2012 Annual Report MOOMBA TO PORT BONYTHON LIQUIDS...
Transcript of 2012 Annual Report MOOMBA TO PORT BONYTHON LIQUIDS...
2012 Annual Report
MOOMBA TO PORT BONYTHON LIQUIDS
PIPELINE
Pipeline Licence 2
Document Number S-34-102-AR-G-013
2012 PL2 Annual Report
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TABLE OF CONTENTS 1 PURPOSE ........................................................................................................................................ 4 2 SCOPE ............................................................................................................................................. 4 3 TECHNICAL INFORMATION ........................................................................................................... 4 4 OPERATIONAL & MAINTENANCE ACTIVITIES - 2012 ................................................................. 6
4.1 Risk Assessment Review ......................................................................................................... 6 4.2 Training..................................................................................................................................... 6 4.3 Operations & Maintenance Activities ..................................................................................... 10
5 INCIDENT REPORTING ................................................................................................................ 14 6 LAND MANAGEMENT ................................................................................................................... 15
6.1 Land Owner Liaisons .............................................................................................................. 15 6.2 Pipeline Safety Awareness..................................................................................................... 15 6.3 Pipeline Location and Referral Services ................................................................................ 15
7 ENVIRONMENTAL MANAGEMENT ............................................................................................. 15 8 EMERGENCY RESPONSE ........................................................................................................... 16 9 REGULATORY COMPLIANCE ...................................................................................................... 17 10 RISK MANAGEMENT ................................................................................................................ 17 11 MANAGEMENT SYSTEM AUDITS ........................................................................................... 18
11.1 Health and Safety Audits .................................................................................................... 18 11.2 Management Audit ............................................................................................................. 19
12 REPORTS ISSUED DURING THE 2012 LICENCE YEAR ....................................................... 19 13 VOLUME OF PRODUCT TRANSPORTED ............................................................................... 20 14 PROPOSED OPERATIONAL ACTIVITIES FOR 2013 .............................................................. 20 15 STATEMENT OF EXPENDITURE ............................................................................................. 20 16 KEY PERFORMANCE INDICATORS ........................................................................................ 20 17 CONCLUSION ........................................................................................................................... 21 Appendix A – Assessment of Declared Environmental Objectives ........................................................ 22 Appendix B – Pipeline Cathodic Protection Data ................................................................................... 34
2012 PL2 Annual Report
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LIST OF ABBREVIATIONS
AFD Axial Flaw Detection Tool ALARP As Low As Reasonably Practical AS2885 Australian Standard 2885 Pipelines - Gas and Liquid Petroleum AVT Accuracy Verification Test CDP Corrosion Detection Pig CFS Country Fire Service CMMS Computerized Maintenance Management System (MAXIMO) CP Cathodic Protection CPU Cathodic Protection Unit CS Compressor Station Cu/CuSO4 Copper/Copper Sulphate DCGV Direct Current Voltage Gradient DMITRE Department for Manufacturing, Innovation, Trade, Resources and Energy DNV Det Norske Veritas EGP Electronic Geometry Pig EMP Environmental Management Plan EMS Environmental Management System ERE Emergency Response Exercise ERP Emergency Response Plan ESD Emergency Shut Down FFS Fitness For Service GPS Geographical Positioning System HAZOP Hazard Operability HELM Heritage, Environment and Land Management HSE Health, Safety and Environment ILI In Line Inspection KP Kilometre Point LMS Land Management System MAOP Maximum Allowable Operating Pressure MAPS Moomba to Adelaide Pipeline System MFS Metropolitan Fire Service MLV Mainline Valve MPBLL Moomba to Port Bonython Liquids Line NDT Non Destructive Testing NGERS National Greenhouse & Energy Reporting PIRSA Primary Industries and Resources of South Australia PL2 Pipeline Licence 2 PS 1-4 Pump stations 1, 2, 3 & 4 POMS Pipeline Operating Management System ROW Right of Way RTU Remote Terminal Unit SCADA Supervisory Control and Data Acquisition SEO Statement of Environmental Objectives SES State Emergency Service SMS Safety Management System SRB Sulphate Reducing Bacteria STTM Short Term Trading Market SWER Single Wire Earth Return TJ Tera Joule TRU Transformer Rectification Unit TSCC Transportation Services Control Centre UHF Ultra High Frequency VHF Very High Frequency
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1 PURPOSE
This report is submitted in accordance with the requirements of Pipeline Licence 2 and the South Australian Petroleum and Geothermal Energy Regulations 2000.
2 SCOPE
The Moomba to Port Bonython Liquids Pipeline is owned by the South Australian Cooper Basin Producers Joint Venture and is monitored and maintained under contract by Epic Energy. This report reviews operations carried out during 2012 and intended operations for 2013. In accordance with the Petroleum and Geothermal Regulations a performance assessment is also provided with regard to the Statement of Environmental Objectives for PL2.
3 TECHNICAL INFORMATION
Table 1 summarises the technical aspects of the PL2 and Figure 1 shows diagrammatically the pipeline system.
Table 1 - Moomba to Port Bonython Technical Data
Date Constructed 1983
Date Commissioned 1984
Length 659km
External Diameter 355.6mm
Wall Thickness: - Normal - Special Crossings (rivers, roads etc.)
7.14 mm 8.74mm
Pipe Grade API 5LX 52
MAOP 10,340kPa
Coating Double layer polyethylene tape reinforced with adhesive butyl rubber
Depth of cover Nominal 900 mm 1200mm at road, rail and creek crossings
Main Line Valves Adamson & Chronsiter Gate valves (25 in total)
Actuators Shafer (17 in total)
Actuators 8 Manual gear type operators
Fluid Liquid Hydrocarbon
Pump Stations 1 Active (Moomba) 1 Decommissioned (PS3 – 370kms south Moomba)
Meter Stations 1 with 3 runs (Moomba)
Corrosion Protection Secondary protection provided by an impressed current CP system
14 transformer rectifier units installed
SCADA system Digital microwave link from Moomba to Port Bonython with VHF radio coverage for voice communication and UHF
from a number of valve sites.
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Figure 1 - Moomba to Port Bonython Pipeline
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4 OPERATIONAL & MAINTENANCE ACTIVITIES - 2012
4.1 Risk Assessment Review
A five yearly SMS review for the MPBLL was carried out in 2012 as per the requirements of AS2885 (refer to Epic document number S-34-102-RAE-G-008). This workshop review did not identify any significant threats that had not been identified in previous workshops, nor did it identify any significant shortcomings in the controls required to be applied in accordance with AS 2885. Notwithstanding, the workshop identified and prioritised a number of actions that need to be completed to demonstrate ALARP. These actions generally relate to strengthening existing procedures to further mitigate horizontal directional drilling and rabbit ripping threats. High priority actions were raised for:
Assessing the threat of installation of communications cables by plough, and better understanding the
likely depth of installation and whether the pipeline can resist penetration from a cable plough
Developing a Fracture Control Plan (including critical defect length calculations)
Confirming the “measurement length”, due to conflicting information cited during the workshop
Better understanding the environmental consequences of various pipeline failure scenarios.
Epic Energy maintains this risk assessment action item register, and is working through the total of approximately 60 action items raised in the workshop.
