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{| class="wikitable welldetails" width="95%" | {| class="wikitable welldetails" width="95%" | ||
| Well ID: 34-013-20728 | | Well ID: 34-013-20728 | ||
− | | style="height=100%; align=center" rowspan="15" | {{#display_map: 39. | + | | style="height=100%; align=center" rowspan="15" | {{#display_map: 39.98492593, -81.19566916 | width=100% | height=100% }} |
|- | |- | ||
− | | County: | + | | County: [[Belmont County, Ohio|Belmont]] |
|- | |- | ||
− | | Municipality: | + | | Municipality: |
|- | |- | ||
− | | Operator Name: | + | | Operator Name: [[HESS OHIO DEVELOPMENTS LLC]] |
|- | |- | ||
− | | Well Pad ID: | + | | Well Pad ID: |
|- | |- | ||
− | | Farm/Lease Name: | + | | Farm/Lease Name: |
|- | |- | ||
− | | First Permit Date: | + | | First Permit Date: |
|- | |- | ||
− | | Last Permit Date: | + | | Last Permit Date: |
|- | |- | ||
− | | Spud Date: | + | | Spud Date: 2014-03-04 |
|- | |- | ||
− | | Unconventional: | + | | Unconventional: No |
|- | |- | ||
− | | | + | | Configuration: Vertical |
|- | |- | ||
− | | Producing | + | | Well Status: Producing |
|- | |- | ||
− | | Violations: | + | | Violations: 0 |
|- | |- | ||
− | | Latitude: 39. | + | | Latitude: 39.98492593 |
|- | |- | ||
− | | Longitude: -81. | + | | Longitude: -81.19566916 |
|- | |- | ||
|} | |} | ||
Line 43: | Line 43: | ||
!scope="col" | OIL QUANTITY | !scope="col" | OIL QUANTITY | ||
!scope="col" | OIL PRODUCTION DAYS | !scope="col" | OIL PRODUCTION DAYS | ||
+ | |- | ||
+ | | 2015-1 | ||
+ | | style="text-align:right;" | 0.0 | ||
+ | | style="text-align:right;" | 4.0 | ||
+ | | | ||
+ | | | ||
+ | | style="text-align:right;" | 186.0 | ||
+ | | style="text-align:right;" | 4.0 | ||
+ | |- | ||
|} | |} | ||
− | + | For data sources see<ref>{{cite web | |
− | + | | title = Ohio Department of Natural Resources RBDMS | |
− | + | | publisher = [http://oilandgas.ohiodnr.gov/] | |
− | + | | date = 2015-06-19 | |
− | + | | url = http://wellwiki.org/wiki/Ohio_Oil_and_Gas_Data_Sources#Production | |
− | + | | accessdate = 2015-06-20 }}</ref> | |
− | |||
− | |||
− | |||
− | |||
− | |||
− | |||
== Inspection Data == | == Inspection Data == | ||
{| class="wikitable sortable" width="95%" | {| class="wikitable sortable" width="95%" | ||
Line 64: | Line 67: | ||
!scope="col" | VIOLATION ID | !scope="col" | VIOLATION ID | ||
!scope="col" | VIOLATION CODE | !scope="col" | VIOLATION CODE | ||
− | !scope="col" | | + | !scope="col" | VIOLATION COMMENT |
+ | |- | ||
+ | | 1042876257 | ||
+ | | 2015-05-01 | ||
+ | | | ||
+ | | I received an email from supervisor Brent Bear stating that he spoke with Rick Trippel and Bob Worstall and everyone was in agreement to extend the compliance notices on this pad. The new extension date for both compliance notices will be 05/31/2015 at the request of the operator. Operator shall have the sumps installed by 5/8/14. Further sampling will be required including but not limited to water quality and soil impact due to proper measures previously agreed upon be Hess and ODNR representatives not being implemented by Hess. The operator is required to demonstrate through sampling and analytical information that the pad no longer presents an environmental threat. See notices 1422537513 and 169398360 for extensions. | ||
+ | | | ||
+ | | | ||
+ | | Compliance Notice | ||
+ | |- | ||
+ | |- | ||
+ | | 1042876257 | ||
+ | | 2015-05-01 | ||
+ | | | ||
