BP Amoco-Wood River Facility - Executive Summary

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ACCIDENTAL RELEASE PREVENTION AND EMERGENCY RESPONSE POLICIES 
 
At the BP Amoco-Wood River Facility, we are committed to operating and maintaining all of our processes (especially those using hazardous substances) in a safe and responsible manner.  We use a combination of accidental release prevention programs and emergency response planning programs to help ensure the safety of our employees and the public as well as protection of the environment.  This document provides a brief overview of the comprehensive risk management activities that we have designed and implemented, including: 
 
*  A description of our facility and use of substances regulated by EPA's RMP regulation 
*  A summary of results from our assessment of the potential offsite consequences from accidental chemical releases 
*  An overview of our accidental release prevention programs 
*  A five-year accident history for accidental releases of chemicals regulated by EPA's RMP rule 
*  An overview of our emergency respon 
se program 
*  An overview of planned improvements at the facility to help prevent accidental chemical releases from occurring and adversely affecting our employees, the public, and the environment 
*  The certifications that EPA's RMP rule requires us to provide 
*  The detailed information (called data elements) about our risk management program 
 
 
 
STATIONARY SOURCE AND REGULATED SUBSTANCES 
 
Our facility stores butane and iso-butane from the Shell Refinery located across the street.    The butane and iso-butane is stored in two 25000 BBL spheres.  Receipts and deliveries are coordinated between the Shell Refinery personnel and BP Amoco-Wood River marketing personnel.  In our processes, we use the following chemicals that EPA has identified as having the potential to cause significant offsite consequences in the event of a substantial accidental release: 
 
Toxics 
 
   Not applicable 
 
Flammables 
 
   Butane 
   Iso-butane 
 
Our accidental release prevention programs and our contingency planning e 
fforts help us effectively manage the hazards that are posed to our employees, the public, and the environment by our use of these chemicals. 
 
 
 
KEY OFFSITE CONSEQUENCE ANALYSIS SCENARIOS 
 
EPA's RMP rule requires that we provide information about the worst-case release scenario(s) and alternative release scenario(s) for our facility.  The following are brief summaries of these scenarios, including information about the key administrative controls and mitigation measures to limit the exposure distances for each scenario: 
 
Worst-case Release Scenario(s) - Regulated Toxic Chemicals 
    
   Not applicable 
 
Alternative Release Scenario(s) - Regulated Toxic Chemicals 
 
   Not applicable 
 
 
Worst-case Release Scenario(s) - Regulated Flammable Chemicals 
 
The BP Amoco Wood River facility has determined the worst case scenario to be a vapor cloud explosion of a 25,000 BBL aboveground butane sphere.   This sphere contains a maximum of 892,500 gals. (85% of storage capacity) of butane or iso-butane.  This  
scenario was based upon the remote possibility of the sphere being compromised due to physical or mechanical damage.  The distance to 1 PSI overpressure has been calculated at 1.3 miles.  Based upon 1990 census data,  US Geological Survey maps and aerial photography, BP Amoco Wood River has determined the following public receptors are within the1.3 miles (8000 residents, 3015 homes, 5 schools, 3 post offices, 3 city halls, 3 parks, a public recreation area, and several commercial businesses).   One environmental receptor was found, the Lewis and Clark Monument.  To eliminate potential fuel sources, the following control measures are (1) the storage is diked and  (2) a vegetation control program is in place.   
 
 
Alternative Release Scenario(s) - Regulated Flammable Chemicals 
 
BP-Amoco Wood River  has reviewed several alternate release scenarios at the Wood River facility.   The scenario selected for the RMP reporting was a 3-inch hole located at the bottom of the butane sphere.   The s 
cenario could result from a physical or mechanical compromise of the sphere.  Complete loss of contents was considered due to limited access to the sphere.  The area is however surrounded by a dike 300 ft. by 170 ft.   Product would accumulate to a depth of 2.8 ft.  The area is also protected by a firewater system; however,  no credit was taken for reduced flammable vapor levels.  As much as 892,500 gallons (85% of storage capacity)  of butane or iso-butane would be released and subject to a pool fire.  The calculated distance to the lower explosive limit (LEL) is less than .06 miles and the endpoint radius of impact to 5 KW/m2  for forty seconds is  .25 miles. Based on 1990 census data, US Geological Survey maps and aerial photography, BP Amoco Wood River has determined the following public receptors are within the .25 miles   (3300 residents, 811 homes, several commercial businesses, two schools, and a public recreation area).  No environmental receptors were found.  Control measures 
for the butane storage area include (1) dike walls, (2) vegetation control program, and (3) personnel on site 24 hours a day. 
 
We are using this information to help us ensure that our emergency response plan and the community emergency response plan address all reasonable contingency cases. 
 
