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Well ID: 34-067-20822 | Loading map...
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Country: United States | |
State: Ohio | |
County: Harrison | |
Municipality: Washington Township | |
Operator Name: D & D ENERGY COMPANY | |
Well Pad ID: | |
Farm/Lease Name: PIDWELL | |
License Status: Producing | |
License Date: 2015-02-02 | |
Spud Date: 1987-12-11 | |
Spud Drilling Contractor: DYNAMIC DRILLING | |
Final Drill Date: 1987-12-17 | |
Well Total Depth: 6065.00 ft | |
Configuration: Vertical | |
Latitude: 40.270000 | |
Longitude: -81.290000 |
For data sources see[1]
Well Status | Well Status Date | Comment |
---|---|---|
CO | 1987-12-01 | 182 BELDEN & BLAKE CO GeoDate 12/1/87 |
Oil and Gas | 1987-12-01 | Issued Date 12/1/87 Expired Date 11/30/88 Acres 0040000 Tool Type RTAF Proposed Formation CLINTON Proposed Depth 06065 Proposed Drill Depth 06065 |
Original Spud | 1987-12-11 | |
Completed | 1987-12-17 | |
Reached Total Depth | 1987-12-17 | |
Completion Report Received | 1988-03-07 | |
Change of Owner | 1997-06-23 | Operator changed from 182, BELDEN & BLAKE CO to 1419, LEVENGOOD OIL & GAS(US)IN |
Change of Owner | 1997-09-10 | Operator changed from 1419, LEVENGOOD OIL & GAS(US)IN to 5935, DOVER ATWOOD CORP. |
Change of Owner | 2006-11-14 | Operator changed from 5935, DOVER ATWOOD CORP. to 5660, S & S ENERGY CORPORATION |
APP | 2015-02-02 | Proposed Formations:CLINTON, Issued Date:2/2/2015, Expired Date:2/1/2017 12:00:00 PM, Drilling unit acres:40, Proposed Well Type:OG, Proposed Well Class: |
Change of Owner | 2015-06-02 | Operator changed from 5660, S & S ENERGY CORPORATION to 5569, D & D ENERGY COMPANY |
Construction Permit Expires | 2017-02-01 | |
Record Last Modified | 2017-02-15 |
For data sources see[2]
Perforation Date | Interval Top (ft) | Interval Base (ft) | Number of Shots |
---|---|---|---|
2006-09-11 | 5862 | 5935 | 28 |
5862 | 5935 | 28 | |
5862 | 5935 | 28 |
For data sources see[3]
Stimulation Date | Chemical Agent | Chemical Agent Concentration (%) | Fracking Fluid Volume | Mass of Proppant Used (lb) | Fracking Company | Comments |
---|---|---|---|---|---|---|
H2O | 0 | 78300 Gal | 78000 | FRAC: H2O,SAND |
For data sources see[4]
Period | Operator Name | Gas Quantity (mcf) | Oil Quantity (bbl) | Production Days |
---|---|---|---|---|
1990 | BELDEN & BLAKE CORPORATION | 2.00 | 199.00 | 149 |
1991 | BELDEN & BLAKE CORPORATION | 16.00 | 73.00 | 365 |
1997 | BELDEN & BLAKE CORPORATION | 0.00 | 0.00 | 1 |
1998 | DOVER ATWOOD CORP. | 0.00 | 0.00 | 0 |
1999 | DOVER ATWOOD CORP. | 0.00 | 0.00 | 0 |
2000 | DOVER ATWOOD CORP. | 0.00 | 0.00 | 365 |
2001 | DOVER ATWOOD CORP. | 0.00 | 0.00 | 365 |
2002 | DOVER ATWOOD CORP. | 0.00 | 79.00 | 365 |
2003 | DOVER ATWOOD CORP. | 0.00 | 0.00 | 365 |
2004 | DOVER ATWOOD CORP. | 0.00 | 0.00 | 365 |
2005 | DOVER ATWOOD CORP. | 0.00 | 0.00 | 365 |
2014 | S & S ENERGY CORP | 0.00 | 0.00 | 0 |
2015 | D & D ENERGY COMPANY | 0.00 | 0.00 | 0 |
2016 | D & D ENERGY COMPANY | 0.00 | 0.00 | 0 |
2017 | D & D ENERGY COMPANY | 0.00 | 0.00 | 0 |
2018 | D & D ENERGY COMPANY | 0.00 | 0.00 | 0 |
Period | Operator Name | Waste Type | Quantity (bbl) | Production Days |
---|---|---|---|---|
1990 | BELDEN & BLAKE CORPORATION | Brine | 39 | 149 |
1991 | BELDEN & BLAKE CORPORATION | Brine | 16 | 365 |
1997 | BELDEN & BLAKE CORPORATION | Brine | 71 | 1 |
1998 | DOVER ATWOOD CORP. | Brine | 0 | 0 |
1999 | DOVER ATWOOD CORP. | Brine | 0 | 0 |
2000 | DOVER ATWOOD CORP. | Brine | 0 | 365 |
2001 | DOVER ATWOOD CORP. | Brine | 0 | 365 |
2002 | DOVER ATWOOD CORP. | Brine | 0 | 365 |
2003 | DOVER ATWOOD CORP. | Brine | 20 | 365 |
2004 | DOVER ATWOOD CORP. | Brine | 0 | 365 |
2005 | DOVER ATWOOD CORP. | Brine | 0 | 365 |
2014 | S & S ENERGY CORP | Brine | 0 | 0 |
2015 | D & D ENERGY COMPANY | Brine | 0 | 0 |
