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Well ID: 34-133-21741 | Loading map...
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Country: United States | |
State: Ohio | |
County: Portage | |
Municipality: Atwater Township | |
Operator Name: SEAGULL DEVELOPMENT CORP | |
Well Pad ID: | |
Farm/Lease Name: GRACE | |
License Status: Producing | |
License Date: 2000-12-14 | |
Spud Date: 1979-02-19 | |
Spud Drilling Contractor: | |
Final Drill Date: 1979-02-24 | |
Well Total Depth: 4876.00 ft | |
Configuration: Vertical | |
Latitude: 41.060000 | |
Longitude: -81.100000 |
For data sources see[1]
Well Status | Well Status Date | Comment |
---|---|---|
CO | 1978-11-28 | 198 VIKING RESOURCES CORP GeoDate 11/28/78 |
Original Spud | 1979-02-19 | |
Completed | 1979-02-24 | |
Reached Total Depth | 1979-02-24 | |
CO | 1994-09-28 | 198 VIKING RESOURCES CORP GeoDate 9/28/94 |
Unknown | 1994-09-28 | Issued Date 9/28/94 Expired Date 9/28/95 Proposed Purpose OG Was Plug Supervised Who Superivsed Plug and Abandon Date |
CO | 1994-10-21 | 1304 SEAGULL DEVELOPMENT CORP GeoDate 9/28/94 |
APP | 2000-12-14 | Proposed Formations:CLINTON, Issued Date:12/14/2000, Expired Date:12/14/2001 6:00:00 AM, Drilling unit acres:40.78, Proposed Well Type:OG, Proposed Well Class: |
Construction Permit Expires | 2001-12-14 | |
Record Last Modified | 2013-10-03 |
For data sources see[2]
Perforation Date | Interval Top (ft) | Interval Base (ft) | Number of Shots |
---|---|---|---|
2006-09-11 | 4719 | 4769 | 7 |
4719 | 4769 | 7 | |
4719 | 4769 | 7 |
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 | 0 | 0 | & SAND |
For data sources see[4]
Period | Operator Name | Gas Quantity (mcf) | Oil Quantity (bbl) | Production Days |
---|---|---|---|---|
1984 | VIKING RESOURCES LLC | 4221.00 | 969.00 | 0 |
1985 | VIKING RESOURCES LLC | 5067.00 | 920.00 | 363 |
1986 | VIKING RESOURCES LLC | 2752.00 | 371.00 | 365 |
1987 | VIKING RESOURCES LLC | 2310.00 | 559.00 | 365 |
1988 | VIKING RESOURCES LLC | 2310.00 | 674.00 | 365 |
1989 | VIKING RESOURCES LLC | 2185.00 | 766.00 | 332 |
1990 | VIKING RESOURCES LLC | 2988.00 | 668.00 | 365 |
1992 | VIKING RESOURCES LLC | 2842.00 | 466.00 | 304 |
1993 | VIKING RESOURCES LLC | 666.00 | 92.00 | 365 |
1994 | VIKING RESOURCES LLC | 0.00 | 37.00 | 365 |
1995 | SEAGULL DEVELOPMENT CORP | 0.00 | 0.00 | 365 |
1996 | SEAGULL DEVELOPMENT CORP | 0.00 | 0.00 | 365 |
1997 | SEAGULL DEVELOPMENT CORP | 0.00 | 0.00 | 365 |
1998 | SEAGULL DEVELOPMENT CORP | 0.00 | 0.00 | 365 |
1999 | SEAGULL DEVELOPMENT CORP | 0.00 | 0.00 | 365 |
2000 | SEAGULL DEVELOPMENT CORP | 0.00 | 0.00 | 365 |
2001 | SEAGULL DEVELOPMENT CORP | 0.00 | 0.00 | 365 |
2002 | SEAGULL DEVELOPMENT CORP | 0.00 | 0.00 | 365 |
2003 | SEAGULL DEVELOPMENT CORP | 0.00 | 0.00 | 365 |
2004 | SEAGULL DEVELOPMENT CORP | 0.00 | 0.00 | 365 |
2005 | SEAGULL DEVELOPMENT CORP | 0.00 | 0.00 | 365 |
2006 | SEAGULL DEVELOPMENT CORP | 0.00 | 0.00 | 365 |
2007 | SEAGULL DEVELOPMENT CORP | 0.00 | 0.00 | 365 |
2008 | SEAGULL DEVELOPMENT CORP | 0.00 | 0.00 | 365 |
2009 | SEAGULL DEVELOPMENT CORP | 0.00 | 0.00 | 365 |
2010 | SEAGULL DEVELOPMENT CORP | 0.00 | 0.00 | 365 |
2011 | SEAGULL DEVELOPMENT CORP | 0.00 | 0.00 | 365 |
2012 | SEAGULL DEVELOPMENT CORP | 0.00 | 0.00 | 365 |
2013 | SEAGULL DEVELOPMENT CORP | 0.00 | 0.00 | 0 |
2014 | SEAGULL DEVELOPMENT CORP | 0.00 | 0.00 | 0 |
Inspection ID | Inspection Date | Inspection Type | Inspection Result | Inspection Comments |
---|---|---|---|---|
-2099078477 | 2018-6-29 0:00: | PW | No Violations | 1.00 |
001216i187 | 2002-01-25 | Production Wells | Violations Noted | The company has failed all attempts to obtain compliance. At the present time there is a Plugging Permit for the well, however there is no schedule for when the well is to be plugged. All production equipment has been removed. Supervisor Cheslock has been working with the company to obtain compliance. Obtained gps coordinates. Achiefs order was requested 01-03-2000. |
