In its latest advisory tied to National Safe Digging Month, PHMSA is reinforcing a familiar message with sharper operational expectations: excavation damage remains one of the leading threats to pipeline safety, and operators need to tighten coordination, improve locating accuracy, and treat even “near-miss” events as integrity threats.
ADB–2026–05 does not introduce new regulatory requirements, but it clearly signals where PHMSA expects operators to raise their game—particularly in locator performance, stakeholder coordination, and post-damage response.
Why This Matters
Excavation damage continues to be a top cause of pipeline incidents across both gas and hazardous liquid systems. What stands out in this advisory is PHMSA’s focus on execution quality, not just program existence.
Most operators already have damage prevention programs, 811 participation, and public awareness efforts in place. This bulletin goes further, emphasizing:
PHMSA is also reminding operators of existing regulatory obligations under 49 CFR §§ 192.613 and 195.401, reinforcing that third-party excavation risk is a core component of required surveillance activities—not a standalone program.
Key Takeaways for Operators
1. Move Beyond Compliance to Precision in Locating
PHMSA is explicitly pointing operators to CGA Best Practices. These Best Practices are available at: https://bestpractices.commongroundalliance.com/1-Introduction/102-History-of-the-Common-Ground-Alliance
Operational implication:
This is a clear expectation that operators validate not just that locates are performed—but that they are accurate, timely, and reliable.
Operators should consider:
2. Increase Training and Oversight of Locators
PHMSA is signaling concern around locator performance - particularly in high-growth areas.
Action items:
This is an area inspectors are likely to probe - especially where contractor locators are used extensively.
3. Push Pre-Construction Coordination Upstream
The advisory highlights two underutilized but high-impact practices:
Operational takeaway:
Operators should:
4. Rethink Public Awareness Programs
PHMSA is clearly raising expectations for public awareness effectiveness - not just outreach volume.
Key enhancements suggested:
Notably, PHMSA calls out:
This aligns with broader regulatory trends pushing operators toward measurable program effectiveness, not just compliance documentation.
5. Treat “Near Misses” as Integrity Threats
One of the strongest operational signals in this advisory:
If a pipeline is struck or scraped—even without a leak—conduct a thorough inspection.
Implication for integrity management:
Operators should ensure:
6. Strengthen Patrol Effectiveness
PHMSA reinforces the role of patrols as a frontline defense against excavation damage.
Expectations include:
Regulatory Signals to Watch
Several themes in this advisory point to where PHMSA may focus inspections and future rulemaking:
Final Takeaway
ADB–2026–05 is less about new requirements and more about raising the standard of execution across damage prevention programs.
The message is clear:
For operators, this is a good time to step back and ask a hard question:
Is your damage prevention program truly reducing risk in the field - or just meeting minimum expectations on paper?