4.2 Training
Epic Energy is committed to developing the skills of their employees and contractors to meet the operational needs of its business. During 2012 staff training was conducted in-house using a number of techniques which included training courses developed specifically for Epic Energy and delivered using self paced modules or as a group presentation using either a training service provider or suitably skilled Epic Energy staff. In addition to internal training, staff attended a range of external courses selected to further enhance their knowledge of the natural gas and liquid hydrocarbon pipeline transmission industry. The range of training staff attended during 2012 included:
A Grade Electrical Worker's Licence
B Grade Electrical Worker's Licence
2. Bridge and Gantry Crane
4WD Operate Light Vehicle PMASUP236A
AS 2885.3 Pipelines Gas & Liquid Petroleum - O & M
Asbestos Training
Backhoe Front-end Loader >= 2L Engine LB
Basic Fire Training
Basic Hazop Training
Blue Card Course in General Safety Induction (Construction Industry)
Bobcat Licence
Business Writting Skills
Cathodic Protection Advanced
Certificate IV in Assessment & Workplace Training - BSZ40198
CGR Software Training
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Chainsaw - Basic Operations & Maintenance
ChemAlert Public Training Course
Chemical Use and You
Class C Drivers Licence Validity
Clock Spring Sleeves Installation
Combustion Basics
Confined Space Awareness
Confined Spaces AS/NZS 2865
Corrosion Control Introduction (BL)
Corrosion Protection
CPR & LVR
Crane Operator Certificate of Competency CV HIAB
Crane Slewing Mobile Crane <=20T C2
Cranes - Truck Mounted
Creating a Safe Workplace
Crisis Manager Role
Cultural Heritage
Dangerous Goods Transport - Road
Dial Before You Dig - Epic Energy Processes
Diploma OH&S
Dogging Certificate DG
Drug and Alcohol policy
EEHA Installation and Maintenance
Elevated Work Platform WP
Emergency Equipment - Familiarisation
Emergency Pipeline Exercise - Liquid Line
Emergency Pipeline Exercise - SA
Emergency Pipeline Repairs
Emergency Response
Emergency Response - Site coordinator
Emergency Response Training
Environmental Induction - On line
Epic Field introduction and Familiarazation
Equal Employment Opportunity, Discrimination, Harassment & Bullying 2010
ESM Engine System Management
Excavation of Pipelines
Excel - Best Practice Essentials
Excel Advanced
Excel Intermediate
Excel Introduction
External Visual Inspection - Pressure Vessels & Pipes
Fatigue & Stress Management
Finance for Non Finance Managers
Fire Safety Certificate
Food Safety
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Forklift Operator Certificate of Competency LF
Front-end Loader Engine >2L LL
GIS & GBM
Greening Australia
Hazard And Incident Reporting
Hazard Area Installation & Maintenance
Hazard Identification and Control
Hazardous Materials (MSDS)
HAZOP Leader
Health & Safety Representative Level 1 - SA
Health & Safety Representative Training Course
Health and Safety Representative Level 2 - SA
Heat Stress - Santos (Epic SA & Qld)
Hot Tap & Stopple Plugging Equipment Training
Hot Tap & Stopple Training
Hot-Tapping of Pipelines, Practices and Procedures
How to Effectively Manage Multiple Locations
HR Class Licence - Heavy Rigid 8t-9t
Human Resources Induction
Hydrocarbon Properties & Principles
ICam - Incident investigation
Incident Commander
Industrial Type B Appliance training
Introduction to Pigging
Introduction to Public Relations
Isolation - SSOW
JHA - SSoW
Land Access Code - QLD
Land Access Code & Cultural Heritage
Maintenance Planning Course
Manual Handling
Mercury Awareness
Microsoft Project - Introduction
MR Class Licence - Medium Rigid
Nipping Problems in the bud and complaint handling
Operations Field Induction On Line
Outdoor Safety
Over Pressure/Relief Valve Systems
Permit to Work - SSOW
Personal Protective Equipment
Personnel Movement Tracking
Pipe Location - General Epic Module
Pipeline Compression Basics
Pipeline Integrity Risk Management
Pipeline Surveillance
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Pipeline Voice Communications
Pole Top Rescue Training course and Ladder Use
Power Tool Safety
Preventing Discrimination & Harassment
Principles of Flow Measurement
Project Management
Rehabilitation & Return to Work Coordinator
Responsible Officer
Restricted Electrical Workers Licence (NREL)
Rigging - Intermediate RI
Rigging -Basic RB
SANTO - HR Code of Conduct & Equal Oppertunity/Bullying
Santos - EHS Toolbox
Santos - Hazard Management using Stepback & JHA
Santos - Moomba Plant Induction
Santos Ballera Induction - QLD
Santos HR code of conduct
Santos ID
Santos Level 1 Induction - QLD and SA
Santos Level 2 - Moomba/Cooper Basin Induction
Santos Port Bonython Induction - SA
Santos Rev 7.3 - Permit to Work
Santos Site Induction - Eastern Qld
SCADA and Control Systems Basics
Security Awareness
Senior First Aid + SA
Service Safety Inspection & Testing of Electrical Equipment 30239QLD
Snake awareness
Snake Awareness Training - Online
Sunsmart - Working Safely in the Sun
Swagelok training
SWER Training
Test & Tag Training
The Atmosphere & Working With Gases
Third Party Works
Time Management
Trade Certificate
Valve Training
Welding Inspection for Pipeline Systems
White Card - National OHS Common Industry Induction
Working at Heights - Awareness
Working in Remote Locations
Workzone Traffic Management
X-Info & GBM(gps) Training
Xinfo Connect - Land Management System
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4.3 Operations & Maintenance Activities
Epic Energy have been engaged by the South Australian Cooper Basin Producers Joint Venture group (Santos) to operate and maintain the Moomba to Port Bonython liquids hydrocarbon pipeline in accordance with AS2885 and other relevant standards. All Preventative, Corrective and Reactive maintenance can be identified in Epic Energy’s CMMS and are scheduled by this system which generates work orders for maintenance staff to complete. Some of the key items in the maintenance schedule include:
Six monthly CP system full line surveys
Two monthly CP system transformer rectifier unit inspections
DCVG survey (3 yearly)
Quarterly road & aerial patrols with all action items identified during the patrols rectified immediately by the patrolling officer or entered into the CMMS and scheduled for repair during other routine activities.
Quarterly SCADA system MLV pressure & temperature transducer calibrations
Six monthly inspection and servicing of all portable fire extinguishers
Six monthly mechanical inspections, operational checks & servicing of equipment at all MLV and scraper station sites
Six monthly Pig vessel and mainline valve bypass line relief valve checks
Pressure vessel inspections (using suitably accredited external contractors) on all vessels on the Moomba to Port Bonython liquids hydrocarbon pipeline system.
Annual cleaning pigging operations
Communications system mast maintenance
Annual communications system un-interruptible power supply and battery maintenance
Annual communications system VHF, UHF and microwave bearer checks and tests
3 yearly mast maintenance programs.
Excavation and repair of DCVG coating defects
Excavation and pipeline integrity inspections
Leak detection system testing
Low depth of cover restoration.
Creek erosion remediation.
Painting above ground facilities.
TRU switching unit replacements. A summary of the Operations and Maintenance activities for 2012 and proposed activities for 2013 is provided below.
