Red Desert - Source
***** Risk Management Plan *****
***** Section 1. Registration Information *****
* Source Identification
Facility Name: Red Desert
Parent Company #1 Name: Mountain Gas Resources, Inc.
Parent Company #2 Name: Western Gas Resources, Inc.
* Submission and Acceptance
Submission Type: First-time submission
Receipt Date: 23-JUN-1999
Postmark Date: 21-JUN-1999
Next Due Date: 21-JUN-2004
Completeness Check Date: 14-JUL-1999
Complete RMP: YES
Certification Received: YES
* Facility Identification
EPA Facility Identifier: 1000 0012 6678
Other EPA Systems
* Dun and Bradstreet Numbers (DUNS)
Facility DUNS: 877395558
Parent Company #1 DUNS: 557080264
Parent Company #2 DUNS: 606413052
* Facility Location Address
Street 1: NE 1/4, Sec 7, T19N, R96W
City: Green River
Facility Latitude and Longitude
Lat. (dd mm ss.s): 41 38 20.0
Long. (ddd mm ss.s): -108 15 45.0
Latitude (decimal): 41.638889
Longitude (decimal): -108.2625
Lat/Long Method: Interpolation - Map
Lat/Long Description: Center of Facility
* EPA Default Map Value Latitude/Longitude
EPA Default Map Value
Latitude (decimal): 41.8369
EPA Default Map Value
Longitude (decimal): -109.685
EPA Default Map Value
Lat/Long Method: CENSUS-OTHER
EPA Default Map Value
Lat/Long Description: PLANT ENTRANCE (GENERAL)
* Owner or Operator
Operator Name: Mountain Gas Resources, Inc.
Operator Phone: (307) 875-8785
Operator Street 1: 20 Shoshone Avenue, Suite D
Operator Street 2:
Operator City: Green River
Operator State: WYOMING
Operator ZIP: 82935
Operator Foreign State
Operator Foreign ZIP:
Operator Foreign Country:
* Name and title of person or position responsible for part 68 (RMP) implementation
RMP name of person:
RMP Title of person or
position: Senior Vice President, Operations
* Emergency Contact
Emergency contact name: Michael Fetch
Emergency contact title: Lead Operator
Emergency contact phone: (307) 324-3716
24-hour phone: (307) 875-9049
Emergency contact ext.
* Other Points of Contact
Facility or Parent
Company E-mail Address:
Facility Public Contact
Facility or Parent
Company WWW Homepage
* Local Emergency Planning Committee
LEPC: Sweetwater County LEPC
* Full Time Equivalent Employees
Number of full time
employees (FTE) on site: 2
FTE Claimed as CBI:
* Covered by
OSHA PSM : YES
EPCRA 302 :
CAA Title V:
Air Operating Permit ID:
* OSHA Ranking
OSHA Star or Merit
* Last Safety Inspection
Last Safety Inspection
(by an External Agency)
Last Safety Inspection
Peformed by an External
Agency: Never had one
* Predictive Filing
Did this RMP involve
* Confidential Business Information (CBI)
Unsanitized RMP Provided:
* Reportable Accidents
Reportable Accidents: See Section 6. Accident History below to determine if there were any accidents reported for this RMP.
***** Executive Summary *****
Risk Management Plan
Executive Summary for the Red Desert Gas Processing Facility
Accidental Release Prevention and Response Policies
The Red Desert gas plant has a longstanding commitment to worker and public safety. This commitment is supported by the resources invested in accident prevention, personnel training and the consideration of safety issues in the design, construction, operation and maintenance of our facilities. Our policy is to implement reasonable controls to provide a safe operation and prevent foreseeable releases of regulated substances. However, if a release does occur, trained gas plant personnel will respond to control and contain the release.