+ | | I received an email from supervisor Brent Bear stating that he spoke with Rick Trippel and Bob Worstall and everyone was in agreement to extend the compliance notices on this pad. The new extension date for both compliance notices will be 05/31/2015 at the request of the operator. Operator shall have the sumps installed by 5/8/14. Further sampling will be required including but not limited to water quality and soil impact due to proper measures previously agreed upon be Hess and ODNR representatives not being implemented by Hess. The operator is required to demonstrate through sampling and analytical information that the pad no longer presents an environmental threat. See notices 1422537513 and 169398360 for extensions. | ||
+ | | | ||
+ | | | ||
+ | | Compliance Notice | ||
+ | |- | ||
+ | |- | ||
+ | | -1331525052 | ||
+ | | 2015-04-23 | ||
+ | | | ||
+ | | On the day of my inspection I noted that the plans agreed upon by the company and representatives of the division were note followed through. The sumps that were agreed to be replaced were not. The site was still releasing contaminated water unto the earth | ||
+ | | | ||
+ | | | ||
+ | | | ||
+ | |- | ||
+ | |- | ||
+ | | 1422537513 | ||
+ | | 2015-01-29 | ||
+ | | | ||
+ | | I received a call from the operator concerning high levels of chlorides found off the location. I made contact with Rick Trippel to aid in the investigation. During my visit Rick Trippel and Anthony Carson were present on site. We had a meeting with individuals representing Hess Corp. We discussed the areas of concern and the remediation process to follow. While I was present EnviroTrac went over sampling events that had taken place. They stated there was an area of concern with elevated chlorides on the south west portion of the pad. This area is different from the earlier compliance notice on this pad. This area did not have any materials to contain the contaminate and stop it from dispersing onto the ground. However, the company had set up barriers to stop it from dispersing any further down the hill. Rick Trippel and Anthony Carson will be leading the remediation of this site. Operator shall submit a plan of remediation to be approved by the Rick and Anthony. Once approve, the operator shall enact the plan to ensure remediation of the site by the time specified. | ||
+ | | | ||
+ | | | ||
+ | | | ||
+ | |- | ||
|- | |- | ||
| -1497894304 | | -1497894304 | ||
| 2014-04-07 | | 2014-04-07 | ||
− | | | + | | |
− | | On the day of my inspection the 18.625 | + | | On the day of my inspection the 18.625 casing was ran and cemented. See cement ticket for details. No violations noted. |
− | | | + | | |
− | | | + | | |
− | | | + | | |
|- | |- | ||
|- | |- | ||
| 1693982360 | | 1693982360 | ||
| 2014-07-29 | | 2014-07-29 | ||
− | | | + | | |
− | + | | On the day of my inspection H&P 290 was conducting a formation integrity test. During my inspection I took chloride readings, utilizing Quantab titration strips, from the areas of the well pad perimeter that contained fluid. I also used the Quantabs to check the two drains the flowed off the site located in the Northeast and South/Southeast corners of the pad. The results from the titration strips indicated the presence for elevated chlorides. The water flowing from the South/Southeast drain had impacted an area approximately 2 | |
− | | | + | | |
− | | | + | | |
− | | | + | | |
|- | |- | ||
|} | |} | ||
+ | For data sources see<ref>{{cite web | ||
+ | | title = Ohio Department of Natural Resources RBDMS | ||
+ | | publisher = [http://oilandgas.ohiodnr.gov/] | ||
+ | | date = 2015-06-19 | ||
+ | | url = http://wellwiki.org/wiki/Ohio_Oil_and_Gas_Data_Sources#Inspection | ||
+ | | accessdate = 2015-06-20 }}</ref> | ||
+ | == References == | ||
+ | {{reflist}} | ||
__NOEDITSECTION__ | __NOEDITSECTION__ | ||
[[Category:Wells]] | [[Category:Wells]] |
Well ID: 34-013-20728 | Loading map...
