As with many, I was unable to leave on vacation this weekend, so I am back. This is an update to the Weekly Report. 
Below are listed two orders that are vitally important:

Extraordinary Expenditures Necessary to Safeguard National Energy Supplies, PL01-6.
On September 14, FERC issued this Statement of Policy indicating that companies may file applications to recover prudently incurred costs associated with security and reliability during this national crisis. The Policy Statement states companies may propose a separate rate recovery mechanism, such as a surcharge, to currently existing rates. 
http://cips.ferc.fed.us/Q/CIPS/MISC/PL/PL01-6.000.TXT

Regulations Under OCS Lands Act Governing Movement of Natural Gas and Facilities on OCS, RM99-5-003
Issued September 13, this order clarifies that information contained in OCSLA reports will not be protected from public disclosure if the information is necessary to determine whether OCS gas service providers are operating in accordance with OCSLA. This forces offshore operators to comply with OCSLA reporting standards. FERC feels that absent information such as the identity of offshore service provider, offshore affiliates, rates and conditions of service for each customer, it would not be possible for FERC to gauge whether offshore entities are complying with the mandates of OCSLA. FERC will consider on a case-by-case basis partial public disclosure to be sufficient to satisfy regulations of Order Nos. 639 and 639-A; warning that withholding of information from the public will not be in compliance with regulations. Five days from issuance of this order, FERC will place information contained in OCSLA reports in public files. 
http://cips.ferc.fed.us/Q/CIPS/RULES/RM/RM99-5.003.TXT