The Safety and Enforcement Division (SED) is responsible for ensuring the safety of master-metered natural gas systems in mobile home parks. The Gas Safety and Reliability Branch (GSRB) of SED inspects mobile home parks that take natural gas service through a master meter and then distribute it to park residents through their own system of underground pipes.

GSRB also inspects systems where liquefied petroleum gas (LPG), i.e., propane, is distributed from a master tank through underground pipes to multiple customers. SED has jurisdiction over Propane Master Tank systems serving two or more customers inside a mobile home park or 10 or more customers in residential or commercial districts.

    GSRB currently inspects over 2,100 mobile home park operators and 600 propane operators on a minimum seven-year risk-based schedule. Inspections consist of reviewing operation and maintenance records, evaluating emergency procedures, and performing field inspections of the gas or propane systems.

    What regulations must a small natural gas or propane system operator follow?

    • Each operator must prepare and follow a manual of written procedures for conducting the following activities:
      • Operations and Maintenance
      • Emergency Response
      • Operator Qualification
      • Distribution Integrity Management (Master-meter gas Operators are exempt from the Distribution Integrity Management Program (DIMP) requirements effective March 12, 2021)
      • Each operator must also keep all records required by the above procedures to be reviewed by GSRB/SED inspectors.
      • Each year, each operator must submit an annual report to SED describing their system, the number of customers, and the dates of the most recent leak survey and cathodic protection survey.

        Blank MHP Annual Report Form

        Blank Propane Annual Report Form

        How to Prepare an Operations and Maintenance (O&M) Plan

        Title 49 CFR 192, Section 192.605 requires each operator to prepare a manual of written procedures for conducting operations, maintenance, and emergency activities.  GSRB has prepared a sample Guidance Manual to help small operators prepare their own Operation, Maintenance and Emergency (OM&E) Plan, Operator Qualification (OQ) Program, and Distribution Integrity Management Program (DIMP). This guide provides information on what is required to be included in your plans. Many outside vendors also can help you prepare the OM&E Plan, OQ Program, and DIMP.  

        2024 Guidelines for Preparing OM&E Plans, & OQ Plan, for MHP Gas Systems

        2024 Guidelines for Preparing OM&E Plans, & OQ Plan, for MHP Gas Systems (in Spanish)

        2024 Guidelines for Preparing OM&E Plans, OQ Plan, & DIMP for Propane Gas Systems

        2024 Guidelines for Preparing OM&E Plans, OQ Plan, & DIMP for Propane Gas Systems (in Spanish)

        Pursuant to the “Protecting our Infrastructure of Pipelines and Enhancing Safety Act of 2020” (PIPES Act of 2020), each operator of natural gas and propane gas distribution systems, including master-metered distribution systems located in a mobile home park or a jurisdictional propane system, must update its operation, inspection, and maintenance written plans to address the elimination of hazardous leaks and minimize releases of natural gas (including, but not limited to, intentional venting during normal operations) from the operator's pipeline facilities no later than December 27, 2021. Also, the PIPES Act of 2020 requires those written plans to address the replacement or remediation of pipelines that are known to leak due to the pipe material (including cast iron, unprotected steel, wrought iron, and historic plastics with known issues), design, or past operating and maintenance history. In addition, Title 49 U.S.C. Section 60108(a)(2) requires that operators continue updating these written plans to meet the requirements of any future regulations related to leak detection and repair that are promulgated under Title 49 U.S.C. Section 60102(q).

        To assist you in updating your written Plan for SECTION 114 of the PIPES Act, the Gas Safety and Reliability Branch of the California Public Utilities Commission has prepared the following guidelines to address the Section 114 inspection questions for master-metered operators:

        Section 114 of PIPES ACT of 2020 Guidelines for Master-Metered Natural Gas Systems

         

        Resources

        To help small utilities and operators, the U.S. Department of Transportation - Pipeline and Hazardous Materials Safety Administration publishes guidance manuals for operators of small natural gas and propane systems.

        Each year, the Gas Safety and Reliability Branch (GSRB) of SED presents seminars to operators of small gas systems on how to comply with the federal regulations.

