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Join us for a workshop discussing the RASA compliance plan for natural gas leakage abatement. Learn about the proposed compliance plan template, evaluation criteria, cost recovery, and more.
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SED – Risk Assessment and Safety Advisory (RASA) Compliance Plan Workshop R.15-01-008/D.17-06-015 SB 1371 (Leno). Natural Gas: Leakage Abatement August 1, 2017
Agenda • 10:00 – 10:15 Staff Introduction & Emergency Procedures • 10:15- 10:20 Timeline Review • 10:20 – 11:00 Proposed Compliance Plan Template – PG&E • 10:45 – 11:30 Open Discussion of Template Content • 11:30-12:00 Pilot/R&D Program Evaluation Criteria - SED • 12:00 - 1:15 Lunch Break • 1:15 – 2:00 Cost Recovery Presentation w/Q and A –Energy Division • 2:00 - 2:15 Break • 2:15 – 3:30 Optional Caucus to discuss next phase PHC input
Safety and Emergency Information • In the event of an emergency, please proceed calmly out the exits. • The Evacuation Location is the courtyard between the War Memorial Building and Opera House. • It is located on the other side of City Hall. Exit the building at Van Ness and McAlister streets and walk past City Hall.
Practical Information WiFi Access: SSID: cpucguestUser: guestPassword: will provide Restrooms: out the Auditorium doors and down the far end of the hallway. Call in information: • Phone line: 1-866-859-2737Participant code: 1682922 WebEx: • Meeting Number: 745 186 905 • Password: Ab8-1371
Milestones • 08/18/17: Party Submittal of Issues for Phase 2 • 10/31/17: Submit Compliance Plan Format • 10/31/17: Tier 3 Advice Letter for BP cost recovery due. • By 3/18: Workshop to establish Review Criteria • 3/15/18: Compliance Plans Due • April ’18: Workshop to Discuss Compliance Plans • 06/30/18: Joint Evaluation of Compliance Plans
Plan Guidance (sample) • D.17-06-015 Compliance Plan Guidance Document • This guidance document provides clarifications and expectations for Operators to complete their respective biennial best practices compliance plans. Any requests for additional clarification should be submitted directly to the Safety and Enforcement Division prior to submitting an. • Executive Summary: Operators must submit an executive summary highlighting their major efforts to reduce methane emissions, and any significant changes to their previous Compliance Plan. Additionally, the executive summary should summarize the total anticipated emission reductions an Operator has proposed within their Plan – projected both for the compliance period and, if possible though the year 2030. The executive summary should be signed by an officer of the Operator. • Section 1: Overview: Section 1 will provide an overview of each best practice and the Operator’s implementation status. • Section 2: Summary: Section 2 will provide the details for implementing the best practice. • 2a) This section should outline the Operator’s previous work, and if the measures outlined within this best practice are already incorporated in to its normal operations work. Additionally, an Operator should outline its justification for a pilot project or phased in implementation, rather than full scale implementation of this best practice.
Thank You For Additional Information: www.cpuc.ca.gov/RiskAssessment