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Well ID: 34-085-21060 | Loading map...
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Country: United States | |
State: Ohio | |
County: Lake | |
Municipality: Mentor | |
Operator Name: ROCKEFELLER OIL COMPANY LLC | |
Well Pad ID: | |
Farm/Lease Name: MERCANTILE | |
License Status: Producing | |
License Date: 2004-10-21 | |
Spud Date: 2003-11-07 | |
Spud Drilling Contractor: CAPSTAR DRILLING | |
Final Drill Date: 2003-11-11 | |
Well Total Depth: 3260 ft | |
Configuration: Vertical | |
Latitude: 41.702157628 | |
Longitude: -81.29377015 |
For data sources see[1]
Well Status | Well Status Date | Comment |
---|---|---|
APP | 2003-06-27 | Proposed Formations:CLINTON, Issued Date:6/27/2003, Expired Date:6/26/2004 6:00:00 AM, Drilling unit acres:87, Proposed Well Type:OG, Proposed Well Class:POOL |
Original Spud | 2003-11-07 | RBDMS Rec |
Completed | 2003-11-11 | RBDMS Rec |
Reached Total Depth | 2003-11-11 | RBDMS Rec |
Construction Permit Expires | 2004-06-26 | RBDMS Rec |
Completion Report Received | 2004-09-02 | RBDMS Rec |
Change of Owner | 2016-12-05 | Operator changed from 7447, GREAT PLAINS EXPLORATION LLC to 9828, ROCKEFELLER OIL COMPANY LLC |
Record Last Modified | 2017-02-15 | RBDMS Rec |
For data sources see[2]
Perforation Date | Interval Top (ft) | Interval Base (ft) | Number of Shots |
---|---|---|---|
2004-10-21 | 2995 | 3007 | 13 |
For data sources see[3]
Stimulation Date | Chemical Agent | Chemical Agent Concentration (%) | Fracking Fluid Volume | Mass of Proppant Used (lb) | Fracking Company | Comments |
---|---|---|---|---|---|---|
H2O | 15 | 400 Bbl | 90000 | 500 GALLONS HCL ACID & 560M SCF NITROGEN |
For data sources see[4]
Period | Operator Name | Gas Quantity (mcf) | Oil Quantity (bbl) | Production Days |
---|---|---|---|---|
2004 | GREAT PLAINS EXPLORATION LLC | 2878 | 0 | 305 |
2005 | GREAT PLAINS EXPLORATION LLC | 3418 | 98 | 365 |
2006 | GREAT PLAINS EXPLORATION LLC | 3513 | 0 | 365 |
2007 | GREAT PLAINS EXPLORATION LLC | 3064 | 0 | 365 |
2008 | GREAT PLAINS EXPLORATION LLC | 2138 | 0 | 365 |
2009 | GREAT PLAINS EXPLORATION LLC | 2857 | 0 | 365 |
2010 | GREAT PLAINS EXPLORATION LLC | 3123 | 0 | 365 |
2011 | GREAT PLAINS EXPLORATION LLC | 2300 | 0 | 365 |
2012 | GREAT PLAINS EXPLORATION LLC | 2209 | 13 | 366 |
2013 | GREAT PLAINS EXPLORATION LLC | 878 | 15 | 365 |
2014 | GREAT PLAINS EXPLORATION LLC | 1458 | 0 | 365 |
2015 | GREAT PLAINS EXPLORATION LLC | 381 | 0 | 365 |
2016 | ROCKEFELLER OIL COMPANY LLC | 790 | 0 | 61 |
Period | Operator Name | Waste Type | Quantity (bbl) | Production Days |
---|---|---|---|---|
2004 | GREAT PLAINS EXPLORATION LLC | Brine | 0 | 305 |
2005 | GREAT PLAINS EXPLORATION LLC | Brine | 80 | 365 |
2006 | GREAT PLAINS EXPLORATION LLC | Brine | 0 | 365 |
2007 | GREAT PLAINS EXPLORATION LLC | Brine | 400 | 365 |
2008 | GREAT PLAINS EXPLORATION LLC | Brine | 480 | 365 |
2009 | GREAT PLAINS EXPLORATION LLC | Brine | 320 | 365 |
2010 | GREAT PLAINS EXPLORATION LLC | Brine | 320 | 365 |
2011 | GREAT PLAINS EXPLORATION LLC | Brine | 240 | 365 |
2012 | GREAT PLAINS EXPLORATION LLC | Brine | 240 | 366 |
2013 | GREAT PLAINS EXPLORATION LLC | Brine | 80 | 365 |
2014 | GREAT PLAINS EXPLORATION LLC | Brine | 310 | 365 |
2015 | GREAT PLAINS EXPLORATION LLC | Brine | 78 | 365 |
2016 | GREAT PLAINS EXPLORATION LLC | Brine | 0 | 304 |
Inspection ID | Inspection Date | Inspection Type | Inspection Result | Inspection Comments |
---|---|---|---|---|
0000086975 | 2016-02-18 | UrbanProduction Wells | Violations Noted | I inspected this producing well as part of routine inspection activity. At the time of my inspection, I observed the following elements: a wellhead with mechanical plunger lift and tank battery consisting of one 100-barrel FRP and one 100-barrel steel stooge tank, with mechanical separator. The battery and wellhead were in in separate chain-link enclosures. Fittings and connections are free from leakage. The dedicated access road is in good condition. The enclosure gates and load-line valves are not locked and should be secured with locks. I measured the distance from the tank battery separator to the wellhead to be 10 feet. The distance from the mechanical separator to the production tank was 8 feet. OAC 1501:9-9-05(A) requires a minimum distance of 50 feet between the wellhead and the battery and 10 feet between the separator and the production tank. The owner must remedy the following by 03/25/2016: secure the load-line valves and enclosure gates with locks. Reconfigure the tank battery to meet the required separation distance. Contact Inspector Stephen Tompkins at 330-907-4647 with questions regarding this inspection. |
