crack that is zero-size at the time of the first test grows to a size that
fails in service before the second test is conducted, the arbitrarily chosen interval was too long.
A crack that is zero-size at the time of the first test and grows to a size that fails during the
second test is not important in establishing the next retest time, but its growth rate is higher
than that of the important crack. It is assumed that the faster growing crack is not important
because it is eliminated by the test. Cracks of any size that survive both the first test and the
second test will have growth rates less than or equal to the important crack growth rate.
If no factor of safety is employed, the important crack will be on the verge of failure at the MOP
at the time of the next test.
HTP − MOP
T[(n−1),(n )] = T(cummulative through n-1 ) Equation 3
FSP − HTP
T(cumulative through n-1) represents the time from the first test through the test prior
to current test
Each successive interval will be larger than the previous interval. The recommended value of
flow stress is the average of the actual measured yield and ultimate strengths of the material.
If these values are unknown, an alternative is to use the specified ultimate strength of the
material. The use of a relatively high value of flow stress leads to conservative estimates of
retest intervals because it allows larger starting defect sizes.
An example of the use of the Fessler/Rapp method is shown in Figure 3. The example involves
a 30-inch-OD, 0.375-inch-wall, X52 pipeline. The actual measured yield strength is assumed to
be 60,000 psi, and the actual measured ultimate strength is assumed to be 80,000 psi. It is
assumed that each hydrostatic test will be carried out at a pressure level of 1,430 psig (110%
of SMYS). It is also assumed that the interval between the first and second hydrostatic tests
was 2 years. In a real situation any reasonable interval between tests can be chosen, and the
shorter the interval, the more conservative will be the analysis. There is a risk of a service
failure from SCC occurring after the first test if too long an interval is assumed.
1800
1600
1400 2 5 11 24 55 FSP
MOP
1200 HTP
Presure, psig
1000
800
600
400
First Test
200
0
0 10 20 30 40 50 60
Years until retest
The horizontal lines on Figure 3 represent the flow stress 17 pressure of 1812.5 psig, the test
pressure of 1430 psig, and the maximum operating pressure of 936 psig. Note that the test
times are based on the sloping lines all radiating from the flow stress pressure and Year Zero.
The maximum retest interval is determined when the failure pressure of the important crack
decreases to the MOP. If a factor of safety is desired, one way to achieve that with this method
is to assume that the first interval was 1 year instead of the actual interval of 2 years (half the
time). If this were done the calculated times for retesting would be:
17
Flow stress is a material property, It is usually defined as the tensile stress level at which the material will fail. It is above the
actual yield strength of the material but usually less than the ultimate tensile strength of the material.
Either way it is seen that the Fessler/Rapp approach will always predict increasing retest
intervals.
A modified version of the Fessler/Rapp approach has been proposed by Sen and
Kariyawasam xxvii. The modified approach (referred to herein as the Modified Fessler/Rapp)
involves only one major change. Instead of taking the starting point of zero depth for the
important crack as the time of the first test, the modified approach assumes that the starting
point of zero depth for the important crack after each test is the year of the previous test. The
equation for the modified approach is:
HTP − MOP
T[(n −1),(n )] = T[(n - 2 ),(n −1)] Equation 4
FSP − HTP
The only term that is different is 𝑇𝑇[(𝑛𝑛−2)(𝑛𝑛−1)]. This is simply the time interval between the last
test and the test before the last test. Based on the same conditions that were used to
construct Figure 3 (Fessler/Rapp), the results of a Modified Fessler/Rapp approach are shown in
Figure 4.
1800
1600
1400 2 5 8 12 18 FSP
MOP
Pressure, psig
1200 HTP
1000
800
600
400
First Test
200
0
0 2 4 6 8 10 12 14 16 18 20
Years until retest
As in the Fessler/Rapp approach, the maximum retest interval is determined when the failure
pressure of the important crack decreases to the MOP. If a factor of safety is desired, one way
to achieve that with this method is to assume that the first interval was 1 year instead of the
actual interval of 2 years (half the time) as was possible with the original Fessler/Rapp Method.
If this were done the calculated times for retesting would be:
Comparing the Modified Fessler/Rapp approach to the original Fessler/Rapp approach, one finds
that the former gives more conservative (i.e., shorter) retest intervals. Another feature of the
modified approach is that, unlike with the original method, the retest intervals under certain
circumstance may actually decrease with time. That is not possible with the original method.
For example, using the same parameters as before except changing the test pressure from
1,430 psig (110% of SMYS) to 1,300 psig (100% of SMYS), one gets the results shown in
Figure 5.
1800
1600
1400 FSP
2 3 4 5 6 MOP
Pressure, psig
1200 HTP
1000
800
600
400
First Test
200
0
0 1 2 3 4 5 6
Years until retest
Figure 5. Test Intervals Based on Modified Fessler/Rapp that Decrease with Time
Whether or not this is reasonable, it does point out the importance of test-pressure-to-
operating-pressure ratio. Again, it is clear that the higher that ratio is for a given situation, the
longer will be the minimum required retest interval. It is noted that making the same change in
test pressure using the original Fessler/Rapp approach results in decreases in the retest
intervals as well though the intervals still increase with each test. The effect is shown in Table
14.
Test Years to the Test After the Years to the Test After the
First Test With a Test to First Test With a Test to
Number 100% of SMYS 110% of SMYS
1 2 2
2 3 5
3 6 11
4 10 24
5 17 55
One form of defect growth that is characterized by a non-constant rate of crack growth is
pressure-cycle-induced fatigue (PCIF). PCIF is a recognized threat to the integrity of a
A commonly-used basis for fatigue crack growth modeling is the “Paris-law” approach named
after its principal developer xxviii. The Paris-law equation is generally written as follows.
𝑑𝑑𝑑𝑑
= 𝐶𝐶(∆𝐾𝐾)𝑛𝑛 Equation 5
𝑑𝑑𝑑𝑑
where:
ΔK is the change in stress intensity factor at the tip of the fatigue crack during a cycle of
changing applied stress, 𝑝𝑝𝑝𝑝𝑝𝑝√𝑖𝑖𝑖𝑖𝑖𝑖ℎ
F is a constant that depends on the shape of the stressed element, the ratio of defect
depth to wall thickness, the ratio of defect depth to defect length, and the position of
the tip of the crack
Δσ is the change in stress during a cycle of loading and unloading, psi
a is the depth of a part-through-wall crack, inch
0.12
0.1
0.08
0.06
Initial depth at start
of operations
0.04
0.02
0
0.0 20.0 40.0 60.0 80.0 100.0 120.0 140.0
years
The fact that the a crack begins to grow rapidly as it approaches the size that will fail at the
MOP, means that mitigation in the form of a pressure test must either be applied as early as
possible during the life of a crack or it will have to be repeated frequently if it is capable of
finding only larger cracks. For example, if a pressure test applied to the crack represented in
Figure 6, could eliminate a defect as shallow as 0.02 inch (the depth after 60 years of
operation), the time to failure for any shallower crack would be at least 70 years, and a retest
interval of 35 years (based on a factor of safety of 2) would be feasible. If, however, the
shallowest crack that can be eliminated is 0.065 inch (the depth after 120 years of operation),
the time to failure is only 10 years, and a retest interval of 5 years is required.
Defects that remain after a pressure test can be no larger than the size that would have caused
a test failure, so the maximum test pressure is used to establish the initial sizes of a
representative sample of defects with different length-depth combinations that could have
barely survived the test. The minimum time to failure for the worst-case defect modified by the
factor of safety determines when retesting is needed to assure pipeline integrity.
The times to failure after a pressure test can be calculated via a Paris-law approach, provided
that the user is able to supply the relevant data that includes pipe geometry and strength level,
the relevant operating pressure-cycle spectrum and test pressure history for the segment being
assessed. Other factors that affect the times to failures include material toughness, flow stress,
and the crack growth rate constants associated with the Paris-law equation. These latter
factors may not be known for each and every piece of pipe in a pipeline. However, a sensitivity
analysis xxix shows that the analyst can expect to obtain conservative estimates of times to
failure after a pressure test by assuming a toughness level corresponding to a full-size-
equivalent Charpy upper-shelf energy level of 200 ft lb 18 and a flow stress equal to the
minimum specified ultimate tensile strength of the base metal. Experience shows that the crack
growth rate constants found in the API 579 standard for fitness-for-service are acceptable.
Lastly, a factor of safety of 2 should be applied to the calculated times to failure to account for
uncertainties in the material properties and the calculation process. The rational for the factor
of safety of 2 is explained as follows in Reference XIX. “Typically, for the case of times to
failure for defects that could have barely survived a hydrostatic test, a safety factor of 2 has
been applied. That is, the recommended time for retesting is half the calculated time to failure
for the defect with the shortest predicted time to failure. Our experience suggests that this
time to failure is adequate and appropriate. The factor of safety of 2 in this context was
suggested more than 20 years ago when this type of analysis was first being applied to
scheduling retesting. It was chosen somewhat arbitrarily, but with the knowledge that ASME
18
A high value of Charpy energy is used because the remaining defects after a test will be the larger than if a lower (and more
realistic) value is used. The high value results in a shorter retest interval than would be the case if a low value were to be used.
In using fatigue analysis to calculate the times to failure after a pressure test, it must be
assumed that defects could exist anywhere along the pipeline that are severe enough to have
failure pressures no higher than that of the test pressure. This means that the analyst may
have to calculate times to failure for multiple points along the pipeline taking account of the test
level applied at each location, the wall thickness at each location, the effect of the hydraulic
gradient on the pressure cycles at each location, and the effect of elevation on the static head
at each location.
The study described in Reference XXIV further showed that the calculated times to failure after
a pressure test increase exponentially with increasing test-pressure-to-operating-pressure ratio.
Therefore, the operator can maximize the length of time between retests by utilizing the
highest feasible test pressure that will not cause significant permanent expansion of pipe or an
intolerable number of test failures. In absolute terms, the higher the test stress relative to the
specified minimum yield strength of the pipe, the smaller the remaining defects will be. Smaller
remaining defects mean longer times to failure after the test. For that reason, for a pipeline
that is operated at maximum stress levels below 72% of SMYS, the test-pressure-to-operating-
pressure ratio must be greater than that applied on a pipeline that operates at 72% of SMYS to
achieve the same time to failure as that for the pipeline that operates at 72% of SMYS. This
was illustrated previously for defects that have constant growth rates by the comparisons of
data in Tables 12 and 13. This point is even more critical for defects that have non-constant
growth rates such as PCIF. In particular, pipelines operated at stress levels as low as 30 to
50% of SMYS may be exposed to PCIF if they have only been pressure tested to levels of 1.25
times MOP or less. For this reason, it is advisable to carry out fatigue analysis on all pipelines
that are operated at stress levels above 30% of SMYS, even natural gas transmission pipelines.
The analysis may show that retesting is not required within the useful life of the pipeline, but it
is important to know what the fatigue life of a pipeline is.
Lastly, once a satisfactory test has been achieved and a retest interval has been calculated,
future pressure tests should be made at the same target test pressure level. Otherwise, it will
be necessary to change the retest interval.
The concept of spike testing is not new. Fessler xxx in 1979 was suggesting that a pressure test
of 100 to 110% of SMYS held for only a few minutes followed by leak testing at a lower
pressure could be effective for assessing a pipeline affected by SCC. Leis xxxi in 1992 also
advocated similar testing on the basis that the most critical defects are removed within the first
hour of a pressure test. In 2004 “TTO6” a special report on spike hydrostatic testing was
prepared for the Research and Special Programs Administration19 of the U.S. Department of
Transportation. Most recently, Rosenfeld xxxii has discussed why and when spike testing should
be used and when it may not be appropriate. The following is quoted from his paper. The
phrase “standard test level” as used by Rosenfeld is assumed to mean a regulatory-required
test to a minimum pressure level of 1.25 times MOP or MAOP.
“1. Spike testing is beneficial and therefore recommended in certain specific circumstances,
namely:
a. Where crack-like defects such as SCC, selective corrosion of ERW seams, bond line
defects in older vintage ERW seams, and seam fatigue cracks are expected to exist
based on evidence from inspections, failures; or consideration of pipeline integrity
threats;
b. Where it is desired to increase the retest interval for time-dependent flaws, particularly in
high-stress pipelines; or
19
The Research and Special Programs Administration (RSPA) was the predecessor Federal agency to PHMSA.
d. where the pipe being tested is new and of known good quality.
3. Spike testing to higher than the standard test level would be inadvisable in a limited set of
specific circumstances, including:
a. Where the spike test pressure would exceed the mill test pressure or damage the pipe,
particularly pipe susceptible to manufacturing defects in seams;
b. Where the spike test pressure would exceed the recommended maximum test pressure
of components such as flanges or valves;
c. Where the margin above the spike test pressure could be insufficient to prevent
excessive stress due to fluid thermal expansion effects during the test;
Although Rosenfeld’s suggested criteria for when to apply spike testing are generally sound,
operators may want to consider the following:
• When a spike test cannot be at a sufficient pressure level, lowering the MOP or MOAP is
an option.
• Not everyone agrees that spike testing is harmful when conducted at a pressure level in
excess of the manufacturer’s test level. It is likely that a test pressure above the
manufacturer’s test pressure will cause failures of seam manufacturing defects in older-
vintage line pipe that has never been previously tested to a level in excess of the
pressure reached in the manufacturer’s test. However, such failures will tend to
enhance the integrity of the pipeline because the remaining defects will be smaller than
they otherwise would have been if the pressure in the manufacturer’s test had not been
exceeded.
As an example of a spike test, a pipeline operator might choose to do the following. In addition
to the test required by the regulations for a hazardous liquid pipeline (a minimum level of 1.25
times the MOP for 4 hours followed by a test to 1.1 times the MOP for an additional 4 hours - a
“Subpart E test”), the operator could elect to begin the test by pressurizing the pipeline to 1.39
times MOP, holding that pressure for the first 30 minutes of the first 4-hour hold period. After
Before beginning a pressure test, a pipeline operator should establish a target spike test
pressure based on achieving an appropriate test-pressure-to-operating-pressure ratio to assure
a desired re-assessment interval. As the pressure level in the test section is raised toward the
target test pressure, test failures may begin to take place. Experiencexix has shown that once
test failures start to occur, the number of test failures tends to increase exponentially with
increasing pressure and that some failures will occur as pressure reversals. Reference XIX
discusses actual cases in which the failure pressure levels of the first few failures tended to
establish a trend. The trend could then have been used to predict the likely number of failures
that would occur in attaining the target test pressure level. The cases examined showed that
the method was not highly accurate, but nevertheless, it could be useful in deciding whether or
not to continue increasing the test pressure. If a decision is made to accept a lower final spike
test pressure, the operator should be aware that the decision may result in a much shorter re-
assessment interval.
Test Medium
In most cases water is chosen as the test medium for pressure tests of existing pipelines.
There are two significant advantages to using water instead of a pneumatic medium (air, an
inert gas, or natural gas). First, the use of water is much safer than a pneumatic medium
because of the much lower energy release rate in the event of a failure. Fractures will not
propagate when a failure occurs with water whereas fractures could be lengthy with a
Using water as the test medium is also preferable to using liquid petroleum product in a liquid
line. In the event of a test failure, the loss of the liquid petroleum product creates the risk of
fire, explosion, and/or significant environmental damage.
In-Line Inspection
It is often possible to demonstrate the integrity of a pipeline segment via in-line inspection.
Conventional means of in-line inspection involve inserting an appropriate inspection device into
the pipeline while it remains in service, pushing the device through the pipeline with the
shipped product, and recovering the device so that the data acquired as the device traveled
through the pipeline can be analyzed. Depending on the type of device selected, the operator
can inspect the pipeline segment for corrosion-caused metal loss, crack-like defects, geometric
irregularities (e.g., dents, buckles, appurtenances), or changes in alignment due to settlement
or other movement. In the context of repair/replace considerations for pre-regulation pipe,
identifying and characterizing corrosion-caused metal loss and crack-like defects are of primary
interest.
Ideally, anomalies can be identified by ILI and their locations and sizes (length and depth) can
be determined. Also, in an ideal situation, the failure pressure level of each anomaly can be
calculated, the time to failure for each anomaly can be predicted, and a remedial response can
be undertaken in a timely manner for each anomaly based on its predicted time to failure
modified by the factor of safety. In reality, neither of these ideal situations can be fully
achieved because occasionally, defects are incorrectly identified as to type and because
frequently, there are measurement errors. To better understand the significance of such errors,
it is desirable for both ILI vendors and in-the-ditch NDE technicians to define the possible
variations or errors in their measurements. Also, it is desirable for both the ILI vendors and the
in-the-ditch NDE technicians to coordination with one another to optimize the interpretation of
both the types and sizes of the identified defects.
Typically, for corrosion-caused metal loss and crack-like defects, an ILI service vendor analyzes
the data and produces a list of anomalies indicating the location, clock-position, type, length,
and depth of each anomaly. The list may also include a failure pressure level for each anomaly
based on a failure stress prediction model, the relevant material properties (including fracture
toughness if the anomaly is crack-like in nature), and the length and depth of the anomaly.
As in the case of ILI for corrosion-caused metal loss, pipeline operators respond to lists of
crack-like anomalies received from tool vendors by excavating a number of anomalies to verify
the accuracy of the results. Unlike in the case of ILI for corrosion-caused metal loss where the
depths and lengths of the exposed anomalies can be measured directly, the operator in the
case of a crack-tool run must rely on non-destructive examination (NDE) to assess the
20
Two possible exceptions are “narrow axial external corrosion” and “selective seam weld corrosion”. Because of their long, narrow
configurations, ILI tools sometimes underestimate the amount of metal loss associated with these two phenomena. A special
configuration of magnetic-flux leakage tool that produces a circumferentially-oriented magnetic field is likely to be a more effective
tool than a normal wall-thickness-measuring tool for characterizing anomalies associated with either of these two phenomena.
The track records of the three types of tools mentioned above from the standpoint of their
ability to locate and satisfactorily characterize defects in or adjacent to ERW and flash-welded
seams were recently reviewed xxxvii. Thirteen tool-run cases involving 741 miles of pipe were
reviewed, nine involving UTCD tools, three involving CMFL tools (without the enhanced data
analysis developed by Kinder Morganxxxviii), and one involving an EMAT tool 22. Of the 13 cases
examined, it was reported that none of the runs provided full confidence in the seam integrity
of the assessed segment. In most of the cases the agreement between the ILI results and field
NDE was not particularly good. Where anomalies were cut out and examined, inaccuracies in
both the ILI results and the field NDE were found. Moreover, in some cases anomalies were
missed by the ILI that were larger than the stated detection thresholds of the technologies.
Aside from the thirteen cases it was also pointed out that three in-service pipeline failures
caused by ERW seam anomalies occurred at normal operating pressures within two years after
the pipelines had been inspected by means of ILI crack-detection tools. One of these cases
involved the use of a UTCD tool. The other two cases involved the use of both a UTCD tool and
a CMFL tool. In these cases the tools either altogether missed the defect that caused the
failure or mischaracterized the defect as a non-injurious feature.
21
The minimum value one can obtain from an actual Charpy test is generally 2 to 3 ft lb. That is because energy is required to
move the broken pieces. Lower values are sometimes inferred by back-calculation from the results of a full-scale burst test of a
flawed pipe.
22
It should be noted that the EMAT tool was run for the primary purpose of assessing the pipeline for SCC. The vendor also
reported finding some ERW seam anomalies, but the dimensions of those anomalies were not provided.
