Oct 2016
by Institution of Gas Engineers and Managers

IGEM/GM/8 Part 5 Edition 2 - Notices and labels

GM 8 Part 5 Ed 2.png

These procedures apply to all new onshore gas supply meter installations carrying Natural Gas of flow rate > 6 m 3 h -1 and maximum operating pressure up to and not exceeding 38 bar. This part details notices and labels for relevant installations.

It covers:

  • Legal considerations such as Health and Safety at Work etc. Act and Pressure Systems Safety Regulations
  • General information on the provision of notices and labels
  • Composite notices
  • Notices that are required by legal instrument
  • Notices required by these procedures
  • Optional notices
  • Pipework identification and colour coding
  • General health and safety notices
  • Data plates.

The following types of meters are covered:

  • Diaphragm
  • Rotary displacement (RD)
  • Turbine
  • Ultrasonic.

Introduction

1.1     This Standard supersedes IGE/GM/8 Part 5, Communication 1710, which is obsolete.  
 
1.2     This Standard has been drafted by an Institution of Gas Engineers and Managers (IGEM) Panel, appointed by IGEM’s Gas Measurement Committee and subsequently approved, and has been approved by IGEM’s Technical Coordinating Committee on behalf of the Council of IGEM. 
 
1.3     IGEM/GM/8 is published in 5 parts: 

  • Part 1 covering design  
  • Part 2 covering locations, housings and compounds 
  • Part 3 covering installation and commissioning • Part 4 covering operation and maintenance • Part 5 covering notices and labels. 

 
1.4 This Standard covers notices and labels for gas supply meter installations (see Sub-Section 2.1) of capacity exceeding 6 m3 h-1 and maximum operating pressure (upstream) (MOPu) not exceeding 38 bar. 
 
With the exception of the few installations of MOPu exceeding 38 bar, the majority of industrial and commercial meter installations can be operated and maintained by following IGEM/GM/6 (for MOPu not exceeding 100 mbar only) and/or IGEM/GM/8. 
 
Note: IGEM Standards use pressure breaks as adopted in European standards. However, in the UK, the actual limit of pressure for IGEM/GM/6 designs is 75 mbar. In practice, it is rare for a meter installation to have MOPu lying between 75 mbar and 100 mbar, in the UK. 
 
It is the intention that IGEM/GM/6 be used for the largest proportion of installations that can be covered by “standard designs” for MOPu not exceeding 100 mbar. 
 
For 100 mbar < MOPu ≤ 38 bar or where an installation is not a “standard design” as specified in IGEM/GM/6, IGEM/GM/8 applies (see also Note 4 to SubSection 2.1). 
 
For a turbine meter installation of MOPu not exceeding 100 mbar, there are no recognised standard designs i.e. IGEM/GM/6 does not apply. It is recommended that IGEM/GM/8 be used for all such installations. 
 
For any meter installation of MOPu exceeding 38 bar, IGE/GM/4 applies. 
 
1.5 This Standard applies to onshore gas supply installations only. It is retrospective in that, notwithstanding legal duties, (for example, the requirement for emergency notices), labelling needs to be updated when a site is next visited by a person competent to do so. 
 
1.6 This Standard does not detail the management processes required for compliance with the Pressure Systems Safety Regulations (PSSR), such guidance is provided by IGEM/GL/5. It is intended that work carried out in accordance with this Standard and IGEM/GL/5 will conform to the requirements of the PSSR. 
 
1.7 Terms such as “maximum operating pressure” (MOP), “maximum incidental pressure” (MIP) and “operating pressure” (OP) are used to reflect gas pressure terminology used in European standards. These terms will arise in all relevant 
IGEM Standards and, possibly, in other standards. Other terms have been introduced to assist in recognition of design information to be transferred between interested parties. 
 
Note: Appendix 11 of IGEM/GM/8 Part 1 shows an explanation of the terms used by setting out the definitions of the terms, explaining the suffixes, the relationship between the terms, and their significance. It is strongly recommended that Appendix 11 be read immediately. 
 
1.8 This Standard makes use of the terms “must”, “shall” and “should” when prescribing particular procedures. Notwithstanding Sub-Section 1.9: 

  • the term “must” identifies a requirement by law in Great Britain (GB) at the time of publication 
  • the term “shall” prescribes a procedure which, it is intended, will be complied with in full and without deviation 
  • the term “should” prescribes a procedure which, it is intended, will be complied with unless, after prior consideration, deviation is considered to be acceptable. 

 
Such terms may have different meanings when used in Legislation, or Health and Safety Executive (HSE) Approved Code of Practice (ACoPs) or guidance, and reference needs to be made to such statutory legislation or official guidance for information on legal obligations. 
 
1.9 The primary responsibility for compliance with legal duties rests with the employer. The fact that certain employees, for example “responsible engineers”, are allowed to exercise their professional judgement does not allow employers to abrogate their primary responsibilities. Employers must: 

  • have done everything to ensure, so far as it is reasonably practicable, that “responsible engineers” have the skills, training, experience and personal qualities necessary for the proper exercise of professional judgement
  • have systems and procedures in place to ensure that the exercise of professional judgement by “responsible engineers” is subject to appropriate monitoring and review 
  • not require “responsible engineers” to undertake tasks which would necessitate the exercise of professional judgement that is not within their competence. There should be written procedures defining the extent to which “responsible engineers” can exercise their professional judgement.  When “responsible engineers” are asked to undertake tasks which deviate from this, they should refer the matter for higher review. 