4.3.1 Patrol Activities
Three monthly road and aerial patrols (aerial patrols are conducted between PS3 and the Port Bonython terminal only) scheduled to alternate at six weekly intervals were completed in 2012. The road and aerial patrols ensure that the following pipeline activities are addressed:
Signage is in suitable condition and if not, repairs are affected as soon as is practically possible. Any issues not addressed during the patrol are fed back into the CMMS in the form of a work order and scheduled for repair as resources permit.
to ensure there are no unauthorized activities occurring along the pipeline route or at any of the facilities
restoration of any soil erosion due to wind and water is addressed
there are no leaks occurring at any of the pipeline facilities or along the pipeline route
all sites are secure, kept clean, neat and tidy
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Items including above ground pipe coating condition, fences, gates, padlocks, signage, fire extinguishers, weeding and other housekeeping activities are addressed at the mainline valve and scraper station facilities associated with the pipeline system.
A risk assessment completed by Santos for a previously detected internal gouge anomaly, at approximately KP 78 on the Moomba – Port Bonython Liquids Pipeline, required Epic Energy to conduct additional weekly road patrols between Moomba and PS No# 2. The purpose of these patrols was to inspect the integrity of the Moomba to Port Bonython liquids pipeline and the safe condition of the defect excavation site left exposed for future pipeline integrity monitoring activities. Based on the Fitness For Purpose and Fatigue desktop analysis carried out, these patrols were reduced from weekly to monthly intervals from September 2009 and have since been extended to a bi-monthly patrol in 2011 with additional NDT testing of the pipe work every 6 months. In the later portion of 2012 a project commenced to cut out and replace the affected pipework. Additional information on this anomaly repair is included in section 4.3.8. In 2012 routine patrols of the pipeline easement and ROW have identified areas of the MBPLL affected by water erosion after periods of heavy rains and localised flooding, however the pipeline has not been exposed at anytime during this reporting period. Damaged areas were repaired immediately to provide a protective depth of cover, these repairs were followed up with an extensive repair program to reinstate affected areas to their original state and provide more permanent repairs to eliminate future issues. No significant issues were identified during Pipeline Surveillance activities during 2012.
4.3.2 Leak Detection
The Epic Energy Transportation Services Control Centre (TSCC) located in Melbourne operates a SCADA system that continuously monitors the Liquids pipeline. Incorporated into the SCADA is the Pipeline Leak Detection System that provides real-time leak detection capability based on line pack inventory, flows in and out of the system, hydrocarbon type and pressure and temperature change rates. This provides alarms to allow the duty controller to respond to and action any anomalies that may be occurring and notify field maintenance personnel to investigate further onsite if and as required. The control centre staff can, if required, isolate the pipeline remotely using any one of 17 out of 24 valves, isolating sections of the pipeline to minimize any leakage should the need arise. The real-time leak detection system is augmented by maintenance activities along the pipeline which assists in the identification of any pipeline leakage ensuring the appropriate resources are mobilized to address the problem in a timely manner. The Liquids Real-Time Leak Detection Model operated 98% of the time, with short term outages related directly to RTU communication problems at either Moomba or Port Bonython. A simulated test of the real-time leak detection system is carried out annually in November in accordance with the annual maintenance plan. The one for 2012 was completed as required and validated as passed to meet the requirement of leak detection rate of less than 11m
3/hr.
4.3.3 Coating Integrity
All defects identified in the 2008 Gippsland Cathodic Protection Survey Report with a %IR >15 have been excavated, inspected and repaired as recommended in the report. A DCVG survey was completed in 2011 in accordance with the Santos Integrity Management Plan. A defect comparison report has been prepared, comparing data from 2008 and 2011 data, and the latest DCVG survey report has identified 7 defects with %IR > 15. High-priority defects, based on Santos advice, are to be verified in 2013.
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The pipeline coating system has performed well; the defects repaired to date have been in areas affected by boulders in trenches, handling of pipes during construction stage and absence of padding causing mechanical damage on the coating. Some minor coating issues have been found in the past where pipe work enters the ground, especially at MLV sites. No major corrosion, pitting or stress corrosion cracking has been found on the pipeline to date. All corrosion anomalies were acceptable to the requirements of AS 2885.3.
4.3.4 Cathodic Protection
The last CP full line survey was carried out in October 2012 in accordance with the maintenance plan, reporting a total measured compliance of 85% based on total 488 test posts (note at the time of writing the report, survey had progressed 75%). The previous full line survey, carried out in February 2012 showed 83% compliance. Last TRU 2-montly survey was carried out in Nov/Dec 2012, reporting a total TRU Reliability of 83%. Average CP compliance during 2012 was 84% based on total 488 test posts, in accordance with AS2832. Average TRU Reliability for the period was 84% based on 12 units installed. It is important to note that there are some areas of the ROW where access is difficult, particularly between PS3 and PS4. Epic and Santos are working together to find a solution for effective reinstatement of access to these areas. As at November 2012, readings cannot be obtained from 36 CP test posts due to damage. These have been reported by Epic Energy to Santos and a process is in place for their reinstatement in 2013. For a graphic representation of full line and TRU survey results during the period 2012, as well as compliance figures, refer to Appendix B Cathodic Protection system refurbishment activities completed during 2012 include:
a) Installation and commissioning of a new ground bed replacement inside the Moomba compound. b) Installation of a new Transformer Rectifier inside the Moomba compound (commissioning planned
for 1Q13) c) Purchase of two replacement Transformer rectifiers for locations KP161.4 and KP402.6, both
damaged due to lightning strike. Installation planned for 1H13. As planned, a CP Audit was carried out by Santos to identify any gaps in the management of cathodic protection systems against AS2832.1. An action plan has been developed for Santos and Epic to address throughout 2013, including joint interference testing (4Q 2013). 4.3.5 Electrical and Instrumentation Routine quarterly pressure and temperature transmitter calibrations were completed in 2012 to verify the accuracy of data being fed into the SCADA system, allowing accurate control of the liquids hydrocarbon transportation process to ensure it stays within the design parameters at all times. Six monthly mainline valve remote operational checks were carried out in conjunction with scheduled routine pressure and temperature transmitter calibrations. All sites were tested twice in the year as per the 6 monthly scheduling requirements. Due to inconsistent data a minor project was undertaken to visit all pressure and temperature transmitters and calibrate out of cycle with the approved maintenance plan. This was done to ensure that sensing lines were not obstructed and creating inaccuracies in the readings. Minor deposits were found in the transmitter lines and as such were removed and cleaned.
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4.3.6 Communications All process variables and valve control functions are communicated to the central control system located at the TSCC in Melbourne via a microwave link that runs parallel to the buried pipeline system. In addition to the microwave link, a VHF radio link to allow voice communications between staff and the control centre plus a UHF link to transmit process data and commands to the main microwave link from remote sites are also supported by the communications system. This system is essential for the safe monitoring and control of the pipeline and the following range of routine maintenance activities were carried out in 2012 to ensure the communications system provided a constant level of availability and reliability:
Routine Microwave bearer, UHF and VHF communications system maintenance tasks.
Routine maintenance tasks associated with the SCADA RTU calibration.
Routine maintenance tasks associated with the communications system uninterruptible power supply batteries and their associated charging system.
Routine maintenance tasks associated with the communications system solar generated power supply batteries.
Six monthly communications equipment air conditioning unit maintenance. The 3 yearly mast maintenance program was completed in accordance with the Moomba – Port Bonython Liquids Pipeline maintenance plan. The scope of work included inspection of the fifteen (15) structures, ancillary equipment, earthing systems, foundations, anchor blocks, mast alignment and mast guy wire tensioning. Ancillary equipment is inclusive of cable trays, ladders, aviation lights, antennae and feeders. Reports have been provided in hard copy for the 15 sites and will be filed at Dry Creek in the Central Filing System. Reports advised minor tensioning of guy wires was carried out and a recommendation to upgrade the ladders at all sites, one of the twin aviation LED lights at mid location on the towers were reported blown at CS2 and CS3. A follow up mobilisation of the contractor was required to replace the lights. All communication outages were minor in nature and for short periods, there were no significant communications issued reported in 2012.