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County: Belmont | |
Municipality: | |
Operator Name: HESS OHIO DEVELOPMENTS LLC | |
Well Pad ID: | |
Farm/Lease Name: | |
First Permit Date: | |
Last Permit Date: | |
Spud Date: 2014-03-04 | |
Unconventional: No | |
Configuration: Vertical | |
Well Status: Producing | |
Violations: 0 | |
Latitude: 39.98492593 | |
Longitude: -81.19566916 |
PERIOD | GAS QUANTITY | GAS PRODUCTION DAYS | CONDENSATE QUANTITY | CONDENSATE PRODUCTION DAYS | OIL QUANTITY | OIL PRODUCTION DAYS |
---|---|---|---|---|---|---|
2015-1 | 0.0 | 4.0 | 186.0 | 4.0 |
For data sources see[1]
INSPECTION ID | DATE | DESCRIPTION | COMMENT | VIOLATION ID | VIOLATION CODE | VIOLATION COMMENT |
---|---|---|---|---|---|---|
1042876257 | 2015-05-01 | I received an email from supervisor Brent Bear stating that he spoke with Rick Trippel and Bob Worstall and everyone was in agreement to extend the compliance notices on this pad. The new extension date for both compliance notices will be 05/31/2015 at the request of the operator. Operator shall have the sumps installed by 5/8/14. Further sampling will be required including but not limited to water quality and soil impact due to proper measures previously agreed upon be Hess and ODNR representatives not being implemented by Hess. The operator is required to demonstrate through sampling and analytical information that the pad no longer presents an environmental threat. See notices 1422537513 and 169398360 for extensions. | Compliance Notice | |||
1042876257 | 2015-05-01 | I received an email from supervisor Brent Bear stating that he spoke with Rick Trippel and Bob Worstall and everyone was in agreement to extend the compliance notices on this pad. The new extension date for both compliance notices will be 05/31/2015 at the request of the operator. Operator shall have the sumps installed by 5/8/14. Further sampling will be required including but not limited to water quality and soil impact due to proper measures previously agreed upon be Hess and ODNR representatives not being implemented by Hess. The operator is required to demonstrate through sampling and analytical information that the pad no longer presents an environmental threat. See notices 1422537513 and 169398360 for extensions. | Compliance Notice | |||
-1331525052 | 2015-04-23 | On the day of my inspection I noted that the plans agreed upon by the company and representatives of the division were note followed through. The sumps that were agreed to be replaced were not. The site was still releasing contaminated water unto the earth | ||||
1422537513 | 2015-01-29 | I received a call from the operator concerning high levels of chlorides found off the location. I made contact with Rick Trippel to aid in the investigation. During my visit Rick Trippel and Anthony Carson were present on site. We had a meeting with individuals representing Hess Corp. We discussed the areas of concern and the remediation process to follow. While I was present EnviroTrac went over sampling events that had taken place. They stated there was an area of concern with elevated chlorides on the south west portion of the pad. This area is different from the earlier compliance notice on this pad. This area did not have any materials to contain the contaminate and stop it from dispersing onto the ground. However, the company had set up barriers to stop it from dispersing any further down the hill. Rick Trippel and Anthony Carson will be leading the remediation of this site. Operator shall submit a plan of remediation to be approved by the Rick and Anthony. Once approve, the operator shall enact the plan to ensure remediation of the site by the time specified. | ||||
-1497894304 | 2014-04-07 | On the day of my inspection the 18.625 casing was ran and cemented. See cement ticket for details. No violations noted. | ||||
1693982360 | 2014-07-29 | On the day of my inspection H&P 290 was conducting a formation integrity test. During my inspection I took chloride readings, utilizing Quantab titration strips, from the areas of the well pad perimeter that contained fluid. I also used the Quantabs to check the two drains the flowed off the site located in the Northeast and South/Southeast corners of the pad. The results from the titration strips indicated the presence for elevated chlorides. The water flowing from the South/Southeast drain had impacted an area approximately 2 |
For data sources see[2]