Transcript Slide 1

Natural Gas Pipeline Permitting
in Pennsylvania
Mr. Andrew Paterson
VP of Technical and Regulatory, Marcellus Shale Coalition
August 1, 2013
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1 | MARCELLUS SHALE COALITION
Pipeline Permitting in PA
Clean Water Act (federal)
• Section 404 regulates the discharge of dredged or fill material
into waters of the US, including wetlands. It also authorizes the
use of general permits should an individual state elect to do so.
• Pennsylvania has adopted a State Programmatic General
Permit, PASPGP-4, which covers activities that are similar in
nature and result in no more than minimal individual or
cumulative adverse effects on the aquatic environment.
• Nationwide Permits (NWP) are used in other states.
2 | MARCELLUS SHALE COALITION
Pipeline Permitting in PA
Purpose of PASPGP-4
• Protect the aquatic resources of the Commonwealth of
Pennsylvania.
• Reduce the administrative burden of duplicative programs and
increase efficiency for both the USACE and the PADEP through
interagency cooperation.
• Improve the regulatory response time.
• Add predictability to the permit program for the applicant and
general public.
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Permit Duration Data
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PASPGP-4 vs. NWP
Single and Complete Project
• “Single & Complete Project” – PASPGP-4 is not consistent with
NWP:
• Under PASPGP-4, all crossings associated with a specific
project are added together for project categorization and
review.
• Under NWP, each crossing is an independent project that is
reviewed separately.
5 | MARCELLUS SHALE COALITION
PASPGP-4 vs. NWP
Temporary Impacts
• PASPGP-4 includes temporary impacts when determining permit
categorization.
• NWP evaluates permanent impacts to waters of the U.S. in the
calculation of permit eligibility. It is not necessary to include
temporary impacts because by definition, they are mitigated and
do not accumulate.
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Temporary Impacts
Before
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After
Temporary Impacts
Before
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After
Permit Delays
Affect on Midstream Pipeline Project Permitting
• Since fourth Quarter of 2010, the majority of midstream pipeline
permits in PA have been classified as “Category III” under
PASPGP-4.
• The average permit processing is in excess of 145 days
(compared to the Nationwide Permit Program 45-60 days).
• Despite the increase in review time, there has been no change in
permitting outcomes or conditions of construction.
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Consequences of Process
Due to the backlog of pipeline permits in Pennsylvania,
approximately 600 – 700 Marcellus wells remain shut-in, waiting
for pipelines.
This affects revenue for both the industry and the royalty owners.
This also impacts the economy, which is deprived of readily
available natural gas as an energy resource.
Pennsylvania is at a competitive disadvantage compared to
other states.
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Solutions
Solutions to Permit Delays
• Eliminate the overall project concept under PASPGP-4 and limit
the interpretation of “single and complete project” to the
interpretation provided under the NWP.
• Monitor cumulative impacts of multiple single and complete
projects independently of project review and authorization, as is
done under the NWP.
• Follow the NWP practice of counting permanent impacts only (not
temporary impacts) when determining permit categorization under
PASPGP-4.
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Benefits for the
Commonwealth
If the Solutions are Implemented:
• Permitting in PA will be more timely and predictable.
• Natural gas will be delivered more efficiently to the market.
• Strong environmental protections will remain in place.
• PA will be aligned with the May 17, 2013 Memorandum from
President Obama to reduce government review and permitting
timelines for infrastructure projects including pipeline projects.
12 | MARCELLUS SHALE COALITION
Thank you!
Marcellus Shale
Coalition
www.marcelluscoalition.org
www.learnaboutshale.org
www.shaleinsight.com
Twitter.com/marcellusgas
Facebook.com/marcelluscoalition
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