2016 | D & D ENERGY COMPANY | Brine | 52 | 0 |
2017 | D & D ENERGY COMPANY | Brine | 0 | 0 |
2018 | D & D ENERGY COMPANY | Brine | 0 | 0 |
Inspection ID | Inspection Date | Inspection Type | Inspection Result | Inspection Comments |
---|---|---|---|---|
-1202393745 | 2015-12-30 0:00 | PW | No Violations | 2.00 |
-1230813461 | 2018-12-11 0:00 | PW | No Violations | 1.00 |
-1274061253 | 2020-1-21 0:00: | PW | No Violations | 1.00 |
-1514706051 | 2016-1-19 0:00: | PW | No Violations | 2.00 |
-1524414016 | 2016-6-17 0:00: | PW | No Violations | 1.00 |
-1554595902 | 2015-12-16 0:00 | PW | No Violations | 3.00 |
-1571571558 | 2016-6-27 0:00: | PW | No Violations | 2.00 |
-1767386748 | 2017-11-15 0:00 | PW | No Violations | 1.50 |
-2012713196 | 2015-12-16 0:00 | PW | No Violations | 4.00 |
-3728947 | 2016-6-21 0:00: | PW | No Violations | 4.00 |
0000003088 | Preliminary Restoration | No Violations | PASSED Y WITNESSED 2/22/93 INSPECTOR MIKE KAVAGE DATE 02/2219/93 DATA FROM OLD VAX INFO | |
0003728947 | 2016-06-21 | Production Wells | No Violations | I am on site today to witness the remediation of the contaminated soils within the earthen dike. Bob Diddy has a backhoe on location, where I witnessed him removing the soils and placing them on a containment pad. Bob stated he would have the soils hauled away as soon as Sutton Pump Supply could make it out on location. Bob also informed me he planned on having all production equipment placed back and the dike recompleted by the end of the week. |
0222997976 | 2018-06-07 | Production Wells | No Violations | Purpose of this inspection is a compliance notice follow up to -1554595902, 1341236485, and Chiefs order 2018-113 for for no liability insurance. On the day of my inspection I found a large walking beam pumping unit powered by a natural gas engine. Unit is crowded with trees and vegetation. Well has an 8.625 inch diameter casing, 4.5 inch diameter casing, 1.9 inch diameter tubing, and rods. All valves are closed on well. Production equipment includes a 140 barrel steel tank, a 40 barrel poly brine tank, and a horizontal seperator. The seperator is not plumbed, does not have a gas meter box, and the downslope side of the containment is missing. Tank is labeled while the wellhead is not (1000+ feet away). No contamination was noted during this inspection. RBDMS last production shown was in 2002. No gas detected by Tango or Ventis units. Phone number in RBDMS is no good. |
0619973910 | 2019-04-16 | Production Wells | No Violations | Purpose of this inspection is a compliance notice follow up to -1554595902, 1341236485, and Chiefs order 2018-113 for no liability insurance. Violations cited include no identification, no bullplug, tank spacing requirements, idle well, no production submitted, and pollution contamination. On the day of my inspection I found a large walking beam pumping unit powered by a natural gas engine. Unit is crowded with trees and vegetation. Well has an 8.625 inch diameter casing, 4.5 inch diameter casing, 1.9 inch diameter tubing, and rods. All valves are closed on well. Production equipment includes a 140 barrel steel tank, a 40 barrel poly brine tank, and a horizontal seperator. The seperator is not plumbed, does not have a gas meter box, and the downslope side of the containment is missing. Tank is labeled while the wellhead is not. Welhead is over 1000 feet away from tank. No contamination was noted during this inspection. RBDMS last production shown was in 2002. No gas detected on the Ventis unit but a slight odor is occasionally present. In December Bob Ditty said he would have the dike work done before spring. It is now mid April and no work has occurred. Voicemail left with Mr. Diddy. |