The authors of Reference XXXV assert that the investigations of anomalies found by the UTCD
tool in ERW seams help to build confidence in the use of the tool for managing ERW seam
integrity. It is important to note that they did not claim that the use of the UTCD tool for ERW
seam integrity assessment gives as much confidence as a hydrostatic test. A large amount of
scatter was seen in the comparison of ILI-reported depths and those reported by field-NDE. No
data on the veracity of the field-NDE technique were presented. The authors noted the
existence of “false negatives”, that is, anomalies found upon excavation that were not indicated
by the tool. All of these were said to be relatively shallow, though some had depths exceeding
the vendor’s stated depth detection threshold.
Regarding the pipelines where a UTCD tool was used to detect SCC, the authors of Reference
XXXV found that anomalies indicated by the tool to be “crack fields” most often turned out to be
SCC colonies. False negatives, some of which had NDE-determined depths greater than the
depth detection threshold of the tool were found, and the comparison of ILI-reported depths
and those reported by field-NDE showed considerable scatter. No data on the veracity of the
field-NDE technique were presented.
Unfortunately, the ability to make failure stress predictions for anomalies in and adjacent to LF
ERW, DC-ERW, and flash-welded seams is difficult. A recent evaluation of failure stress
prediction methods xli showed that the Modified LnSec modelx gave unreliable predictions of
failure stress for defects in the seams of these materials because the fracture toughness in
these seams was highly variable and because some of the defects (in particular, defects in the
bond line) failed in a brittle manner. This work showed that conservative estimates of failure
stress can be made using the Newman/Raju modelxi if a very low fracture toughness is assumed
(for example, a Charpy energy of 1 ft-lb corresponding to a fracture toughness of 9.4 ksi-root-
inch via the Barsom and Rolfe equation) 23. However, the use of this model with a low fracture
toughness would likely result in predictions of low failure stress for most if not all of the
anomalies identified by an ILI crack-detection tool. That would necessitate excavating and
examining almost every anomaly even though many of the anomalies would turn out to be non-
injurious. Therefore, the selection of ERW seam anomalies for examination may have to be
based on criteria other than predicted failure stress. The appropriate parameters for anomaly
selection should include length, depth, and location of the anomaly (i.e., in the bond line,
adjacent to but not in the bond line). It is questionable whether or not the current ILI crack-
detection technologies are capable of revealing whether or not a crack near an ERW seam is in
the bond line or the heat-affected zone.
23
The use of the Newman/Raju empirical equations by themselves could lead to non-conservative predictions of failure stress if the
toughness is not extremely low and the failure stresses of the defects being assessed are higher than about 40% of the flow stress
of the material. In cases where the material is not extremely brittle and/or the failure stresses are higher than about 40% of the
flow stress, an API 579-Level II or Level III analysis should be conducted to include the possible contribution of elastic-plastic
behavior.
The initial sizes of defects are established from the ILI data considering tool error. The pipe
geometry and nominal strength levels (e.g., SMYS) are usually known. The rates of growth can
be based on the operator’s experience or taken from standards or technical documents. The
final defect sizes for failure at the MOP must be calculated based on a credible failure stress
prediction model. As noted above fracture toughness may not matter that much if the material
can be expected to behave in a ductile manner. In the case of assessment by ILI (unlike in the
case of a hydrostatic test), it is prudent to assume a low value of toughness because the lower
the toughness used in the analysis is, the lower the failure stress of a given defect will be and
the shorter will be the predicted times to failure.
Also, unlike in the case of a hydrostatic test, it is prudent to assume a low value of flow stress
because the lower the flow stress used in the analysis is, the shorter will be the predicted times
to failure after the test. An appropriate level of flow stress for the vintages of materials that are
likely candidates for replacement would be SMYS+10,000 psi.
As in the case involving predicting times to failure from PCIF after a hydrostatic testing, the
crack growth rate constants found in the API 579 standard for fitness-for-service are acceptable
for use in calculating times to failure after a seam assessment via ILI.
In using fatigue analysis to calculate the time to failure from PCIF after a seam integrity
assessment via ILI, the pipeline operator will know where defects that could grow by fatigue
are located and should also be able to tell within certain bounds, the lengths and depths of the
defects. Since the locations of the anomalies are known in the case of assessment by ILI, it is
simply a matter of adjusting the pressure-cycle spectrum from the upstream and active
downstream stations to account for the distance along the hydraulic gradient. An analysis
should be made for all significant anomalies so that the times to failure will be known. The
operator will then be able to prioritize the anomalies by their times to failure and respond in a
timely manner to remediate them before they grow to a size that would cause an in-service
failure.
Assessment of ERW seam integrity using a reliable ILI crack-detection tool should permit longer
intervals between re-assessments than is the case with repeated hydrostatic testing because an
ILI tool should be able to find much smaller defects than those that can survive a hydrostatic
test to the highest feasible test stress levels.
Direct assessment for one or more of these specific threats can be used in place of hydrostatic
testing or ILI if neither of the latter is applicable to a specific segment of pipe. An example of a
natural gas transmission pipeline where conducting hydrostatic testing is not feasible is a single-
feed pipeline serving a community where taking the line out of service and cutting off
customers cannot be tolerated. In many cases, such pipelines also are operated at relatively
low pressures and flow rates, so that pushing a pig for ILI purposes may not be feasible. It is
noted that even if all three types of direct assessment are applied to a particular pipeline, other
threats such as PCIF, if they existed, would still have to be addressed by hydrostatic testing or
ILI. So, direct assessment as the sole means of integrity assessment is typically applied to
natural gas transmission pipelines where the threat of PCIF occurring is insignificant and where
it is not feasible to carry out ILI or hydrostatic testing.
ECDA
A pipeline operator wishing to use ECDA to address the threat of external corrosion should first
consult ANSI/NACE SP0502-2008, “Standard Practice – Pipeline External Corrosion Direct
Assessment Methodology”, the current version of this standard that is accepted by 49 CFR 192
and 49 CFR 195. This standard explains the ECDA process, shows how to apply it, and points
out its limitations. Basically, the methodology involves four steps. The four steps consist of
gathering and integrating data on the pipeline segment to which ECDA will be applied (pre-
assessment), conducting various types of above-ground electrical surveys (indirect inspections)
to identify areas where external corrosion may be occurring or could occur, examining a
sufficient number of such locations by excavating the pipe (direct examinations) to examine its
condition, and assessing the effectiveness of the process as a means of mitigating external
corrosion (post-assessment). At each excavation relevant measurements (such as dimensions
of metal loss and soil resistivity) are made, observations (such as soil type and coating
condition) are noted, and repairs are made where necessary. The data obtained from the
examinations are used to define and execute mitigative actions, to predict the time interval for
the next ECDA, and to assess the adequacy of the ECDA process with respect to addressing the
threat of external corrosion. Operators seeking additional guidance for applying ECDA to a
Some of the inherent limitations of ECDA are that it may not be very effective in locating
potentially corroding areas on cased pipe, on pipe located in frozen soil, on bare or poorly
coated pipe, and on pipelines with high-dielectric coatings that become disbonded. Another
limitation is that the criteria for interpreting the indirect measurements and for prioritizing
responses are somewhat subjective and may vary from operator to operator. A recent study
sponsored by PHMSA xliii has resulted in improved standards for interpreting indirect
measurements and for prioritizing responses based on considering the type of soil involved with
a particular measurement location.
No data were found in the public domain that could be used to assess the effectiveness of
ECDA as an integrity assessment method for addressing the threat of external corrosion.
However, a pipeline operator who uses ECDA extensively and repeatedly on a particular
segment of a pipeline with uniform parameters (diameter, wall thickness, type of pipe, type of
coating, type of cathodic protection, type of soil, etc.) can acquire a useful database that will
tend to indicate whether or not ECDA is effective as an integrity assessment tool for the threat
of external corrosion for that segment. Most importantly, ECDA will be proven ineffective if in-
service leaks and ruptures from external corrosion continue to occur. The fact that failures do
not occur after successive ECDAs is encouraging, but that fact alone may not be sufficient to
prove effectiveness. The level of effectiveness depends at least to some extent on the following
types of data:
• The number of excavations where corrosion was found when excavations were made
because of the indirect measurements indicating the probable existence of corrosion
(true positive results)
• The number of excavations where no corrosion was found when excavations were made
because of the indirect measurements indicating the existence of corrosion (false
positive results)
• The number of randomly selected excavations where corrosion was found but where the
indirect measurements gave no indication of corrosion taking place (false negative
results)
• The number of randomly selected excavations where no corrosion was found and where
the indirect measurements gave no indication of corrosion taking place (true negative
results)
It has been suggested previously xliv,xlv that these data can be analyzed by means of Bayes
Theorem to establish the probability that external corrosion could be occurring and not be
detected. The smaller that probability, the more effective is the ECDA program. In terms of
the symbols above, Bayes Theorem says that the probability of corrosion being found upon
excavation given that corrosion was not indicated by indirect measurements is given as follows:
𝑃𝑃(𝐶𝐶𝐶𝐶𝐶𝐶∣𝐶𝐶𝐶𝐶)𝑃𝑃(𝐶𝐶𝐶𝐶)
𝑃𝑃( 𝐶𝐶𝐶𝐶 ∣ 𝐶𝐶𝐶𝐶𝐶𝐶 ) = Equation 7
𝑃𝑃(𝐶𝐶𝐶𝐶𝐶𝐶∣𝐶𝐶𝐶𝐶)𝑃𝑃(𝐶𝐶𝐶𝐶)+𝑃𝑃(𝐶𝐶𝐶𝐶𝐶𝐶∣𝐶𝐶𝐶𝐶𝐶𝐶)𝑃𝑃(𝐶𝐶𝐶𝐶𝐶𝐶)
where:
𝑃𝑃(𝐶𝐶𝐶𝐶 ∣ 𝐶𝐶𝐶𝐶𝐶𝐶) is the probability of finding corrosion given that corrosion is not indicated by
indirect measurements
𝑃𝑃(𝐶𝐶𝐶𝐶𝐶𝐶 ∣ 𝐶𝐶𝐶𝐶) is the probability of corrosion not being indicated given that corrosion exists
𝑃𝑃(𝐶𝐶𝐶𝐶𝐶𝐶 ∣ 𝐶𝐶𝐶𝐶𝐶𝐶) is the probability of corrosion not being indicated given that corrosion does not
exist
Ideally, to get P (CF) and P (CNF) the operator must randomly select 20 to 30 locations for
excavation without being influenced by any indirect measurements. In practice, the operator
may have historical leak data or bell hole examinations that allow an estimation of P (CF).
Alternatively, the operator may be able to excavate many randomly selected locations where
indirect measurements gave no indications of corrosion during an ECDA. Then the probability
To see how measuring the effectiveness of ECDA works, consider the following examples. In
the first example assume that the probability of finding corrosion anywhere along a segment, P
(CF), and the probability of not finding corrosion, P (CNF), are to be determined by excavation
at randomly selected locations where there are no indications of corrosion. An ECDA is
conducted after which excavations are made to check the results including 20 excavations
where there were no indications. The excavations where there were no indications reveal 2
locations out of these 20 where corrosion is found even though there was no indication of
corrosion meaning that both P (CF) and 𝑃𝑃(𝐶𝐶𝐶𝐶𝐶𝐶 ∣ 𝐶𝐶𝐶𝐶) are 2 in 20 or 0.1 and that P (CNF) and
𝑃𝑃(𝐶𝐶𝐶𝐶𝐶𝐶 ∣ 𝐶𝐶𝐶𝐶𝐶𝐶) are both 18 in 20 or 0.9. This example could represent a well-coated and well-
protected pipeline. The effectiveness of the ECDA in terms of 𝑃𝑃(𝐶𝐶𝐶𝐶 ∣ 𝐶𝐶𝐶𝐶𝐶𝐶) is
0.1 ∗ 0.1
𝑃𝑃(𝐶𝐶𝐶𝐶 ∣ 𝐶𝐶𝐶𝐶𝐶𝐶) = = 0.012
0.1 ∗ 0.1 + 0.9 ∗ 0.9
In the second example assume that the probability of finding corrosion anywhere along a
segment, P (CF) is 0.5 and that P (CNF) is 0.5 based on historical leak data. This example
could represent a poorly-coated pipeline. An ECDA is conducted after which excavations are
made to check the results including 20 excavations where there were no indications. The
excavations where there were no indications reveal 4 locations out of these 20 where corrosion
is found even though there was no indication of corrosion meaning that 𝑃𝑃(𝐶𝐶𝐶𝐶𝐶𝐶 ∣ 𝐶𝐶𝐶𝐶) is 4 in 20
or 0.2 and 𝑃𝑃(𝐶𝐶𝐶𝐶𝐶𝐶 ∣ 𝐶𝐶𝐶𝐶𝐶𝐶) is 16 in 20 or 0.8. The effectiveness of the ECDA in the second case
in terms of 𝑃𝑃(𝐶𝐶𝐶𝐶 ∣ 𝐶𝐶𝐶𝐶𝐶𝐶) is
0.2 ∗ 0.5
𝑃𝑃(𝐶𝐶𝐶𝐶 ∣ 𝐶𝐶𝐶𝐶𝐶𝐶) = = 0.2
0.2 ∗ 0.5 + 0.8 ∗ 0.5
The ECDA for the segment in the first case is more effective than the ECDA for the segment in
the second case by a factor of 16.7 because the inherent probability of corrosion is lower and
because there were fewer false negatives.
Calculations such of these can be viewed as aids in assessing the effectiveness of ECDA, but
they should not be regarded as absolute criteria for evaluating an ECDA for a number of
reasons. First, there is bound to be scatter in the data such as the number of false negatives
that would be obtained from different sets of random excavations. Second, the criteria used for
defining a false negative could vary from one operator to another. Some might consider finding
minor metal loss at a location that had no indications from indirect measurements as not being
significant and thus not a false negative. Third, different operators are likely to view indications
ICDA
Processes for conducting internal corrosion direct assessment (ICDA) are described in several
NACE standard practices. These processes can be used to address the threat of internal
corrosion to pipeline integrity. Mitigation of the threat consists of repairing pipe that is found to
contain integrity-threatening amounts of internal corrosion-caused metal loss, instituting or
enhancing preventative measures, and re-assessing integrity at appropriate intervals.
The ICDA standard applicable to natural gas transmission pipelines carrying “dry” gas is NACE
02087 Internal Corrosion Direct Assessment of Gas Transmission Pipelines. This standard is
applicable to natural gas transmission lines that normally carry dry gas but may incur short term
exposure to wet gas or liquid water as the result of upset conditions. The processes described
in the standard involve detailed examinations of locations along a pipeline where an electrolyte
such as water could accumulate. Fluid flow models and the actual profile of a pipeline are used
to determine the most likely locations for water to accumulate. The condition of the remainder
of the pipeline is then inferred from the nature of the metal loss at areas where water could
accumulate. If the metal loss is severe, the operator may decide to investigate other areas of
the pipeline. Repairs are made where necessary, the observed corrosion rates are used to
determine when re-assessment is necessary, and the results of the ICDA are used to assess
the effectiveness of the process.
The ICDA process applicable to natural gas transmission pipelines carrying “wet” gas is NACE
SP0110-2010, Wet Gas Internal Corrosion Direct Assessment Methodology for Pipelines. This
standard is to be used for natural gas transmission pipelines that carry natural gas containing
water or hydrocarbon condensate.
The following two documents address conducting ICDA for hazardous liquid transmission
pipelines. For liquid pipelines there is the added risk of internal corrosion being facilitated by
sludge or other solids accumulating in low-flow locations in addition to water.
SCCDA
NACE SP0204-2008 (formerly RP0204), Stress Corrosion Cracking (SCC) Direct Assessment
Methodology presents guidelines for assessing the threat of stress corrosion cracking to pipeline
integrity. Guidance is given for identifying segments of pipelines that may be susceptible to
SCC, for selecting sites for excavating and examining locations along any given segment of a
pipeline, for inspecting pipe after excavating it, and for the type of data that is to be collected
at each site. Guidance is also given for mitigating SCC, for establishing re-assessment intervals,
and for evaluating the effectiveness of the process.
Guidance for dealing with SCC may also be obtained from Integrity Management of Stress
Corrosion Cracking in Gas Pipeline High Consequence Areas STP-PT-011 – 2008” and ASME
B31.8S.
As in the case of ECDA, one can use numerical calculations methods such as Bayes Theorem to
assess the effectiveness of SCCDA. The main requirement for such calculations is to conduct
significant numbers of direct examinations of a segment at randomly selected locations where
no occurrences of SCC would be expected.
As has been noted previously herein, hydrostatic testing is not effective as a means of
mitigating HSC, because neither the tendency for HSC to develop nor the rate of growth of HSC
is predictable. Moreover, there is no known ILI technology that can reliably locate those pieces
of pipe that might have a heat-affected-zone hardness sufficiently high to be susceptible to
HSC. Therefore, mitigation of the HSC threat with regard to hard heat-affected zones consists
of trying to minimize the generation of atomic hydrogen from cathodic protection. Atomic
hydrogen can be generated at the surface of the pipe at an area of disbonded coating at a
potential level of -0.85 volts relative to a copper, copper sulfate half-cell, the level considered
by some to be sufficient to mitigate significant corrosion. The corrosion mitigative effect of
cathodic protection increases as the potential level becomes more negative than -0.85, so it is a
practical necessity to have some areas of a pipeline experiencing levels more negative than -
0.85 to assure that all portions of the pipeline are experiencing the -0.85 level. As shown in
Reference II, the amount of hydrogen generated increases exponentially as the potential level
becomes more negative than -0.85. In some of the cases where HSC failures have occurred, it
is known that the pipe-to-soil potential levels ranged from -1.3 to more negative levels. Thus,
controlling the pipe-to-soil potential levels to values not greatly exceeding the level required for
mitigation of corrosion is a means (and at this point in time, the only known means) of
mitigating the threat of HSC failures in a pipeline comprised of Youngstown ERW pipe made
between 1947 and 1960.
1. Knowledge
2. Identify threats
3. Evaluate and rank risk
4. Identify and implement measures to address risks
5. Measure performance, monitor results, and evaluate effectiveness
6. Periodic evaluation and improvement
7. Report results
While the GTPC guide does not imply the order in which these elements should be applied, it
does stipulate that the operator needs to address each element in some way. The guide is
intended to be just that, a guide. The authors of the guide caution that it does not anticipate
all conditions that may be encountered, and it also does not restrict the operator from using
other methods to comply with the DIMP regulations.
This report concentrates on the mitigative responses discussed in Section 6 of the DIMP guide,
“Identify and implement measures to address risks”. It will be clear that the mitigative
responses previously discussed in relation to transmission pipeline systems (hydrostatic testing,
ILI, and direct assessment) are not a part of the mitigative responses in the DIMP guide
because they are impractical for distribution systems. ANSI/GPTC Z380, Guide for Gas
Transmission and Distribution Piping Systems, Appendix G-192-8, Table 6.1 – Examples of
Additional or Accelerated (A/A) Actions (occasionally referred to by PHMSA inspectors as risk
reduction measures) provides guidance on possible A/A Actions, which can be taken to reduce
the risks associated with distribution pipeline facilities, however the ultimate decision of which
24
State regulations may have additional DIMP requirements more stringent than Federal DIMP codes in § 192.1007.
External Corrosion
The A/A Actions discussed in this section pertain to bare steel pipe with or without cathodic
protection (CP), wrapped steel pipe with or without CP, and Cast Iron pipe with external
corrosion or graphitization issues.
