HomeMy WebLinkAboutI202204 NOPV Response EXECUTIVE OFFICES
INTERMOUNTAIN GAS COMPANY
555 SOUTH COLE ROAD-P.O.BOX 7608• BOISE,IDAHO 83707• (208)377-6000• FAX:377-6097
December 13,2022
Mr.Jeff Brooks,Programs Manager
Idaho Public Utility Commission
PO Box 83720
Boise,ID 83720-0074
Subject:Response to Notice of Probable Violations dated October 31,2022(Report#I202204)
Dear Mr.Brooks,
This letter is intended to address fourteen(14)probable violations stemming from a Procedural,Records,and Field
Inspection of Intermountain Gas Company's(IGC)Rexburg LNG Plant conducted by the Idaho Public Utilities
Commission(IPUC)on October 3-6,2022.
PROBABLE VIOLATIONS
1. 49 CFR&193.2507 Monitoring Operations
Each component in operation or building in which a hazard to persons or property could
exist must be monitored to detect fire or any malfunction or flammable fluid that could
cause a hazardous condition. Monitoring must be accomplished by watching or listening
from an attended control center for warning alarms, such as gas, temperature,pressure,
vacuum, and flow alarms, or by conducting an inspection or test at intervals specified in the
operating procedures.
49 CFR 4193.2801 Fire Protection
Each operator must provide and maintain fire protection at LNG plants according to
sections 9.1 through 9.7 and section 9.9 ofNFPA-59A-2001 (incorporated by reference, see
§193.2013). However, LNG plants existing on March 31, 2000, need not comply with
provisions on emergency shutdown systems, water delivery systems, detection systems, and
personnel qualification and training until September 12, 2005.
NFPA 59A Standard for the Production, Storage, and Handling of Liquified Natural
Gas(LNG)2001 Edition.
9.3 Fire and Leak Control.
9.3.1 Those areas including enclosed buildings, that have the potential for flammable gas
concentrations, LNG or flammable refrigerant spills, and fire shall be monitored as
required by the evaluations in 9.1.2.
9.3.2 Continuously monitored low-temperature sensors or flammable gas detection systems
shall sound an alarm at the plant sire and at a constantly attended location if the plant site
is not attended continuously.
9.3.3 Fire detectors shall sound an alarm at the plant site and at a constantly attended
location if the plant site is not attended continuously.In addition, is so determined by an
evaluation in accordance with 9.1.2,fire detectors shall be permitted to activate portions of
the ESD system.
9.3.4 The detection systems determined from the evaluation in 9.1.2 shall be designed,
installed, and maintained in accordance with NFPA 72, National Fire Alarm Code, or
NFOA 1221, Standard for the Installation, Maintenance, and Use of Emergency Services
Communications Systems, as applicable.
Findings:
Staff observed that the calibration gas used to test eh Lower Explosive Limit (LEL) detection
alarm had an expiration date of 2014,rendering the tests on the LEL alarm invalid.Additionally,
when tested,audible and strobe warning alarms were not working because they were disconnected
from the main control box.
EXECUTIVE OFFICES
INTERMOUNTAIN GAS COMPANY
555 SOUTH COLE ROAD-P.O.BOX 7608• BOISE,IDAHO 83707•(208)377-6000• FAX:377-6097
Intermountain Gas Response
Intermountain Gas Company (IGC) acknowledges the findings brought forth by the IPUC as outlined above.
The expired calibration gas has been replaced with new calibration gas, and the LEL sensors were calibrated
on November 29, 2022. Future calibrations will be performed at the required intervals outlined in procedure
4555 Rexburg LNG Equipment and Components, and calibration gas will be replaced prior to expiration.
Additionally,the audible and strobe warning alarms were reconnected and tested during the audit. The testing
of the audible alarm was successful, and the alarm remains connected and in working condition. After
investigation, it was determined the light within the strobe light alarm is burnt out. The fire panel company,
Simplex-Grinnell,has been contacted for repairs.While a repair date has not been confirmed,IGC has requested
the repairs be made as soon as possible.
2. 49 CFR&193.2801 Fire Protection
Each operator must provide and maintain fire protection at LNG plants according to
sections 9.1 through 9.7 and section 9.9 of NFPA-59A-2001 (incorporated by reference, see
¢193.2013). However, LNG plants existing on March 31, 2000, need not comply with
provisions on emergency shutdown systems, water delivery systems, detection systems, and
personnel qualification and training until September 12, 2005.