0866389254 | 2018-01-17 | Production Wells | No Violations | Purpose of this inspection is a compliance notice follow up. On the day of my inspection I found a large walking beam pumping unit powered by a natural gas engine. Unit is crowded with trees and vegetation. Well has an 8.625 inch diameter casing, 4.5 inch diameter casing, 1.9 inch diameter tubing, and rods. All valves are closed on well. Production equipment includes a 140 barrel steel tank, a 40 barrel poly brine tank, and a horizontal seperator. The seperator is not plumbed, does not have a gas meter box, and the downslope side of the containment is missing. Tank is labeled while the wellhead is not (1000+ feet away). No contamination was noted during this inspection. RBDMS last production shown was in 2002. |
1123164398 | 2016-06-27 | Production Wells | No Violations | I arrived on site today to find that the operator was removing the excavated pile of contaminated soil. Sutton Trucking was on site with a dump truck to haul the contaminated soil to Kimble Landfill. At the time of this inspection 50% of the material has been loaded and Sutton Trucking would need to return for another load to complete the removal. I spoke with the Sutton Trucking driver and he advised me he would return today to complete the clean up. |
1154981295 | 2016-04-05 | Production Wells | No Violations | On the date of my inspection following up on Compliance Notice 1554595902 accompanied by Inspector, I witnessed Ditty Well Service has not made any progress since my last follow up inspection. At the time of my inspection Ditty Well Service had all production equipment removed from the dike. All production equipment was steam cleaned and show little signs of contamination. The violation will be resolved when the dike is properly cleaned up and the well is put back into production. I will place another call to Bob informing him that the tank battery needs to be cleaned immediately within a week. |
1202393745 | 2015-12-30 | Production Wells | No Violations | On the date of my inspection following up on Compliance Notice 1554595902 I witnessed Didi Well Service in the process of remedying the violations issued. At the time of my inspection Didi Well Service was in the process of removing the production equipment out of the contaminated dike. Didi had a contracted mini excavator operator on location to remove production equipment and remove the oil/brine saturated soil from the dike to be hauled away. I will perform a follow up inspection when all work on location is completed. |
1230813461 | 2018-12-11 | Production Wells | No Violations | Purpose of this inspection is a compliance notice follow up to -1554595902, 1341236485, and Chiefs order 2018-113 for no liability insurance. Violations cited include no identification, no bullplug, tank spacing requirements, idle well, no production submitted, and pollution contamination. On the day of my inspection I found a large walking beam pumping unit powered by a natural gas engine. Unit is crowded with trees and vegetation. Well has an 8.625 inch diameter casing, 4.5 inch diameter casing, 1.9 inch diameter tubing, and rods. All valves are closed on well. Production equipment includes a 140 barrel steel tank, a 40 barrel poly brine tank, and a horizontal seperator. The seperator is not plumbed, does not have a gas meter box, and the downslope side of the containment is missing. Tank is labeled while the wellhead is not. Welhead is over 1000 feet away from tank. No contamination was noted during this inspection. RBDMS last production shown was in 2002. No gas detected Ventis unit but a slight odor is occasionally present. Spoke with Bob Ditty. He said he needs to restore dike and plumb in production equipment to begin producing well. He said he will start on it before spring. |