Description of the Stationary Source and Regulated Substances
The Red Desert gas plant is located about 60 miles west of Rawlins, Wyoming. The facility includes compression, dehydration, refrigerated liquids recovery and a refrigeration system. The plant produces a lean, dry residue gas stream, and a liquid product co
ntaining propane, butanes, pentanes and heavier liquids. The plant handles regulated flammables such as ethane, propane, mixed butanes and mixed pentanes. The plant does not handle threshold quantities of any materials classified as toxic.
Offsite Consequence Analysis Results
There are no toxic release scenarios to consider at the Red Desert gas plant.
The worst-case scenario (WCS) at the Red Desert facility is the release of flammable substances from a butane/gasoline storage vessel, which form an unconfined vapor cloud explosion. This scenario pertains to a vapor cloud explosion (VCE) involving the full inventory of the largest storage tank containing butane/gasoline liquids. The content of this tank amounts to about 420,000 pounds of material. This amount of material is presumed to release, vaporize and ignite resulting in the VCE. The maximum distance to the 1.0 pound per square inch endpoint for this WCS is 0.6 miles. This distance does not include any residences, indust
rial or recreational sites and therefore has allowed the Red Desert plant to be a program level 1 facility. Although we have numerous controls to prevent such a release and to manage their consequences, no credit for passive mitigation measures was taken here. It should be noted that this tank rarely operates full, though this is volume is used in the WCS calculations.
We have not considered an alternative release scenario (ARS) of flammable substances at the Red Desert plant.
General Accidental Release Prevention Program
The following is a summary of the accident prevention program in place at the plant. Because processes at the plant are regulated by the Environmental Protection Agency's (EPA's) Risk Management Program (RMP), the facility is also subject to the Occupational Safety and Health Administration's (OSHA's) process safety management (PSM) standard. The following summary addresses each of the OSHA PSM elements and describes the management system in place to implem
ent the accident prevention program.
The Red Desert gas plant requires employees to participate in all facets of process management and accident prevention. Examples of employee participation range from updating and compiling technical documents and chemical information to participating as a member of a process hazard analysis (PHA) team. Employees have access to all information created as part of the gas plant accident prevention program. Specific ways that employees are involved in the accident prevention program are documented in an employee participation plan that is maintained at the gas plant and addresses each accident prevention program element. In addition the gas plant has a number of initiatives under way that address process and employee safety issues. These include development of standardized operating procedures, incident investigation, management of change, safe work practices and participation in flowsheet reviews.
Process Safety Informatio
The Red Desert gas plant keeps a variety of technical documents that are used to help maintain safe operation of the process. These documents address chemical properties and associated hazards, limits for key process parameters, and equipment design basis/configuration information. The Operations group has been assigned responsibility for maintaining up-to-date process safety information. The location of these documents is readily available to help employees locate any necessary process safety information.
Chemical-specific information, including exposure hazards and emergency response/exposure treatment consideration, is provided in material safety data sheets (MSDS). This information is supplemented by documents that specifically address known corrosion concerns and any known hazards associated with the inadvertent mixing of chemicals. For specific process areas, the gas plant has documented safety-related limits for specific process parameters in operating manuals. The gas
plant ensures that the process is maintained within these limits using process controls and monitoring instruments, highly trained personnel and protective instrument systems (e.g., automated shutdown systems).
The Red Desert gas plant maintains numerous technical documents that provide information about the design and construction of process equipment. This information includes materials of construction, design pressure and temperature ratings, and electrical rating of equipment. This information in combination with written procedures and trained personnel, provides a basis for establishing inspection and maintenance activities, as well as for evaluating proposed process and facility changes to ensure that safety features in the process are not compromised.
Process Hazard Analysis
The Red Desert gas plant has a comprehensive program to ensure that hazards associated with the various processes are identified and controlled. Within this program each process is systematically exam
ined to identify hazards and ensure that adequate controls are in place to manage these hazards.