0571706744 | 2017-09-06 | UrbanProduction Wells | No Violations | I inspected this well as a follow-up to a previous inspection and associated compliance notice issued for the following issues: the load-lines were not secured with locks and the tank spacing within the battery was not compliant . In addition, the identifying signage had remained unchanged since the previous change of ownership and had not been updated to reflect new ownership. At the time of this inspection, the aforementioned deficiencies had not been remedied. The owner has made repeated pledges to address the issues, but with no demonstrable progress. |
1462364941 | 2019-04-02 | UrbanProduction Wells | No Violations | I conducted a compliance notice follow-up inspection for compliance notice #86975, regarding production equipment spacing between the well and tank battery equipment and installation of locks on the tank valves and load lines as well as the fencing around the tank battery. At the time of my inspection, the enclosure gates and load-line valves are not locked and should be secured with locks. The distance from the tank battery separator to the wellhead has not been changed, nor has the distance from the mechanical separator to the production tank been reconfigured.
Rockefeller Oil Company, LLC needs to: 1) Reconfigure the tank battery to meet the required separation distance per: OAC 1501:9-9-05(A). 2) Secure the load-line valves and enclosure gates with locks. |
1555145257 | 2017-04-19 | UrbanProduction Wells | No Violations | I inspected this well location as a follow-up to a previously-issued compliance notice for the following: missing locks at the load-line valves and violation of the tank spacing requirements. At the time of this inspection, I observed the following: The load-line valves were not secured with locks and the production tank remained less than 10 feet from the mechanical separator unit. In addition, the ID signage has not been upgraded to reflect the change in ownership and is missing information required under OAC 1501:9-9-05(E)(1). I have attempted to contact the owner regarding the need for upgrade to the ID signage and, at the time of the filing of the report, have not received a response. |
1781338150 | 2015-01-13 | UrbanProduction Wells | No Violations | The fiber-reinforced production tank has been replaced with a steel tank and moved to address the spacing compliance problem. The unit is producing with no problems at the time of this inpsection. |
1897335607 | 2017-12-12 | UrbanProduction Wells | No Violations | I inspected this well as a follow-up to a previously-issued compliance notice for the following deficiencies: The load-lines were no locked and secure, and the tank spacing was not in compliance. At the time of this inspection, I observed the following: the noted deficiencies remained. I had previously contacted the company about the deficiencies and they had reported various issues regarding lack of personnel and funds preventing them from being in compliance. |
1985673941 | 2013-09-10 | UrbanPreliminary Restoration | Violations Noted | The producing unit consists of a wellhead with mechanical plunger lift system and aboveground storage tank battery. The battery, separator, and wellhead are in separate chain-link enclosures. The battery is comprised of 1 100-barrel fiber-reinforced plastic (FRP) production tank, 1 100-barrel steel brine tank, and separator unit. The spacing between the production tank and the separator is less than 10 feet and is not in compliances with the required 10 feet. The spacing between the battery tanks are less than three feet and are not in compliance. There is adequate secondary containment. Locks and signage are present. The locked gated entry to the access road also requires a sign. The corrections should be made within 90 days. |
Inspection ID | Violation ID | Violation Date | Violation Code | Violation Comments |
---|---|---|---|---|
0000086975 | US-OH-129897 | 2016-04-27 | LOCKS | |
0000086975 | US-OH-129898 | 2016-04-27 | Violation of separator spacing requirements | |
1985673941 | US-OH-120100 | 2015-02-05 | ID (a-i) | |
1985673941 | US-OH-120101 | 2015-02-05 | TANKS (a-I) |
For data sources see[9]