1341236485 | 2012-07-02 | Production Wells | Violations Noted | This well is idle. The records show the well last produced in 2002 for 79 barrels of oil and the last statement of annual production was reported in 2005. The identification sign has not been updated to show correct ownership. There is pollution within the SPCC dike. Plug, produce, or sell this well. Update well identification to show correct owner and contact information. Update statement of annual production to most applicable year. Ensure any contaminated soil is removed is disposed of at an approved solid waste facility. Failure to comply with this request may result in forfeiture of bond. |
1450447362 | 2015-12-18 | Production Wells | No Violations | On the day of my inspection I met with the owner/producer of the well in regards to Compliance Notice 1554595902, which was issued on 12/16/2015. Bob and I came to an agreement what will be done to fix all violations. Bob stated that he would have a brine truck empty the full polymer tank, pull out the production equipment from within the earthen dike, remove the saturated /contaminated soils from the dike, steam clean all production equipment and send all contaminated solids to a Kimble facility. Bob will provide a manifest sheet to insure that the pollution material was properly disposed of. After the dike is properly restored and production equipment is cleaned, violations OAC 1501-9-1-07{Well operation causing pollution and contamination} and OAC 1501-9-9-05(A) 9.{No SPCC dike/or failure to keep dike free of water or oil} will be remediated. Prior to moving the production equipment back into place Bob planes to lengthen the earthen dike by approximately three feet, this will allow for OAC 1501-9-9-05 (A) 2.{Violation of tank spacing requirements} to be considered resolved when the brine tank is placed inside the dike. When the production equipment is moved back into place Bob will place a well ID on the tank, and place a bull plug on the 3 inch valve coming from the tank. When these actions are completed violations OAC 1501-9-9-05 (A) 10 (D) {Failure to have required locks, bull plugs} and OAC 1501-9-9-05(A)10 {Failure to legibly identify well} will also be considered resolved. The well owner/operator shall submit a written plugging schedule or plans to put this well back into production to Joe Zollars at 2207 Reiser Ave S.E. New Philadelphia, Ohio 44663 within 30 days, per OAC 1501:9-11-05(B). |
1467739192 | 2016-07-05 | Production Wells | No Violations | My inspection today revealed that the pollution and contamination from the spill inside the dike has been removed. On my last inspection Sutton Trucking was half way done hauling the contamination to Kimbles Landfill. The area has been graded and the tank battery consisting of a 110 bbl. Production tank and a 50 plastic brine tank along with a horizontal separator have been place back inside of the dike . At this inspection only 3 of the 4 dike walls have been reconstructed. The tank battery has not been plumbed together so the well has not been turned back on. |
1514706051 | 2016-01-19 | Production Wells | No Violations | On the date of my inspection following up on Compliance Notice 1554595902, I witnessed Ditty Well Service was in the process of remedying the violations issued. At the time of my inspection Ditty Well Service had all production equipment removed from the dike. All production equipment was steam cleaned and show little signs of contamination. I spoke to Bob Ditty prior to my arrival and he stated that the contaminates inside the dike will be hauled away as soon as it can be proven that there are no brine content inside the soils. I told Bob that I would test the soil for brine content if possible. However do to in climate weather I could not collect any samples. The ground was frozen, making the process of collecting a proper sample inadequate. I will come back to test the soil when temperatures rise, making the process to collect the samples possible. The violation will be resolved when the dike is properly cleaned up and the well is put back into production. |