Requirements for patrolling distribution systems and conducting leak surveys are established in
49 CFR 192.721 and 192.723. In accordance with 49 CFR 192.721(b)(1) and 192.721(b)(2),
mains in places or on structures where anticipated physical movement or external loading could
cause failure or leakage must be patrolled, in business districts, at intervals not exceeding 4-1⁄2
months, but at least four times each calendar year; and outside business districts, at intervals
not exceeding 7-1⁄2 months, but at least twice each calendar year. Areas where physical
movement or external loading is known to exist, such as known unstable bridge crossings or
areas prone to landslides, should be patrolled in accordance with these intervals. Similarly,
leakage surveys using detector equipment must be conducted in business districts, at intervals
not exceeding 15 months, but at least once each calendar year to remain in compliance with 49
CFR 192.723(1), while outside business districts, they must be conducted as frequently as
necessary, but at least once every 5 calendar years at intervals not exceeding 63 months to
remain in compliance with 49 CFR 192.723(2). However, for cathodically unprotected
distribution lines (e.g. bare steel) subject to 49 CFR 192.465(e) on which electrical surveys for
corrosion are impractical, a leakage survey must be conducted at least once every 3 calendar
years at intervals not exceeding 39 months.
Three other mitigative responses available to distribution pipeline operators are to replace the
line, insert new pipe through the line (i.e. push or pull a new, smaller-diameter pipe through an
existing, larger-diameter pipe), or rehab (i.e. repair) the line. These mitigative responses can
be applied along the entirety of the line or only on specific portions of the line. Plastic pipe
inserted through a steel main is an example of an insert type of replacement where the new,
smaller-diameter pipe becomes the carrier for the gas, and the existing, larger-diameter pipe is
abandoned. An operator may continue to rehab segments of pipe or insert new segments of
pipe in problematic areas, as necessary, recognizing that at some point it might be more
economically feasible to just replace the entire line.
Relocate
In instances along a pipeline, where active corrosion is a major issue, correcting cathodic
protection issues is often the most feasible mitigative response. However, relocation may be
appropriate under certain circumstances, as a last resort, where corrosion persists.
In areas where cathodic protection is used to mitigate corrosion, operators should monitor
trends in the number of sacrificial anodes installed and the ability to maintain adequate cathodic
protection levels. A cost-benefit type analysis could aid the operator in deciding whether
continuing to replace anodes, adding additional anodes, relocation or replacement is the most
appropriate mitigative response.
In accordance with 49 CFR 192.465(a), which covers pipelines under cathodic protection, the
levels of protection must generally be assessed at least once each calendar year, but with
intervals not exceeding 15 months, to determine whether cathodic protection levels meet the
requirements of 192.463. Operators shall take prompt remedial action to correct any cathodic
protection deficiencies indicated by monitoring as required by 49 CFR 192.465(d). Other
requirements for controlling external corrosion using cathodic protection are given in 49 CFR
192.463 to 192.473.
Internal corrosion in a distribution system can arise in conjunction with condensation and water
accumulation. When possible, the operator should inspect the interior surfaces of the piping for
signs of internal corrosion and/or water accumulation. Water should be drained from the
system, if found, and the segment should be cleaned out, if possible. If pitting is discovered,
the severity needs to be assessed, and if leakage is imminent, it should be managed in an
acceptable manner. If the product transported is corrosive, the operator would need to take
action to manage the leaks along the line and to monitor the leak trends and institute
appropriate mitigative action to reduce leakage.
Tight-fit (cured in-place 25) type pipe liners are capable of being installed in cast iron pipelines as
a mitigative response to leakage due to internal corrosion. When liners are properly installed,
the threat of leakage to the pipeline is significantly reduced. This mitigation is only applicable if
the existing pipe structure is strong enough to handle the stresses experienced by the line at
the maximum operating pressure as the liner will not add any structural integrity to the line. CIP
liners are also used as a repair techniques for external localized graphitization or to address
bell/spigot joint leaks (typically due to internal drying from ultra dry and LNG gas).
Install moisture removal/control equipment and evaluate gas supply inputs / take
corrective action with supplier
Moisture removal or control equipment, such as dehydration units, can be installed at pipeline
gate stations to remove excess water from the gas entering the distribution system. While
dehydration units are a viable option for moisture removal or control, the more common
practice among distribution pipeline operators is to monitor the gas entering the system for
quality issues such as H2S, CO2, and water, and take corrective action with the supplier, as
necessary. Situations such as this are especially relevant in areas receiving natural gas from
local shale areas where gas may not have been treated sufficiently or might be different from
the natural gas the operator received previously from long haul pipelines.
Natural forces
Threats due to natural forces require A/A actions to counteract outside force/weather issues
(e.g., earth movement, lightning, heavy rains/floods, temperature extremes, high winds)
25
Operators should check with the applicable governing pipeline codes (Federal and State) to be sure cured in-place liners meet
pipeline regulations for hazardous liquid or natural gas pipelines.
Relocation can be an effective form of mitigation to avoid high risk locations. For example, if a
pipeline is currently running along a hillside with a history of soil erosion issues and landslides,
the risk of these possible outside forces causing a failure in the line may outweigh the benefits,
thus leading to the decision to relocate the pipeline out of this area. The economics of the
situation along with the risks involved will drive the decision of whether relocation is a viable
option.
For many reasons, relocating a pipeline may not be possible, thus leaving the operator with the
task of finding another way to protect the pipeline in the high risk location. Replacement could
prove to be a worthwhile option to ensure the safety and integrity of the line, in which the
operator could replace the segment of line in the high risk location with a pipeline designed to
more suitably withstand the threats posed by natural forces in the area.
In areas where earth movement is an issue and relocating the pipe is not an option, it may be
necessary to modify the existing pipeline, so as to allow slip or expansion joints to be installed
to help the pipeline accommodate some of the earth movement which is known to occur in the
area. Installing these components will help to mitigate at least some of the risk associated with
this type of threat.
In known high risk locations where soil movement is prevalent, such as with mine subsidence,
earthquakes, soil erosion or washouts, soil slumping (on hill sides), or sink holes, installing
strain gauges along the pipeline allows operators to monitor their risk based on the stress and
strain the pipe is experiencing. Monitoring natural forces in this manner allows operators to set
stress and strain limits as a method of determining when to intervene and physically manipulate
the line so as to reduce the stress/strain it is experiencing.
Excess flow valves (EFV) are small, relatively inexpensive devices that can be installed on
distribution service lines usually in or near the service tee connection to a main. They are
manufactured to activate based on a desired flow rate (at a given system pressure). For
example, such a valve might be manufactured to close at a flow rate of 500 SCF per hour at a
pressure of 10 psig. At 60 psig operating pressure, the closure rate would be much higher.
The closure rates of EFV’s are not adjustable.
Installing EFV’s on high risk service lines could provide a safeguard to prevent a hazardous
situation should excavation damage, a severe leak, or an outside force incident occur
downstream of the valve. These valves are very effective at shutting off the flow of gas
through a service line if damage should occur to the line, and they won’t allow gas to flow again
until the damaged line is repaired. This prevents a large influx of gas from possibly entering an
end user’s residence or place of business should some type of damage to the distribution line
occur downstream of the valve. Other benefits of installing this type of valve are that it allows
first responder crews more time to evacuate the buildings or areas affected by a damaged
distribution pipeline as well as preventing a large vapor cloud from quickly forming and possibly
finding an ignition source.
Natural forces can create risk on a pipeline system, especially lines in unstable soil locations. It
is good practice to perform leak surveys after any natural outside force event, such as a
significant earthquake, a winter storm, repeated freeze/thaw occurrences (especially with
respect to cast iron pipe), or any other type of severe weather event to confirm the event did
not cause an integrity issue with the pipeline.
Threats due to material or weld failure may require A/A actions to respond to manufacturing
defects and construction/workmanship defects that could affect the pipeline. These threats
could potentially affect all types of pipe materials including steel, plastic, and associated piping
components. It is important to keep in mind that these types of threats have the potential to
exist anywhere in the pipeline, and if found, then trending the pipe material, manufacturer,
installation date, installation contractor, and other pipe properties should be completed in an
attempt to determine whether the issue is local or systemic.
Some of the A/A actions applicable to material or weld failures were already discussed in
previous sections of this report (i.e. the External or Internal Corrosion, or Natural Forces
sections). To avoid being repetitive, refer to the aforementioned sections for details on the
Trending material failures in a distribution system can provide useful information regarding
whether or not a facility or group of facilities with common traits, needs to be replaced. Any
and all aspects of the material failures experienced can be trended to gain information or find a
pattern as to what happened, where it happened, if it will occur anywhere else, why it
happened, and problematic areas to monitor for the same type of issue going forward. While
there are many properties to trend, a few examples are: material manufacturer, material type,
installation year, installation personnel, location or region, MAOP or operating stress, etc. When
Hazardous liquids are considered in one class regardless of operating stress level while natural
gas transmission lines are divided into “high” stress and “low” stress classes. There are two
reasons why gas pipelines but not liquid pipelines were segregated by the <30% stress
level. The first has to do with how the gas and liquid regulations differ. Part 192, Subpart J
separates pressure testing requirements for pipelines operated at stress levels below 30% of
SMYS from those for pipelines operated at stress levels of 30% of SMYS or more. Also, miter
bends are permitted in gas pipelines that are operated at stress levels below 30% of SMYS but
not in pipelines operated at stress levels of 30% of SMYS or more. Part 195 recognizes “low
stress” pipelines as those that are operated at stress levels of 20% of SMYS or less, but only
those low stress pipelines with very low risk are exempt from pressure testing or any other
requirements of Part 195.
The second reason why gas pipelines but not liquid pipelines were segregated by the <30%
stress level has to do with fracture propagation risk, service interruption, and piggability. Gas
pipelines are subject to long-running fractures when a failure occurs. This risk is considerably
lower (but not negligible) for gas pipelines operated at stress levels below 30% of SMYS. The
types of gas pipelines generally operated at less than 30% of SMYS are single-feed systems for
a local gas distribution operator. Taking such a pipeline out of service for a pressure test is
usually not possible. And, such pipelines generally are not piggable because of the low
operating pressures and the flow rates of the gas. In contrast, while stress level does influence
whether or not a liquid pipeline will leak or rupture when it fails, the length of any rupture that
may occur (except for HVL pipelines) is generally insensitive to the operating stress level. Also,
a low stress level in a liquid pipeline seems to present no barrier to pigging. Lastly, leaks and
The process for making repair/replace decisions in each case is based on a series of flow charts.
It will be seen that these flowcharts constitute prescriptive procedures for making repair/replace
decisions. These procedures are not meant to prevent a pipeline operator from conducting an
engineering critical assessment of a pipeline that would allow the decision to be made outside
of these prescriptive procedures.
The operator has begun to employ periodic hydrostatic testing to assess the integrity of the
pipeline from the standpoint of PCIF. The retest interval has been established via the type of
To determine whether or not this pipeline should be replaced, the operator can go through the
process described below starting with Flowchart START (Figure C1 of Appendix C). Flowchart
START as adapted to this particular pipeline is repeated as Figure 7 below.
yes
The first question to answer in the process is: Are the essential design attributes of segment
known? The answer based on the data in Table 4 is “yes”. If the answer had been no, the
operator would have to either establish or verify the essential design attributes or schedule
replacement. The practical constraints on operating any pipeline safely mean that diameter,
nominal wall thickness, grade of material (specified minimum yield strength or SMYS), type of
longitudinal seam (to establish the “joint factor”), design factor (upper bound on operating
hoop stress as a percent of SMYS) , and operating temperature are essential design attributes.
These should be readily available from manufacturer’s certificates, design calculations, and
alignment sheets if such records have been retained in the operator’s archives.
The second question is: Does segment contain legacy pipe? The segment is comprised of LF-
ERW pipe, so the answer is “yes”. The operator must proceed to LEGACY PIPE. If the answer
had been no, the operator would have been directed to the flowchart shown in Figure C8 in
Appendix C (MODERN PIPE). The LEGACY PIPE flowchart as adapted to this particular pipeline
is shown in Figure 8.
Schedule Replacement
Evaluate the threats to a legacy pipeline
Figure 8. Threats to Address for Base Case Hazardous Liquid Pipeline Comprised of
LF-ERW Pipe
According to Figure 8, the operator must review the pressure test history of the pipeline. If the
pipeline has not been tested in accordance with the requirements of Part 195, and it does not
qualify for one of the exceptions in the regulations, the operator must either conduct the
appropriate test or lower the MOP to a level that would bring the pipeline into compliance with
the regulations. If neither of these can be done, the operator should schedule replacement of
the pipeline. This particular pipeline has been tested adequately.
This pipeline is comprised of LF-ERW pipe which can be susceptible to seam defects that may
leak or become enlarged in service from PCIF and may also be susceptible to SSWC. In fact the
history of the pipeline shows that it is susceptible to degradation from PCIF and external
corrosion. Because of its operating stress level, it is potentially susceptible to SCC. Therefore,
Cells 1, 7, and 9 are highlighted in Figure 8. The pipeline contains no SSAW pipe, no furnace
lap-welded pipe, no miter bends, no wrinkle bends, no non-standard fittings, no Dresser
couplings, no threaded couplings, no acetylene girth welds, no puddle welds, no patches, and
no half-soles. Internal corrosion has never been detected via ILI or noticed at any time
Go to
Is periodically assessing seam no Part B
integrity by means of hydrostatic
testing or ILI. feasible?
yes
Is it feasible to continue to
Are service failures from PCIF decrease the re-assessment
or SSWC occurring between yes intervals or to decrease the no
re-assessments? operating stress until service
failures from PCIF or SSWC cease
to occur?
no
yes
PART B
Because the pipeline in question is comprised of LF-ERW pipe, the operator must assure its
continued seam integrity by taking the necessary steps to prevent in-service leaks or ruptures
from PCIF and selective seam weld corrosion (SSWC). As shown in Figure 9A, periodic seam
integrity assessment via hydrostatic testing is being used to address PCIF, and it appears that
the retest interval is sufficiently short to prevent in-service failures from PCIF. SSWC may be a
threat for this pipeline even though no test failures have been caused by SSWC. The periodic
testing to assess for PCIF also would be expected to reveal whether or not any serious SSWC
has occurred. Therefore, the operator can continue to operate the pipeline employing the
hydrostatic retesting on the same schedule.
Also as indicated in Figure 9A, the operator would have the option of employing ILI crack-
detection technology in place of hydrostatic testing to address both PCIF and SSWC.
If the operator cannot or will not employ either hydrostatic testing or ILI to periodically re-
assess the integrity of the ERW seam, lowering the operating pressure would be an option as
shown in Figure 9B. However, it would be incumbent upon the operator to show that in-service
failures from PCIF or SSWC would not be likely to occur at the lower MOP. If it is not possible
If in-service leaks or ruptures caused by either PCIF or SSWC continue to occur in spite of either
a hydrostatic testing or ILI-based re-assessment program, the operator must either decrease
the interval between assessments to the point where such failures cease to occur or schedule
replacement of the pipeline or rehabilitation of the affected segments.
To keep the pipeline in service, the operator must satisfactorily address the threats of failure
from external corrosion and stress corrosion cracking (SCC) to the point where no in-service
failures are caused by either of these phenomena. Response to the threat of external corrosion
as adapted to this particular pipeline are addressed via Flowchart EC repeated below as Figure
10.
yes yes no
yes yes
yes
Conduct periodic
assessments or
hydrostatic tests at
appropriate intervals to
prevent leaks and
ruptures from external
corrosion and continue to
operate segment in
accordance with Part 192
or Part 195.
Note that it is prudent to assume that any pipeline is susceptible to external corrosion, so the
question “Is the segment susceptible?” is not asked. In the case of this particular hazardous
liquid pipeline, the pipeline is coated and cathodically protected, but as its history shows, it has
sustained a previous rupture from external corrosion. The coating on the pipeline is of a type
that does not shield the pipe from cathodic protection if it disbonds. The pipeline can
accommodate ILI metal loss inspection tools. Such tools are used to inspect the pipeline at
intervals determined by analysis. Comparisons of successive inspections have shown the
intervals to be sufficiently short to assure the absence of in-service failures from external
corrosion. Therefore, replacement of the pipeline from the standpoint of the threat of external
corrosion does not have to be considered. Note that unburying the pipeline, lifting it out of the
If the pipeline cannot accommodate ILI metal-loss inspection tools, the operator could consider
addressing the corrosion threat by utilizing external corrosion direct assessment (ECDA). This is
possible because the coating on this pipeline does not shield the pipe from cathodic protection if
it becomes disbonded. As long as the ECDA program is successful in preventing in-service
failures from external corrosion, replacement from the standpoint of the threat of external
corrosion does not have to be considered.
If it is not feasible for the operator to use either ILI or ECDA, periodic hydrostatic testing could
be used to control the threat of external corrosion. However, this is generally an inefficient
means of assessing integrity from the standpoint of corrosion because of the inability of testing
to reveal short, deep defects. If hydrostatic testing is chosen as the means of assessment for
external corrosion, a close-interval pipe-to-soil potential survey done in conjunction with the
test may greatly improve the likelihood of finding the short, deep defects that survive the test.
Moreover, in cases where ECDA can be used effectively, ECDA combined with a hydrostatic test
would improve the likelihood of finding severe corrosion regardless of its configuration
The threat of SCC as adapted to this particular pipeline is addressed via Flowchart SCC repeated
below as Figure 11.
no Continue to operate in
Is segment susceptible
accordance with Part 192 or
to SCC?
Part 195.
yes
The flowchart in Figure 11 runs through these choices in order, but the operator should make
the choice appropriate to the circumstances of the particular pipeline. For a pipeline where SCC
is known to exist because of past SCC failures, either ILI or hydrostatic testing would seem to
be the preferred options. On the other hand, if no evidence of SCC has surfaced, it could make
sense for the operator to choose SCCDA.
The operator of the Base Case Example No. 1 pipeline has seen no evidence that SCC is present
but prudently decides to use SCCDA to err on the safe side. At least, the operator will likely get
an early warning if SCC should develop. Besides, the hydrostatic testing that is necessary to
address the PCIF threat will likely expose any potential SCC threat in the form of a test failure
before the cracks could become large enough to fail in service. Alternatively, the operator may
be able to show by analysis using the Fessler-Rapp methodxxiii that the testing for PCIF
adequately assesses the integrity of the pipeline from the standpoint of SCC as well. In that
case SCCDA would not be needed.
If the pipeline were known to be affected by SCC, and SCCDA proved to be an unreliable way to
find and mitigate the phenomenon, the operator would have to rely on ILI crack detection
technology or periodic hydrostatic testing to mitigate the problem. Alternatively, it may be
possible to mitigate the SCC threat by lowering the operating pressure. If the operator were
able to control the problem (i.e., prevent leaks and ruptures from SCC), then the pipeline would
not need to be replaced.
26
One can refer to ASME B31.8S or API RP 1160 to access guidance on determining susceptibility of SCC or to Integrity
Management of Stress Corrosion Cracking in Gas Pipeline High Consequence Areas STP-PT-011 – 2008 to access guidance on
integrity management of SCC in general.
The operator decided to employ periodic hydrostatic testing of the first two valve sections
downstream of the compressor stations to assess integrity from the standpoint of SCC after the
occurrence of an SCC in-service rupture in 1999. The first tests for that purpose were
conducted in 1999 to a maximum hoop stress level of 110% of SMYS. The operator assumed
that the rate of SCC growth could be as high as 0.024 inch per year, the rate suggested in
Reference XXIV. The failure-pressure-defect-size relationship shown in Figure 12 was used to
determine an appropriate interval of time before a second test should be conducted.