1078908012 | 2018-04-20 | Production Wells | No Violations | Follow-Up to Compliance Notice #1471629466 for violations of ORC 1509: 22(A) and OAC 1501: 9-1-07 that the well operation is causing pollution and contamination, and ORC 1509: 12(B) finding that the well shall be plugged. As of the date of this inspection, Seagull Development Corporation (SDC) has been unresponsive to the Divisions request to remediate and remove the former tank battery and properly plug and abandon the well. My inspection today found that SDC has taken no action to satisfy or remedy the violations found on 8/19/2016 and crude oil remains ponded inside the secondary containment area and the well has not been plugged and abandoned. This violation continues. |
1216i187 | 2002-1-25 0:00: | PW | No Violations | 0.50 |
1471629466 | 2016-08-19 | Production Wells | Violations Noted | I conducted a status check inspection of this Clinton Sandstone well. My inspection found the wellhead disconnected and 4.5 production casing equipped with a 4X 2 reducer and a 2 ball valve and bull plug. The 8.625 surface casing head was visible at ground level and the annular ports were buried below grade. A check of production records indicates that the last commercial production from this well was reported by Viking Resources in 1994, prior to the transfer of ownership to Seagull Development Corp. I inspected the former tank battery (surface equipment has been removed) and found the diked containment area grossly impacted by crude oil. The impacted area measured 30x 12 and contained 1- 4 of water coated by a skim of less than one (1) barrel of oil. The flow line, sales line and dump line were still present in the containment area. A brine vault was also present on the north side of containment and was full of clear liquid. I ran low and high range Quantabs in the containment area and found no elevated levels of chlorides (<200ppm). I contacted Terry Whitehair and he came to location to assess the contamination. We both concluded that the crude oil was likely from the old sales line and is currently contained. He contacted Sanford Nisly (Viking) to inquire about the sales line from this well and he told Terry that the line was disconnected around 2002. A Notice of Violation (# 1216i187) was issued on 2/8/1999 and required Seagull Development Corp. to plug the well. A plugging permit was issued on 12/14/2000 and expired on 12/14/2001 without being executed. Seagull Development Corporation will be given two (2) weeks from the issuance of this notice to perform the following activities:
1. Vacuum and remove all free crude oil and liquids from the containment area 2. Remove and properly dispose of all liquids contained in the brine vault 3. Flush and cap all possible sources (sales & flow lines) 4. Excavate and remove the brine v |
1493315700 | 2017-04-27 | Production Wells | No Violations | Follow-Up to Compliance Notice #1471629466 for violations of ORC 1509: 22(A) and OAC 1501: 9-1-07 that the well operation is causing pollution and contamination, and ORC 1509: 12(B) finding that the well shall be plugged. As of the date of this inspection, Seagull Development Corporation (SDC) has been unresponsive to the Divisions request to remediate and remove the former tank battery and properly plug and abandon the well. My inspection today found that SDC has taken no action to satisfy or remedy the violations found on 8/19/2016 and crude oil remains ponded inside the secondary containment area. This violation continues. |
1515002966 | 2017-12-20 | Production Wells | No Violations | Follow-Up to Compliance Notice #1471629466 for violations of ORC 1509: 22(A) and OAC 1501: 9-1-07 that the well operation is causing pollution and contamination, and ORC 1509: 12(B) finding that the well shall be plugged. As of the date of this inspection, Seagull Development Corporation (SDC) has been unresponsive to the Divisions request to remediate and remove the former tank battery and properly plug and abandon the well. I was on location today with Northeast District Supervisor Steve Ochs. The inspection today found that SDC has taken no action to satisfy or remedy the violations found on 8/19/2016. Crude oil remains ponded inside the secondary containment area and the well has not been plugged as required. This violation continues. |