The Red Desert gas plant uses the process hazard analysis technique to perform these evaluations. These reviews are conducted using a team of people who have operating and maintenance experience as well as engineering expertise. This team identifies and evaluates hazards of the process as well as accident prevention and mitigation measures. The team makes suggestions for additional prevention and/or mitigation measures when the team believes such measures are necessary.
If necessary the PHA team findings are forwarded to local and corporate management for resolution. Implementation of mitigation options in response to PHA findings is based on a relative risk ranking assigned by the PHA team. This ranking helps ensure that potential accident scenarios assigned the highest risk receive immediate attention.
To help ensure that the process controls and/or process hazards do not eventual
ly deviate significantly from the original design safety features, the plant periodically updates and revalidates the hazard analysis results. These periodic reviews are conducted at least every 5 years and will be conducted at this frequency until the process is no longer operating. The results and findings from these updates are documented and retained.
The Red Desert gas plant maintains written procedures that address various modes of process operations, such as unit startup, normal operations, emergency shutdown and normal shutdown. These procedures can be used as a reference by experienced operators and provide a basis for consistent training of new operators. These procedures are periodically reviewed to ensure they are current and accurate. The procedures are also kept current and accurate by revising them as necessary to reflect changes made through the management of change process.
To complement the written process operating procedures, t
he Red Desert gas plant has a comprehensive training program for all employees involved in operating a process. New employees receive basic training in gas plant operations if they are not already familiar with such operations. After successfully completing this training, a new operator is paired with a senior operator to learn process-specific duties and tasks. After operators demonstrate having adequate knowledge to perform the duties and tasks in a safe manner on their own, they can work independently. In addition, all operators periodically receive refresher training on the operating procedures to ensure that their skills and knowledge are maintained at an acceptable level. This refresher training is conducted at least every 3 years. All training is documented for each operator, including the means used to verify the operators understanding of the training.
The Red Desert gas plant uses contractors to supplement its work force during periods of increased mainten
ance or construction activities. Because some contractors work on or near process equipment, the gas plant has procedures in place to ensure that contractors; 1) perform their work in a safe manner, 2) have the appropriate knowledge and skills, 3) are aware of the hazards in their workplace, 4) understand what they should do in the event of an emergency, 5) understand and follow site safety rules, and 6) inform gas plant personnel of any hazards that they find during their work. This is accomplished by providing contractors with; 1) process overview, 2) information about safety and health hazards, 3) emergency response plan requirements, 4) safe work practices prior to their beginning work, and 5) safe and hot work permits as required. In addition the Red Desert gas plant evaluates contractor safety programs and performance during the selection of a contractor.
Pre-startup Safety Reviews (PSSRs)
The Red Desert gas plant conducts a PSSR for any new facility or facility modification
that requires a change in the process safety information. The purpose of the PSSR is to ensure that safety features, procedures, personnel and equipment are appropriately prepared for startup prior to placing the equipment into service. This review provides one additional check to make sure construction in accordance with the design specifications and that all supporting systems are operationally ready. The PSSR review team uses checklists to verify all aspects of readiness. A PSSR involves field verification of the construction and serves as a quality assurance function by requiring verification that accident prevention program requirements are properly implemented.
The Red Desert gas plant has well established practices and procedures to maintain pressure vessels, piping systems, relief and vent systems, controls, pumps, heat exchangers, compressors and emergency shutdown systems in a safe operating condition. The basic aspects of this program include; 1) c
onducting training, 2) developing written procedures, 3) performing inspections and tests, 4) correcting identified deficiencies, and 5) applying quality assurance measures. In combination these activities form a system that maintains the mechanical integrity of the process.
Maintenance personnel receive training on; 1) an overview of the process, 2) safety and health hazards 3) applicable maintenance procedures, 4) emergency response plans, and 5) applicable safe work practices to help ensure that they can perform their jobs in a safe manner. Written procedures help ensure that work is performed in a consistent manner and provides a basis for training. Inspections and tests are performed to verify that equipment parameters are within acceptable limits. For a vessel the parameter being monitored would typically be wall thickness. If a deficiency is identified employees will correct the deficiency before placing the equipment back into service (if possible) or a management of chang
e team will review the use of the equipment and determine what actions are necessary to ensure the safe operation of the equipment.