1,200 0.2
0.3
Pressure, psig
1,000 MOP
0.4
800 0.5
Rupture
600 0.6
0.7
400 Leak
0.8
200 0.9
0
0.0 5.0 10.0 15.0 20.0 25.0
Total Length, inch
Figure 12. Time to Failure at the MOP after a Test (HTP) to 110% of SMYS
The 20-inch-long defect in Figure 12 appears to have the shortest time to failure for long
defects. It would be expected to survive the test to 110% of SMYS if its depth did not exceed
8% of the wall thickness, and it would be expected to fail at the MAOP of 72% of SMYS if its
depth reached 40% of the wall thickness. The corresponding amount of defect growth is 0.32
times the wall thickness of 0.375 inch or 0.120 inch. At a growth rate of 0.024 inch per year,
the expected time to failure would be 5 years. The operator elects to conduct another
hydrostatic test of the same segments to the same test stress levels 2 years after the first test
(a factor of safety of 2.5).
In 2006 the publication of the Fessler/Rapp method for scheduling hydrostatic tests to mitigate
SCC was developed. The operator decides to base the timing of future hydrostatic tests on the
Fessler/Rapp method. Since the method is strongly influenced by the flow stress of the
material with higher flow stress levels giving more conservative results, the operator uses lists
of yield and ultimate tensile test results from the manufacturer of the order to calculate the
upper-95-percentile yield and tensile strengths, 60,000 psi and 85,000 psi, respectively. The
flow stress is the average of these two, or 72,500 psi. The resulting times for future retests are
based on Figure 13.
1800
1600
1400 2 5 11 24 55 FSP
MOP
Presure, psig
1200 HTP
1000
800
600
400
First Test
200
0
0 10 20 30 40 50 60
Years until retest
Figure 13. Times for Retests to Control SCC based on the Fessler/Rapp Method
On the basis of the Fessler/Rapp method, the retests should occur at 2, 5, 11, 24, and 55 years
after the first test. Note that the first test was conducted in 1999 arbitrarily followed by a
second test in 2001. A third test was conducted in 2004. These tests though scheduled at
arbitrary intervals, coincidentally, would have been the ones predicted by the Fessler/Rapp
method, had it existed in 1999. Three test breaks from SCC occurred during the 1999 test, one
at a test stress level of 78% of SMYS. Two test breaks from SCC occurred during the 2001 test.
The lowest failure stress level for an SCC break was 99% of SMYS. In the 2004 test only one
test break from SCC occurred at a stress level of 101% of SMYS. The decreasing numbers of
test breaks and increasing levels of failure stress suggested that the SCC threat was being
adequately addressed by the successive hydrostatic tests. On the basis of the Fessler/Rapp
calculations another hydrostatic test was to have taken place in 2010. Instead, the operator
elected to run an EMAT ILI tool to assess the entire pipeline for SCC.
Hydrostatic test failures from causes other than SCC occurred during the 1999, 2001, and 2004
hydrostatic tests. Two test breaks during the 1999 test were caused by SSWC and 9 test
breaks were caused by seam splits. The lowest failure stress level associated with an SSWC
rupture was 81% of SMYS. Nine seam splits from manufacturing defects (confirmed to be hook
cracks with no evidence of in-service crack growth) occurred during the 1999 test. The splits
occurred at stress levels above the highest previous levels to which the pipe had subjected in
the pre-service hydrostatic test. One SSWC break occurred in the 2001 test at a stress level of
98% of SMYS. No SSWC break occurred in the 2004 test. Seam splits occurred in both the
2001 test and the 2004 test, but they were fewer in number than in the 1999 test and occurred
The operator of the pipeline has utilized ILI in various situations. Following the in-service
external corrosion rupture in 1985, a low-resolution MFL tool was run through the entire
pipeline to locate and investigate other possible metal loss areas. Two hundred locations of
metal loss were identified and prioritized by severity. Fifty of these were excavated and
examined. Fifteen of the areas of metal loss were found to warrant repairs in the form of full-
encirclement sleeves. The rectifier outputs were enhanced such that pipe-to-soil potential
readings at all test leads were brought up to -850 milivolts (Cu,CuSO4).
Following the occurrence of an in-service failure from SSWC in 1995, the operator used a high-
resolution MFL tool to locate and investigate metal loss. The tool was not specifically designed
to find narrow slot-like defects such as SSWC, but the operator hoped that SSWC would be
located in conjunction with the examinations of other metal loss anomalies. Seven hundred and
twenty metal loss anomalies were graded and prioritized by the vendor. Fifty of those were
examined via excavations. Two were found to contain SSWC, but the dimensions of the SSWC
had not been accurately defined by the MFL technology. After hydrostatic testing began in
1999 to address the SCC threat, it was assumed that any SSWC that was severe would fail in
the hydrostatic tests.
In 2004 the operator began an integrity management program in which a high-resolution metal
loss inspection and a caliper-type dent inspection of the entire pipeline were to be conducted
every 7 years. The two inspections were repeated in 2011, and the next round of such
inspections is scheduled for 2018.
In 2010, the operator elected to address the SCC threat for the entire pipeline with EMAT ILI
technology instead of continuing to test certain valve sections based on the Fessler/Rapp
calculations. The results were satisfactory in terms of locating and characterizing SCC, so it is
likely that the operator will continue to use the technology on a periodic basis to assess the
integrity of the pipeline from the standpoint of SCC. The time for the next assessment was
established based on the apparent crack growth since the last hydrostatic test in 2004.
Because, hydrostatic testing as a means of verifying integrity was discontinued in 2010, the
operator began to utilize CMFL technology in 2014 to assess the integrity of the entire pipeline
from the standpoint of SSWC. The results were sufficiently satisfactory that the operator plans
to conduct such inspections periodically. The time for the next assessment was established
based on the apparent SSWC growth since the last hydrostatic test in 2004.
Note that a threat to seam integrity from PCIF in a natural gas transmission pipeline can be
significant if the pipeline was not given a pre-service hydrostatic test, if the pre-service
hydrostatic test was to a level of only 1.1 times the MAOP, or if the pipeline is operated at a
maximum stress level that is much less than 72% of SMYS (i.e., 30 to 50 percent of SMYS) and
has only been tested to a level of 1.25 times the MAOP.
To determine whether or not this pipeline should be replaced, the operator can go through the
process described below starting with START (Figure C1 of Appendix C). Flowchart START as
adapted to this particular pipeline is repeated as Figure 14 below.
yes
Figure 14. Start of Process to Decide Whether to Repair or Replace the Base Case
Natural Gas Pipeline that is Operated at a Stress Level of 72% of SMYS
The first question to answer in the process is: Are the essential design attributes of segment
known? The answer based on the data in Table 5 is “yes”. If the answer had been no, the
operator would have to either establish or verify the essential design attributes or schedule
replacement. The practical constraints on operating any pipeline safely mean that diameter,
nominal wall thickness, grade of material (specified minimum yield strength or SMYS), type of
longitudinal seam (to establish the “joint factor”), design factor (upper bound on operating
hoop stress as a percent of SMYS) , and operating temperature are essential design attributes.
These should be readily available from manufacturer’s certificates, design calculations, and
alignment sheets if such records have been retained in the operator’s archives.
But, what if some or all of these essential attributes are not known? For a natural gas pipeline,
processes for establishing nominal wall thickness, grade of material, and joint factor when
traceable, verifiable and complete records are not available are given in Part 192, §192.105. In
the process of acquiring the samples required by §192.107 to determine an unknown yield
strength, the operator should be able to establish the type of longitudinal seam. Diameter
should be observable in above-ground portions of the pipeline, and it can be verified continually
along the pipeline if the pipeline can accommodate running a caliper tool. Nominal wall
thickness can be established as described in §192.109. Alternatively, wall thicknesses along the
pipeline can be verified via in-line inspection with currently available ILI metal loss tools. The
design factor can be determined as specified in §192.111, and the joint factor can be
established from the identified type of seam as specified in §192.113. There will be no need for
temperature derating as long as the operating temperature does not exceed 250⁰F. Lastly,
The second question is: Does segment contain legacy pipe? The segment is comprised of flash-
welded pipe, so the answer is “yes”. The operator must proceed to LEGACY PIPE. If the
answer had been no, the operator would have been directed to the flowchart shown in Figure
C8 in Appendix C (MODERN PIPE). The LEGACY PIPE flowchart as adapted to this particular
pipeline is shown in Figure 15.
Legacy Pipe
Is it feasible to conduct a pressure test
Does the segment qualify for one of no no
of the segment in accordance with to
the alternatives or exceptions listed establish the operating pressure in
Has the segment been no in Part 192 or Part 195? accordance with Part 192 or Part 195?
subjected to a pressure test
in accordance with Part 192 yes
or Part 195? yes
Conduct a pressure test of the segment or lower the
yes
operating pressure to meet the requirements of Part 192 or
Part 195.
Schedule Replacement
Evaluate the threats to a legacy pipeline
Figure 15. Threats to Address for Base Case Natural Gas Pipeline Comprised of
Flash-welded Pipe that is Operated at a Stress Level > 30% of SMYS
As shown in Figure 15, the operator must review the pressure test history of the pipeline. If
the pipeline has not been tested in accordance with the requirements of Part 192, and it does
This pipeline is comprised of flash-welded pipe which can be susceptible to the seam defects
that may leak or become enlarged in service from PCIF and may also be susceptible to SSWC.
In fact, the history of the pipeline shows that it is susceptible to degradation from SSWC,
external corrosion, and SCC. Therefore, Cells 1, 7, and 9 are highlighted in Figure 15. The
pipeline contains no SSAW pipe, no furnace lap-welded pipe, no miter bends, no wrinkle bends,
no non-standard fittings, no Dresser couplings, no threaded couplings, no acetylene girth welds,
no puddle welds, no patches, and no half-soles. Internal corrosion has never been detected via
ILI or noticed at any time segments of the pipe have been removed, and the pipeline carries
dry natural gas with no sour components. Neither pipe body hard spots nor hard heat-affected-
zones adjacent to the seam exist. Therefore, the threats represented by Cells 2-6 and 8 and 10
need not be considered.
Based on the highlighted cells, the operator of this pipeline must pursue the process of making
a repair/replace decision via Flowcharts LF-ERW, EC, and SCC. The first of these, Flowchart LF-
ERW (Figure C3 of Appendix C) as adapted to this particular pipeline is repeated as Figures 16A
and 16B below.
Go to
Is periodically assessing seam no Part B
integrity by means of hydrostatic
testing or ILI. feasible?
yes
Is it feasible to continue to
Are service failures from PCIF decrease the re-assessment
or SSWC occurring between yes intervals or to decrease the no
re-assessments? operating stress until service
failures from PCIF or SSWC cease
to occur?
no
yes
PART B
The operator examines the fatigue effect of the pressure spectrum and determines that it is
unlikely that PCIF will be an integrity threat within the useful life of the pipeline. The periodic
retesting for SCC provides additional assurance that it is not, because no test failures have been
caused by PCIF. However, because the pipeline is comprised of flash-welded pipe, the operator
must assure its continuing seam integrity by taking the necessary steps to prevent in-service
leaks or ruptures from selective seam weld corrosion (SSWC) as shown in Figure 16A. Periodic
seam integrity assessment via hydrostatic testing was being used to address SCC, but the retest
interval, if based on a Fessler-Rapp analysis, could be short enough to prevent in-service
failures from SSWC as well. Therefore, the operator would need to continue to employ the
hydrostatic retesting on the same schedule. In 2010, to avoid the disruptive effect of continued
hydrostatic testing, the operator chose the option of employing ILI crack-detection technology
to address SCC and CMFL technology to address SSWC.
In place of hydrostatic testing and ILI, as indicated in Figure 16B, the operator could also
choose to lower the operating pressure of the pipeline to lessen the likelihood of failure from all
causes. However, it would be incumbent upon the operator to show that in-service failures
from SCC or SSWC would not be likely to occur at the lower MAOP.
As noted in conjunction with the Base Case No. 1 example, total replacement may not be
necessary. In many cases, it might be possible to identify and rehabilitate only those segments
that are affected by a particular threat (or threats) that are judged to be too costly to address
by continued assessment and repair. Such rehabilitation could involve recoating of the pipe
and/or replacement of some pipe, not necessarily the whole pipeline.
To keep the pipeline in service, the operator must satisfactorily address the threats of failure
from external corrosion, SSWC, and SCC to the point where no in-service failure is caused by
any of these phenomena. The threat of external corrosion as adapted to this particular pipeline
is addressed via Flowchart EC (Figure C12 of Appendix C) repeated below as Figure 17.
yes yes no
yes yes
yes
Conduct periodic
assessments or
hydrostatic tests at
appropriate intervals to
prevent leaks and
ruptures from external
corrosion and continue to
operate segment in
accordance with Part 192
or Part 195.
This particular natural gas pipeline is coated and cathodically protected, but as its history
shows, it has sustained previous ruptures from external corrosion. The coating on the pipeline
is of a type that does not shield the pipe from cathodic protection if it disbonds. The pipeline
can accommodate ILI metal loss inspection tools, and such tools are used to inspect the
pipeline at intervals determined by analysis. Comparisons of successive inspections have shown
the intervals to be sufficiently short to assure the absence of in-service failures from external
If the pipeline could not accommodate ILI metal-loss inspection tools, the operator could
consider addressing the corrosion threat by utilizing external corrosion direct assessment
(ECDA). This is possible because the coating on this pipeline does not shield the pipe from
cathodic protection if it becomes disbonded. As long as the ECDA program is successful in
preventing in-service failures from external corrosion, replacement from the standpoint of the
threat of external corrosion does not have to be considered.
If it is not feasible for the operator to use either ILI or ECDA, periodic hydrostatic testing could
be used to control the threat of external corrosion. However, this is generally an inefficient
means of assessing integrity from the standpoint of corrosion because of the inability of testing
to reveal short, deep defects. If hydrostatic testing is chosen as the means of assessment for
external corrosion, a close-interval pipe-to-soil potential survey done in conjunction with the
test may greatly improve the likelihood of finding the short, deep defects that survive the test.
The threat of SCC as adapted to this particular pipeline is addressed via Flowchart SCC (Figure
C14 of Appendix C) repeated below as Figure 18.
no Continue to operate in
Is segment susceptible
accordance with Part 192 or
to SCC?
Part 195.
yes
Because of the occurrence of one in-service failure from SCC, this pipeline is clearly susceptible
to SCC. The operator has no reason to believe the SCC is dormant, so the answer to the
second question “Is the SCC dormant?” is “unknown”. As was noted in conjunction with the
Base Case No. 1 pipeline, the operator has three choices:
The flowchart in Figure 18 runs through these choices in order, but the operator should make
the choice appropriate to the circumstances of the particular pipeline. For a pipeline where SCC
is known to exist because of past SCC failures, either ILI or hydrostatic testing would seem to
be the preferred options.
The operator suspects that SCC is present in other locations downstream from compressor
stations and decides that using SCCDA is not a sufficiently robust response to the threat.
Hydrostatic testing was chosen to assess the integrity of the first two valve sections
downstream from each compressor station. Initially, an arbitrary retest frequency of every two
years was chosen. After 2006 when the Fessler/Rapp method was published, the test intervals
were to be chosen via the Fessler/Rapp analysis. By 2010, however, the operator became
convinced that EMAT ILI technology would be capable of addressing the threat of SCC, and
hydrostatic testing was abandoned in favor of using ILI. Another type of ILI, the CMFL tool, is
chosen to assess the pipeline for SSWC in place of hydrostatic testing. The operator plans to
periodically conduct pressure-cycle analyses to assure that PCIF remains a non-threat.
The above analysis indicates that the threats to the integrity of this pipeline are being mitigated
by the on-going maintenance and integrity assessment actions being taken by the operator.
The question of whether or not the operator should continue to operate this pipeline versus
replacing it can be made on the basis of the cost to maintain and re-assess its integrity and
safety versus the cost to replace it. If these continuing costs are acceptable to the operator,
then replacement is not necessary.
The pipeline was gas-tested to 110% of MAOP (320 psig) at the time it was placed in service.
The pipeline is a single feed line to a distribution system and cannot be taken out of service for
the purpose of hydrostatic testing. The option of gas testing the pipeline again for any purpose
was ruled out years ago because of the potential hazard of crack propagation in the event of a
test rupture.
To determine whether or not this pipeline should be replaced, the operator can go through the
process described below starting with Flowchart START (Figure C1 of Appendix C). Flowchart
START as adapted to this particular pipeline is repeated as Figure 19 below.
Establish or Verify
Essential Attributes
yes
yes
Figure 19. Start of Process to Decide Whether to Repair or Replace the Base Case
Natural Gas Pipeline that is Operated at a Stress Level < 30% of SMYS
The essential attributes of this pipeline are known. The flash-welded seams mean that the
pipeline is comprised of legacy pipe, so the operator may proceed to Flowchart LEGACY PIPE
(Figure C2 of Appendix C). The LEGACY PIPE flowchart is shown as Figure 20 below.
Schedule Replacement
Evaluate the threats to a legacy pipeline
Figure 20. Threats to Address for Base Case Natural Gas Pipeline Comprised of
Flash-welded Pipe that is Operated at a Stress Level < 30% of SMYS
The pipeline was gas-tested at the time of commissioning to a pressure level of 1.1 times
MAOP. If the segment is entirely in a Class 1 location, this test meets the requirements of Part
192, §192.503 and §192.619. If parts of the segment are located in other class locations, this
level of test may or may not be sufficient depending on the interpretation. The operator should
establish whether the test does or does not comply with the regulations.
Note that a threat to seam integrity from PCIF in a natural gas transmission pipeline can be
significant if the pipeline was not given a pre-service hydrostatic test, if the pre-service
hydrostatic test was to a level of only 1.1 times the MAOP, or if the pipeline is operated at a
maximum stress level that is much less than 72% of SMYS (i.e., 30 to 50 percent of SMYS) and
has only been tested to a level of 1.25 times the MAOP. The likelihood that large
manufacturing defects with failure stress levels much less than 90% of SMYS exist in this pipe is
low because each piece was subjected to a test to 90% of SMYS for a period of 10 seconds by
the manufacturer.
Any pipeline may be susceptible to degradation from external corrosion. Any pipeline
comprised of LF-ERW, DC-ERW, or flash-welded pipe may be susceptible to SSWC as well.
Therefore, Cells 1 and 7 are highlighted in Figure 20. The pipeline contains no SSAW pipe or
furnace lap-welded pipe and no miter bends, no non-standard fittings, no Dresser couplings, no
threaded couplings, no acetylene girth welds, no puddle welds, no patches, and no half-soles.
It does contain wrinkle bends of less than 12.5 degrees, but such wrinkle bends are permitted
because the operating stress level is less than 30% of SMYS. Internal corrosion has never been
noticed at any time segments of the pipe have been removed, and the pipeline carries dry
natural gas with no sour components. The threat of SCC is essentially non-existent because of
the low operating stress level. Also, no pipe body hard spots have been found. Therefore, the
threats represented by Cells 2-6 and 8-10 need not be considered. Based on the highlighted
cells, the operator of this pipeline must pursue the process of making a repair/replace decision
via Flowcharts LF-ERW and EC. The first of these, Flowchart LF-ERW (Figure C3 of Appendix C)
as adapted to this particular pipeline is repeated as Figures 21A and 21B below.
27
It is possible that a hazardous liquid pipeline operated at a stress level less than 30% of SMYS may not be at risk from PCIF
within its useful life. However, the degree of susceptibility depends strongly on the stress level applied in the most recent pressure
test. Because the pressure cycling of liquid pipelines tends to be more aggressive than that of gas pipelines, a PCIF analysis of a
liquid pipeline operated at a stress level below 30% of SMYS would seem to be even more important than it is for a gas pipeline
operated at a stress level below 30% of SMYS.
