The need for policies affecting the siting and width of new rights-of-way Pipeline Safety Trust Conference November 2007 Denise Hamsher.

Slides:



Advertisements
Similar presentations
I NDIANA S A GING AND P OTENTIALLY H AZARDOUS P IPELINE S AFETY I NFRASTRUCTURE M EDIA C ONFERENCE C ALL P RESENTED B Y : T HE H OOSIER E NVIRONMENTAL.
Advertisements

Identify Problems, Planning Objectives and Constraints.
Railway Grade Separations Issues. Railway Grade Separations 1.Introduction Qualifications/experience to undertake bridge planning for railway grade separations:
Introduction to EIS/EA Managing the Environmental & Project Development Process Presented by the Ohio Dept. of Transportation.
    1 Liz Smith, EBRD The role of IFIs and the Principles of the Aarhus Convention UNECE 24 February 2011.
General Information on Permitting Electric Transmission Projects at the California Public Utilities Commission June 2009 Presentation created by the Transmission.
The BC Oil & Gas Commission Proactively Participating in Project Decision Making Processes James O’Hanley Deputy Commissioner.
Conservation Commissions and the Kinder Morgan Proposed Gas Pipeline PRESENTATION TO NORTHEAST MUNICIPAL GAS PIPELINE COALITION SEPTEMBER 22, 2014 MASSACHUSETTS.
Friends of the Fox River November 9, 2014 Longmeadow Parkway Fox River Bridge Corridor.
Conference on Environmental Assessments in Federations A Montana Perspective September 14, 2009 Tom Livers, Deputy Director Montana Department of Environmental.
IRWA 2013 Federal Agency Update Bureau of Land Management (BLM) U.S. Forest Service (USFS) Energy Corridors & Rapid Response Team.
Environmental Assessment Public Meeting
Clean Water Act Section 404 Basics Clean Water Act Section 404  Regulates discharges of dredged or fill material into waters of the U.S., including.
Pipelines and Risk Management How Safe is Safe? Pipeline Safety Trust Conference Denise Hamsher Enbridge Energy Company November 2006.
Longmeadow Parkway Fox River Bridge Corridor
National Energy Board Office national de l’énergie Pipeline Approvals in the Mackenzie Valley Jann Atkinson Environmental Specialist Applications Unit,
Eric J. Tomasi – Project Manager Division of Gas – Environment & Engineering Office of Energy Projects Federal Energy Regulatory Commission Northeast Energy.
NHPA, Section 106, and NEPA Highlights and Misconceptions.
First Nations-Focused Scientific Reviews of Environmental Assessments MSESMSES Prepared by Sarah Hechtenthal, M.Sc., P. Biol.
WETLANDS and LOCAL PROGRAMS Environmental Services Oregon Department of Transportation.
October 4, 2004 Detrich B. Allen City of Los Angeles Environmental Affairs Department 1 Siting New Development Detrich B. Allen General Manager Environmental.
Regulation of Pipelines
Planning for a Vibrant Community. Introduction Planning is a process that involves: –Assessing current conditions; envisioning a desired future; charting.
Douglas A. Sipe Outreach Manager Outreach Manager Division of Gas-Environment and Engineering Federal Energy Regulatory Commission Office of Energy Projects.
Sector Planning Process Alachua County Commission July 8 th,
Lassen Lodge Hydroelectric Project Public Scoping Meetings November 5, 2014 (Sacramento and Red Bluff) State Water Resources Control Board Division of.
1 Brace Centre for Water Resources Management McGill University, Sept. 25 François Boulanger, Regional Director The New Canadian Environmental Assessment.
Washington State Energy Facility Site Evaluation Council Region 10 Regional Response Team Northwest Area Committee Seattle, WA February 12, 2014 EFSEC.
Is NEPA Preventing Energy Development? Bryan Hannegan, Ph.D. Associate Director – Energy and Transportation White House Council on Environmental Quality.
Electric Transmission Siting, Permitting and Land Acquisition Energy and the Economy Summit June 26, 2013.
1 Overview of National Environmental Policy Act (NEPA)  Objective: Clarify the roles of NEPA and Negotiated Rulemaking Clarify the roles of NEPA and Negotiated.