1524414016 | 2016-06-17 | Production Wells | No Violations | I am on site following up on Compliance Notice 1554595902. Bob Diddy (well owner/operator) stated that he would be on location today to finish the cleanup process and remedy all compliance issues. At the time of my arrival Bob was not on site, I then placed a call to Bob and he did not answer. I will be back to check on the status of the situation. |
1554595902 | 2015-12-16 | Production Wells | Violations Noted | On the day of my inspection accompanied by Inspector Bennett following up on NOV 1341236485, I witnessed the production equipment included a 100bbl tank, a 30bbl polymer brine tank, a horizontal separator, a drip and a 2 inch sales meter with a .25 inch orifice and no chart recorder all within an earthen dike. The dike is 18 feet by 45 feet and is saturated with oil and brine. The 3 inch valve does not have a lock or a plug installed in accordance with OAC 1501-9-9-05 (A) 10 (D). The tanks do not meet the 3 foot spacing requirement in accordance with OAC 1501-9-9-05 (A) 2. The polymer tank is full with no lid attached. The well is equipped with 8.625 inch diameter casing, 4.5 inch diameter casing, 1.5 inch diameter tubing, rods, and a Hellstar pumping unit powered by natural gas with valves in the closed position. Utilizing an ODNR Honeywell PhD6 meter no gas was detected but an odor was present. No production has been reported to the Division since 2005 and the identification posted is not the owner of record. I placed call to D & D Energy and reached a voice mail box and stated that there was an open violation on the said well and would like a return call to address the outstanding notice. The owner Bob Didi returned the call an hour later. Bob stated that he was not aware of the open NOV that occurred from the previous owner. Bob and I agree to meet at the well site on Friday December 18, 2015 to gather a plan on what shall be done to solve the compliance notices that were issued on the day of my inspection. The owner/operator shall remove production equipment, place on containment, remove contamination from dike and properly dispose in a landfill and provide ODNR with the manifest for the disposal within 7 days of notice and notify ODNR prior to excavation. The well owner/operator shall submit a written plugging schedule to Joe Zollars at 2207 Reiser Ave S.E. New Philadelphia, Ohio 44663 within 30 days, per OAC 1501:9-11-05(B), and plug the well within 180 da |
1571571558 | 2016-06-27 | Production Wells | No Violations | I am checking this well site today to follow up on a clean up that has been over due for remediation. I found that the contaminated soil inside the dike has been excavated and stored on a plastic liner. The liner can not keep the rain from floating the oil off the liner because it has not dike. I contacted Bob Didi at 330-495-1631 and informed Bob that the contaminated soil needs removed ASAP. Bob informed me that Sutton Hauling was to be on site last Friday June 24 but could not get there. Bob said it would be cleaned up and removed Tuesday the 28 th. |
1600283106 | 2020-9-8 0:00:0 | PW | No Violations | 0.70 |
1767386748 | 2017-11-15 | Production Wells | No Violations | Purpose of this inspection is a compliance notice follow up. On the day of my inspection I found a large walking beam pumping unit powered by a natural gas engine. Unit is crowded with trees and vegetation. Well has an 8.625 inch diameter casing, 4.5 inch diameter casing, 1.9 inch diameter tubing, and rods. All valves are closed on well. Production equipment includes a 140 barrel steel tank, a 40 barrel poly brine tank, and a horizontal seperator. The seperator is not plumbed, does not have a gas meter box, and the downslope side of the containment is missing. Tank is labeled while the wellhead is not (1000+ feet away). No contamination was noted during this inspection. RBDMS last production shown was in 2002. |