NFPA 59A Standard for the Production, Storage, and Handling of Liquified Natural
Gas(LNG)2001 Edition.
9.7 Personnel Safety
9.7.4*At least three portable flammable gas indicators shall be readily available.
Findings
Staff found that there was only one portable flammable gas detector at the LNG site,and it was in
the service technician's truck.
Intermountain Gas Response
Intermountain Gas Company(IGC)acknowledges the findings brought forth by the IPUC as outlined above.
To meet the requirements NFPA 59 A section 9.7.4,IGC placed an order on December 7,2022,for the purchase of
two portable gas detectors that will be permanently stored at the Rexburg LNG facility, bringing the number of
portable gas detectors to three.
EXECUTIVE OFFICES
INTERMOUNTAIN GAS COMPANY
555 SOUTH COLE ROAD-P.O.BOX 7608• BOISE,IDAHO 83707•(208)377-6000• FAX.377-6097
3. 49 CFR&193.2017 Plans and Procedures
(a)Each operator shall maintain at each LNG plant the plans and procedures required for
that plant by this part. The plans and procedures must be available upon request for review
and inspection by the Administrator or any State Agency that has submitted a current
certification or agreement with respect to the plant under the pipeline safety laws (49
U.S.C. 60101 et seq). In addition, each change to the plans or procedures must be
available at the LNG plant for review and inspection within 20 days after the change is
made.
49 CFR 093.2605 Maintenance procedures
(c)Each operator shall include in the manual required by paragraph (b) of this section
instructions enabling personnel who perform operation and maintenance activities to
recognize conditions that potentially may be safety-related conditions that are subject to the
reporting requirements of,�191.23 of this subchapter.
Finding:
Staff found that the Operating Manual for the Rexburg LNG plant does not have a procedure
enabling personnel who perform operation and maintenance activities to recognize conditions that
potentially may be safety-related conditions.
Intermountain Gas Response
Intermountain Gas Company (IGC) acknowledges the Rexburg LNG operating manual does not outline the
requirements related to safety related conditions, however; MDU Utilities Group procedure OPS 9 — Gas
Emergency Notification and Reporting outlines the requirements set forth in 49 CFR 191.23. An MOC has
been initiated to create a new procedure to be added to the operating manual that will reference OPS 9. The
new procedure will implement on or before January 31,2023.
4. 49 CFR 4193.2017 Plans and Procedures
(b)Each operator shall maintain at each LNG plant the plans and procedures required for
that plant by this part. The plans and procedures must be available upon request for review
and inspection by the Administrator or any State Agency that has submitted a current
certification or agreement with respect to the plant under the pipeline safety laws (49
U.S.C. 60101 et seq).In addition, each change to the plans or procedures must be
available at the LNG plant for review and inspection within 20 days after the change is
made.
49 CFR 4193.2607 Foreign Material
(a)The presence of foreign material, contaminants, or ice shall be avoided or controlled to
maintain the operational safety of each component.
(b) LNG plant grounds must be free from rubbish, debris, and other material which present
afire hazard. Grass areas on the LNG plant grounds must be maintained in a manner that
does not present afire hazard.
Findings
Staff found that the Operating Manual for the Rexburg LNG plant does not require that the facility
be free from the presence of foreign material and debris.
Intermountain Gas Response
Intermountain Gas Company (IGC) acknowledges the findings brought forth by the IPUC as outlined above.
An MOC has been initiated to revise procedure 4552 Rexburg LNG Recognizing Abnormal Operating
Conditions to include the requirement of the recognition and removal of foreign material and debris.The revised
procedure will implement on or before January 31,2023.
EXECUTIVE OFFICES
INTERMOUNTAIN GAS COMPANY
555 SOUTH COLE ROAD-P.O.BOX 7608• BOISE,IDAHO 83707•(208)377-6000• FAX.377-6097
5. 49 CFR&193.2017 Plans and Procedures
(c)Each operator shall maintain at each LNG plant the plans and procedures required for
that plant by this part. The plans and procedures must be available upon request for review
and inspection by the Administrator or any State Agency that has submitted a current
certification or agreement with respect to the plant under the pipeline safety laws (49
U.S.C. 60101 et seq).In addition, each change to the plans or procedures must be
available at the LNG plant for review and inspection within 20 days after the change is
made.