 
1.10    It is now widely accepted that the majority of accidents in industry generally are in some measure attributable to human as well as technical factors in the sense that actions by people initiated or contributed to the accidents, or people might have acted in a more appropriate manner to avert them. 
 
It is therefore necessary to give proper consideration to the management of these human factors and the control of risk. To assist in this, it is recommended that due regard be paid to HSG48. 
 
1.11    Notwithstanding Sub-Section 1.8, this Standard does not attempt to make the use of any method or specification obligatory against the judgement of the responsible engineer. Where new and better techniques are developed and proved, they are to be adopted without waiting for modification to this Standard. Amendments to this Standard will be issued when necessary, and their publication will be announced in the Journal of the Institution and elsewhere, as appropriate. 
 
 
1.12    Requests for interpretation of this Standard in relation to matters within their scope, but not precisely covered by the current text, should be addressed in writing to Technical Services, The Institution of Gas Engineers and Managers, IGEM House, High Street, Kegworth, Derbyshire, DE74 2DA, email [email protected], and will be submitted to the relevant Committee for consideration and advice, but in the context that the final responsibility is that of the engineer concerned. If any advice is given by or on behalf of IGEM, this does not relieve the responsible engineer of any of his or her obligations. 
 
1.13    This Standard was published in October 2016. 

Scope

2.1 This Standard applies to all new onshore gas supply meter installations (hereafter referred 
to as “installations”) (and defined in IGEM/G/1) of flow rate (capacity) exceeding 
6 m3 h-1 and MOPu not exceeding 38 bar.   
 
The following types of meter are covered: 
diaphragm 
rotary displacement (RD) 
turbine
ultrasonic (USM). 
 
Note 1: For installations of capacity not exceeding 6 m3 h-1, intended to carry Natural Gas (NG), BS 
6400-1 or BS 6400-2 apply, as appropriate for MOPu. For non-domestic premises there are 
additional legal requirements that may have to be met, e.g. Dangerous Substances and 
Explosive Atmospheres Regulations (DSEAR). 
 
The requirements of this document may be applied to installations of capacity not exceeding 
6 m3 h-1 and MOPu exceeding 2 bar. 
 
Note 2: For installations of MOPu exceeding 38 bar, IGE/GM/4 applies and IGEM/TD/13 may be used 
for the regulation of pressure, however, where the metering pressure is not exceeding 38 
bar, this Standard applies to the metering element in accordance with Figures 9 – 27 of 
IGEM/GM/8 Part 1. Where IGEM/TD/13 is used, the control and fault pressure ranges have 
to be acceptable to the consumer, it may be necessary to apply tolerances required by 
IGEM/GM/8 to IGEM/TD/13 control philosophy. 
 
Note 3: Primarily, IGEM/GM/8 has been produced for primary meters and other meters used for billing 
purposes. However, the principles may be applied for other meters, for example appliance 
check meters or departmental charging meters, when certain requirements may not apply.  
 
Note 4: IGEM/GM/6 provides requirements for “standard” installations of MOPu not exceeding 100 
mbar. For other, “non-standard”, installations of MOPu not exceeding 100 mbar, IGEM/GM/8 
applies.  See also the note within Sub-Section 1.4. 
 
Note 5: For turbine meters and USMs, in addition to IGEM/GM/8, some of the principles of IGE/GM/4 
may apply and further useful information is also included. 
 
Note 6: IGEM/GM/8 does not address the Network pipeline (see IGEM/TD/1, IGEM/TD/3, IGE/TD/4 
and IGEM/G/5, as appropriate). IGEM/GM/8 does not address requirements for a pressure 
regulating installation (PRI) installed in a Network pipeline that is not part of the meter 
installation, when IGEM/TD/13 applies. 

 
2.2   This Standard covers installations that are wholly downstream of the outlet of the 
emergency control valve (ECV) as per recommended arrangements in IGEM/G/1, 
in which case the installation is not part of the Network. The owner or user of the 
installation would not, therefore, be a conveyor of gas on the Network and would 
not be subject to the general duties of the Gas Safety (Management) Regulations 
(GS(M)R). Similarly, the owner or user of the installation would not be an operator 
of a pipeline and, therefore, would not be subject to the requirements of the 
Pipelines Safety Regulations (PSR). However, the installation may be subject to 
the requirements of the PSSR. 
 
Notwithstanding the above paragraph, IGEM/GM/8 may be applied when 
undertaking work on legacy meter installations that do not have an ECV located 
on their inlet, but have a valve within the meter installation nominated as the ECV. 
In such installations the section of the installation upstream of the ECV will be 
subject to the requirements of GS(M)R which will have to be complied with in 
addition to IGEM/GM/8. 
 
 
2.3 This Standard applies to installations intended to carry NG only (a 2nd family gas as defined 
by BS EN 437). 
 
Note: The Gas Safety (Installation and Use) Regulations (GS(I&U)R) (see Section 3) define “gas” 
to include 1st, 2nd and 3rd family gases as well as other gases. The principles of IGEM/GM/8 
may be used for gases other than Natural Gas but suitable adjustments to parameters and 
requirements will need to be considered by a competent person. 

 
2.4     This Part 5 of IGEM/GM/8 deals with the provision of notices and labels for relevant 
installations. 
 
2.5     All pressures are gauge pressures unless otherwise stated. 
 
2.6      Italicised text is informative and does not represent formal requirements. 
 
2.7  Appendices are informative and do not represent formal requirements unless specifically 
referenced in the main sections via the prescriptive terms “must”, “shall” or 
“should”. 
 
2.8     Unless otherwise stated, the term “notice” means “notice or label”.