Go to
Is periodically assessing seam no Part B
integrity by means of hydrostatic
testing or ILI. feasible?
yes
Is it feasible to continue to
Are service failures from PCIF decrease the re-assessment
or SSWC occurring between yes intervals or to decrease the no
re-assessments? operating stress until service
failures from PCIF or SSWC cease
to occur?
no
yes
Because of the flash-welded seam in the pipe, it is necessary to examine the potential threat of
failure from PCIF even if the threat turns out to be negligible. Figure 21A indicates that the
operator should conduct a pressure-cycle fatigue analysis using actual historical pressure
records from the pipeline. For such an analysis, the initial flaw sizes are usually established on
the basis of the most recent pressure test. This pipeline was gas-tested prior to being placed in
service to a stress level of only 32.4% of SMYS (1.1 times the maximum operating stress of
29.5% of SMYS). However, manufacturing records show that each piece of pipe was tested by
the manufacturer to 90% of SMYS. The operator can rely on the manufacturer’s test to 90% of
Assume that the analysis based on a 90%-of-SMYS manufacturer’s test shows that the
expected minimum time to failure is 3000 years. In such a case, the operator can dismiss the
threat to failure from PCIF for the conceivable life of the pipeline, and continue to operate the
pipeline in accordance with Part 192 subject to the outcome of Part B shown in Figure 21B.
Note that if the operator could not prove that the pipe had been tested to 90% of SMYS, it
would have been necessary to do the fatigue analysis using the 32.4% of SMYS test as the
basis for establishing initial flaw sizes. In such a case, the analysis likely would show a
minimum time to failure well within the expected life of the pipeline. To address that threat,
the operator would either have to conduct periodic seam integrity assessments using
hydrostatic testing or ILI, lower the operating pressure to the point where fatigue is no longer a
threat, or schedule replacement of the pipeline after half of the estimated minimum time to
failure has elapsed. The operator cannot take the pipeline out of service to conduct periodic
hydrostatic testing, and the pipeline cannot accommodate ILI pigs. That would leave only the
options of scheduling replacement or lowering the operating pressure. An acceptable lower
operating pressure can be based on a fatigue analysis using a scaled-down pressure-cycle
spectrum associated with the lower operating pressure that results in an acceptable minimum
time to failure.
PART B
In the case of this pipeline, failures from both external corrosion and SSWC have occurred. The
operator cannot take the pipeline out of service to conduct periodic hydrostatic testing, and the
pipeline cannot accommodate ILI pigs. According to Figure 21B, the operator has the option to
address the threat of SSWC by means of external corrosion direct assessment (ECDA). ECDA
does not identify the presence of SSWC directly. Instead, the ECDA process identifies areas of
the pipe affected by external corrosion, and direct examination of the pipe would be expected
to reveal any significant SSWC that may have occurred. If by using ECDA, the operator is
successful in preventing failures from SSWC, the pipeline can remain in service. As seen in
Figure 22, the operator must prevent the occurrence of failures from external corrosion as well
by using ECDA.
yes yes no
yes yes
yes
Conduct periodic
assessments or
hydrostatic tests at
appropriate intervals to
prevent leaks and
ruptures from external
corrosion and continue to
operate segment in
accordance with Part 192
or Part 195.
The above analysis indicates that the threats to the integrity of this pipeline are being mitigated
by the on-going maintenance and integrity assessment actions being taken by the operator.
The question of whether or not the operator should continue to operate this pipeline versus
replacing it can be made on the basis of the cost to maintain and re-assess its integrity and
safety versus the cost to replace it. If these continuing costs to maintain safety and pipeline
integrity are acceptable to the operator, then replacement may not be necessary.
Segment contains miter Do the miter bends, wrinkle bends, Schedule replacement of miter
bends, wrinkle bends, non- non-standard fittings, Dresser bends, wrinkle bends, non-standard
couplings, threaded couplings, or yes fittings, Dresser couplings, or
standard fittings, Dresser
couplings, threaded couplings, acetylene girth welds constitute a threaded couplings and continue to
or acetylene girth welds. systematic threat to the integrity of the operate in accordance with Part 192
pipeline? or Part 195.
no
no
no Schedule replacement of
Conduct an engineering study individual legacy features
to identify locations or at locations or under
Continue to operate in circumstances where each circumstances where the
accordance with Part 192 or specific type of individual particular feature
Part 195. constitutes an integrity
legacy feature could
constitute an integrity threat. threat and continue to
operate in accordance with
Part 192 or Part 195.
Figure 23. Consideration of the Miter Bends in the Low-Stress Gas Pipeline
As seen in Figure 23, the operator does not need to take any action as long as the miter bends
have not been implicated in any leak or rupture.
28
Part 192 permits angle changes at a girth weld of up to 3 degrees regardless of the operating stress level. Angle changes of up
to 90 degrees are permitted in pipelines that operate at stress levels of 10% of SMYS or less.
Consider a 500-mile-long, crude oil pipeline comprised of 24-inch-OD, 0.312-inch-wall, line pipe
with a minimum specified yield strength of 42,000 psi, fabricated with a single-submerged-arc-
welded (SSAW) seam, a type of legacy pipe. The pipeline was installed in 1948 at a time when
only a tentative standard, APL STD 5LX existed for X grades of pipe. However, the pipe was
purchased under an agreement whereby the manufacturer agreed to produce a material
meeting the requirements of the tentative standard. The material was to have a specified
minimum yield strength (SMYS) of 42,000 psi, a minimum ultimate tensile strength of 60,000
psi, and a minimum elongation of 25% in a 2-inch gage length. The agreement included limits
on the following alloys in maximum percentages by weight based on check analyses: carbon:
0.33, manganese: 1.28, phosphorus: 0.115, and sulfur: 0.065. Moreover, the manufacturer
agreed to meet all other requirements expressed in the 1948 tentative standard including a
pressure test of each piece of pipe to a pressure level of 950 psig (87% of SMYS) for a period
of 10 seconds. The pipeline was coated over-the-ditch with a coal-tar enamel and fiberglass-
reinforced felt wrapping. Initially, there was no cathodic protection system, but an impressed-
current cathodic protection system was installed in 1955. The pipeline is operated at an MOP of
786 psig corresponding to a hoop stress level of 72% of SMYS. The pipeline can accommodate
all types of ILI tools. No legacy features such as acetylene girth welds, miter bends, wrinkle
bends, patches, or half soles exist on this pipeline.
A far as records are concerned, the operator has a report from a third-party pipe mill inspection
company that documents the results of tensile tests required by API Specification 5L showing
that the strengths met or exceeded the agreed-upon minimum yield strength and minimum
ultimate tensile strength values and that the alloy contents were within the prescribed limits.
The report also documents the fact that each piece of pipe was tested to a pressure level of
950 psig corresponding to a hoop stress level of 87% of SMYS for period of 10 seconds. The
operator also has records of the initial pre-service hydrostatic test to a minimum hoop stress
level of 90% of SMYS and subsequent hydrostatic tests, records of all service failures, and
records of ILI tool runs.
Figure C1 (START) directs the operator to Figure C2 (LEGACY PIPE) which, in turn directs the
operator to Figure C4 (Flowchart SSAW), Figure C12 (EC) and Figure C14 (SCC). Flowchart
SSAW is shown as Figure 24. Periodic seam integrity assessment is needed to mitigate against
service failures from PCIF. If the pressure cycle history of this pipeline is like those of many
other hazardous liquid pipelines, periodic seam integrity assessment will be needed to mitigate
against service failures from PCIF within the time frame of the useful life of the pipeline. Seam
integrity assessment can be done via either hydrostatic tests or successive ILI crack detection
tool runs at intervals predicted by pressure-cycle fatigue analysis as explained previously.
yes
no
Assess seam integrity periodically
based on the established interval
to prevent service failures from
PCIF.
Is it feasible to continue to
decrease the re-assessment
Are service failures from PCIF
yes intervals or to decrease the no Schedule
occurring between re-
operating stress until service replacement.
assessments?
failures from PCIF cease to
occur?
no
yes
Figure 24. Flowchart for Evaluating a Repair/Replace Decision for SSAW Pipe in a
Hazardous Liquid Pipeline
If the operator goes through the details of the external corrosion flowchart as was done in Base
Case Example No. 1 (see Figure 10), it will be clear that periodic integrity assessment is needed
to mitigate against service failures from external corrosion. Integrity assessment to mitigate an
external corrosion threat can be done most effectively via successive ILI metal-loss detection
tool runs at intervals predicted by the linear growth rate analysis technique explained
previously.
The pipeline could also be exposed to the threat of failure from SCC. Mitigation of the SCC
threat is necessary if the pipeline is to remain in service. The operator can go through the SCC
flowchart as was done for the Base Case in Figure 11 to determine the appropriate means to
mitigate the threat of SCC. Since there have been no incidences of SCC having been found or
The operator must assure that safety and pipeline integrity are maintained when comparing the
cost to continue mitigating the threats of PCIF, SCC and external corrosion with the cost of
replacement of the pipeline in order to decide whether to repair or replace.
Suppose the pipeline just described is a high-stress natural gas transmission pipeline instead of
a hazardous liquid pipeline. Even if the pipe material and the operating stress level are the
same, one could anticipate that some attributes and some aspects of the operating histories
would differ. For example, one would expect the pressure cycles for the gas pipeline to be far
less aggressive than those of the liquid pipeline. Nevertheless, the operator of the gas pipeline
should go through the process described in Figure 24 to determine whether or not PCIF is a
threat. Most likely, it would not be a threat within the conceivable useful life of the pipeline if
the pipeline had been subjected to a pressure test to 90% of SMYS or more. If the pipeline has
not ever been pressure-tested, the PCIF analysis could be based on the fact that each piece of
pipe was tested by the manufacturer to a hoop stress level of 87% of SMYS.
The high-stress gas pipeline might be susceptible to high-pH SCC especially if it was operated at
high discharge temperatures at some time in the past. In that case, mitigation of the SCC
threat is necessary if the pipeline is to remain in service. The operator can go through the SCC
flowchart as was done for the Base Case in Figure 11 to determine the appropriate means to
mitigate the threat of SCC. If there have been no incidences of SCC having been found or
having caused a failure or if what SCC has been found is known to be dormant, the operator
could elect to perform periodic SCCDA inspections. If actual SCC is or has been found (unless it
can be shown to be dormant) or if SCC causes or has caused a failure, the operator should
establish a program of periodic hydrostatic testing or ILI crack-tool inspections to minimize the
risk of recurrences of SCC-caused failures.
If the operator goes through the details of the external corrosion flowchart as was done in Base
Case Example No. 1 (see Figure 10), it will be clear that periodic integrity assessment is needed
to mitigate against service failures from external corrosion. Integrity assessment to mitigate an
external corrosion threat can be done most effectively via successive ILI metal-loss detection
tool runs at intervals predicted by the linear growth rate analysis technique explained
previously.
If the pipeline is a low-stress natural gas transmission pipeline operated at a hoop stress level
of less than 30% of SMYS, the fact that the pipe was subjected to the manufacturer’s test to
87% of SMYS suggests that the threat from SSAW seam integrity issues is negligible. Also,
because of the relatively low operating stress, the threat of failure from SCC is negligible.
However, the threat of failure from external corrosion must be addressed. In the case of a low-
stress pipeline, it is usually not feasible to run ILI tools because of the low pressure, and
pressure testing is too inefficient to be practical even if it were possible to take the pipeline out
of service. The likely choice for mitigating the threat failure from external corrosion is ECDA.
The operator must assure that safety and pipeline integrity are maintained when comparing the
cost to continue mitigating the threat of external corrosion with the cost of replacement of the
pipeline in order to decide whether to repair or replace.
An MFL ILI tool was run through the pipeline in 1995 to locate areas of severe metal loss so
that they could be repaired prior to a proposed hydrostatic test. Hundreds of metal loss
anomalies were located, some of which were considered to be integrity-threatening based on
tool-called dimensions. Full-encirclement sleeves were applied to integrity-threatening metal
loss anomalies in more than 100 locations.
Prior to 1995, in-service leaks and ruptures from causes other than external corrosion had
occurred. During the period from 1970 through 1995, 20 leaks occurred that were attributable
to “cracks” in the pipe body. Metallurgical analysis showed these cracks to be “burned-metal”
defects, a type of manufacturing defect that can arise if the material is heated to too-high a
temperature at the time the lap weld is made. Two in-service ruptures are known to have
occurred between 1970 and 1995, and they were said to have been seam splits resulting from
pressure surges. Also, 3 girth-weld leaks and 2 girth-weld full-circumferential ruptures occurred
between 1970 and 1995. The full-circumferential ruptures occurred near one particular river
crossing where flooding is believed to have undermined the pipeline causing excessive external
stress on the girth welds.
The is no record of a pre-service hydrostatic test, although it is said that at the time, the
practice of the pipeline’s operator was to pressure test pipelines to 1.1 times MOP using the
transported product, in this case, crude oil. In 1995 a hydrostatic test of the pipeline was
carried out at a minimum pressure level of 900 psig to validate the MOP of 720 psig and to
assess the overall integrity of the pipeline. Numerous seam splits and test breaks from burned-
metal defects occurred at test pressure levels approaching 900 psig. This suggests that the
pipe probably had been tested by the manufacturer to a level of 900 psig. Since the minimum
test failure pressure of any defect was 850 psig, it is reasonable to assume that no significant
in-service enlargement of the defects had occurred. The fact that no test ruptures or leaks
from external corrosion occurred suggests that the ILI tool run and follow-up repair work
successfully eliminated the integrity-threatening anomalies. Also, there were no test leaks or
breaks involving acetylene girth welds. Since the 1995 hydrostatic test, no in-service failures
from unbonded lap welded seams or from burned-metal defects have occurred.
It might seem like the knowledge of the attributes of this pipeline are insufficient and that the
pipeline should, therefore, be replaced. For example, the operator does not have mill records
of the pipe manufacturing process or the mechanical test data. However, the operator has
verified the type of pipe (it is lap-welded pipe) and the type of material (it is steel, not wrought
iron). The operator has also conducted a pressure test of the pipeline in 1995 that establishes
the MOP of the pipeline. Knowing these items, the operator can continue to operate the
pipeline as long as continuing integrity assessment is feasible.
In 2002 the operator began an integrity management program for the HCA’s on this pipeline.
Because the HCA’s on the pipeline are numerous and scattered, the operator decided to
conduct metal loss integrity assessments of the whole pipeline even though the total HCA
mileage is 30 miles. Thus, the whole pipeline has been inspected for metal loss via an MFL tool
three times since 1995. The inspections were carried out in 2002, 2007, and 2012. In all three
inspections metal loss areas were found, the most severe indications were excavated and
examined, and full-encirclement sleeves were installed at locations judged to be integrity-
threatening. The trend in the numbers found in each successive inspection is fairly level. This
suggests that the corrosion is not being completely mitigated, but it does appear that the
periodic inspections allow for timely repairs to areas of developing metal loss, and it is expected
that future in-service failures from corrosion can be prevented.
For seam integrity assessment purposes, the operator has carried out hydrostatic tests of only
the HCA portions of the pipeline in 2002, 2007, and 2012. The tests have been carried out at a
minimum pressure of 900 psig. Test failures have occurred each time as pressure levels
approached 900 psig from seam defects and burned-metal defects, but neither the failure
pressure levels nor subsequent metallurgical examinations have reveal any evidence of growth
of the defect in service.
The risk of a failure involving an acetylene girth weld seems to be confined to the particular
river crossing where the two full-encirclement ruptures had occurred in the period between
1970 and 1995. Even though no failures of girth welds at that crossing had occurred since
1995, the operator replaced the entire crossing in 2002 with modern coated pipe with electric-
arc girth welds.
Is it feasible to continue to
decrease the re-assessment
Are service failures from lack- intervals or to decrease the
yes no
of-fusion or burned-metal Schedule
operating stress until service
defects occurring between re- replacement.
failures from lack-of-fusion or
assessments?
burned-metal defects cease to
no occur?
yes
From the standpoint of the legacy girth welds, the operator can utilize Flowchart LEGACY
FEATURES which is show below as Figure 26.
Segment contains miter Do the miter bends, wrinkle bends, Schedule replacement of miter
bends, wrinkle bends, non- non-standard fittings, Dresser bends, wrinkle bends, non-standard
couplings, threaded couplings, or yes fittings, Dresser couplings, or
standard fittings, Dresser
couplings, threaded couplings, acetylene girth welds constitute a threaded couplings and continue to
or acetylene girth welds. systematic threat to the integrity of the operate in accordance with Part 192
pipeline? or Part 195.
no
no
no Schedule replacement of
Conduct an engineering study individual legacy features
to identify locations or at locations or under
Continue to operate in circumstances where each circumstances where the
accordance with Part 192 or specific type of individual particular feature
Part 195. constitutes an integrity
legacy feature could
constitute an integrity threat. threat and continue to
operate in accordance with
Part 192 or Part 195.
Figure 26. A Process by Which the Operator Can Deal with Acetylene Girth Welds
The acetylene girth welds, except for a few, have performed adequately. It is not feasible to
change out all of them. The operator has done an engineering study based on the location of
If the operator goes through the details of the external corrosion flowchart as was done in Base
Case Example No. 1 (see Figure 10), it will be clear that periodic integrity assessment is needed
to mitigate against service failures from external corrosion. Integrity assessment to mitigate an
external corrosion threat can be done most effectively via successive ILI metal-loss detection
tool runs at intervals predicted by the linear growth rate analysis technique explained
previously.
The operator must assure that safety and pipeline integrity are maintained when comparing the
cost to continue mitigating the threats of PCIF and external corrosion with the cost of
replacement of the pipeline in order to decide whether to repair or replace the pipeline. From
the standpoint of the legacy acetylene girth welds the operator may continue to replace
particular locations where such welds are vulnerable to failure in order to avoid replacing the
whole pipeline.
If the same lap-welded pipeline discussed above transports natural gas at an MAOP of 720 psig
instead of crude oil at an MOP of 720 psig and is regulated under Part 192 instead of Part 195,
the main thing that would change with respect to a repair/replace decision would be the
likelihood that PCIF would not constitute a significant threat within the life of the pipeline. As a
result continuing seam integrity assessment especially in the form of hydrostatic testing would
become unnecessary. The cost of continuing to repair the pipeline instead of replacing it,
therefore, would be less than in the case of the liquid pipeline. The costs of continuing to
inspect for corrosion and the costs associated with monitoring and remediating external forces
that could cause failure of an acetylene girth weld in the gas pipeline likely would be about the
same as those for the same activities in the liquid pipeline.
If the same lap-welded pipeline discussed above transports natural gas at an MAOP of 400 psig
(27% of SMYS) instead of crude oil at an MOP of 720 psig and is regulated under Part 192
instead of Part 195, the main thing that would change with respect to a repair/replace decision
would be the likelihood that PCIF would not constitute a significant threat within the life of the
pipeline. As a result continuing seam integrity assessment especially in the form of hydrostatic
testing would become unnecessary. The cost of continuing to repair the pipeline instead of
replacing it, therefore, would be less than in the case of the liquid pipeline. The costs of
continuing to inspect for corrosion and the costs associated with monitoring and remediating
In the case of a low-stress pipeline it is usually not feasible to run ILI tools because of the low
pressure, and pressure testing is too inefficient to be practical even if it were possible to take
the pipeline out of service. A possible choice for mitigating the threat of failure from external
corrosion is ECDA, though ECDA is generally not very effective on a bare pipeline. The expense
of trying to mitigate corrosion on such a pipeline using ECDA might cause the operator to
consider replacement of the pipeline.