49 CFR 4193.2801 Fire Protection
Each operator must provide and maintain fire protection at LNG plants according to
sections 9.1 through 9.7 and section 9.9 of NFPA-59A-2001 (incorporated by reference, see
¢193.2013). However, LNG plants existing on March 31, 2000, need not comply with
provisions on emergency shutdown systems, water delivery systems, detection systems, and
personnel qualification and training until September 12, 2005.
NFPA 59A Standard for the Production, Storage, and Handling of Liquified Natural
Gas(LNG)2001 Edition.
9.9 Other Operations
9.9.1 Manual emergency depressurizing means shall be provided where necessary for
safety. Portions of the plant that can be isolated from storage tanks or other sources of
supply can be depressurized by venting to the atmosphere. The discharge shall be directed
so as to minimize exposure to personnel or equipment.
Findings:
Staff found that the Operating Manual for the Rexburg LNG plant does not have a procedure for
manually depressurizing the plant or venting LNG in the event of an emergency as necessary for
safety.
Intermountain Gas Response
Intermountain Gas Company (IGC) acknowledges the findings brought forth by the IPUC as outlined above.
An MOC has been initiated to revise procedure 4552 Rexburg LNG Recognizing Abnormal Operating
Conditions to include the instruction for venting in the case of an emergency. The revised procedure will
implement on or before January 31,2023.
EXECUTIVE OFFICES
INTERMOUNTAIN GAS COMPANY
555 SOUTH COLE ROAD•P.O.BOX 7608• BOISE,IDAHO 83707•(208)377-6000• FAX.377-6097
6. 49 CFR&193.2513 Transfer Procedures
(a) Each transfer of LNG or other hazardous fluid must be conducted in accordance with
one or more manuals of written procedures to provide for safe transfers
(b) The transfer procedures must include provisions for personnel to:
(1) Before transfer, verify that the transfer system is ready for use, with connections
and controls in proper positions, including if the system could contain a combustible
mixture, verifying that it has been adequately purged in accordance with a procedure
which meets the requirements of'Purging Principles and Practices (incorporated by
reference, see,¢193.2013)";
(2) Before transfer, verify that each receiving container or tank vehicle does not
contain any substance that would be incompatible with the incoming fluid and that
there is sufficient capacity available to receive the amount offluid to be transferred;
(3) Before transfer, verify the maximum filling volume of each receiving container or
tank vehicle to ensure that expansion of the incoming fluid due to warming will not
result in overfilling or overpressure;
(4) When making bulk transfer of LNG into a partially filled(excluding cooldown heel)
container, determine any differences in temperature or specific gravity between the
LNG being transferred and the LNG already in the container and, if necessary,provide
a means to prevent rollover due to stratification.
(5) Verify that the transfer operations are proceeding within design conditions and that
overpressure or overfilling does not occur by monitoring applicable flow rates, liquid
levels, and vapor returns.
(6) Manually terminate the flow before overfilling or overpressure occurs; and,
(7) Deactivate cargo transfer systems in a safe manner by depressurizing, venting, and
disconnecting lines and conducting any other appropriate operations.
IGC—Rexburg LNG Transfer Operations—Procedure 4565.2 Revision April 22,2021
3.3.14. Complete necessary items on LNG Transfer Operations Checklist prior to beginning
transfer operations.
3.6.4.Ensure LNG Transfer Operations Checklist is complete, signed and dated by a Vap. Tech.
3.6.4.1.A separate checklist is required for each trailer offload.
Findings•
Staff found that the Operator did not utilize Rexburg LNG Truck Off Loading Operations
Checklist as required by IGC procedure 4565.2.
Intermountain Gas Response
Intermountain Gas Company (IGC) acknowledges the findings brought forth by the IPUC as outlined above.
Operators will immediately begin using the Rexburg LNG Truck Off Loading Operations Checklist as required
by procedure 4565 Rexburg LNG Transfer Operations.
EXECUTIVE OFFICES
INTERMOUNTAIN GAS COMPANY
555 SOUTH COLE ROAD-P.O.BOX 7608• BOISE,IDAHO 83707•(208)377-6000• FAX.377-6097
7. 49 CFR&193.2639 Maintenance Records(a)
(a)Each operator shall keep a record at each LNG plant of the date and type of each
maintenance activity performed on each component to meet the requirements of this part.
