KentAT
Senior Member
- Location
- Northeastern PA
The company I work for has begun to reclassify the compressor buildings of our compressor stations from Class 1, Div 1 to Class 1, Div 2. This usually occurs when expansion needs arise.
I have always felt that classification of our areas fall under NEC, which points to NFPA 497, which recommends following the stricter guidlines of API RP500 due to the high-hazard criteria of our gas pressure which is >500 psig. Others do not always share my opinion.
The plan usually goes like this:
(1) Existing enclosed buildings are typically Class1, Div 1, inadequately ventilated.
(2) We have always had, and will continue to have fixed gas detection equipment which is installed for safety and other regulatory reasons that are exclusive of the API RP500 recommendations (but do meet or exceed them).
(3) Ventilation fans are typically installed to provide 6 air changes/hour when the fans are on. The fans are normally off. They are turned on when the gas detection system reaches a 20% LEL concentration. The powers that be consider this to meet the definition of adequately ventilated in 6.3.2.4.2 because this ventilation is providing for 6 changes/hour.
IMO it it is more important to be concerned with the gas reaching above 25% LEL as stated in the definition of "adequate ventilation" in 6.3.2.1. instead of just providing for the recommended # of air changes when a gas level is indicated. I think this is a gamble because you cannot predict the size or extent of the gas source (leak, etc) and you cannot know that the installed fans provide enough ventilation to prevent the accumulation above 25% until such time that an event occurs and the system continues to monitor it.
The "good engineering judgement" part comes in here because the policymakers know that our Emergency Shutdown Systems (ESD) will activate when the level reaches 40% LEL. At that time, the building and compressors are shutdown and all gas in the building is blowndown/released to atmosphere. I can see it their way if it were not for the fact that they and I all know that not all company compressor stations follow the strict company policies concerning bypassing of the ESD safety systems.
To me, the "good engineering judgement" would be to ensure full compliance with all company policies so this reclassification works, or don't do it.
FWIW I must admit that at first I was resistant to this change because I 'm one of the employees who might be inside this building when a gas leak (OK, "equipment failure") occurs and I want all the protection from accidental ignition I can get. But I do see the economic advantages and industry direction that points to these changes.
Ant thoughts?
I have always felt that classification of our areas fall under NEC, which points to NFPA 497, which recommends following the stricter guidlines of API RP500 due to the high-hazard criteria of our gas pressure which is >500 psig. Others do not always share my opinion.
The plan usually goes like this:
(1) Existing enclosed buildings are typically Class1, Div 1, inadequately ventilated.
(2) We have always had, and will continue to have fixed gas detection equipment which is installed for safety and other regulatory reasons that are exclusive of the API RP500 recommendations (but do meet or exceed them).
(3) Ventilation fans are typically installed to provide 6 air changes/hour when the fans are on. The fans are normally off. They are turned on when the gas detection system reaches a 20% LEL concentration. The powers that be consider this to meet the definition of adequately ventilated in 6.3.2.4.2 because this ventilation is providing for 6 changes/hour.
IMO it it is more important to be concerned with the gas reaching above 25% LEL as stated in the definition of "adequate ventilation" in 6.3.2.1. instead of just providing for the recommended # of air changes when a gas level is indicated. I think this is a gamble because you cannot predict the size or extent of the gas source (leak, etc) and you cannot know that the installed fans provide enough ventilation to prevent the accumulation above 25% until such time that an event occurs and the system continues to monitor it.
The "good engineering judgement" part comes in here because the policymakers know that our Emergency Shutdown Systems (ESD) will activate when the level reaches 40% LEL. At that time, the building and compressors are shutdown and all gas in the building is blowndown/released to atmosphere. I can see it their way if it were not for the fact that they and I all know that not all company compressor stations follow the strict company policies concerning bypassing of the ESD safety systems.
To me, the "good engineering judgement" would be to ensure full compliance with all company policies so this reclassification works, or don't do it.
FWIW I must admit that at first I was resistant to this change because I 'm one of the employees who might be inside this building when a gas leak (OK, "equipment failure") occurs and I want all the protection from accidental ignition I can get. But I do see the economic advantages and industry direction that points to these changes.
Ant thoughts?