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AGA’s Response to CPSC’s RFI on Chronic Hazards Associated with Gas Ranges and Proposed Solutions
AGA, along with APGA, INGAA, API, GPA Midstream, AFPM, and NGA, filed cross-industry comments to the Leak Detection & Repair (LDAR) NPRM, proposed by PHMSA to fulfill Section 113 & 114 of the PIPES Act of 2020.
Full comments can be found at Docket PHMSA-2023-0039-26350.
Cross-industry comments filed by AGA, APGA (American Public Gas Association), and NGA (Northeast Gas Association) to PHMSA’s NPRM seeking input on the Safety of Gas Distrubtion Pipelines (SGDP) NPRM, proposed to fulfill Section 205 of the PIPES Act of 2020.
Full comments can be found on Docket PHMSA-2021-0046-0273.
AGA signed on to cross-industry comments filed to NTSB’s Advanced Notice of Proposed Rulemaking (ANPRM) seeking input on incident investigation authority as it relates to the definition of “substantial property damage” and “significant injury to the environment.”
The Associations recommended that the NTSB:
(1) should not unnecessarily limit its authority by adopting specific definitions or thresholds for these terms.
(2) avoid unintended impacts, including overburdening its resources and impacting PHMSA’s ability to investigate.
Full comments can be found on Docket NTSB-2023-0008.