For each LNG facility that is designed and constructed after March 31, 2000 the operator
shall also maintain related periodic inspection and testing records that NFPA-59A-2001
(incorporated by reference, see§193.2013) requires. Maintenance records, whether
required by this part or NFPA-59A-2001 must be kept for a period of not less than five
years.
49 CFR 4193.2621 Testing transfer hoses
(a)Tested once each calendar year, but with intervals not exceeding 15 months, to the
maximum pump pressure or relief valve setting; and
(b)Visually inspected for damage or defects before each use
IGC—Rexburg LNG Transfer Operations—Procedure 4565.2 Revision April 22,2021
3.3.14. Complete necessary items on LNG Transfer Operations Checklist prior to beginning
transfer operations.
3.6.4.Ensure LNG Transfer Operations Checklist is complete,signed and dated by a Vap. Tech.
3.6.4.1.A separate checklist is required for each trailer offload.
Findings:
Staff did not find records of transfer hose inspections being completed or recorded for each trailer
as required by 49 CFR 193.2639 Maintenance Records,49 CFR 193.2621 Testing Transfer Hoses,
and IGC—Rexburg LNG Transfer Operations—Procedure 4565.2 Revision April 22,2021 Section
3.6.4.1.
Intermountain Gas Reslionse
Intermountain Gas Company (IGC) acknowledges the findings brought forth by the IPUC as outlined above.
Operators will immediately begin using the Rexburg LNG Truck Off Loading Operations Checklist as required
by procedure 4565 Rexburg LNG Transfer Operations.
EXECUTIVE OFFICES
INTERMOUNTAIN GAS COMPANY
555 SOUTH COLE ROAD-P.O.BOX 7608• BOISE,IDAHO 83707•(208)377-6000• FAX:377-6097
8. 49 CFR&193.2719 TraininE: records.
(a) Each operator shall maintain a system of records which-
(1) Provide evidence that the training programs required by this subpart have been
implemented; and
(2) Provide evidence that personnel have undergone and satisfactorily completed the
required training programs.
49 CFR 4193.2707 Operations and maintenance.
(a)Each operator shall utilize for operation or maintenance of components only those
personnel who have demonstrated their capability to perform their assigned functions by-
(1) Successful completion of the training required by g193.2713 and 193.2717;
(2) Experience related to the assigned operation or maintenance function; and,
(3) Acceptable performance on a proficiency test relevant to the assigned function.
49 CFR 4193.2713 TraininE,operations and maintenance.
(a) Each operator shall provide and implement a written plan of initial training to instruct-
(1) All permanent maintenance, operating, and supervisory personnel-
About the characteristics and hazards of LNG and other flammable fluids used or
handled at the facility, including, with regard to LNG, low temperatures,flammability
of mixtures with air, odorless vapor, boiloff characteristics, and reaction to water and
water spray;
(ii) About the potential hazards involved in operating and maintenance activities; and,
(iii) To carry out aspects of the operating and maintenance procedures under
¢§193.2503 and 193.2605 that relate to their assigned functions; and
(2) All personnel-
(i) To carry out the emergency procedures under�193.2509 that relate to their
assigned functions; and
(ii) To give first-aid;and,
(3) All operating and appropriate supervisory personnel-
(i) To understand detailed instructions on the facility operations, including controls,
functions, and operating procedures; and
(ii) To understand the LNG transfer procedures provided under¢193.2513.
Findings:
Staff did not find any written plan of initial training,nor any records of initial training.
Intermountain Gas Response
Intermountain Gas Company(IGC)acknowledges the findings brought forth by the IPUC as outlined above.
While on the job training has been conducted for personnel assigned LNG duties, an official training plan is being
developed for the initial training of permanent maintenance,operating,and supervisory personnel.Initial training for
required personnel will be completed on or before March 31,2023,utilizing the new training plan.Training records
will be retained for the duration an individual is assigned LNG responsibilities,plus one year after the individual is
no longer assigned responsibilities.
EXECUTIVE OFFICES
INTERMOUNTAIN GAS COMPANY
555 SOUTH COLE ROAD-P.O.BOX 7608• BOISE,IDAHO 83707•(208)377-6000• FAX.377-6097
9. 49 CFR&193.2719 Training: records.
(a)Each operator shall maintain a system of records which-
(1) Provide evidence that the training programs required by this subpart have been
implemented; and
(2) Provide evidence that personnel have undergone and satisfactorily completed the
required training programs.
