Categories NGSA Comments to NAESB Board of Directors Regarding FERC Directive in Order 809 Post author By ngsaprod Post date May 27, 2016 Tags 2016, FERC ← Natural Gas Infrastructure Essential to U.S. Economy, Environment and Energy Reliability → NGSA Comment Opposing Algonquin Request for Waiver of Capacity Release Provisions [Docket No. RP16-618-000]