ATTENTION 192 Operators: Annual Reports and NPMS are due on 03/15/2025! If you need assistance, email us at [email protected].
EnServ Solutions
石油天然气
Houston,Texas 1,385 位关注者
Offering a wide variety of services to aid operators in maintaining compliance with PHMSA and OSHA regulations.
关于我们
At EnServ Solutions, we offer a wide variety of services to aid operators in maintaining compliance with 49 CFR 192 and 195 regulations as well as various state partners. Our services include: Consulting Services, Inspection & Testing, Manual Development, Reporting & Auditing, Management, Safety & Qualification, and Prevention & Storage
- 网站
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https://www.enservsolutions.com/
EnServ Solutions的外部链接
- 所属行业
- 石油天然气
- 规模
- 11-50 人
- 总部
- Houston,Texas
- 类型
- 合营企业
- 创立
- 2019
- 领域
- Consulting、Inspection、Testing 、Manual Development、Reporting、Auditing、Management 、Regulations、Energy、Oil、Safety、Qualification、Prevention、Storage、Marketing和PHSMA
地点
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主要
US,Texas,Houston
EnServ Solutions员工
动态
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ATTENTION: DAMIS Reports are due on 03/15/2025! If you need assistance, email us at [email protected].
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Attention Texas Operators: Winter Weather Outlook Railroad Commission of Texas
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ATTENTION: Distribution Operators! PS-95 Semi-Annual Leak Reports are due on 01/15/2025! If you need assistance, email us at [email protected].
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Notice to Oil and Gas Pipeline Operators: 16 TAC, Chapter 3.70 - Pipeline transfers by T-4B can now be completed by a Transferee if certain efforts made fail to acquire Transferor's authorization. - Clarify and update pipeline Types and Groups to align with 49 CFR 192.8 (i.e., Gas Gathering pipelines). - Clarify and update pipeline Types and Groups to align with?49 CFR 195 (i.e., Hazardous Liquid Regulated Rural Gathering and Reporting-Regulated-Only Gathering pipelines) - Update and clarify T-4 Annual filing dates for all operators. 16 TAC Chapter 8 - Clarification of jurisdiction and regulation of pipelines between PHSMA and RRC, including Offshore Production (Gas and Liquids in Texas Waters), Onshore Production in regulated areas (Class Locations), and Onshore Gathering (Type C). - Clarify and update Texas Integrity Management to align with 49 CFR 192 for MCAs. - Added GWUT and Direct In-Situ Examination as Assessment Methods for Risk-Based Texas IMP. - Align MCA Assessment Intervals and Methods with Risk-Based Texas IMP. - Clarify and update pipeline Types and Groups to align with 49 CFR 192 and 195 for Texas regulation of Gathering pipelines. - Add a New Construction (PS-48) requirement for LNG facilities. - Clarify and add PS-48 requirements for construction of a New Distribution System. - Update and Clarify Type C pipelines must file New Construction Reports. - Allows for the submission of PS-48 Construction Reports by Email or through the RRC's Online System. - Updates to Waiver Procedures regarding Notification of affected persons. - Requiring the payment of Distribution Service Fee and Master Meter Fee through the RRC's Online System. - Repealed the reporting requirement for Compression Couplings. Record retention of couplings is still required by operators. - Clarification of exemption of Distribution Facilities Replacement to align with DIMP exemptions in 49 CFR 192.1003(b). - Clarifies the submission of PS-95 Semi-Annual Leak Reports must be submitted even if there are no pending or repaired leaks
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PHMSA / DOT NOTICE: November 20, 2024 For assistance on Drug and Alcohol compliance management and MIS Reporting, Contact us at [email protected].
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With over a decade of experience in environmental health, safety, and sustainability across the energy and chemicals sectors, our team specializes in helping organizations manage the ever-evolving compliance landscape. Let’s ensure your organization is ready to meet the latest GHG and VOC standards while minimizing disruption. Reach out to learn how we can support you in navigating this critical regulatory change. #EPA #RegulationUpdate #EnvironmentalCompliance #GHGEmissions #VOCStandards #OilAndGas #EnServ
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