49 CFR W3.2713 Training: operations and maintenance
(b)A written plan of continuing instructions must be conducted at intervals of not more than
two years to keep all personnel current on the knowledge and skills they gained in the
program of initial instruction.
Findings:
Staff did not find any written plan of continuing instruction,nor any records of two-year refresher
training.
Intermountain Gas Response
Intermountain Gas Company (IGC) acknowledges the findings brought forth by the IPUC as outlined above.
While on the job training has been conducted for personnel assigned LNG duties, an official training plan is being
developed for the initial training of permanent maintenance,operating,and supervisory personnel.Initial training for
required personnel will be completed on or before March 31,2023,utilizing the new training plan.Refresher training
will be conducted at intervals not to exceed two years per the requirement of 4557 Rexburg LNG Vaporization Tech
Training and Qualifications. Training records will be retained for the duration an individual is assigned LNG
responsibilities,plus one year after the individual is no longer assigned responsibilities.
10. 49 CFR&193.2715 Training,security.
(a) Personnel responsible for security at an LNG plant must be trained in accordance with
a written plan of initial instruction to:
(1) Recognize breaches of security;
(2) Carry out the security procedures under�193.2903 that relate to their assigned duties;
(3) Be familiar with basic plant operations and emergency procedures, as necessary to
effectively perform their assigned duties; and,
(4) Recognize conditions where security assistance is needed.
49 CFR&193.2719 Training: records.
(a)Each operator shall maintain a system of records which-
(1) Provide evidence that the training programs required by this subpart have been
implemented; and
(2) Provide evidence that personnel have undergone and satisfactorily completed the
required training programs.
Findings:
Staff did not find any written plan of initial training,nor any records of initial training.
Intermountain Gas Reslionse
Intermountain Gas Company (IGC) acknowledges the findings brought forth by the IPUC as outlined above.
While on the job training has been conducted for personnel assigned LNG duties, an official training plan is being
developed for the initial training of permanent maintenance,operating,and supervisory personnel.Initial training for
required personnel will be completed on or before March 31,2023,utilizing the new training plan.Training records
will be retained for the duration an individual is assigned LNG responsibilities,plus one year after the individual is
no longer assigned responsibilities.
EXECUTIVE OFFICES
INTERMOUNTAIN GAS COMPANY
555 SOUTH COLE ROAD-P.O.BOX 7608• BOISE,IDAHO 83707•(208)377-6000• FAX.377-6097
11. 49 CFR&193.2715 Training,security.
(a) Personnel responsible for security at an LNG plant must be trained in accordance with
a written plan of initial instruction to:
(1) Recognize breaches of security;
(2) Carry out the security procedures under �193.2903 that relate to their assigned duties;
(3) Be familiar with basic plant operations and emergency procedures, as necessary to
effectively perform their assigned duties; and,
(4) Recognize conditions where security assistance is needed.
(b)A written plan of continuing instruction must be conducted at intervals of not more than
2 years to keep all personnel having security duties current on the knowledge and skills they
gained in the program of initial instruction.
193.2719 Training, records.
(a)Each operator shall maintain a system of records which-
(1)Provide evidence that the training programs required by this subpart have been
implemented; and
(2)Provide evidence that personnel have undergone and satisfactorily completed the
required training programs.
Findings:
Staff did not find any written plan of continuing instruction,nor any records of two-year refresher
training.
Intermountain Gas Resilonse
Intermountain Gas Company (IGC) acknowledges the findings brought forth by the IPUC as outlined above.
While on the job training has been conducted for personnel assigned LNG duties, an official training plan is being
developed for the initial training of permanent maintenance,operating,and supervisory personnel.Initial training for
required personnel will be completed on or before March 31,2023,utilizing the new training plan.Refresher training
will be conducted at intervals not to exceed two years per the requirements of 4557 Rexburg LNG Vaporization Tech
Training and Qualifications. Training records will be retained for the duration an individual is assigned LNG
responsibilities,plus one year after the individual is no longer assigned responsibilities.
EXECUTIVE OFFICES
INTERMOUNTAIN GAS COMPANY
555 SOUTH COLE ROAD-P.O.BOX 7608• BOISE,IDAHO 83707•(208)377-6000• FAX:377-6097
12. 49 CFR&193.2717 Training,fire protection.
