Comment from Babst Calland

Babst CallandSupportBusiness
Summary: Babst Calland, a law firm, supports the proposed rule to create an in-plant piping exception for gas systems to provide regulatory clarity and reduce burdens. They argue that the rule should clarify that in-plant piping is determined by function rather than ownership and should also include short, low-stress gas transfer lines outside facility grounds.
Please see the attached comments from Babst Calland. Thanks!

View on Regulations.gov