1537371367 | 2018-09-19 | Production Wells | No Violations | Follow-up to Chiefs Order No. 2018--215. |
1551803758 | 2019-03-05 | Production Wells | No Violations | Follow-up to Chiefs Order No. 2018-215 issued on July 27th, 2018 and delivered by certified mail on August 10th, 2018 requiring Seagull Development Corp., within thirty (30) days of the receipt of the Order, to properly plug and abandon the Grace #4 well in accordance with R.C. 1509 and the rules adopted thereunder. Plugging and abandonment was required by September 9th, 2018. My inspection today found that the Grace #4 well has not been plugged and abandoned as required by the Order. The wellhead remains and consists of an 8---215 to properly plug and abandon the Grace #4 well. |
2008873628 | 2002-01-25 | Production Wells | Violations Noted | FOLLOW UP TO NOV # 1216i187 The company has failed all attempts to obtain compliance. At the present time there is a Plugging Permit for the well, however there is no schedule for when the well is to be plugged. All production equipment has been removed. Supervisor Cheslock has bee |
2099078477 | 2018-06-29 | Production Wells | No Violations | Follow-up to Compliance Notice #1471629466 requiring Seagull Development Corporation to remediate the secondary containment area and properly plug and abandon the well. My inspection today found the secondary containment area continues to be impacted by crude oil and has not been remediated. The well remains and consists of 4.5 production casing, a 4 x 2 reducer, and a 2 ball valve with a bull plug. Seagull has not applied for a plugging permit to plug and abandon the well. This violation continues. |
2135810874 | 2016-10-19 | Production Wells | No Violations | Follow-Up to Compliance Notice #1471629466 for violations of ORC 1509: 22(A) and OAC 1501: 9-1-07 that the well operation is causing pollution and contamination, and ORC 1509: 12(B) finding that the well shall be plugged. As of the date of this inspection, Seagull Development Corporation (SDC) has been unresponsive to the Divisions request to remediate and remove the former tank battery and properly plug and abandon the well. My inspection today found that SDC has taken no action to satisfy or remedy the violations found on 8/19/2016. Emergency Operations Regional Manager Terry White and Atlas (Viking) Energy Pipeline Supervisor Sanford Nisly met me on location this morning to help determine the location of the abandoned sales line. Sanford remembers turning the sales line valve off in the early 2000s after the well was sold from Viking to SDC. Sanford attached the line locator to the sales line riser in the former tank battery to trace the line. The line was traced and marked to the southwest and into the tree line (500), then northwest and north to the corner of the field inside the tree line (1200) where the sales line tied into a 3 trunk line. The old valve box had been removed and it is several feet southeast of the Wilcox valve box which is still in use. Sanford asked to be notified (330-495-5768 cell) and present when any excavation or work would be taking place near the trunk line. I gathered more information for the scope of work (SOW) in case it is necessary for the Division to contract out the clean-up work. This violation continues. |
Inspection ID | Violation ID | Violation Date | Violation Code | Violation Comments |
---|---|---|---|---|
001216i187 | US-OH-105725 | 2002-01-25 | Well shall be plugged | |
1471629466 | US-OH-113559 | 2016-10-07 | Well operation causing pollution and contamination | |
1471629466 | US-OH-113560 | 2016-10-07 | Well shall be plugged | |
2008873628 | US-OH-120398 | 2002-01-25 | Well shall be plugged |
For data sources see[9]