4.3.7 Mechanical
Routine six monthly mainline valve and scraper station maintenance tasks were carried out in 2012. All pipeline pressure regulator and over pressure protection devices were tested in compliance with the relevant Australian standard and the maintenance schedule. Ancillary equipment, such as pipe supports, pipe ground entry points, valves and pigging facilities, are routinely inspected as part of the facilities inspections and as a part of the mechanical maintenance routines. PS2 was painted in the month of December in accordance with the maintenance programme. Pressure vessel Internal/ External inspections were carried out in February 2012. Results of these inspections that do not require engineering input have been entered into the maintenance system and are scheduled to be completed in Q1 2013. Any actions requiring Engineering assessment have been forwarded to Santos for Engineering review and feedback.
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4.3.8 Pipeline Integrity A section of pipeline approx 78 kilometres south of Moomba has been identified with internal metal loss defect discovered during the Rosen AFD inline inspection run between Moomba and PS2 in 2009. Metal shavings detected in the pig receiver vessel after a pigging operation to remove a flow enhancer nozzle and a hot tap drill was the driver for running the inline inspection tool. The final report from the AFD inline inspection tool reported minor spirally orientated gouging anomalies with between 5%-9% wall loss. Replacement of this 2Km section commenced in 4Q12 and is expected to be finalised by 1Q13. During 2012 additional bimonthly road patrols between Moomba and PS2 have been carried out to monitor the buried pipeline with special emphasis on the defected section and the excavated section at KP78.
NDT inspection performed (phased array scan ultrasonic) on the excavated section in March and September 2012 have shown no deterioration of the defect. Approximately two (2) kilometres of pipeline has been identified for replacement in Q4 2012 to Q1 2013. Bacteria activity on the Moomba to Port Bonython Liquids Pipeline continued to be monitored and controlled by several activities in accordance with Moomba - Port Bonython Liquids Line Integrity Management Plan in 2012. In 2012 the bacteria levels continue to be low in comparison with levels seen in 2010, which improved throughout 2011. Oil samples are taken at each pig vessel during the 2012 pigging program and forwarded to Santos laboratories for bacteria (SRB) analysis. Pipeline external corrosion is monitored and controlled by carrying out 6 monthly full line on/off potential surveys, 2 monthly CPU surveys and painting programs for above ground facilities. No ILI or DCVG defects were excavated or repaired during 2012, data from the last ILI and DCVG survey have been reviewed and a number of locations are planned for excavation and verification during 2013 in accordance with Santos’ recommendations. Minor stem seal leaks on Adamson Chronister Main Line Valves have developed at several along the pipeline. Santos has engaged an external consultant to design and develop a prototype assembly to carry out permanent repairs to these sites. Testing and preliminary site work has been completed in 2012, with final work schedule yet to be developed by Santos. As part of this exercise, MLV sealing capacity was tested on all MLVs during 2012 using two different types of sealant, several valves could not achieve 100% sealing capacity when blowing down the valve cavities with the valves in a closed position and pressure on both sides of the valves. A true sealing capacity test can only be performed with pressure on one side of the slab, this cannot be achieved with the current pipeline operating conditions.
4.3.9 Pigging operations
In accordance with the Santos Moomba – Port Bonython liquids line “Pipeline Integrity Management Plan” the following pigging operations were carried out in 2012:
A combined corrosion inhibitor (CORTON IRN 2449) treatment and pigging program was carried out in
February 2012. Pig Trash samples were collected for analysis to monitor Bacteria (SRB) levels during
each pigging run. These samples were sent to Port Bonython laboratory for analysis.
5 INCIDENT REPORTING
There were no reportable incidents associated with the Moomba – Port Bonython Liquids Pipeline during 2012.
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6 LAND MANAGEMENT
6.1 Land Owner Liaisons
There are 44 landholders along the Moomba to Port Bonython Liquids Pipeline system. Every landowner on the pipeline was visited during 2012 and a questionnaire was completed as part of each visit. The questionnaire is centred on confirming contact details, current and proposed land use, awareness of the pipeline location and reminding landowners of their responsibilities with respect to works in the pipeline vicinity. As part of Epic Energy’s continuous improvement program for pipeline awareness, the landowners were posted one letter and a postcard during the year containing information on pipeline safety and their responsibilities. An Epic Energy year 2013 calendar reminding the landowner of pipeline safety was also forwarded in December 2012.
6.2 Pipeline Safety Awareness
Epic Energy implements a Community Awareness Program, which entails holding awareness meetings with communities, government departments, utilities, emergency services and contractors along the pipeline route. Two (2) of these meetings were held in the mid north with services in close proximity or associated directly with the Moomba – Port Bonython Liquids Line. The presentations focus on the general properties of the liquid hydrocarbons transported, the process of liquids hydrocarbon transmission by pipeline, location of the high pressure liquids pipeline in the regions concerned, correct procedures when working within pipeline easements, pipeline threats and dealing with emergency situations. (Note:-The presentations are tailored to the specific audience and where appropriate Epic Energy discusses the differences between Liquids Hydrocarbon and natural gas transportation as both pipeline systems exist in a number of areas within South Australia).
6.3 Pipeline Location and Referral Services
Epic Energy provides a free service to locate any pipeline that they own or operate on behalf of third parties. This service is primarily used by other companies and third parties carrying out civil works in the vicinity of the pipelines. During 2012 Epic Energy received four enquiries via the free call 1100 “Dial Before You Dig” asset referral service in relation to third party activity in the vicinity of the Moomba to Port Bonython Liquids Line. Two of these required on-site attendance by Field Maintenance Officers and a third required dialogue with the requestor regarding plans for a potential new facility at Port Bonython. 7 ENVIRONMENTAL MANAGEMENT Control documentation and training Environmental procedures and work instructions continue to be reviewed and updated as necessary. In early 2012, the online environmental training module was completed and implemented. This induction provides an overview of environmental risks, control measures and responsibilities. All Epic Energy employees and contractors entering the field are required to complete the training. African Rue Epic Energy closely monitors African Rue and has an effective control strategy in place including:
Restriction of vehicle and machinery access into infested areas;
Vehicle hygene procedures implemented where access to infested areas is unavoidable
Signage to allow for easy identification of infested areas;
A herbicide spray program along the easement conduced annually; and
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Monitoring at infested sites. An African Rue Management Plan detailing the above has been implemented following review by the South Australia Arid Lands Natural Resource Management Board. Environmental Protection Soil erosion and subsidence management: An unstable embankment at KP509 was restored through installation of a reno mattress and gabion. Appendix A contains the “Assessment of Declared Environmental Objectives” completed for the Liquids Line.
8 EMERGENCY RESPONSE
PL2 states that an Emergency Exercise is to be conducted on the Moomba – Port Bonython Liquids Pipeline once every two years, and in addition to this exercise a set of Emergency Response procedures is to be developed and maintained. These procedures are detailed in Epic Energy’s “Emergency Response Manual”.