        The Western Manufactured Housing Communities Association (WMA) represents the interests of owners of mobile home parks.  Please visit their website to find a list of pipeline service providers.

        The Western Propane Gas Association (WPGA) represents the interests of marketers of propane.

        The Golden State Manufactured-Home Owners League (GSMOL) represents the interests of people who live in mobile homes.

        History

        Public Utilities Code, Sections 4351 through 4360, gives the California Public Utilities Commission (Commission) jurisdiction over the safety of master-metered natural gas systems in mobile home parks. In January 1995, the Commission also assumed jurisdiction over the safety of propane master tank distribution systems. Assembly Bill 766 (Hauser) adopted Public Utilities Code Sections 4451 through 4465 giving the Commission jurisdiction over Propane Master Tank systems serving 10 or more customers not in a mobile home park or two or more customers inside a mobile home park. The Gas Safety and Reliability Branch (GSRB) of the Commission enforces Federal Pipeline Safety Regulations through audits of jurisdictional MHP and Propane Master Tank systems.  Audits consist of reviewing operation and maintenance records, evaluating emergency procedures, and performing field inspections of the gas distribution facilities. If violations are found, the operator is given an inspection form requesting that corrective measures be taken within a specified time.  If the operator complies and reports the corrective actions to the inspector, the inspection is closed.  If the operator fails to comply, a citation and fine may result. 

        In Resolution SU-24, dated 12/17/1993, the Commission delegated authority to GSRB to cite and fine MHP operators for failure to comply with pipeline safety regulations. Resolution USRB-001 dated July 31, 2008, delegated similar authority to GSRB for operators of propane master tanks.  These fines are not to exceed $1,000 per day and $200,000 per violation. In levying fines, GSRB considers a number of factors including the gravity of the offense and the operator's history of compliance. There is an appeal process.

        Public Utilities Code Section 2791 put a stop to the construction of master-metered mobile home parks.  It requires that residents of mobile home parks built after January 1, 1997 be directly served by the gas and electric utilities serving in that area.  Sections 2791 through 2799 outline a process by which existing master-metered mobile home parks can be converted to direct utility service.  GSRB encourages such conversions.  Because the serving utilities are exclusively in the business of providing gas and electric service, a consistently high standard of maintenance and safety is assured.  Benefits to operators of master-metered parks include relief from complying with increasingly complex and demanding federal pipeline safety regulations and equally complex requirements for rendering bills for service.  

        The Commission assumed jurisdiction over the safety of master-metered propane distribution systems in January 1995, as mandated by Assembly Bill 766 (Hauser). The GSRB administers the propane safety program similar to its Mobile home Park Safety Program, scheduling each jurisdictional system for a safety inspection at least once every five years, to assure compliance with the federal pipeline safety regulations adopted by the Commission under General Order 112-F.

        The GSRB is required by Section 4353(b) to inspect the gas facilities of MHPs at least once every seven years pursuant to a risk-based inspection schedule. Over 2,800 MHPs are currently under the jurisdiction of the Commission. Section 4453(b) requires GSRB to inspect Propane Master Tank Systems once every seven years pursuant to a risk-based inspection schedule. Over 600 propane operators are currently contained in the Commission's database.

        On 8/1/2008, the Commission approved a resolution giving authority to GSRB staff to cite those propane operators who fail to abide by the Commission directives.

        User fees 

        The Commission is a user-funded agency and it collects fees based on the number of customers served by the master-metered MHP or propane system.  These fees are included in the master-meter bill for natural gas customers and may be passed through to the submetered customers.  The GSRB bills propane master tank systems annually at the time it mails the annual report.

        The CPUC is currently conducting an extended Mobile Home Park Utility Upgrade Pilot Program to convert master-metered gas and/or electric facilities to direct utility service.  Decision 20-04-004 established a 10-year MHP Upgrade Program, with new applications being accepted beginning January 1, 2021.  GSRB is currently working with utility companies to establish a timeline for the roll-out of the new program.

         For more details on the program, please click on the following link: