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If an operator has a short line and wants to declare it as an HCA, and assess it respectively, does the operator have to count houses, buildings, and identified sites?

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If an operator has a short line and wants to declare it as an HCA, and assess it respectively, does the operator have to count houses, buildings, and identified sites?

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No. An operator with only a limited amount of pipeline can elect to treat its entire pipeline as an HCA and need not determine if potential impact circles contain 20 houses nor locate identified sites. • FAQ-195. How were the Fire Marshals notified of providing assistance in locating identified sites? Is there written communication (i.e., documentation) that operators can reference? A Federal Register notice describing this effort would be useful. [06/28/2004]Answer: OPS has engaged in a cooperative program with the National Association of State Fire Marshals (NASFM) to help prepare fire service officials to work with other local safety and planning officials to locate “identified sites.” This will include developing tools that can assist NASFM members in understanding issues related to pipeline safety and related emergency response. The program will also include making its results public, so that regulators and the public can see what sites are identified. Fire marshals and other publ

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