The operator must assure that safety and pipeline integrity are maintained when comparing the
cost to continue mitigating the threat of external corrosion with the cost of replacement of the
pipeline in order to decide whether to repair or replace.
Records indicate that the pipeline was subjected to a pre-service hydrostatic test to a minimum
hoop stress level of 90% of SMYS in 1966. No additional integrity assessments were done until
an in-service rupture occurred in 1982 from an area of external corrosion in the body of the
pipe. Following the rupture a low-resolution MFL ILI tool was used to locate other areas of
external corrosion. Several hundred anomalies were found, and 20 of those deemed to be the
most severe were excavated and evaluated resulting in the installation of 20 full-encirclement
sleeves.
In 1995, a high-resolution MFL tool was used to inspect the pipeline for corrosion-caused metal
loss. While hundreds of anomalies were located, only 20 warranted excavation and
examination. All of these anomalies were repaired by means of composite wraps.
In 1999, another in-service rupture of the pipeline occurred. This rupture was caused by
narrow axial external corrosion (NAEC) along the longitudinal seam. When the 1995 ILI data
were reviewed, this anomaly did not standout as being anywhere near as deep as the anomaly
that failed. Its failure stress calculated on the basis of the dimensions from the 1995 ILI data
was over 100% of SMYS. While it is possible that the anomaly could have grown sufficiently
between 1995 and 1999 to fail at the maximum operating stress of 72% of SMYS, the problem
more likely is the result of the ILI technology (longitudinal-field MFL) not being capable of
accurately sizing long, narrow anomalies. In 2000, the pipeline was again subjected to an ILI
metal-loss inspection, but this time a circumferential-field MFL (CMFL) tool was run. The
circumferential-field MFL was a new development, and it possesses capabilities for accurately
sizing narrow axial anomalies. When this tool was run, several locations of NAEC that were
considered to be integrity-threatening were found and remediated, none of which likely could
have been correctly identified without the CMFL tool. It is noted that the NAEC phenomenon is
associated with the fact that the tape coating on the pipeline tended to form a “tent” over the
crown of the DSAW seam. In places, ground water penetrated into these narrow voids along
the toe of the weld, and corrosion took place resulting in these long and narrow anomalies.
The NAEC phenomenon is rarely found on pipelines with other types of coating such as coal tar
29
A railroad fatigue crack arises during rail shipment of pipe. The most common case involves a crack developing at the toe of the
longitudinal seam of a piece of DSAW pipe that has been improperly loaded onto the rail car such that the crown of the seam weld
is the point of contact with one of the wood bearing strips supporting the pipe. See API 5L1: Recommended Practice for Railroad
Transportation of Pipe.
In 2002, the operator instituted an integrity management plan for HCAs along the pipeline. The
plan called for ILI metal loss inspections, ILI inspections using CMFL technology to monitor for
NAEC, and ILI crack-tool inspections to verify seam integrity from the standpoint of PCIF. The
intervals were set at 5 years for these inspections, but the start times were staggered such that
only one type of tool is used in any given year. The operator also decided to inspect 100% of
the pipeline with each type of tool even though HCAs account for only 30% of the mileage.
The HCAs are scattered along the pipeline making it impractical to inspect only the HCAs.
From the standpoint of a repair/replace decision, one can see that the primary threats to this
pipeline that must be mitigated, if it is to remain in service, are PCIF, external corrosion, and
NAEC. The operating stress level and the type of coating also render it susceptible to SCC even
though no failure from SCC has occurred. The pipeline does not transport a corrosive product,
so there is no significant threat associated with internal corrosion. Besides, if the operator
continues to use high-resolution MFL tools to search for metal loss, any internal corrosion that
may develop will be revealed.
If the time comes when the operator wants to consider replacement of this pipeline, the
decision can be facilitated by means of the hazardous liquid pipeline flowcharts in Appendix C.
Figure C1. Figure C1 (START), steers the operator to Figure C8, MODERN PIPE. It is clear that
the pipeline has met the pressure test requirements of Part 195, and the flowchart tells the
operator to proceed to Figure C10 (DSAW), Figure C12 (EC), and Figure C14 (SCC). Flowchart
DSAW addresses the issues related to the fact that this pipeline is comprised of DSAW pipe.
Flowchart DSAW is shown below as Figure 27.
no yes
Use pressure cycles to calculate
times to failure from PCIF or rely on Assess integrity and take
service and test failure history to necessary actions to prevent
establish re-assessment interval to failures from NAEC and SCC
prevent service failures from PCIF.
Is it feasible to continue to
decrease the re-assessment
Are service failures from PCIF
yes intervals or to decrease the no Schedule
occurring between re-
operating stress until service replacement.
assessments?
failures from PCIF cease to
occur?
no
yes
Figure 27. Flowchart for Evaluating a Repair/Replace Decision for DSAW Pipe in a
Hazardous Liquid Pipeline
The first step for a pipeline comprised of DSAW pipe is to establish whether or not the coating
is of a type that “tents” over the crown of the weld. In this pipeline it does, making the pipe
vulnerable to NAEC (one such failure has already occurred). The single-layer polyethylene
coating also raises the risk of occurrence of SCC because of its tendency to shield the pipe from
cathodic protection if it becomes disbonded. The operator must mitigate the risks of SCC,
NAEC, and external corrosion and perform appropriate periodic integrity assessments in a timely
manner to prevent failures. Note that a CMFL tool needs to be used to assess for NAEC.
The operator must assure that safety and pipeline integrity are maintained when comparing the
cost of performing required integrity assessments over the life of the pipeline with the cost of
replacement.
Suppose the pipeline just described is a high-stress natural gas transmission pipeline instead of
a hazardous liquid pipeline. The comparable 30-inch-OD, X52 DSAW gas pipeline of the 1966
era would likely be comprised of a somewhat thicker material such as 0.375-inch-wall pipe and
would have a correspondingly higher operating pressure (MAOP = 936 psig) for the 72%-of-
SMYS operating stress level. Assume that the gas pipeline also was coated with the same type
of coating, i.e., a polyethylene coating with a butyl rubber mastic backing. One could anticipate
that it will be exposed to same degree to the risks of failures from NAEC, SCC, and external
corrosion.
Because this pipe has a D/t ratio of 80, it is much less likely to have sustained railroad fatigue
than the pipe in the hazardous liquid example (if, indeed, it was shipped by rail). However, if it
was shipped by rail and was loaded improperly on rail cars, it is not immune from railroad
fatigue as one can see by reading API 5L1. If one assumes that the pipeline was given a pre-
service hydrostatic test to a minimum stress level of 90% of SMYS, any surviving railroad
fatigue cracks would be of no more concern than any other potential manufacturing defect.
One would expect that the pressure cycles for the gas pipeline would be far less aggressive
than those of the liquid pipeline. That most likely means that PCIF would not be a threat within
the conceivable useful life of the pipeline if the pipeline had been subjected to a pressure test
to 90% of SMYS or more. If the pipeline has not ever been pressure-tested, the PCIF analysis
could be based on the fact that each piece of pipe was tested by the manufacturer to a hoop
stress level of 90% of SMYS. The likelihood that large manufacturing defects with failure stress
levels much less than 90% of SMYS exist in this pipe is low because each piece was subjected
to a test to 90% of SMYS for a period of 10 seconds by the manufacturer.
The operator can go through the appropriate flowcharts in Appendix C: Figure C1 (START) and
Figure C8 (MODERN PIPE). The pipeline has been pressure tested in compliance with Part 192,
so the operator needs to address the threats of PCIF, NAEC, EC, and SCC using Figure C10
(DSAW), Figure C12 (EC), and Figure C14 (SCC). Mitigation of PCIF may be unnecessary if
fatigue analysis shows that failure from PCIF is not likely to occur within the useful life of the
pipeline. Mitigation of NAEC requires periodic integrity assessment using an appropriate ILI
technology such as a CMFL tool. If SCC is or has been found (unless it can be shown to be
dormant) or if SCC causes or has caused a failure, the operator should establish a program of
periodic hydrostatic testing or ILI crack-tool inspections to minimize the risk of recurrences of
SCC-caused failures.
If the operator goes through the details of the external corrosion flowchart as was done in Base
Case Example No. 1 (see Figure 10), it will be clear that periodic integrity assessment is needed
to mitigate against service failures from external corrosion. Integrity assessment to mitigate an
external corrosion threat can be done most effectively via successive ILI metal-loss detection
tool runs at intervals predicted by the linear growth rate analysis technique explained
previously. However, mitigation of the threat of NAEC requires the periodic use of a CMFL tool
or a hydrostatic test.
The operator must assure that safety and pipeline integrity are maintained when comparing the
cost to continue mitigating the threats of PCIF, NAEC, SCC and external corrosion with the cost
of replacement of the pipeline in order to decide whether to repair or replace.
Consider a hypothetical case in which the pipeline in this example could not accommodate ILI
tools. The mitigative options for the operator in this case would be limited to hydrostatic
testing and SCCDA. ECDA cannot be used on this pipeline because the coating shields the pipe
from cathodic protection when it disbonds. The operator has the following choices and should
make the decision based on risk and consequence factors associated with each integrity
mitigation alternative taking into consideration cost impact.
• Conduct periodic hydrostatic tests to address the threats from NAEC and SCC.
• Recoat the pipeline with a coating that virtually eliminates the risk of NAEC and possibly
SCC as well.
• Make the pipeline capable of handling at least some types of ILI tools.
It is likely that a low-stress natural gas transmission pipeline comprised of the same pipe as
discussed previously in conjunction with the high-stress natural gas pipeline will be much
shorter than 1100 miles. Otherwise, however, such a pipeline conceivably could be comprised
of 30-inch-OD, 0.375-inch-wall, X52, DSAW pipe. If such a pipeline is operated at a hoop stress
level of less than 30% of SMYS, the fact that the pipe was subjected to the manufacturer’s test
to 90% of SMYS suggests that the threat from PCIF is negligible. Also, because of the relatively
low operating stress, the threat of failure from SCC is negligible. However, the threat of failure
from NAEC and external corrosion must be addressed. If the pipeline cannot accommodate ILI
tools because of the low operating pressure (<390 psig) or if there is any other reason it is not
piggable, MFL and CMFL tools could not be used to mitigate these threats. Note also, that
ECDA cannot be relied upon because of the external coating that shields the pipe from cathodic
protection when it becomes disbonded. Thus, without conducting periodic hydrostatic tests, the
operator cannot be confident that these threats are being mitigated.
The operator must assure that safety and pipeline integrity are maintained when comparing the
cost to continue mitigating the threats of NAEC and external corrosion with the cost of
replacement of the pipeline in order to decide whether to repair or replace or exercise one of
the bullet-point options.
In 1965 and up into the 1980’s much of the skelp rolled for ERW pipe was made using
conventional carbon-manganese steel with little or no sulfur control made in open-hearth
furnaces and cast into ingots. Moreover, the coil-leveling, can-forming, and resistance-welding
stands for making both HF-ERW and LF-ERW at the time were similar. Thus, the main (and
possibly the only) difference between HF-ERW and LF-ERW during the period from 1960 until
the complete conversion to basic-oxygen steel making in the 1980s was the nature of the weld
and heat-affected-zone. LF-ERW seams where characterized by large grain size from grain-
coarsening during welding, whereas with HF-ERW seams, the grain size tended to be much like
that in the plate material. As a result the bond line region of an HF-ERW material tends to
behave in a ductile manner when broken whereas that of an LF-ERW seam tends to behave in a
brittle manner when broken. In spite of this clear advantage, HF-ERW materials often were not
necessarily of better quality than LF-ERW materials when it came to hook cracks since the
sulfur contents did not change significantly until the 1980s. Hook cracks arise from
manganese-sulfide inclusions and sulfur contributes to the susceptibility of ERW pipe to SSWC.
Therefore, one must assume that early HF-ERW pipe is susceptible to the threats of PCIF and
SSWC. Once that assumption is made, the process for making a repair/replace decision is
identical to that presented in Base Case Example No. 1. Instead of being directed to Figure C2
(LEGACY PIPE) and Figure C3 (LF-ERW) for legacy pipe, however, the operator is directed to
Figure C8 (MODERN PIPE) and Figure C9 (HF-ERW). Flowchart HF-ERW is shown in Figure 28.
Is it feasible to continue to
Are service failures from PCIF decrease the re-assessment
yes intervals or to decrease the no Schedule
or SSWC occurring between
re-assessments? operating stress until service replacement.
failures from PCIF or SSWC cease
to occur?
no
yes
Figure 28. Flowchart for Evaluating a Repair/Replace Decision for HF-ERW Pipe in a
Hazardous Liquid Pipeline
It is necessary to mitigate the threats of PCIF and SSWC in this pipeline just as it is in a pipeline
comprised of LF-ERW pipe because, the HF-ERW pipe made prior to 1971 was no less
susceptible to these phenomena as explained above.
The operator must assure that safety and pipeline integrity are maintained when comparing the
cost to continue mitigating the threats of PCIF, SCC, and external corrosion with the cost of
replacement of the pipeline in order to decide whether to repair or replace.
Since HF-ERW pipe was rarely ever made in sizes above 24-inch, this case is not exactly the
same as Base Case Example No. 2. However, if one assumes that a 900-mile-long high-stress
natural gas pipeline is comprised of 16-inch-OD, 0.250-inch-wall, X52 HF-ERW pipe operated at
an MAOP of 1170 psig (72% of SMYS), then except for the pipe size and operating pressure
differences, the process for making a repair/replace decision is identical to that presented in
Base Case Example No. 2. Instead of being directed to Figure C2 (LEGACY PIPE) and Figure C3
The operator must assure that safety and pipeline integrity are maintained when comparing the
cost to continue mitigating the threats of SCC and external corrosion with the cost of
replacement of the pipeline in order to decide whether to repair or replace.
If one assumes that a 50-mile-long low-stress natural gas pipeline is comprised of 16-inch-OD,
0.250-inch-wall, X52 HF-ERW pipe operated at an MAOP of 485 psig (<30% of SMYS), then
except for the pipe size and operating pressure differences, the process for making a
repair/replace decision is identical to that presented in Base Case Example No. 3. Instead of
being directed to Figure C2 (LEGACY PIPE) and Figure C3 (LF-ERW) for legacy pipe, however,
the operator is directed to Figure C8 (MODERN PIPE) and Figure C9 (HF-ERW).
The operator must assure that safety and pipeline integrity are maintained when comparing the
cost to continue mitigating the threat of external corrosion with the cost of replacement of the
pipeline in order to decide whether to repair or replace.
The pipeline was subjected to a pre-service hydrostatic test to a minimum pressure level of
1600 psig which is 1.11 times the MOP and corresponds to a hoop stress level of 78% of SMYS.
In 1979, the operator subjected the pipeline to another hydrostatic test to a minimum pressure
In 2002, as part of the operator’s integrity management plan, the pipeline was subjected to an
integrity assessment for corrosion-caused metal loss using an MFL tool. Areas of external metal
loss were found, and those judged severe enough to be integrity-threatening were excavated
and examined. These areas were repaired if required and recoated. Some internal metal loss
anomalies were found as well. However, these few anomalies were judged to be typical
seamless pipe manufacturing anomalies that can be expected to remain stable. The reason
they were believed to be manufacturing anomalies and not internal corrosion-caused metal loss
is that they tended to be isolated and were oriented at random clock positions. These will be
monitored in subsequent ILI tool runs.
Subsequent ILI tool runs to assess for corrosion-caused metal loss were carried out in 2007 and
2012. Additional external metal loss was found each time and repaired as required. The areas
of internal metal loss seen on the first inspection in 2002 were again identified in 2007 and
2012. Significantly, no new areas of internal metal loss were identified, and as far as could be
determined, the ones identified in 2002 did not appear to have grown. The assumption that
these are non-threatened manufacturing defects appears justified.
Although no evidence of SCC has been discovered on the pipeline, the operator decided that
the threat should be addressed by means of an SCCDA program with periodic examinations of
selected sites.
Concerning the potential threat of failure from PCIF, although no fatigue failures have occurred,
the analysis of pressure cycles on the pipeline carried out in 2012 shows that the predicted
minimum time to failure after the 1979 hydrostatic test is 24 years (forecasting a potential
failure in 2003). The fact that no such failure from PCIF has occurred probably means one or a
combination of three things, 1) the worst-case defect that could have survived the 1979 test did
not exist or was not located in the worst-case location, 2) the pressure cycles have not always
been as aggressive as the spectrum used for the analysis, or 3) the crack growth rate constants
taken from API RP 579 are more conservative than the actual crack growth rate constants. To
address the unknown risk of failure from PCIF, the operator should consider either a hydrostatic
retest or an ILI crack-tool inspection as soon as possible and should also plan to repeat the test
or inspection at an interval of 12 years on the basis of the fatigue analysis showing 24 years as
the minimum time to failure. Assume that the operator elects to carry out an ILI crack-tool
inspection in 2015. The inspection may or may not result in the finding of cracks that may have
been extended by fatigue. Whatever the outcome, assume that the operator plans to repeat
the inspection every 12 years based on the predictions of the 2012 fatigue analysis.
It is feasible to continue to
Service failures from decrease the re-assessment
yes intervals or to decrease the no
manufacturing defects are Schedule
occurring between re- operating stress until service replacement.
assessments failures from manufacturing
no defects cease to occur.
yes
Figure 29. Flowchart for Evaluating a Repair/Replace Decision for Seamless Pipe in
a Hazardous Liquid Pipeline
The operator must also review Figure C12 (EC) and Figure C14 (SCC). As suggested in several
of the previous examples periodic ILI tool runs to monitor for metal loss and either periodic
The operator must assure that safety and pipeline integrity are maintained when comparing the
cost to continue mitigating the threats of PCIF, SCC, and external corrosion with the cost of
replacement of the pipeline in order to decide whether to repair or replace.
If one assumes that a high-stress natural gas pipeline is comprised of the same seamless pipe
described above for a hazardous liquid pipeline, the required mitigation would be the same for
SCC and external corrosion. The likelihood is the pressure cycle spectrum of the gas pipeline
would not be sufficiently aggressive to cause PCIF to be a threat within the useful life of the
pipeline.
The operator must assure that safety and pipeline integrity are maintained when comparing the
cost to continue mitigating the threats of PCIF, SCC, and external corrosion with the cost of
replacement of the pipeline in order to decide whether to repair or replace.
If one assumes that a low-stress natural gas pipeline is comprised of the same seamless pipe
described above for a hazardous liquid pipeline, the required mitigation would be the same for
external corrosion. The likelihood is the pressure cycle spectrum of the gas pipeline would not
be sufficiently aggressive to cause PCIF to be a threat within the useful life of the pipeline. The
operating stress level of the low-stress natural gas pipeline is below the threshold stress for
SCC. Since the low stress pipeline cannot accommodate ILI tools because of the low pressure
level, ECDA will have to be used to mitigate the threat from external corrosion.
The operator must assure that safety and pipeline integrity are maintained when comparing the
cost to continue mitigating the threat of external corrosion with the cost of replacement of the
pipeline in order to decide whether to repair or replace.
30
In compiling these responses to an internal corrosion threat, only onshore pipelines were considered. It is entirely possible that
the internal corrosion threat to an offshore pipeline could require analysis and solutions beyond the scope of these guidelines. It is
suggested that those interested in repair/replace decisions for offshore pipelines consult the numerous technical papers dealing with
the operation and maintenance of offshore pipelines.