1771413175 | 2019-8-29 0:00: | PW | No Violations | 1.50 |
1781589104 | 2020-5-18 0:00: | PW | No Violations | 1.00 |
1916091971 | 2016-05-26 | Production Wells | No Violations | I had received a call from inspector Mark Moreland, who informed me that no progress has been made since my last inspection. I then placed a call to Bob Diddi in regards to Compliance Notice 1554595902. Bob stated that he would be on site within the next 14 days to solve all Compliance Notice issues. |
2012713196 | 2015-12-16 | Production Wells | No Violations | On the day of my inspection accompanied by ODNR Inspector Joe Zollars following up on NOV 1341236485, I witnessed the production equipment included a 100bbl tank, a 30bbl polymer brine tank, a horizontal separator, a drip and a 2 inch sales meter with a .25 inch orifice and no chart recorder all within an earthen dike. The dike is 18 feet by 45 feet and is saturated with oil and brine. The 3 inch valve does not have a lock or a plug installed in accordance with OAC 1501-9-9-05 (A) 10 (D). The tanks do not meet the 3 foot spacing requirement in accordance with OAC 1501-9-9-05 (A) 2. The polymer tank is full with no lid attached. The well was equipped with 8.625 inch casing, 4.5 inch casing, 1.5 inch tubing, rods, and a Hellstar pumping unit powered by natural gas with valves in the closed position. Utilizing an ODNR Honeywell PhD6 meter no gas was detected but an odor was present. No production has been reported to the Division since 2005 and the identification posted is not the owner of record. Joe Zollars placed call to D & D Energy and reached a voice mail box and stated that there was an open violation on the said well and would like a return call to address the outstanding notice. The owner/operator shall remove production equipment, place on containment, remove contamination from dike and properly dispose in a landfill and provide ODNR with the manifest for the disposal within 7 days of notice and notify ODNR prior to excavation. The well owner/operator shall submit a written plugging schedule to Joe Zollars at 2207 Reiser Ave S.E. New Philadelphia, Ohio 44663 within 30 days, per OAC 1501:9-11-05(B), and plug the well within 180 days. The well owner/operator will be notified if the plugging schedule is approved or denied. |
222997976 | 2018-6-7 0:00:0 | PW | No Violations | 1.00 |
3088 | PL | No Violations | ||
619973910 | 2019-4-16 0:00: | PW | No Violations | 1.00 |
866389254 | 2018-1-17 0:00: | PW | No Violations | 1.00 |
Inspection ID | Violation ID | Violation Date | Violation Code | Violation Comments |
---|---|---|---|---|
1341236485 | US-OH-109823 | 2012-07-02 | Well operation causing pollution and contamination | |
1341236485 | US-OH-109824 | 2012-07-02 | Failure to legibly identify well | |
1341236485 | US-OH-109825 | 2012-07-02 | Nonproduction; well shall be plugged or placed in temporary inactive status | |
1341236485 | US-OH-109826 | 2012-07-02 | Statement of annual production not filed | |
1554595902 | US-OH-115121 | 2015-12-23 | Well operation causing pollution and contamination | |
1554595902 | US-OH-115122 | 2015-12-23 | Failure to legibly identify well | |
1554595902 | US-OH-115123 | 2015-12-23 | Violation of tank spacing requirements | |
1554595902 | US-OH-115124 | 2015-12-23 | No SPCC dike/or failure to keep dike free of water or oil | |
1554595902 | US-OH-115125 | 2015-12-23 | Failure to have required locks, bull plugs | |
1554595902 | US-OH-115126 | 2015-12-23 | Well shall be plugged |
For data sources see[9]