Safe Work Practices
The Red Desert gas plant has long standing safe work practices in place to help ensure worker and process safety. Examples of these include; 1) control of the entry/presence/exit of support personnel, 2) a lockout/tagged procedure to ensure isolation of energy sources for equipment undergoing maintenance, 3) a procedure for safe removal of hazardous substances before process piping or equipment is opened, 4) a permit and procedure to control spark producing activities (i.e. hot work), and 5) a permit and procedure to ensure that adequate precautions are in place before entry into a confined space. These procedures along with training of affected personnel form a system to help ensure that operations and maintenance activities are performed safely.
Management of Change
The Red Desert gas plant has a comprehensive system to manage
changes to all covered processes. This system requires that changes to items such as process equipment, chemicals, technology, procedures and other facility changes be properly reviewed and authorized before being implemented. Changes are reviewed to; 1) ensure that adequate controls are in place to manage any new hazards, 2) verify that existing controls have not been compromised by the change, and 3) ensure that changes do not introduce an unknown hazard to the process. Affected chemical hazard information, process operating limits and equipment information, as well as procedures is updated to incorporate these changes. In addition, operating and maintenance personnel are provided necessary training on the change.
The Red Desert gas plant promptly investigates all incidents that resulted in, or reasonably could have resulted in a fire/explosion, major property damage, environmental loss or personal injury. The goal of each investigation is to determine the
facts and develop corrective actions to prevent a recurrence of the incident or a similar incident. The investigation team documents it findings, develops recommendations to prevent a recurrence and forwards these results to gas plant management for resolution. The final resolution of each finding or recommendation is documented and the investigation results reviewed with all employees who could be affected by the findings. Incident investigation reports are retained for at least 5 years so that the reports can be reviewed during future PHAs.
To help ensure that the accident prevention program is functioning properly, the Red Desert gas plant periodically conducts an audit to determine whether the procedures and practices required by the accident prevention program are being implemented. Compliance audits are conducted at least every 3 years. Both hourly and staff personnel participate as audit team members. The audit team develops findings that are forwarded
to gas plant management for resolution.
Chemical -Specific Prevention Steps
The processes at the Red Desert gas plant have hazards that must be manage to ensure continued safe operation. The following is a description of existing safety features applicable to prevention of accidental releases of regulates substances in the facility.
Universal Prevention Activities
The accident prevention program summarized previously is applied to all RMP covered processes at the Red Desert gas plant. Collectively these prevention program activities help prevent potential accident scenarios that could be caused by equipment failure and human errors.
Specialized Safety Features
The Red Desert gas plant has safety features on many units to help; 1) contain/control a release 2) quickly detect a release, and 3) reduce the consequence of a release. The following types of safety features are used in the covered processes:
Release Detection- Hydrocarbon detectors with alarms
trol- Process relief valves that discharge to a flare which will capture and incinerate episodic releases
- Valves to permit isolation of portions of, or the entire process
- Automated shutdown systems for specific process parameters
- Curbing or diking to contain liquid releases
- Redundant equipment and instrumentation (e.g. UPS system)
- Atmospheric relief devices
- Overall Plant and local area ESDs
Release Mitigation- Manually operated fire extinguishing systems
- Trained emergency response personnel
- Personnel protective equipment (e.g. self contained breathing equipment)
Five Year Accident History
In the last five years there have not been any hydrocarbon releases whose quantities approached those described in the RMP release events.
