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| County: [[Washington_County,_Ohio|Washington]] | | County: [[Washington_County,_Ohio|Washington]] | ||
|- | |- | ||
− | | Municipality: [[ | + | | Municipality: [[Warren Township,_Washington_County,_Ohio|Warren Township]] |
|- | |- | ||
| Operator Name: [[STONEBRIDGE OPERATING CO LLC]] | | Operator Name: [[STONEBRIDGE OPERATING CO LLC]] |
Well ID: 34-167-22870 | Loading map...
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Country: United States | |
State: Ohio | |
County: Washington | |
Municipality: Warren Township | |
Operator Name: STONEBRIDGE OPERATING CO LLC | |
Well Pad ID: | |
Farm/Lease Name: WYNN MARY E | |
License Status: Producing | |
License Date: 1964-05-01 | |
Spud Date: 1964-05-20 | |
Spud Drilling Contractor: | |
Final Drill Date: 1964-07-31 | |
Well Total Depth: 2136 ft | |
Configuration: Vertical | |
Latitude: 39.396355054 | |
Longitude: -81.52697856 |
For data sources see[1]
Well Status | Well Status Date | Comment |
---|---|---|
Original Spud | 1964-05-20 | |
Completed | 1964-07-31 | |
Reached Total Depth | 1964-07-31 | |
CO | 1988-10-14 | 2070 HALWELL COMPANY |
Record Last Modified | 2019-06-04 |
For data sources see[2]
Stimulation Date | Chemical Agent | Chemical Agent Concentration (%) | Fracking Fluid Volume | Mass of Proppant Used (lb) | Fracking Company | Comments |
---|---|---|---|---|---|---|
0 | 0 | 0 |
For data sources see[3]
Inspection ID | Inspection Date | Inspection Type | Inspection Result | Inspection Comments |
---|---|---|---|---|
0483779746 | 2016-03-31 | Production Wells | No Violations | Upon inspection, it was observed that work has not yet begun to bring this well back into compliance. |
1129640995 | 2018-07-24 | Exempt Well Pre Transfer | No Violations | On this day, I am conducting a pre-exempt domestic transfer inspection. I found the well equipped with 5.5 inch diameter casing and a 5x2 inch diameter reduction swage with the 2 inch valve closed. It is produced as an open-flow well. The well appears capable of providing domestic gas. It will be noted that there is excavation work being conducted in the vicinity of the well. I spoke with the landowner, Keith Snider, and he indicated that he is in the process of building a new house that will be the primary structure receiving the domestic gas. Pictures were taken during the inspection. |
1459404610 | 2016-05-03 | Production Wells | No Violations | Upon inspection, it was observed that the leaking 100 bbl production tank has been removed from location, contaminated soil has been excavated, the underground brine vault has been removed, and the location has been re-graded, seeded, and mulched. Grass is beginning to grow on the affected area. In addition, the 1.5 plastic flow line which was run across a tillable field has been buried below grade. Stonebridge Operating Company provided a load ticket to verify contaminated soil was taken to an OEPA approved landfill. This fulfills the requirements of the compliance notice dated 3/22/2016. |
2143189235 | 2016-03-15 | Production Wells | Violations Noted | Upon inspection, it was observed that this well is currently in production, and is set up for gas production only. The well consists of 5.5 production casing with a 5-2 swedge, 2 ball valve, and associated flow lines. There is a 1.5 black plastic flow line associated with the well which runs over the ground through an open field which the landowner Keith Snider intends to cultivate. The line shall be buried 24 below grade in all areas reasonably expected to be cultivated. The tank battery consists of a 100 bbl production tank. There is no ID posted at the tank or well head. The mechanical separator and drip are no longer in use and are laying in the weeds near the well. The production tank has a hole at the bottom weld and leaks oily brine onto the soil around the tank. There is no containment dike around the tank. There is a concrete brine vault present beside the production tank which has approximately 2.5 of oily brine and rainwater in it. It is strongly recommended that the brine vault be pumped down, excavated, crushed, and properly disposed of. Stonebridge Operating Co. will have 30 days upon receipt of this notice to complete the following: 1.) Remove leaking tank and excavate all contaminated soil for disposal at an OEPA approved landfill; 2.) Set competent production tank, post ID, and construct a containment dike to meet SPCC guidelines; 3.) Pump down and remove concrete brine vault or demonstrate its integrity through methods approved by the division inspector; 4.) Bury 1.5 flow line 24 below grade in all areas reasonably expected to by cultivated by the landowner. |
Inspection ID | Violation ID | Violation Date | Violation Code | Violation Comments |
---|---|---|---|---|
2143189235 | US-OH-122009 | 2016-05-17 | Failure to properly bury pipeline | |
2143189235 | US-OH-122010 | 2016-05-17 | Well operation causing pollution and contamination | |
2143189235 | US-OH-122011 | 2016-05-17 | Failure to legibly identify well | |
2143189235 | US-OH-122012 | 2016-05-17 | No SPCC dike/or failure to keep dike free of water or oil |
For data sources see[8]