Is it feasible to prevent
Can the pipeline Can metal loss be leaks and ruptures
no no no
accomodate metal adequately assessed from corrosion using
loss ILI tools? and mitigated using periodic hydrostatic
ICDA? testing?
yes
Schedule
yes replacement.
yes
Patch repairs generally consisted of rectangular, curved pipe segments usually no greater in
size than 6-inches in either direction that were fillet welded over a defect. The longitudinal
welds are acted upon by hoop stress, and thus they can serve as fatigue crack initiators
particularly if under-bead cracks formed from too-rapid cooling and the use of non-low-
hydrogen consumables. In cases where patches were installed on liquid-filled pipelines or
pipelines containing high-pressure flowing gas, the risk of under-bead crack formation was
especially high 31. The longitudinal fillet welds on patches have been shown to be more
31
The same threat could be associated with Type B full-encirclement sleeves where the ends of the sleeves are fillet welded to the
pipe. If leaks or ruptures have occurred in a given pipeline in conjunction with Type B sleeves, the operator should consider
repairing or removing any sleeves made with the same procedures used on sleeves which have caused leaks or ruptures in the past.
Half soles are nothing more than a large patch, usually made from half of a full-encirclement
sleeve. Half soles have all of the undesirable properties of patches and are now barred from
use in pipelines operated in conformance with ASME B31.4 and ASME B31.8.
When considering whether to replace such legacy repairs, a pipeline operator may use the
flowcharts of Appendix C. The START flowchart (Figure C1) directs the operator to either the
LEGACY PIPE flowchart (Figure C2) or the MODERN PIPE flowchart (Figure C8) which, in turn,
directs the operator to the LEGACY REPAIRS flowchart (Figure C7). Figure C7 is reproduced as
Figure 31 below.
Segment contains
puddle welds*,
patches, or half soles.
Is the segment
Continue to operate in
operated at a stress no
level greater than 20% accordance with Part
192 or Part 195.
of SMYS?
yes
*Puddle welding refers to welds made with an unknown welding proceddure to repair pits or other defects.
Deposited weld metal repairs made according to a documented and proven procedure are a legitimate
repair method and do not fall under this definition of puddle welding.
Figure 31. Process for Responding to Legacy Repairs
Figure 31 illustrates for any pipeline that can accommodate a MFL or CMFL tool, the procedure
one can follow to determine how to respond to legacy repairs. First, legacy repairs are
considered to be of concern if the pipeline is operated at a stress level in excess of 20% of
SMYS. In the particular pipeline considered in Figure 31, there are no puddle welds, only
patches and half soles. Patches or half soles installed over leaks are slated for mitigative action
which in this case consists of finding the patches or half soles by means of ILI and repairing or
removing them. Note that it may or may not be possible to tell whether a patch or half sole
If the legacy repairs are slated for repair or removal and ILI cannot be used to locate them, the
operator has the option of performing a ”one-time” pressure test 32 in conformance with the
federal regulations. If the pipeline cannot be pressure-tested or if failures of patches or half
soles continue to occur after the one-time test, replacement of the whole pipeline or a reduction
to an operating stress level of 20% of SMYS or less is recommended. .
If there are patches or half soles that have not been installed over leaks and were installed
while the pipeline was full of liquid or high-pressure, flowing gas using a low-hydrogen welding
procedure, there is no need to remove them. Similarly, if the patches or half soles had been
installed on an empty pipeline, there is no need to remove them. However, patches and half
soles installed while the pipeline was full of liquid or high-pressure, flowing gas with a non-low-
hydrogen welding procedure should be slated for removal.
If the example pipeline contained puddle welds instead of or in addition to patches and half
soles, no action is required if the puddle welds were fabricated with the pipe out of service. On
the other hand, puddle welds fabricated while the pipeline contained a liquid product or high-
pressure, flowing gas should be located by ILI is feasible and repaired or the affected pipe
should be replaced. Alternatively, if locating the puddle welds by means of ILI is not feasible,
the pipeline should be subjected to a one-time hydrostatic test to locate weak spots associated
with the puddle welds.
As in the cases of other threats discussed previously, where legacy repairs are an issue (in
conjunction with other needs for threat mitigation), the operator is likely to choose between
repair and replacement based on comparing the costs of the two options, taking into account
the cost of maintaining safety and integrity of the pre-regulation pipeline.
32
The idea of a one-time test to address patches, half-soles, or puddle welds is to rid the pipeline of possible weak spots associated
with these types of repairs. If leakage from such repairs continues to occur, the operator should consider replacing the pipeline.
Repeated hydrostatic testing is likely to make leakage of such repairs worse because they are particularly susceptible to pressure
reversals. One of the authors discovered this the hard way by trying to retest pipe specimens with multiple defects using patches
and puddle welds to repair leaks rather than cut them out.
yes no
Has a pipe body hard spot ever no
Was pipe manufactured by caused a leak or a rupture or Can segment accomodate MFL
no has a hard spot ever been yes
Youngstown Sheet and tools or, if not, can it be made
Tube Conpany? found due to other inspection to accommodate MFL tools?
actives?
yes
no
Have metallurgical studies yes
and measurements of
alloy contents been made no
that suggest the likelihood
of susceptibility to HSC is
low? Control pipe-to-soil potentials in a
manner that minimizes the generation
yes of atomic hydrogen but still adequately
mitigates corrosion and continue to
Continue to operate in operate in accordance with Part 192 or
accordance with Part 192 Part 195.
or Part 195
Figure 32. Process for Responding to an HSC Threat in a Pipe Body Hard Spot
As can be seen in Figure 32, the fact that a failure of a pipe body hard spot has occurred means
that the operator must address the threat of HSC. Fortunately, the pipeline can accommodate
the type of MFL tool that can be used to locate pipe body hard spots. The operator should use
such a tool to locate the hard spots. Every hard spot should be excavated and examined. Local
hardness measurements can be made to verify the hardness levels. In addition, hard spots are
sometimes visible because the hard region has less curvature than the unaffected pipe due to
its higher yield strength. The pipe containing the hard spots may be removed and replaced
with sound pipe. Alternatively, full-encirclement steel sleeves (not composite wraps) should be
yes no
Has a pipe body hard spot ever no
Was pipe manufactured by caused a leak or a rupture or Can segment accomodate MFL
no has a hard spot ever been yes
Youngstown Sheet and tools or, if not, can it be made
Tube Conpany? found due to other inspection to accommodate MFL tools?
actives?
yes
yes
Use special "residual field" MFL
tool to find and repair hard spots
and continue to operate in
accordance with Part 192 or Part
Has any failure occurred that Can pipe-to-soil potentials be
was attributed to HSC in the yes controlled in a manner that
heat-affected zone of the minimizes hydrogen generation
ERW seam? but still adequately mitigates no
corrosion?
no
Have metallurgical studies yes
and measurements of
alloy contents been made no
that suggest the likelihood
of susceptibility to HSC is
low? Control pipe-to-soil potentials in a
manner that minimizes the generation
yes of atomic hydrogen but still adequately
mitigates corrosion and continue to
Continue to operate in operate in accordance with Part 192 or
accordance with Part 192 Part 195.
or Part 195
Because the pipe was manufactured by Youngstown Sheet and Tube Company during the
critical time period when hard heat-affected zones could have been produced, the operator
must take mitigative action even if no failure from a hard heat-affected-zone crack has
occurred. One way to do this is to examine records of chemical analyses of the heats of steel
(if available) to ascertain whether or not the carbon and manganese contents were sufficiently
high to make the material easily hardenable. Alternatively, the operator may have the
opportunity to remove a significant number of metallurgical samples to verify that high
hardness levels do not exist. If no failure from HSC in a hard heat-affected zone has occurred,
and the material does not seem to be readily hardenable, the operator may be able to avoid
any further remedial action. If the non-susceptibility to HSC cannot be established with a high
level of confidence, then further remedial action is needed.
The operator has records documenting all aspects of the pipeline’s design, construction, and
operation since 1942. The leak history indicates that leaks from external corrosion have been
generally increasing since 1953. The main also contains 50 drips and three dead-legs that have
the potential to pose issues with internal corrosion, even though the line normally carries dry
natural gas with no sour components, and no leaks due to this threat have occurred.
There is no record of a post construction pressure test for this main. Since the distribution
main is directly connected to the end users through hundreds of service connections, service
To determine whether or not this main should be replaced, the operator can go through the
process described below starting with Flowchart START (for steel gas distribution main) (Figure
C16 of Appendix C). Flowchart START (for steel gas distribution main) is repeated as Figure 34
below as adapted to this particular pipeline.
no
Is information (i.e. pipe Can information be
material and properties, no
established or verified?
type of construction,
operating conditions, Identify all unknown
yes
threats, etc.) regarding the information and develop a
steel main known? plan for gaining this
Establish or verify information in accordance
information. with Part 192, Subpart P
yes
(DIMP), section 1007(a)(3)
and as recommended by
GPTC DIMP sections 3.1(d)
to (f).
Continue to operate and
Are any of the following
no maintain segment in
threats causing problems on
accordance with Part 192,
the segment?
Subpart P (DIMP).
yes
Proceed to Flowchart
Threaded underground
LEGACY FEATURES for steel
joints.
gas distribution main.
Figure 34. Start of Process to Decide Whether to Repair or Replace the Base Case
Steel Gas Distribution Main
The segment may be susceptible to selective seam weld corrosion (SSWC), so the next step is
to proceed to Figure 35 which is Flowchart SSWC (for steel gas distribution main) (Figure C17
of Appendix C). Note that types of pipe known to be susceptible to SSWC are Electric Flash
Welded, Low-Frequency Electric Resistance Welded (LF-ERW), and High-Frequency Electric
Resistance Welded (HF-ERW) pipe manufactured prior to 1980, or where the toughness of the
seam region was low or not specified.
Any steel distribution main may be susceptible to degradation from external or internal
corrosion; therefore the operator should assess the segment for these threats accordingly. So,
after assessing the segment for a SSWC threat, the operator of the pipeline must pursue the
process of making a repair/replace decision via Flowcharts EC (for steel gas distribution main)
and IC (for steel gas distribution main) shown in Figure 36 (Figure C18 of Appendix C) and
Figure 37 (Figure C19 of Appendix C), respectively.
This base case pipeline contains no threaded underground joints or other obsolete features, so
the operator of this pipeline need not consider the threats represented in Flowchart LEGACY
FEATURES (for steel gas distribution main) (Figure C20 of Appendix C).
33
GPTC DIMP guidelines are promulgated and maintained by the Gas Piping Technology Committee of the American Gas
Association.
yes
Figure 35. Feasibility of Preventing in-Service Failures from SSWC (for steel gas
distribution main)
According to Figure 35, since the main is comprised of LF-ERW pipe, which is susceptible to
SSWC, the operator should review the history of in-service failures to determine whether any of
the leaks that occurred on the line were due to SSWC. In this particular case, some of the
leaks experienced were found to have occurred in the longitudinal seam of the pipe and thus
were attributed to SSWC. The flowchart suggests that the operator take some type of
additional or accelerated (A/A) action such as those suggested in GPTC DIMP Table 6.1 in order
to appropriately manage the threat and minimize the risk. The A/A actions in this table are not
meant to be restrictive, but instead are meant to serve as suggestions. The operator is free to
take any action that helps reduce the risk of the SSWC threat to the segment. After an action is
applied, the operator should use any new knowledge it gained through this process to monitor
the performance of the main and operate and maintain the segment in accordance with Part
192, Subpart P and the operator’s Distribution Integrity Management Program (DIMP). After
the threat of in-service failures attributed to SSWC has been addressed, the operator should
refer back to Flowchart START (for steel gas distribution main) and assess the other threats to
which the main is susceptible.
no
Does segment have an Is the segment experiencing Apply one or a combination
yes
external coating? metal loss and/or leaks of the following actions:
attributed to external
-> Increase the frequency of
yes corrosion?
patrolling and leak surveys
no no
and monitor the number of
Is the external coating leaks occurring on the
adequate? segment as well as the leak
trends.
yes
-> Manage the leaks
Does the segment have a occurring on the segment
cathodic protection (CP)
no based on risk and in
system? accordance with the
operator's leak management
program.
yes
-> Repair leaks that cannot
no
Is the CP system adequate? be managed.
Continue to operate and
maintain segment in -> Schedule replacement of
accordance with Part 192, the entire segment.
yes
Subpart P (DIMP). Use new
-> See GPTC DIMP section
information gained to
6.3, Table 6.1, for additional
continue to monitor
segment performance. suggestions.
yes
no
no
Figure 36. Feasibility of Preventing in-Service Failures from External Corrosion (for
steel gas distribution main)
Again returning to Flowchart START (for steel gas distribution main), the operator of this main
should assess the last applicable threat, which is internal corrosion. Flowchart IC (for steel gas
distribution main), shown in Figure 37, should be used to analyze this threat.
34
When sacrificial anodes are installed, it is important to record their locations and desirable to equip them with a shut-off
mechanism to facilitate on/off pipe-to-soil potential measurements.
Has there ever been metal In the course of normal Apply one or a combination
loss in conjunction with operations, if presented with of the following actions:
yes
drips, dead-legs, and/or the opportunity, inspect the
interior surface of the pipe -> Increase the frequency of
areas of water
for internal corrosion. patrolling and leak surveys
accumulation, such as
and monitor the number of
downstream of a regulator,
in the system? leaks occurring on the
segment as well as the leak
no trends.
-> Manage the leaks
Is the segment experiencing occurring on the segment
Is the transported product yes metal loss and/or leaks yes based on risk and in
corrosive? attributed to internal accordance with the
corrosion? operator's leak management
no
program.
no
-> Repair leaks that cannot
Continue to operate and be managed.
maintain segment in
accordance with Part 192, -> Schedule replacement of
Subpart P (DIMP). Use new the entire segment.
information gained to -> See GPTC DIMP section
continue to monitor 6.3, Table 6.1, for additional
segment performance. suggestions.
yes
Figure 37. Feasibility of Preventing in-Service Failures from Internal Corrosion (for
steel gas distribution main)
According to Figure 37, while this main has both drips and dead-legs that exist in the system,
the operator has confirmed that no metal loss in conjunction with these features has occurred.
During the course of normal operations, if presented with the opportunity such as during a
repair, the operator should inspect the interior surface of the main for signs of internal
corrosion and/or water accumulation. Water should be drained from the system, if found, and
the segment should be cleaned out, if possible. If pitting is discovered, the severity needs to be
assessed, and if leakage is imminent, it should be managed in an acceptable manner. Since the
The above analysis indicates that the threats to the integrity of this main are being mitigated
through the applied A/A actions being taken by the operator. Judging whether the operator
should continue to apply these A/A actions and continue to operate the main going forward
versus replacing it can be decided based upon the cost to maintain the integrity of the existing
pipeline versus the cost to replace it. The cost to maintain and reassess the main to a level
required for preventing in-service leaks depends on the costs of the various A/A actions
discussed above. If these continuing costs are acceptable to the operator, then replacement is
not necessary.
The operator has records documenting all aspects of the pipeline’s design, construction, and
operation since 1976. The leak history indicates that leaks due to slow crack growth have been
increasing since 1989. The leak history also mentions a number of leaks experienced at joint or
tap connections in 1979, shortly after the system was put into service, however after repairs
were made no further failures of this type have been experienced.
It is assumed that the main was tested to 1.5 times the MAOP. Since the distribution system
piping is directly connected to the end users through hundreds of service connections, service
cannot be interrupted. The main cannot be taken out of service to perform a pressure test, and
it cannot accommodate an in-line inspection tool.
To determine whether or not this piping should be replaced, the operator can go through the
process described below starting with Flowchart START (for plastic gas distribution main)
(Figure C21 of Appendix C). Flowchart START (for plastic gas distribution main) is repeated as
Figure 38 below as adapted to this particular pipeline.
no
Is information (i.e. pipe Can information be
material and properties, established or verified?
type of construction, no
operating conditions, Identify all unknown
yes
threats, etc.)
yes regarding the
information and develop a
plastic distribution system plan for gaining this
Establish or verify information in accordance
known? information. with Part 192, Subpart P
(DIMP), section 1007(a)(3)
yes and as recommended by
GPTC DIMP sections 3.1(d)
to (f).
Continue to operate and
Are any of the following
no maintain segment in
threats causing problems on
accordance with Part 192,
the segment?
Subpart P (DIMP).
yes
Fusion/mechanical joining or
Proceed to Flowchart
service tap connection type
PLASTIC CONNECTIONS.
failures.
Figure 38. Start of Process to Decide Whether to Repair or Replace the Base Case
involving a Plastic Distribution System
The essential attributes of this main are known. If some or all of the vital information such as
diameter, wall thickness, seam type, or specified minimum yield strength were not known, the
operator would have to identify all unknown information and develop a plan for gaining this
information in accordance with Part 192, Subpart P (DIMP), section 1007(a)(3) and as
recommended by GPTC DIMP sections 3.1(d) to (f).
The segment has been experiencing leaks due to slow crack growth (SCG). So, the next step is
to proceed to Figure 39 which is Flowchart SCG (Figure C22 of Appendix C).
Any plastic distribution system may be susceptible to joining or tap connection failures such as
a bad fusion joint or a bad bolt-on type of tee; therefore, after assessing the segment for an
SCG threat, the operator should proceed to Flowchart PLASTIC CONNECTIONS (Figure C23 of
Appendix C), shown in Figure 40, to assess the segment for a joining or tap connection type
threat accordingly.
Figure 39. Feasibility of Preventing in-Service Failures from Slow Crack Growth
According to Figure 39, the operator should first determine whether the distribution system was
constructed of a pipe material known to be susceptible to premature brittle-like cracking (i.e.
SCG) under conditions of local stress intensification. An increase in the occurrence of leaks will
typically be the first indication of a SCG problem, and this condition can substantially reduce the
service life of polyethylene piping systems. In this particular case, the operator discovered that
the system piping was manufactured by Century Utility Products, Inc. which has been identified
in a PHMSA advisory bulletin as an older polyethylene pipe material that is susceptible to SCG.
A majority of the system leaks experienced were found to be attributed to SCG. The flowchart
suggests that the operator take some type of additional or accelerated (A/A) action such as
those suggested in GPTC DIMP Table 6.1 in order to appropriately manage the threat and
minimize the risk. The A/A actions in this table are not meant to be restrictive, but instead are
meant to serve as suggestions. The operator is free to take any action that helps reduce the
risk of the SCG threat to the system.
After an action is applied, the operator should monitor the trend of leaks occurring due to SCG
to determine if they are increasing, decreasing, or remaining the same. In this particular case,
Returning to Flowchart START (for plastic gas distribution main), the operator of this main
should assess the other applicable threat, which is joining or tap connection type failures.
Flowchart PLASTIC CONNECTIONS, shown in Figure 40, should be used to analyze this threat.
The above analysis indicates that the threats to the integrity of the distribution system
described are being mitigated through the applied A/A actions being taken by the operator.
Judging whether the operator should continue to apply these A/A actions and continue to
operate the system going forward versus replacing it can be decided on a basis that includes
the cost of maintaining pipeline integrity and safety. The cost to maintain and reassess the
system to a level required for mitigating risk to assure safety depends on the costs of the
various A/A actions discussed above. If these continuing costs are acceptable to the operator,
then replacement is not necessary.
The operator has no records documenting the pipeline’s design and construction in 1925.
However, operating records show that all pipe joints along this main have been sealed, and no
leaks have been experienced after the sealing process was complete. The leak history indicates
that leaks due to graphitization and breakage have been generally increasing since 1967.
There is no record of a post construction pressure test for this main. Since the distribution
main is directly connected to the end users through hundreds of service connections, service
cannot be interrupted. For this reason, the main cannot be taken out of service to perform a
pressure test, and it cannot accommodate an in-line inspection tool.