Epic Energy and Santos carried out a joint desk top emergency response exercise on the 4rd
July 2012 and forwarded a report to DMITRE on the 2
nd August 2012. The exercise was carried out in accordance with “The
Regulations Under the Petroleum & Geothermal Energy Act 2000 “ and the requirements of PL2 emergency drill is required every two years to test emergency procedures and a report is to be submitted to the regulator (DMITRE) within 60 days of the drill. The objectives of this desk top exercise were to have the key emergency response personnel from both Epic Energy and Santos involved to ensure both parties had a clear understanding of their roles and responsibilities in the event of an emergency on the Moomba – Port Bonython Liquids Pipeline. Four specific objectives were identified to be addressed during this exercise:
1. To use the new DRAFT version of the Moomba – Port Bonython Emergency Management Plan throughout the desk top exercise and to confirm both parties were comfortable the EMP had clear and accurate information.
2. To ensure the communication between Epic Energy and Santos was understood and the
responsibilities of both parties for notifications to government regulatory bodies and emergency services were clearly described in the ERP.
3. Review the roles and responsibilities to ensure communication and decision making by both Epic Energy and Santos were clearly described within the ERP.
4. Review emergency response situations and confirm that the responsibility of control for stages throughout the emergency was clear for both parties and appropriate emergency response equipment is available.
The exercise considered three types of leaks, a small leak (pin hole corrosion), a medium leak (backhoe penetration of the pipeline) and a major leak (full line rupture)
For the sake of the exercise, the location was arbitrarily selected as being approximately 100 km south of Moomba. However, it was noted that specific emergency response actions at varying locations along the pipeline would depend on the elevation of the pipeline. During the exercise, the sequence of events and emergency response actions were considered in chronological order for a hypothetical leak, with the differences in consequences for each of the three leak types discussed separately. That is, three separate scenarios were not run. Rather, the general process of the EMP was stepped through, considering a full range of leak severities.
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The emergency desk top exercise was deemed a successful activity with the objectives set prior to the exercise all being achieved and the working group leaving with a good understanding and several new learning’s related to a liquid hydrocarbon pipeline emergency. The new draft EMP was used for this exercise and with the recommended changes and additions from the working group will be a useful, user friendly document. Discussion held throughout the exercise confirmed that roles and responsibilities for both Epic Energy and Santos key personnel that will be involved in a real event were clearly identified. Santos and Epic Energy have had a long and good working relationship and demonstrated throughout this exercise they are capable of jointly responding and managing an emergency situation on the Moomba – Port Bonython liquids pipeline system Several recommended changes to the DRAFT Emergency Response Plan were identified and actioned as a result of this exercise.
9 REGULATORY COMPLIANCE
Epic Energy ensures that design, manufacture, construction, operation, maintenance and testing of all appropriate facilities is carried out in accordance with the relevant Acts of Parliament, licence conditions and the requirements of AS2885. Epic Energy attends quarterly compliance meetings with DMITRE, where operational regulatory compliance is discussed in an open manner. Changes in legislation are tracked and communicated through a legal compliance committee which meets on a monthly basis. Epic Energy maintains a compliance database, Safety Wise, which tracks legislative compliance throughout the organisation. Obligations are assigned to responsible staff, who must supply evidence that the obligation has been satisfied within a specified time period. Epic Energy is not aware of any regulatory non compliance for this pipeline, and believes it is fulfilling its obligations in relation to the following requirements:
The Petroleum & Geothermal Energy Act & Regulations 2000
Pipeline Licence (PL2)
The Statement of Environmental Objectives Epic Energy maintains an action tracking system for improvements to its systems, which is fully traceable through to close out of individual items. Significant items are reported through to DMITRE, and would be raised at the quarterly compliance meetings held between DMITRE and Epic Energy. There has been one Non-compliance Notice issued to Santos in 2012. This was for “Failure to give written notice to each owner of Land prior to commencing activities (PL2)” in relation to the repair work on the 2km section with internal metal loss.
10 RISK MANAGEMENT
Epic Energy incorporates risk management into operational processes and strategies in accordance with AS/NZS ISO 31000.
An Enterprise Wide Risk Management approach is taken with the framework for risk management overseen by the Enterprise Wide Risk Management Committee.
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Epic Energy undertakes a variety of risk assessments from a high level corporate approach through to operational level technical assessments.
Epic Energy utilizes the following risk management strategies to minimize pipeline risks to ALARP:
A Enterprise-wide Risk Management Committee has been appointed to oversee risk management systems and material business and operational risks
Maintains a corporate risk register and environmental risk register
Maintains a Risk Management Manual that outlines how the risk management system within Epic Energy operates
Aerial and ground surveillance of the pipeline system
Induction processes and Safe Work Systems, including Permit to Work
Programmed preventative maintenance activities to ensure all of the pipeline facilities are maintained in accordance with best industry practices and the relevant codes and standards that apply
Operates Workplace Health & Safety Committees
Design system change control procedures
In accordance with AS 2885 Epic Energy conducts 5 yearly metre by metre risk assessment reviews, the mist recent undertaken during the 2012 reporting period
Maintains HAZOPS for above ground facilities
Pipeline & Safety awareness program
Land ownership use notification system
Landholder and stakeholder contact program
Participation in industry forums on risk management
Provides a free “1100” Dial before You Dig information system
Operates a hazard reporting system where employees are able to formally report hazards of which they become aware
Maintains a central training register, which ensures formal qualifications of staff are kept up to date
Has a formal mentoring system in place to pass on knowledge of the most experienced staff to newer members
Maintains work instructions and work procedures for maintenance activities
11 MANAGEMENT SYSTEM AUDITS
11.1 Environmental Audits
No environmental audits were completed in 2012..
11.2 Health and Safety Audits
A complete external audit of the Safety Management System, including all 16 standards, was completed during 2012. Overall the audit found that Epic Energy has in place:
- applicable health, safety and environmental requirements were in compliance with statutory
and Safety Case Requirements
- clearly defined roles and responsibilities documented within the Safety Management System
- a comprehensive Occupational Health and Safety Management (SMS) systems and
- That the Epic Energy SMS is being appropriately implemented
The audit found 4 non-conformances being noted by the auditor and 31 recommendations for improvement. Epic will review the recommendations and implement an improvement plan for short term and long term priorities.
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11.3 Management Audit
Epic Energy completed a number of management audits during the year. These were a combination of Epic’s internal audit program and external audits by industry experts initiated by Epic Energy. The following topic areas were subject to audit during 2012;
Safety Critical Device Audit
SWER Maintenance Plan Audit
Vehicle Driving Audits
Life Saver Control Audits
Drawing Audits for TSCC and Wasleys
Personnel Tracking Movement Audits
Aerial Surveillance Audit
Peterborough Depot Soils & Samples Audit
Compliance with NGERS Reporting
Aviation Audits
AS 2885.3 Readiness Review
Review of STTM Compliance Systems
The auditing program offers the opportunity to identify and promote continual improvement within Epic Energy and completion of these audits is recognized as a key performance indicator by the board of directors.
12 REPORTS ISSUED DURING THE 2012 LICENCE YEAR
The following reports were generated for the Liquids Line pipeline in 2012:
2011 PL2 Moomba - Port Bonython liquids pipeline annual report
Emergency exercise report desk top exercise 2012
2012 Santos Moomba to Port Bonython liquids line review of AS2885 SMS report
Santos internal cathodic protection audit
Operations and maintenance gas venting report
Epic Energy workplace health and safety glossary of terms
Epic Energy SMS audit tool
Environmental risk register review report
Corporate workplace health & safety annual business plan 2012 January monthly report
Corporate workplace health & safety annual business plan 2012 February monthly report
Epic Energy's perspective on the pacific gas and electric company's gas transmission pipeline rupture
and fire in San Bruno
APIA pipeline operator's group activity report (October 2011 to April 2012)
Monthly Maintenance Reports
2012 Annual Maintenance Plan (for approval by Santos)
Moomba Microwave System Inspection Report
Emergency Management Plan –DRAFT copy.