 
 
GENERAL ACCIDENTAL RELEASE PREVENTION PROGRAM AND CHEMICAL-SPECIFIC PREVENTION STEPS 
 
We take a systematic, proactive approach to preventing accidental releases of hazardous chemicals.  Our management systems address each of the key features of successful prevention programs including: 
 
*  Process safety information 
*  Process hazard analysis 
*  Operating procedures 
*  Training 
*  Mechanical integrity 
*  Management of change 
*  Pre-startup review 
*  Compliance audits 
*  Incident investigation 
*  Employee participation 
*  Hot work permit 
*  Contractors 
 
As part of our prevention efforts, we have implemented the following chemical-specific prevention steps: 

H.A.D. Systems. Heat activ 
ated detection - deluge. 
Hydrocarbon detection system. 
Safety Relief Valves. 
Dike walls surrounding each individual sphere. 
Remote operated twin seal valves on suction and fill lines  & twin seal valves behind MOV's. 
Critical instrument list. 
Checklist for monthly, quarterly, semi-annual, annual inspections of critical instruments. 
 
These individual elements of our prevention program work together to prevent accidental chemical releases.  Our company and our employees are committed to the standard that these management systems set for the way we do business, and we have specific accountabilities and controls to ensure that we are meeting our own high standards for accident prevention.  Below is a copy of our employee participating statement, the key element to our Process Safety Management and Risk Management prevetion programs. 
 
Employee Participation Statement 
 
BP AMOCO WOOD RIVER FACILITY 
 
Employee Participation in Process Safety Management: BP Amoco is committed to the involvement  
of employees in all facets of the safe operations of its processing facilities and encourages the participation of employees in all aspects of process safety management.  
 
1.    Employees will have access to all information pertaining to the processes they operate.  Individuals may be asked periodically to participate in gathering this information. 
 
2.    Employees will be contributing members of the process hazards analysis team.  The process hazards analysis report will be accessible and available to all affected employees. 
 
3.    Employees directly responsible for using operating and maintenance procedures shall participate in their development and continued improvement. 
 
4.    Employees involved in operations or maintenance will be trained to safely conduct their respective assignments.  Training shall be periodically provided.  Employees shall be required to demonstrate proficiency in their job assignments. 
 
5.    Employees shall be asked to evaluate contractor performance. 
 
6.    Employees are req 
uired to adhere to all established safety procedures. 
 
7.    Employees will participate in emergency planning development, investigations of incidents and accidents, Management of Change procedures,  ongoing reviews of process safety and operability, Pre-Startup Safety Reviews,  and Compliance Audits. 
 
8.    Employees are required to adhere to the tenets of BP Amoco's trade secret and license agreements, where applicable. 
 
Safe operation and maintenance requires the involvement of both employer and employee. BP Amoco maintains an open access policy to employees regarding process safety.  Employees are responsible to operate and maintain the processes and equipment in a safe manner.  Employees will have the opportunity for involvement in all aspects of process safety management through voluntary direct participation, through consultation as affected employees, and through methods such as anonymous communication and employee representation. 
 
 
 
 
FIVE-YEAR ACCIDENT HISTORY 
 
We keep records for a 
ll significant accidental chemical releases and incidents that could have reasonably resulted in a significant accidental release that occur at our facility.  For each of these incidents, we have conducted formal incident investigations to identify and correct the root causes of the events. 
 
We have not had any releases meeting the requirements of part 68.42 of the regulation. 
 
 
 
EMERGENCY RESPONSE PROGRAM 
 
We maintain an emergency procedures manual, which consolidates the various federal, state, and local regulatory requirements for emergency response planning.  Our program provides the essential planning and training for effectively protecting workers, the public, and the environment during emergency situations.  Furthermore, we coordinate our plan with the community emergency response plan. Below is a copy of our managements philosophy regarding emergency preparedness. 
 
BP Amoco's pledge is to excel in protecting the environment and the health and safety of its employees, the users  
of its products, and the communities in which it operates.  An effective and viable Emergency Procedures Manual is recognized as a necessary tool to guide correct emergency response.   BP Amoco places such importance on emergency preparedness that all company operations have and maintain an emergency procedures manual. 
 
 
 
PLANNED CHANGES TO IMPROVE SAFETY 
 
The following is a list of improvements that we are planning to implement at the facility to help prevent and/or better respond to accidental chemical releases: 
 
   Repiped transfer line from Shell to butane spheres to allow measurements     
of product density to prevent propane from entering butane spheres. - Done 5//25/99. 
 
   Thermal relief valve installed on 4" butane transfer line to prevent possible gasket rupture or line rupture. Completed 5/25/99. 
 
 
 
CERTIFICATIONS 
 
The undersigned certifies that, to the best of my knowledge, information, and belief, formed after reasonable inquiry, the other information submitted in this RMPlan is  
true, accurate, and complete. 
 
Signature 
Title 
Date 
 
 
 
RMP DATA ELEMENTS 
 
The following pages present additional information about our risk management program that EPA's RMP rule has asked us to provide.  This information is categorized as follows: 
    
   Executive summary 
   Registration 
   Offsite consequence analysis 
   Five-year accident history 
   Program 3 prevention program 
   Emergency response program 
   Certification
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