Presented by: The Ohio Department of Transportation 1 Land Use Managing the Environmental & Project Development Process.
S.A.V.E. is a non-profit community organization whose aim is to sustain the southern Chester County region’s rural quality of life and community character.
Building Strong! 1 US Army Corps of Engineers Regulatory Program Kimberly McLaughlin Program Manager Headquarters Operations and Regulatory Community of.
State Permitting Issues for Wind Developments Southeast and Mid-Atlantic Regional Wind Summit 19 September 2005 Jennifer A. DeCesaro Energy Policy Specialist.
Mitigation in the Section 106 Process Dave Berwick Army Program Manager Advisory Council on Historic Preservation.
CHAPTER 3 SCOPING AND AGENCY COORDINATION. Scoping - the procedure for determining the appropriate level of study of a proposed project/activity - process.
Highway Location Study CE 453 Lecture 4 See also lab 2 and lab 4 instructions, and EIS lecture notes See also 04 DOT development process.doc Refs:
Pipeline Safety Trust Fort Worth Natural Gas Production Issues John W. Pepper Project Manager Office of Pipeline Safety Southwest Region, Houston, Texas.
SAFETEA-LU Section 6002 “ Efficient Environmental Reviews for Project Decisionmaking”
Secondary & Cumulative Effects Analysis Training Program Maryland State Highway Administration’s Secondary and Cumulative Effects Analysis Guidelines For.
Annexations as a Means to Preserve Open Space October 29, 2009.
U.S. Army Corps of Engineers Decision Authority l All permit decisions, scope of analysis, 404(b)(1), mitigation, alternatives, jurisdiction -- Corps.
Kilarc-Cow Creek Hydroelectric Project Decommissioning FERC Project No. 606 Technical Meeting May 16, 2007, 1-4 pm Red Lion Redding, CA.
Federal Energy Regulatory Commission The Pre-Filing Process IRWA/AI January 13-14, 2009 IRWA/AI.
Public communication before and during new pipeline construction? No single answer to how, when and what information is available. Denise Hamsher.
1 Implementing the Concepts Environment Pre-Conference Workshop TRB MPOs Present and Future Conference August 27, 2006 Michael Culp FHWA Office of Project.
1 CDBG and Environmental Review For Local Officials.
CORPS OF ENGINEERS REGULATORY PROGRAM PUBLIC INTEREST REVIEW (33 CFR Part 320) August 12, 2005.
FERC Office of Energy Projects 1 Richard Hoffmann, Director Division of Gas – Environment & Engineering Office of Energy Projects Policies Affecting.
2015 Pipeline Safety Trust Conference November 20 th, 2015 | New Orleans, LA API RP 1175 Pipeline Leak Detection Program Management – New RP Highlights.
California Energy Commission 1 LNG Permitting and Environmental Review: the View from California DOE LNG Forum Los Angeles June 1, 2006 Kevin Kennedy,
Environmental Site Assessments Hazardous Materials/ Regulated Substances Categorical Exclusion Training Class.
The Jordan Cove Pacific Connector Gas Pipeline and Terminal.
1 Sahtu Land Use Planning Board Public Hearing on the Draft 3 Sahtu Land Use Plan May 2011 INAC Presentation.
INTERSTATE PIPELINE FORUM Presented by: Rebecca F. Zachas, Esq.
Atlantic Coast Pipeline NCEDA MidWinter Conference March 9, 2016.
Integration of National Environmental Policy Act (NEPA) and National Historic Preservation Act (NHPA) NEPA and NHPA A Handbook for Integrating NEPA and.
Iron Range Tourism Bureau April 25, 2013 Hwy 53 Update.
PAC Meeting July 2, Agenda  Introductions and thanks  Project to date  Next steps  Questions.
1 1 The Project Description: Framing the CEQA Analysis Terry Rivasplata.
AGENCY ROLES Level 1B: Advanced Fundamentals July 2016 LOCAL, STATE, FEDERAL 1.
THE CORPS REGULATORY AUTHORITY
Fifth Standard Solar Project Complex
Michigan Dept. of Environmental Quality Water Resources Division
SEQRA as a Tool to Review Energy Projects
Nick Bonvoisin Secretary to the Convention on the
May 8, 2018 Marion Werkheiser, Cultural Heritage Partners
The National Environmental Policy Act (NEPA)
Early Mitigation Funding
Presentation transcript:

The need for policies affecting the siting and width of new rights-of-way Pipeline Safety Trust Conference November 2007 Denise Hamsher

Regulatory jurisdiction for new pipelines vary…so solutions will vary Interstate natural gas –FERC authority under the Natural Gas Act Intrastate natural gas –State jurisdiction for routing and public need determination Liquid Pipelines –State jurisdiction for routing and public need determination

State-regulated pipeline approvals: State programs vary significantly but may require one or more of: –Certificate of Need from state public utility commission -or- Statutory designation of public need for utilities –Routing Permit – not all states approve a route Some states have a comprehensive review of route alternatives –State environmental assessment and permitting Department of Natural Resources or Environment Federal permitting still applies –Environmental must comply with National Environmental Policy Act U.S. Army Corps of Engineers: jurisdictional waters Fish & Wildlife, etc. –Facility U.S. State Department – Presidential International Border Crossing Permit –Federal landowner- land access for pipeline

There just isn’t a one-size-fits all new pipeline routing and approval process –It can be confusing for public So… –If you are member of a the public: know your state’s process and what applies to planned pipeline in your area –If you are a pipeline operator: take time to introduce the project, its need and purpose, and regulatory approvals needed

Sample Permitting: 313-mile cross border crude oil pipeline United States FederalMinnesotaNorth Dakota FERC Tariffs Presidential Permit and federal Env. Assessment –or- EIS U.S. Army Corps of Engineers- jurisdictional waters U.S. Fish & Wildlife Compliance with 49 CFR 195 Certificate of Need Routing Permit State Env. Assessment Water Quality NPDES discharge/water State protected species Agricultural Mitigation Agmt Watershed district Certificate of Need Routing Permit Environmental Assessment Dept. of Game & Fish State Water Commission Historical Preservation Agricultural Mitigation Plan.... plus local permits! Canada FederalProvincial National Energy Board: tariffs, certificate, route and safety Fisheries and Oceans Transport Canada Environment Canada Natural Resources Canada Manitoba Conservation Culture Heritage & Citizenship Agriculture, Food and Rural Water Licensing and Stewardship

Factors for Assessing Route Alternatives First consideration is meeting the energy demand and market need –Pipeline must get from Point A to Point B System Alternatives –Can company’s existing system be optimized? –Are there other efficient modes of transportation? –What is optimum size of pipeline needed? Pipeline Routing Alternatives consider: –Constructability and minimizing distance –Existing utility corridors and routes –Population and development –Minimizing or mitigating affects on unique environmental areas Degree of regulatory scrutiny over route alternatives varies –FERC and some states are rigorous

Proposed width of right-of-way Permanent right-of-way –Varies depending on route density –Narrower ROW (< 50 feet) provides little buffer from development –Wider ROW (> 75 feet) provides buffer but width often questioned by landowner and regulators –Are there multiple pipelines in easement? –Typical goal is to strive for 25 feet from edge of easement/utility Temporary Work Space –Depends on size of pipeline –Deeper ditch requires soil space –Significant space is needed for 2- lanes of equipment