Pipeline Integrity KPI Reports (monthly)
Epic Energy Performance Report (monthly)
2012 Fitness for Purpose Report MPBLL PL2 issued in December as per licence requirement
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13 VOLUME OF PRODUCT TRANSPORTED
1,481,208 tonnes of product was transported through the Moomba – Port Bonython Liquids Pipeline in 2012, this equates to a gross volume of 2,051,538 m
3 and a net volume of 2,016,926 m
3
14 PROPOSED OPERATIONAL ACTIVITIES FOR 2013
During 2013 the following activities are proposed for the Liquids Line pipeline:
Complete all scheduled routine maintenance activities and corrective maintenance activities.
Submission of a 2012 Annual Report in early 2013
Conduct a Pipeline Cleaning/Biocide injection pigging program.
Tie in the 2 kilometres replacement of section of pipeline identified with internal gouge defect.
Excavate and verify ILI pigging defect data ( repairs as necessary)
Excavate and repair coating defects identified in the 2011 DCVG survey.
Paint one above ground facility (site to be determined)
River/Creek crossing & low depth of cover repairs.
MLV stem seal repair program
Replace two (2) Transformer Rectifier Units at KP 161 & Kp402.
Replace forty eight (48) Cathodic Protection test point posts
15 STATEMENT OF EXPENDITURE
16 KEY PERFORMANCE INDICATORS
The following key performance indicators have previously been established to monitor performance of operations and maintenance activities on the Liquids Line. Outlined below are the KPI results for 2012.
2012 Target 2012 Actual 2012 Comment
Cathodic Protection
Percentage of the pipeline protected to AS2832.1 level 100% 98%
Low potentials inside the Moomba compound, Interference issues near pump station 3, Port Bonython tank farm and near Whyalla lateral are scheduled to be addressed in first quarter of 2012.
Internal Corrosion
SRB count from 100 ml sludge sample using serial dilution method 3 or less
positive <3 Positive
The analysis of the samples taken during the February 2012 pigging process showed positive levels of bacteria in two (2) samples, these levels are considered not to be of any concern.
Biocide injection was increased for a period of 6 days in December 2012 from 9.6L/day to 23L/day as a precautionary measure to mitigate the bacteria.
Third Party Incident
Number of times pipeline is damaged
0 0 No damaged occurred to the pipeline during the reporting period
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Number of near misses (digging within 1m of pipeline)
0
0
No near misses during the reporting period.
Exposure of pipeline due to washout and wind erosion
0
0
Heavy rains and flooding in 2012 caused erosion at KP509 and loss of depth of cover, however the pipe was not exposed at any location. Erosion was restored through use of a reno mattress.
SCADA and Leak Detection
Reliability of SCADA and Leak Detection System
100%
98%
SWER line faults and Santos plant faults accounted for the communication outages during 2012.
Environmental
Number of uncontrolled hydrocarbon releases
0 0 There were no uncontrolled releases of hydrocarbons reported in 2012
Earth Tremor Surveillance
Vehicular surveillance immediately after an earth tremor or flood
100%
100%
Patrols were rescheduled in 2012 on several occasions immediately after heavy rain and flooding in areas associated with the liquids pipeline.
17 CONCLUSION The maintenance and inspection programs carried out on the Moomba – Port Bonython Liquids in 2012 have ensured the pipeline is fit for service and capable of operating within the set parameters. The CP Survey results supplied in Appendix B indicate the protection levels are adequate to provide suitable protection for the pipeline.
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Appendix A – Assessment of Declared Environmental Objectives
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ASSESSMENT OF DECLARED ENVIRONMENTAL OBJECTIVES
OBJECTIVE GOAL MEASURE / HOW OBJECTIVE ACHIEVED OBJECTIVE
ACHIEVED
YES / NO
SUPPORTING COMMENTS
1. To avoid unnecessary disturbance to 3
rd
party infrastructure, landholders or land use
1.1 To minimise disturbance or damage to infrastructure / land use and remediate where disturbance cannot be avoided
Incident report.
Records of communications with adjacent landholders / 3rd party prior to and during maintenance work.
Landholder contact records database.
Photo points or inspection reports, specifically to look at: removal of waste products, re-instatement of soil profiles, adequate re-contouring of surface profile, return of land use.
Where disturbance is unavoidable or accidental, infrastructure or land use is restored to the satisfaction of the landholder or to undisturbed condition. Duration of disturbance does not exceed agreed timeframe
Yes
There has been no disturbance to third party infrastructure during 2012.
1.2 To minimise disturbance to landholders
Records of communications with adjacent landholders / 3rd party prior to and during maintenance work.
Landholder contact records database.
Landholder activities not restricted as a result of pipeline activities.
Completed land disturbance checklist.
No reasonable landholder complaints
Landholder activities not restricted or disturbed as a result of pipeline activities.
Yes
No reasonable Landholder complaints were received.
2. To maintain soil stability/integrity
2.1 To remediate erosion as a result of pipeline
Timed photo points or annual land survey, specifically to look at evidence of erosion, subsidence, vegetation loss
The extent of soil erosion on the easement was consistent with surrounding land.
Yes
Only one erosion location was detected on the pipeline at KP509 and it was restored
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OBJECTIVE GOAL MEASURE / HOW OBJECTIVE ACHIEVED OBJECTIVE
ACHIEVED
YES / NO
SUPPORTING COMMENTS
operations in a timely manner
on easement & compare to adjacent land.
Inspections undertaken as part of regular patrols, following specific works, following significant storm events.
Preventative measures implemented and monitored in susceptible areas.
through use of a reno mattress and gabion.
2.2 To prevent soil inversion
Annual land survey to look for soil discolouration, success of vegetation return as an indicator.
Disturbance checklist signed off to indicate top soil/subsoil is stockpiled separately and soil profiles appropriately reinstated following the re-instatement of works/excavations.
Vegetation cover is consistent with surrounding land. No evidence of subsoil on surface (colour). Landholder signoff.
Yes
There were no unplanned excavations on the liquids line in 2012 and hence no inversions.
3. To maintain native vegetation cover on the easement
3.1 To maintain regrowth of native vegetation on the easement to be consistent with surrounding area
Annual land survey to look for evidence of disturbance to vegetation on easement (apart from access tracks).
Disturbance checklist (including timed photos) signed off to indicate adequate steps undertaken to facilitate re-growth.
Follow-up rehabilitation work was undertaken where natural regeneration was inadequate.
Species abundance and distribution on the easement was consistent with the surrounding area. Note: assessment of the consistency with surrounding areas will take into account that re-growth is a time and rainfall dependent process.
Yes
The condition of the native vegetation within the pipeline easement is consistent with the surrounding vegetation.
3.2 To minimise additional clearing of native vegetation as part of operational
Annual land survey to look for evidence of disturbance to vegetation on easement (apart from access tracks).
Use of Disturbance checklist and photo points before, during & after any
Vegetation clearing within the easement or on land adjacent to the easement is limited to previously disturbed areas or areas assessed to be of low
Yes
There was no vegetation clearing on the liquids line in 2012.