Emergency Response Program Information
The Red Desert gas plant maintains a written emergency response program, which is in place to protect worker and public safety and the environment. The program consists of procedure for re
sponding to a release of a regulated substance, including the possibility of a fire or explosion if a flammable substance is accidentally released. The procedures address all aspects of emergency response, including proper first aid and medical treatment for exposures, evacuation plans and accounting for personnel after an evacuation, notification of local emergency response agencies and the public if a release occurs, and post incident cleanup. In addition the plant has procedures that address maintenance, inspection and testing of emergency equipment. Employees receive training in these procedures as necessary to perform their specific emergency response duties. The emergency response program is updated when necessary based on modifications made to the plant. The emergency response program changes are administered through the MOC process, which includes informing and/or training affected personnel in the changes.
The overall emergency response program of the Red Desert gas plan
t is coordinate with the Rawlins fire department and the Sweetwater County local emergency planning committee (LEPC). This coordination includes periodic meeting of the committee, which includes local emergency response officials, local government officials and industry representatives. The Red Desert gas plant has around the clock communications capability with appropriate LEPC officials and emergency response organizations. This provides a means of notifying the public of an incident, if necessary, as well as facilitating quick response to emergency situations. The gas plant conducts periodic emergency drills that involve the local emergency response organizations and the gas plant provides annual refresher training to local emergency responder regarding the hazards of regulated substances in the gas plant.
Planned Changes to Improve Safety-
We plan on increasing the frequency of emergency drills with the local emergency response organizations. A company-wide year 2000 comp
liance program helps assure safety issues.
* Process Chemicals
Process ID: 16132
Description: Natural Gas Liquids Extra
Process Chemical ID: 20147
Program Level: Program Level 1 process
Chemical Name: Flammable Mixture
CAS Number: 00-11-11
Quantity (lbs): 2400000
* Flammable Mixture Chemical Components
Chemical ID: 12390
Chemical Name: Ethane
CAS Number: 74-84-0
Chemical ID: 12391
Chemical Name: Propane
CAS Number: 74-98-6
Chemical ID: 12392
Chemical Name: Butane
CAS Number: 106-97-8
Chemical ID: 12393
Chemical Name: Pentane
CAS Number: 109-66-0
* Process NAICS
Process ID: 16132
Process NAICS ID: 16538
Program Level: Program Level 1 process
NAICS Code: 211112
NAICS Description: Natural Gas Liquid Extraction
***** Section 2. Toxic: Worst Case *****
***** Section 3. Toxic: Alternative Release *****
***** Section 4. Flammables: Worst Case *****
Flammable Worst ID: 2719
Model Used: EPA's RMP*Comp(TM)
Endpoint Used: 1 PSI
Passive Mitigation considered
***** Section 5. Flammable: Alternative Release *****
***** Section 6. Accident History *****
***** Section 7. Program Level 3 *****
***** Section 9. Emergency Response *****
* Written Emergency Response (ER) Plan
Community Plan (Is facility included in
written community emergency response plan?):
Facility Plan (Does facility have its own
written emergency response plan?): YES
Response Actions (Does ER plan include
specific actions to be taken in reponse to
accidental releases of regulated
Public Information (Does ER plan include
procedures for informing the public and
local agencies responding to accidental
Healthcare (Does facility's ER plan include
information on emergency health care?): YES
* Emergency Response Review
Review Date (Date of most recent review or
update of facility's ER plan): 13-DEC-1998
* Emergency Response Training
Training Date (Date of most recent review or
update of facility's employees): 09-MAR-1999
* Local Agency
Agency Name (Name of local agency with which
the facility ER plan or response activities
are coordinated): Rawlins Fire Department
Agency Phone Number (Phone number of local
agency with which the facility ER plan or
response activities are coordinated): (307) 328-4598
* Subject to:
OSHA Regulations at 29 CFR 1910.38: YES
OSHA Regulations at 29 CFR 1910.120:
Clean Water Regulations at 40 CFR 112: YES
RCRA Regulations at CFR 264, 265, and 279.52: YES
OPA 90 Regulations at 40 CFR 112, 33 CFR
154, 49 CFR 194, or 30 CFR 254: YES
State EPCRA Rules or Laws: YES