To determine whether or not this main should be replaced, the operator can go through the
process described below starting with Flowchart START (for cast iron distribution main) (Figure
C24 of Appendix C). Flowchart START (for cast iron distribution main) is repeated as Figure 41
below as adapted to this particular pipeline.
no
Is information (i.e. pipe Can information be
material and properties, no
established or verified?
type of construction,
operating conditions, Identify all unknown
yes
threats, etc.) regarding the information and develop a
cast iron main known? plan for gaining this
Establish or verify information in accordance
information. with Part 192, Subpart P
yes (DIMP), section 1007(a)(3)
and as recommended by
GPTC DIMP sections 3.1(d)
to (f).
Continue to operate and
Are any of the following
no maintain segment in
threats causing problems on
accordance with Part 192,
the segment?
Subpart P (DIMP).
yes
Joint leakage.
Proceed to Flowchart CAST
IRON CONNECTIONS.
Figure 41. Start of Process to Decide Whether to Repair or Replace the Base Case
involving a Cast Iron Distribution Main
The diameter, thickness, and type of material of this main are known because of the earlier
joint-sealing work. Thus, even though the operator does not have original design and
construction records, the susceptibility to known integrity threats can be assessed. If diameter,
wall thickness, seam type, or specified minimum yield strength were not known, the operator
would have to identify all unknown information and develop a plan for gaining this information
in accordance with Part 192, Subpart P (DIMP), section 1007(a)(3) and as recommended by
GPTC DIMP sections 3.1(d) to (f).
The segment has been experiencing leaks due to graphitization. So, the next step is to proceed
to Figure 42 which is Flowchart GRAPHITIZATION (Figure C26 of Appendix C).
This base case pipeline is not experiencing leaks in any of its joint connections, so the operator
of this pipeline need not consider the threats represented in Flowchart CAST IRON
CONNECTIONS (Figure C25 of Appendix C).
yes
no
no
According to Figure 42, the operator has confirmed that the main is experiencing leaks due to
graphitization. The flowchart suggests that the operator take some type of additional or
accelerated (A/A) action such as those suggested in GPTC DIMP Table 6.1 in order to
appropriately manage the threat and minimize the risk. The A/A actions in this table are not
meant to be restrictive, but instead are meant to serve as suggestions. The operator is free to
Returning to Flowchart START (for cast iron distribution main), the operator of this main should
assess the last applicable threat, which is breakage due to external forces. Flowchart
BREAKAGE, shown in Figure 43, should be used to analyze this threat.
Figure 43. Feasibility of Preventing in-Service Failures from Breakage due to Soil
Movement
The above analysis indicates that the threats to the integrity of this main cannot be
appropriately mitigated through repairs or on-going maintenance and integrity assessment
actions taken by the operator. The severe graphitization threat that the operator has been
unable to mitigate along with the breakage-type leaks occurring in locations with known
susceptibility to soil movement suggest that replacement of this particular main is the most
appropriate mitigative response.
http://www.phmsa.dot.gov/portal/site/PHMSA/menuitem.6f23687cf7b00b0f22e4c6962d9
c8789/?vgnextoid=78e4f5448a359310VgnVCM1000001ecb7898RCRD&vgnextchannel
=3430fb649a2dc110VgnVCM1000009ed07898RCRD&vgnextfmt=print&vgnextnoice=1
From each table trends are plotted which show (in spite of year-to-year variations that probably
reflect changes in reporting parameters) that the mileages of pre-regulation pipe and mains and
numbers of pre-regulation services have decreased over the 2005-2012 time period. It is
assumed that the downward trends result from older pipelines being replaced.
35,000
30,000
1920-1929
Liquid Pipelines
1930-1939
25,000
1950-1959
1960-1969
20,000
1940-1949
15,000
10,000
5,000
0
2004 2006 2008 2010 2012 2014
Year
70,000
60,000
Transmission Pipelines
20,000
10,000
0
2004 2006 2008 2010 2012 2014
Year
Figure A2. Trends in the Amounts of Pre-Regulation Pipe in Natural Gas
Transmission Pipelines (2005-2012)
140,000
Gas Distribution Mains
Miles of Pre-Regulation Gas Mains
120,000
100,000
80,000
60,000
Pre-1940 or unknown
40,000 1940-1949
1950-1959
20,000 1960-1969
0
2004 2006 2008 2010 2012 2014
Year
Figure A3. Trends in the Amounts of Pre-Regulation Natural Gas Distribution Mains
(2005-2012)
10,000,000
Gas Distribution Services
9,000,000
Numbers of Pre-Regulation Gas
8,000,000
7,000,000
6,000,000
Services
5,000,000
1,000,000
0
2004 2005 2006 2007 2008 2009 2010 2011 2012 2013
Year
Figure A4. Trends in the Numbers of Pre-Regulation Natural Gas Distribution
Services (2005-2012)
http://www.phmsa.dot.gov/portal/site/PHMSA/menuitem.6f23687cf7b00b0f22e4c69
62d9c8789/?vgnextoid=78e4f5448a359310VgnVCM1000001ecb7898RCRD&vgnext
channel=3430fb649a2dc110VgnVCM1000009ed07898RCRD&vgnextfmt=print&vgn
extnoice=1
Table B1. Reportable Incidents by Cause 1994-2013 – Part 1 of 2
NUMBER PERCENT
CAUSE OR THREAT HAZARDOUS NATURAL GAS NATURAL GAS HAZARDOUS NATURAL GAS NATURAL GAS
LIQUID TRANSMISSION DISTRIBUTION LIQUID TRANSMISSION DISTRIBUTION
CORROSION
EXTERNAL CORROSION 259 100 30 7.17% 8.57% 2.18%
INTERNAL CORROSION 354 131 1 9.81% 11.23% 0.07%
UNSPECIFIED CORROSION 195 5.40%
Sub Total for CORROSION 808 231 31 22.38% 19.79% 2.25%
EXCAVATION DAMAGE
OPERATOR/CONTRACTOR EXCAVATION DAMAGE 45 29 25 1.25% 2.49% 1.81%
THIRD PARTY EXCAVATION DAMAGE 125 138 389 3.46% 11.83% 28.23%
PREVIOUS DAMAGE DUE TO EXCAVATION 8 9 2 0.22% 0.77% 0.15%
UNSPECIFIED EXCAVATION DAMAGE 12 0.33%
Sub Total EXCAVATION DAMAGE 190 176 416 5.26% 15.08% 30.19%
INCORRECT OPERATION
DAMAGE BY OPERATOR OR OPERATOR'S CONTRACTOR 10 1 5 0.28% 0.36%
OVERFILL/OVERFLOW OF TANK/VESSEL/SUMP 40 1.11%
INCORRECT VALVE POSITION 38 6 4 1.05% 0.51% 0.29%
PIPELINE/EQUIPMENT OVERPRESSURED 24 2 0.66% 0.17%
INCORRECT INSTALLATION 32 1 5 0.89% 0.09% 0.36%
INCORRECT EQUIPMENT 4 0.11%
OTHER INCORRECT OPERATION 36 13 14 1.00% 1.11% 1.02%
UNSPECIFIED INCORRECT OPERATION 230 16 29 6.37% 1.37% 2.10%
Sub Total for INCORRECT OPERATION 414 39 57 11.47% 3.26% 4.14%
MAT'L/WELD/FAILURE
CONSTRUCTION INSTALLATION OR FABRICATION-RELATED 65 30 1.80% 2.57%
MANUFACTURING-RELATED 41 19 1.14% 1.63%
ENVIRONMENTAL CRACKING-RELATED 20 14 0.55% 1.20%
BODY OF PIPE 25 18 18 0.69% 1.54% 1.31%
PIPE SEAM 37 11 1.02% 0.94%
UNSPECIFIED PIPE BODY OR SEAM 0.00%
BUTT WELD 23 30 2 0.64% 2.57% 0.15%
FUSION JOINT 2 0.15%
COMPRESSION FITTING 2 0.15%
MECHANICAL FITTING 7 0.51%
FILLET WELD 14 7 0.39% 0.60%
UNSPECIFIED WELD
JOINT/FITTING/COMPONENT 75 40 27 2.08% 3.43% 1.96%
UNSPECIFIED MAT'L/WELD FAILURE 108 5 2.99% 0.36%
OTHER PIPE/WELD/JOINT FAILURE 5 0.36%
Sub Total for MATERIAL/WELD/FAILURE 408 169 68 11.30% 14.48% 4.93%
CAUSE OR THREAT HAZARDOUS NATURAL GAS NATURAL GAS HAZARDOUS NATURAL GAS NATURAL GAS
LIQUID TRANSMISSION DISTRIBUTION LIQUID TRANSMISSION DISTRIBUTION
EQUIPMENT FAILURE
MALFUNCTION OF CONTROL/RELIEF EQUIPMENT 129 108 19 3.57% 9.25% 1.38%
VALVE 6 0.44%
PUMP/COMPRESSOR-RELATED EQUIPMENT 167 10 4.63% 0.86%
THREADED CONNECTION/COUPLING FAILURE 120 30 4 3.32% 2.57% 0.29%
NON-THREADED CONNECTION FAILURE 227 12 11 6.29% 1.03% 0.80%
DEFECTIVE OR LOOSE TUBING/FITTING 35 1 0.97% 0.09%
FAILURE OF EQUIPMENT BODY 32 4 0.89% 0.34%
OTHER EQUIPMENT FAILURE 112 11 3.10% 0.94%
UNSPECIFIED EQUIPMENT FAILURE 506 14.02%
Sub Total for EQUIPMENT FAILURE 1328 176 40 36.79% 15.08% 2.90%
NATURAL FORCE DAMAGE
EARTH MOVEMENT 19 23 28 0.53% 1.97% 2.03%
HEAVY RAINS/FLOODS 31 90 27 0.86% 7.71% 1.96%
LIGHTNING 20 17 19 0.55% 1.46% 1.38%
TEMPERATURE 53 10 17 1.47% 0.86% 1.23%
HIGH WINDS 30 14 11 0.83% 1.20% 0.80%
OTHER NATURAL FORCE DAMAGE 4 4 5 0.11% 0.34% 0.36%
UNSPECIFIED NATURAL FORCE DAMAGE 35 1 0.97% 0.07%
Sub Total for NATURAL FORCE DAMAGE 192 158 108 5.32% 13.54% 7.84%
OTHER OUTSIDE FORCE DAMAGE
FIRE/EXPLOSION AS PRIMARY CAUSE 5 12 227 0.14% 1.03% 16.47%
VEHICLE NOT ENGAGED IN EXCAVATION 26 63 161 0.72% 5.40% 11.68%
MARITIME EQUIPMENT OR VESSEL ADRIFT 1 1 0.03% 0.09%
FISHING OR MARITIME ACTIVITY 1 7 0.03% 0.60%
ELECTRICAL ARCING FROM OTHER EQUIPMENT/FACILITY 6 2 11 0.17% 0.17% 0.80%
PREVIOUS MECHANICAL DAMAGE 8 7 5 0.22% 0.60% 0.36%
INTENTIONAL DAMAGE 7 3 17 0.19% 0.26% 1.23%
OTHER OUTSIDE FORCE DAMAGE 8 9 24 0.22% 0.77% 1.74%
UNSPECIFIED OUTSIDE FORCE DAMAGE 19 5 0.53% 0.36%
Sub Total for OTHER OUTSIDE FORCE DAMAGE 81 104 450 2.24% 8.91% 32.66%
ALL OTHER CAUSES
MISCELLANEOUS CAUSE 120 88 101 3.32% 7.54% 7.33%
UNKNOWN CAUSE 34 26 107 0.94% 2.23% 7.76%
UNSPECIFIED 35 0.97%
Sub Total for ALL OTHER CAUSES 189 114 208 5.24% 9.77% 15.09%
Totals 3610 1167 1378 100.00% 99.91% 100.00%
A PPENDIX C - F LOWCHARTS
yes
Figure C1. Flowchart START (for hazardous liquid pipelines, high-stress natural gas
transmission pipelines, and low-stress natural gas transmission pipelines)
Schedule Replacement
Evaluate the threats to a legacy pipeline
Go to
Is periodically assessing seam no Part B
integrity by means of hydrostatic
testing or ILI. feasible?
yes
Is it feasible to continue to
Are service failures from PCIF decrease the re-assessment
or SSWC occurring between yes intervals or to decrease the no
re-assessments? operating stress until service
failures from PCIF or SSWC cease
to occur?
no
yes
PART B
yes
no
Assess seam integrity periodically
based on the established interval
to prevent service failures from
PCIF.
Is it feasible to continue to
Are service failures from PCIF decrease the re-assessment
yes intervals or to decrease the MOP no Schedule
occurring between re-
until service failures from PCIF replacement.
assessments?
cease to occur?
no
yes
Is it feasible to continue to
decrease the re-assessment
Are service failures from lack- intervals or to decrease the
yes no
of-fusion or burned-metal Schedule
operating stress until service
defects occurring between re- replacement.
failures from lack-of-fusion or
assessments?
burned-metal defects cease to
no occur?
yes
no
no
no Schedule replacement of
Conduct an engineering study individual legacy features
to identify locations or at locations or under
Continue to operate in circumstances where each circumstances where the
accordance with Part 192 or specific type of individual particular feature
Part 195. constitutes an integrity
legacy feature could
constitute an integrity threat. threat and continue to
operate in accordance with
Part 192 or Part 195.
Is the segment
Continue to operate in
operated at a stress no
level greater than 20% accordance with Part
192 or Part 195.
of SMYS?
yes
*Puddle welding refers to welds made with an unknown welding proceddure to repair pits or other defects.
Deposited weld metal repairs made according to a documented and proven procedure are a legitimate
repair method and do not fall under this definitaion of puddle welding.
Is it feasible to continue to
Are service failures from PCIF decrease the re-assessment
or SSWC occurring between yes intervals or to decrease the MOP no Schedule
re-assessments? until service failures from PCIF or replacement.
SSWC cease to occur?
no
yes
no yes
Use pressure cycles to calculate
times to failure from PCIF or rely on Assess integrity and take
service and test failure history to necessary actions to prevent
establish re-assessment interval to failures from NAEC and SCC
prevent service failures from PCIF.
Is it feasible to continue to
decrease the re-assessment
Are service failures from PCIF intervals or to decrease the
yes no Schedule
occurring between re- operating stress until service
assessments? replacement.
failures from PCIF cease to
occur?
no
yes
It is feasible to continue to
Service failures from decrease the re-assessment
yes intervals or to decrease the no
manufacturing defects are Schedule
occurring between re- operating stress until service replacement.
assessments failures from manufacturing
no defects cease to occur.
yes
yes yes no
yes yes
yes
Conduct periodic
assessments or
hydrostatic tests at
appropriate intervals to
prevent leaks and
ruptures from external
corrosion and continue to
operate segment in
accordance with Part 192
or Part 195.
Is it feasible to prevent
Can the pipeline Can metal loss be leaks and ruptures
no no no
accomodate metal adequately assessed from corrosion using
loss ILI tools? and mitigated using periodic hydrostatic
ICDA? testing?
yes
Schedule
yes replacement.
yes
no Continue to operate in
Is segment susceptible
accordance with Part 192 or
to SCC?
Part 195.
yes
yes no
Has a pipe body hard spot ever no
Was pipe manufactured by caused a leak or a rupture or Can segment accomodate MFL
no has a hard spot ever been yes
Youngstown Sheet and tools or, if not, can it be made
Tube Conpany? found due to other inspection to accommodate MFL tools?
actives?
yes
yes Use special "residual field" MFL tool
to find and repair hard spots and
continue to operate in accordance
Has any failure occurred that Can pipe-to-soil potentials be with Part 192 or Part 195.
was attributed to HSC in the yes controlled in a manner that
heat-affected zone of the minimizes hydrogen generation
ERW seam? but still adequately mitigates no
corrosion?
no
Have metallurgical studies yes
and measurements of
alloy contents been made no
that suggest the likelihood
of susceptibility to HSC is
low? Control pipe-to-soil potentials in a
manner that minimizes the generation
yes of atomic hydrogen but still adequately
mitigates corrosion and continue to
Continue to operate in operate in accordance with Part 192 or
accordance with Part 192 Part 195.
or Part 195
no
Is information (i.e. pipe Can information be
material and properties, no
established or verified?
type of construction,
operating conditions, Identify all unknown
yes
threats, etc.) regarding the information and develop a
steel main known? plan for gaining this
Establish or verify information in accordance
information. with Part 192, Subpart P
yes
(DIMP), section 1007(a)(3)
and as recommended by
GPTC DIMP sections 3.1(d)
to (f).
Continue to operate and
Are any of the following
no maintain segment in
threats causing problems on
accordance with Part 192,
the segment?
Subpart P (DIMP).
yes
Proceed to Flowchart
Threaded underground
LEGACY FEATURES for steel
joints.
gas distribution main.
Figure C16. Flowchart START (for steel gas distribution system main)
yes
Figure C17. Flowchart SSWC (for steel gas distribution system main)
yes
no
no
Has there ever been metal In the course of normal Apply one or a combination
loss in conjunction with operations, if presented with of the following actions:
yes
drips, dead-legs, and/or the opportunity, inspect the
interior surface of the pipe -> Increase the frequency of
areas of water
for internal corrosion. patrolling and leak surveys
accumulation, such as
and monitor the number of
downstream of a regulator,
in the system? leaks occurring on the
segment as well as the leak
no trends.
-> Manage the leaks
Is the segment experiencing occurring on the segment
Is the transported product yes metal loss and/or leaks yes based on risk and in
corrosive? attributed to internal accordance with the
corrosion? operator's leak management
no
program.
no
-> Repair leaks that cannot
Continue to operate and be managed.
maintain segment in
accordance with Part 192, -> Schedule replacement of
Subpart P (DIMP). Use new the entire segment.
information gained to -> See GPTC DIMP section
continue to monitor 6.3, Table 6.1, for additional
segment performance. suggestions.
yes
Figure C20. Flowchart LEGACY FEATURES (for steel gas distribution system main)
no
Is information (i.e. pipe Can information be
material and properties, established or verified?
type of construction, no
operating conditions, Identify all unknown
yes
threats, etc.)
yes regarding the
information and develop a
plastic distribution system plan for gaining this
Establish or verify information in accordance
known? information. with Part 192, Subpart P
(DIMP), section 1007(a)(3)
yes and as recommended by
GPTC DIMP sections 3.1(d)
to (f).
Continue to operate and
Are any of the following
no maintain segment in
threats causing problems on
accordance with Part 192,
the segment?
Subpart P (DIMP).
yes
Fusion/mechanical joining or
Proceed to Flowchart
service tap connection type
PLASTIC CONNECTIONS.
failures.
Figure C23. Flowchart PLASTIC CONNECTIONS (for plastic gas distribution system)
no
Is information (i.e. pipe Can information be
material and properties, no
established or verified?
type of construction,
operating conditions, Identify all unknown
yes
threats, etc.) regarding the information and develop a
cast iron main known? plan for gaining this
Establish or verify information in accordance
information. with Part 192, Subpart P
yes (DIMP), section 1007(a)(3)
and as recommended by
GPTC DIMP sections 3.1(d)
to (f).
Continue to operate and
Are any of the following
no maintain segment in
threats causing problems on
accordance with Part 192,
the segment?
Subpart P (DIMP).
yes
Joint leakage.
Proceed to Flowchart CAST
IRON CONNECTIONS.
Figure C24. Flowchart START (for cast iron gas distribution system main)
Figure C25. Flowchart CAST IRON CONNECTIONS (for cast iron gas distribution
system main)
yes
no
no
Figure C26. Flowchart GRAPHITIZATION (for cast iron gas distribution system main)
Figure C27. Flowchart BREAKAGE (for cast iron gas distribution system main)
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