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OBJECTIVE GOAL MEASURE / HOW OBJECTIVE ACHIEVED OBJECTIVE
ACHIEVED
YES / NO
SUPPORTING COMMENTS
activities excavation or land disturbance activity.
Vegetation trimmed rather than cleared where possible.
Consideration of sensitive vegetation during vegetation trimming and / or clearing activities.
sensitivity, unless prior regulatory approval obtained.
3.3 To ensure maintenance activities are planned and conducted in a manner that minimises impacts on native fauna
Use of Disturbance checklist and photo points before, during & after any excavation or land disturbance activity.
In event of pipeline repair, open trenches are monitored daily and not left open for more than 72 hours
Vegetation clearing within the easement or on land adjacent to the easement is limited to previously disturbed areas or areas assessed to be of low sensitivity, unless prior regulatory approval obtained.
Yes
No maintenance activities during 2012 had identified any impact on the native fauna.
4. To prevent the spread of weeds and pathogens
4.1 To ensure that weeds and pathogens are controlled at a level that is at least consistent with adjacent land
Regular patrols undertaken to look for evidence of weeds on easement and adjacent land (if weeds on easement but not adjacent land must implement control to prevent spread).
Records of outbreaks found, weed control activities and photo monitoring of significant outbreaks.
Vehicle wash down register.
Where appropriate, closure of ROW access road.
The presence of weeds and pathogens on the easement was consistent with or better than adjacent land. No new outbreak or spread of weeds reported.
Yes
The presence of weeds and pathogens on the easement is consistent with adjacent land.
A management program is in place to control African Rue.
5. To minimise the impact of the pipeline operations on surface water resources
5.1 To maintain current surface drainage patterns
Regular patrols and annual survey undertaken to look for evidence of erosion, abnormal vegetation growth or death.
Observations also to be undertaken following significant storm events.
For excavations, surface drainage profiles restored.
For existing easement, drainage is maintained to pre-existing conditions or better.
Yes
During the reporting period no alterations have been made to the landscape through which the pipeline traverses and therefore current drainage patterns have been maintained.
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OBJECTIVE GOAL MEASURE / HOW OBJECTIVE ACHIEVED OBJECTIVE
ACHIEVED
YES / NO
SUPPORTING COMMENTS
Use of Disturbance checklist and photo points before, during & after excavations, CP installation, construction activities, etc.
6. To avoid land or water contamination
6.1 To prevent spills occurring, and if they occur minimise their impact
Evidence of soil discolouration, vegetation or fauna death during patrols. Incident / Spill reports. Use of spill protection methods where work is completed within or adjacent to environmentally sensitive areas. Containment of all hazardous substances and liquid waste in appropriate vessels. Prevention program including pigging, intelligent pigging and pipe maintenance.
No evidence of any spills or leaks to areas not designated to contain spills.
In the event of a spill, the spill was:
Reported Contained Cleaned-up, and Cause investigated and
corrective and/or preventative action implemented.
Compliance with relevant sections of the Environment Protection Act.
Yes
There were no oil spills on the liquids line in 2012.
6.2 To remediate and monitor areas of known contamination arising from pipeline operations
Incident / Spill reports. Active remediation methods implemented where it is determined that contamination is spreading or level of contamination is not decreasing. Use of groundwater monitoring bores.
Contamination confined to known area.
Level of contamination continually decreasing, ultimately to meet EPA guidelines.
Yes
There are no areas of contamination occurring as a result of the pipeline operations.
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OBJECTIVE GOAL MEASURE / HOW OBJECTIVE ACHIEVED OBJECTIVE
ACHIEVED
YES / NO
SUPPORTING COMMENTS
Use of soil farms for remediation.
6.3 To prevent the spread of contamination where the easement intersects known contaminated sites
Use of Disturbance checklist and photo points before, during & after excavations, CP installation, construction activities, etc. Identification of contaminated sites along easement and establishment of monitoring points.
No evidence of movement of contaminated material along easement (i.e. vegetation death, soil discolouration, subsidence).
Yes
The pipeline does not traverse any contaminated sites .
6.4 To ensure that rubbish and waste material is disposed of in an appropriate manner.
Regular patrols or annual survey undertaken to look for evidence of rubbish, spills (soil discolouration). Waste disposal records, chemical manifests. Appropriately licensed contractors used for any hazardous waste disposal and records are maintained for all hazardous waste disposal. Use of Disturbance checklist and photo points before, during & after
No evidence of rubbish or litter on easement or at facilities.
No evidence that waste material is not contained and disposed of in accordance with Epic approved procedures
Yes
All rubbish and waste material is managed in accordance with Epic’s Waste Management Procedure.
All controlled waste is collected and disposed of by a licensed carrier.
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OBJECTIVE GOAL MEASURE / HOW OBJECTIVE ACHIEVED OBJECTIVE
ACHIEVED
YES / NO
SUPPORTING COMMENTS
excavations, CP installation, construction activities, etc.
6.5 To prevent impacts as a result of hydro-test water and waste water (water bath heaters and wash down water) disposal
Water disposed of in a manner that prevented discharge or runoff to watercourses or environmentally sensitive areas. Water discharged onto stable ground, with no evidence of erosion as a result of discharge. Records on source of water and discharge method/location. Testing of water quality prior to release/disposal of waste water. Inspection of water disposal sites for evidence of water entering a watercourse or environmentally sensitive area.
No evidence of impacts to soil, water and vegetation as a result of water disposal (i.e. soil erosion, dead vegetation, water discoloration).
Yes
During the reporting period there were no operational requirements to dispose of any waste water.
6.6 To ensure the safe and appropriate disposal of grey water (sullage, sewage)
Compliance with the relevant local government regulations or relevant health and sanitation regulations
No evidence of non-compliance with local or state government regulations.
Yes
All waste water at Epic Energy’s facilities is treated as a hazardous waste and managed in accordance with internal procedures and statutory regulations.
7. To minimise the risk of oil spills from the pipeline or pipeline infrastructure
7.1 To minimise oil losses during pigging and other routine pipeline operations
Spill protection methods are used during routine operations. All liquid wastes are contained within impermeable containers or containment.
No evidence of spills from pigging or other routine pipeline operations.
Yes No spills has been reported during pigging activities during this reporting period.
7.2 To monitor the Results of pigging and intelligent pigging Intelligent pigging occurs on an Yes Pigging was conducted in
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OBJECTIVE GOAL MEASURE / HOW OBJECTIVE ACHIEVED OBJECTIVE
ACHIEVED
YES / NO
SUPPORTING COMMENTS
condition of the pipeline to ensure that potential pipeline leaks are identified and appropriate action implemented.
programmes. Record of analysis of pigging waste for evidence of pipeline corrosion. Records of bactericide use following pigging to kill and prevent any bacteria growth. Action plans for remediation of any issues identified. Condition of pipeline demonstrated by monitoring in accordance with requirements of AS2885
as condition basis. Corrective and/or preventative action implemented in a timely manner.
2011 and has not been carried out for 2012.
7.3 To prevent unauthorised activity on the easement that may adversely impact on the pipeline integrity.
Inspection / patrol reports and records. Comprehensive landholder liaison program and records of communications with landholders. Community education program implemented in regional areas. ‘Dial before you dig’ number available and widely advertised. Clear identification of the pipeline signs installed in accordance with AS2885. All reports of unauthorized activity are reported and investigated.