(a) All personnel involved in maintenance and operations of an LNG plant, including their
immediate supervisors, must be trained according to a written plan of initial
instruction, including plant fire drills, to:
(1) Know the potential causes and areas of fire;
(2) Know the types, sizes, and predictable consequences of fire; and
(3) Know and be able to perform their assigned fire control duties according to the
procedures established under§193.2509 and by proper use of equipment provided under§
193.2801.
(c)Plant fire drills must provide personnel hands-on experience in carrying out their duties
under the fire emergency procedures required by§193.2509
193.2719 Training: records.
(a)Each operator shall maintain a system of records which-
(1) Provide evidence that the training programs required by this subpart have been
implemented; and
(2) Provide evidence that personnel have undergone and satisfactorily completed the
required training programs.
Findings:
Staff did not find any written plan of initial training,nor any records of initial training.
Intermountain Gas Reslionse
Intermountain Gas Company (IGC) acknowledges the findings brought forth by the IPUC as outlined above.
A training plan is being developed for the initial training of permanent maintenance, operating, and supervisory
personnel. Initial training for required personnel will be completed on or before March 31, 2023. Training records
will be retained for the duration an individual is assigned LNG responsibilities,plus one year after the individual is
no longer assigned responsibilities.
13. 49 CFR&193.2717 Training,fire protection.
(a) All personnel involved in maintenance and operations of an LNG plant, including their
immediate supervisors, must be trained according to a written plan of initial
instruction, including plant fire drills, to:
(1) Know the potential causes and areas of fire;
(2) Know the types, sizes, and predictable consequences of fire; and
(3) Know and be able to perform their assigned fire control duties according to the
procedures established under�193.2509 and by proper use of equipment provided under
�193.2801.
(b)A written plan of continuing instruction, including plant fire drills, must be conducted at
intervals of not more than 2 years to keep personnel current on the knowledge and skills
they gained in the instruction under paragraph (a) of this section.
(c)Plant fire drills must provide personnel hands-on experience in carrying out their duties
under the fire emergency procedures required by�193.2509
193.2719 Training,records(a)
(a)Each operator shall maintain a system of records which-
(1) Provide evidence that the training programs required by this subpart have been
implemented; and
(2) Provide evidence that personnel have undergone and satisfactorily completed the
required training programs.
Findings:
Staff did not find any written plan of continuing instruction,nor any records of two-year refresher
training.
EXECUTIVE OFFICES
INTERMOUNTAIN GAS COMPANY
555 SOUTH COLE ROAD-P.O.BOX 7608• BOISE,IDAHO 83707•(208)377-6000• FAX:377-6097
Intermountain Gas Resilonse
Intermountain Gas Company (IGC) acknowledges the findings brought forth by the IPUC as outlined above.
A training plan is being developed for the initial training of permanent maintenance, operating, and supervisory
personnel.Initial training for required personnel will be completed on or before March 31,2023.Refresher training
will be conducted at intervals not to exceed two years per the requirement of 4557 Rexburg LNG Vaporization Tech
Training and Qualifications.
14. 49 CFR&193.2503 Operating procedures.
Each operator shall follow one or more manuals of written procedures to provide safety in
normal operation and in responding to an abnormal operation that would affect safety.
IGC —Rexburg LNG Equipment and Components —Procedure 4555.4 Revision April
22,2021
2. PROCEDURE
2.1. All combustible gas detectors shall be inspected and tested at intervals not to exceed six
(6) months and repaired/replaced per manufacturer's recommendations if needed.
Issue Summary:
Intermountain Gas Company Standard Operating Procedure 4555.4 (2.1) requires all LEL
combustible gas indicators shall be inspected and tested at intervals not to exceed six(6)months
and repaired/replaced per manufacturer's recommendations if needed. When reviewing records,
it was documented testing took place in May 2021 and November 2021 but was not completed in
May 2022 as required by procedure 4555.4.
Intermountain Gas Resilonse
Intermountain Gas Company (IGC) acknowledges the findings brought forth by the IPUC as outlined above.
LEL sensors were calibrated on November 29, 2022. Future calibrations will be performed at the required
intervals outlined in 4555 Rexburg LNG Equipment and Components.
Please contact Josh Sanders at(701)222-7773 with questions or comments.
Respectfully Submitted,
Pat Darras
Vice President,Engineering&Operations Services
Intermountain Gas Company