Temporary Work Space Additional construction “roadway” –Equipment –Top and sub soil storage –Pipe welding –Passing lane for moving equipment Additional room often needed at roads and river crossings

60-ft ROW 75-ft Temp workspace Example Highway Extra Work Space needed for some type of crossings

But route conditions vary widely River crossings where temporary bridge and bank restoration needed Wetland crossings: narrower workspace and minimal equipment Rural farming and need to protect agricultural production More developed areas with competing desires to minimize impact and provide “buffer”

Public interest is met when regulators have flexibility to address site specific issues Wetlands Historic preservation areas Development plans Organic farming practices Deep tilling in farm areas River crossing techniques Recommended construction “windows” or winter construction Designated utility corridors Etc……

Is there a perfect national policy or should we be talking about guidelines? Federal Guidelines –FERC process established approach –Only applies to interstate natural gas pipelines State: –Is it feasible to suggest all states adopt a common regulatory framework for siting new liquid and intrastate pipelines? Decades of state legislation history Varying state regulatory structures Vast differences in land use practices

Propose consideration of guidelines Challenge with working with several different state structures –Each with own processes –Some states have little experience with siting long distance energy facilities –Pipeline safety remains federally regulated State and local jurisdictions focus on siting, public need determinations and environmental permitting But pipeline safety often key concern with affected public Guidelines can be adapted to unique state processes, regulatory roles and specifics of pipeline route and project

Scope of potential guidelines Robust route alternative analysis –Pipeline operator to support initial proposed route to regulator –Opportunity for public comment on proposed route –Need for decision maker Can everyone be satisfied? Identification of affected public –Designation of those reasonably expected to be affected Obviously landowners along route Plus those within corridor XX feet from proposed Due process and communication expectations

Scope of Guidelines For Pipeline Operators Recommended initial introduction by pipeline: –Proposed project Purpose, timing, scope, etc. (e.g. Why? How? When?) Overview of route and where to get details Width of proposed easement and temporary work space Intent to seek permission to survey Toll free contact number and project website –Overview of regulatory approvals Experienced, trained land (right-of-way) agents –Basic easement agreement public but each landowner has right to request site-specific conditions in negotiations –Personal contact and commitment to negotiate in good faith

Guidelines for Operators (cont’d) Early and frequent communications with affected public –Sometimes difficult to identify all landowners (trusts, absentee) Ensure designated project team as various issues arise (engineering, environment, public safety concerns, etc. One-on-one contact between landowners and pipeline right-of-way agents for land-specific issues Early consultation with local and state agencies Identify and resolve as many issues as possible early –Modify route as feasible

Potential Guidelines for Regulators: Regulators should have process for public comment Consideration for coordination with neighboring states Understandable process with reasonable timelines –Sometimes need lawyer to understand –Public notices should be clear Transparency in process –E-dockets accessible to public –Hard copies of information made available in local libraries Regulator is neutral party but ultimately makes decision in public interest –Weighing energy needs, environmental considerations and public impact

Potential Guidelines for Affected Public: Learn more about project and approval process Willingness to participate in public meetings –Should public meetings be limited to angry public? How to access more information –About the project –About pipelines in your area Seek accurate and balanced information about project and pipelines

Caution… Early consultation means there are a many questions and issues that can’t yet be answered –Route subject to modifications Off landowner property or re-alignment on property? –Project still in commercial development so scope changes –Hundreds of landowners difficult to identify and reach Landowners get frustrated –But more perturbed if they are informed late in process All parties should commit to respectful communication Eminent domain is unwelcome by all parties –….but potential for impasse in negotiations along many miles A long distance project serving public energy needs will not please everyone

Summary We need to maintain and grow our our energy pipeline infrastructure to met public need No one-size-fits-all state pipeline siting standard –But there are guidelines and principles Communication and transparency in process key to constructive dialogue Land use is local control Millions of people pay little attention to pipelines until they are affected –We take infrastructure for granted