No unauthorised activity on the easement that has the potential to impact on the pipeline integrity.
Yes There were no unauthorised activities on the easement in 2012.
Signage compliant with AS 2885 is in place and maintained.
8. To minimise the risk to public health and safety
8.1 To adequately protect public safety during
Job Hazard Analysis. Records of Annual Reports, Fitness for
No injuries or incidents involving the public.
Demonstrated compliance with
Yes
The use of approved work procedures and an intensive Pipeline Awareness program
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OBJECTIVE GOAL MEASURE / HOW OBJECTIVE ACHIEVED OBJECTIVE
ACHIEVED
YES / NO
SUPPORTING COMMENTS
normal operations Purpose Reports, Risk Assessments and inspections. Records (including above) demonstrating compliance to AS2885.
AS 2885.
Emergency procedures implemented and personnel trained.
contributes to Epic Energy meeting this objective.
8.2 To adequately protect public safety during maintenance
Job Hazard Analysis’. Records of communications with adjacent landholder prior to & during maintenance work including advice of the nature and schedule of maintenance activities. Use of signage or bunting to identify all potentially hazardous areas. Adequate implementation of traffic management practices. Records of regular emergency response training for employees and review of procedures.
No injuries or incidents involving the public.
Emergency procedures implemented and personnel trained
Yes
All landowners and relevant authorities are advised whenever any work is scheduled on their property or land under their control.
All potentially hazardous work sites are marked
During the reporting period no activities were undertaken that required specific traffic management procedures to be in place. Epic staff are trained in traffic management practices and do employ these techniques whenever required.
In addition to the comments above the comments for 7.1
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OBJECTIVE GOAL MEASURE / HOW OBJECTIVE ACHIEVED OBJECTIVE
ACHIEVED
YES / NO
SUPPORTING COMMENTS
Incident Reports.
apply.
8.3 To avoid fires associated with pipeline maintenance activities
Incident reports. Records of regular fire safety and emergency response training for all operations personnel and review of procedures. Established procedures for minimizing fire risk during maintenance.
No pipeline related fires.
Emergency procedures implemented and personnel trained
Yes
No maintenance activities were performed during the reporting period that may have contributed to a fire situation.
9. Minimise impact of emergency situations
9.1 To minimise the impact as a result of an emergency situation or incident
Incident reports. Emergency response trials (carried out at least annually) and associated documentation. Records of regular emergency response training for all personnel and review of procedures. Link between ER exercises and Risk assessment.
Emergency response procedures are effectively implemented in the event of an emergency.
Emergency response exercises are aligned with credible threats and consequences identified in the risk assessment.
Yes
No emergency situations have been recorded or managed during this reporting period.
Emergency response is practiced on a regular basis.
9.2 To restore any damage that may occur as a result of an emergency situation
Refer to previous criteria (Objective 1, 2, 3 & 6).
Refer to previous criteria (Objective 1, 2, 3 & 6).
Yes
No emergency situations have been recorded or managed during this reporting period
10. To minimise noise 10.1 To ensure Incident reports.
Operational activities comply All maintenance tasks
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OBJECTIVE GOAL MEASURE / HOW OBJECTIVE ACHIEVED OBJECTIVE
ACHIEVED
YES / NO
SUPPORTING COMMENTS
due to operations operations comply with noise standards
Monitoring results, where deemed necessary (e.g. frequent complaints).
with noise regulations, under the Environment Protection Act 1993.
No complaints received.
Yes performed during the reporting period were of a nature that did not contribute to any increased levels of noise pollution.
11. To minimise atmospheric emissions
11.1 To eliminate uncontrolled atmospheric emissions
Incident reports. No uncontrolled atmospheric emission.
Yes
There were no uncontrolled atmospheric emissions during the year
11.2 To minimise the generation of dust.
Incident reports. Compliance with EMS Procedures (vehicle movement, dust suppression, etc).
No complaints received.
No dust related injuries recorded
Yes
No dust complaints were received in 2012. Epic undertakes dust remediation measures should this be required.
12. To adequately protect cultural heritage sites and values during operations and maintenance
12.1 To ensure that identified cultural sites are not disturbed
Consultation with relevant heritage groups if operations occurring outside known surveyed areas. Surveys / Cultural heritage monitoring before / during excavations. Records of site locations on operations GIS. Use of Disturbance checklist prior to undertaking maintenance works.
Site examined for cultural heritage material prior to work involving off-easement disturbance or in an area of archaeological potential or in an area identified as being of known medium to
No impact to known sites.
Any new sites identified are recorded in Land Management System and reported to appropriate authority.
Yes
Epic Energy has a Cultural Heritage Procedure and Work Instruction which describes the process and considerations that apply to the management of cultural heritage sites on or in the vicinity of Epic’s pipeline easements, access tracks and associated facilities.
Prior to conducting any land disturbance, all areas are surveyed to identify whether cultural sites are present or not. No new sites were
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OBJECTIVE GOAL MEASURE / HOW OBJECTIVE ACHIEVED OBJECTIVE
ACHIEVED
YES / NO
SUPPORTING COMMENTS
high archaeological sensitivity.
identified in 2012.
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Appendix B – Pipeline Cathodic Protection Data
2012 PL2 Annual Report
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Liquids Line Cathodic Protection data
400
600
800
1000
1200
1400
0
3.3
7.8
12
.8
17
.7
24
.2 32
40
.2
46
.5
54
.6
62
.6
67
.8
73
.6
81
.9
89
.9
97
.9
10
4.5
11
2.2
11
8.9
12
7
13
3.5
14
1.4
14
9.3
15
7.5
16
1.9
16
8.9
17
6.8
18
4.8
19
2
19
7.8
20
5.8
21
3.9
21
8.7
22
3.8
23
1.5
23
8.8
24
6.1
25
4.2
25
9.2
26
7
27
5.2
28
3.1
28
9.5
29
7.7
30
5.3
31
3.8
32
1.7
32
9.8
33
7.8
34
5.8
35
2.6
35
4.2
36
2.3
36
7.4
37
5.5
38
3
39
0
39
7.5
40
2.6
40
8.4
41
5.1
42
1.2
42
8.3
43
4.9
44
1.5
44
7.2
45
4
46
1.8
46
6.6
47
4.7
48
1.3
48
6.9
49
4.9
50
3.1
50
3.8
51
1.9
52
0
52
8.6
53
8.6
54
7.3
55
6
56
3.3
57
1.7
58
0.3
58
6.7
59
5.1
60
4.1
60
6.3
61
0.4
61
3.4
61
7.9
62
6.1
63
4.9
64
2.4
64
6.8
65
1
65
7.2
65
8.1
OF
F P
ote
nti
al r
ea
din
gs
MPBLL. OFF Potential readings 2012
Jan-12
Aug-12
PS2 PS4PS3
Difficult to access ROW
83
85
92
97
70
75
80
85
90
95
100
Jan-12 Jul-12
Test
Po
st c
om
plia
nce
(>
85
0m
V O
ff P
ote
nti
al)
MPBLL. CP Compliance 2012
COMPLIANCE (FROM TOTAL TP)
COMPLIANCE (FROM READ TP)
83%
100%
92%
83%
80%
90%
100%
Jan-12 Mar-12 May-12 Jul-12 Sep-12 Nov-12
TR
U R
elia
bili
ty (
12
Un
its
inst
alle
d)
MPBLL. TRU Reliability 2012
Reliability (From Total 12 TRs)