Tag Archives: Hazard

Comments from SpectraBusters, Inc. against small LNG

Submitted in Public Comment Concerning Unregulated Small Scale LNG Processing Facilities:

600x306 Duke nuke and gas plant down Power Line Road, in Strom Inc. moves to Crystal River, by John S. Quarterman, for SpectraBusters.org, 29 September 2014
Duke nuke and gas plant down Power Line Road, Crystal River, FL, from new Strom location (the blue box).

From: Spectra Busters <spectrabusters@gmail.com>
Date: Mon, Oct 16, 2017 at 4:03 PM
Subject: RIN 1901-AB43 and FE Docket No. 17-86-R
To: fergas@hq.doe.gov
Cc: Spectra Busters <spectrabusters@gmail.com>

Comments from SpectraBusters, Inc. against small LNG


  1. The Federal Energy Regulatory Commission has abdicated Congressional authority under Section 3 of the Natural Gas Act (NGA) for the siting, construction, operation and maintenance of small-scale inland LNG export facilities.
  2. How is an LNG export facility that must obtain an export license from the U. S. Department of Energy not, from FERC’s perspective, an “export” facility within the meaning of the NGA and thus not subject to FERC’s jurisdiction (see Pivotal LNG, Inc., FERC Docket No. RP15-259-000 Issued April 2, 2015, Norman Bay, Commissioner, Dissenting Opinion).
  3. How is an LNG “export” facility that trucks LNG 440 yards to a dock not Continue reading Comments from SpectraBusters, Inc. against small LNG

Albany wells in Sabal Trail’s path

Does FERC care about Albany and Dougherty County’s water supply?

Filed with FERC 19 May 2015 as Accession Number: 20150519-5141, “Letter of concern for City of Albany’s water supply under CP15-17”:

City of Albany
Albany, Georgia

Via Electronic Filing

May 19, 2015

Kimberly D. Bose, Secretary
Federal Energy Regulatory Commission
888 First Street, N.E., Room 1A
Washington, D.C. 20426

RE: Southeast Market Pipelines Project
Sabal Trail Transmission, LLC
Docket No. CP15-17-000
Docket No. CP14-16-000
Docket No. CP14-554-000

Dear Secretary Bose:

We wish to point out a special feature Continue reading Albany wells in Sabal Trail’s path

PHMSA abnormal vs. accident

Apparently an actual fire or explosion may (or may not) count as an accident according to PHMSA, but there’s a huge gap in PHMSA’s definitions: they don’t seem to say they apply to methane. And guess whose Public Awareness Program PHMSA requires pipeline operators to follow?

According to PHMSA’s Glossary and Definitions,


A release of the hazardous liquid or carbon dioxide transported that results in any of the following:
  1. explosion or fire not intentionally set by the operator.
  2. release of Continue reading PHMSA abnormal vs. accident