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Well ID: 34-153-22629 | Loading map...
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Country: United States | |
State: Ohio | |
County: <County> | |
Municipality: | |
Operator Name: EVERFLOW EASTERN PARTNERS LP | |
Well Pad ID: | |
Farm/Lease Name: RIEGLER UNIT | |
License Status: Producing | |
License Date: 1990-01-05 | |
Spud Date: 1990-06-12 | |
Spud Drilling Contractor: [[P&R INC [PEEK & ROWAN]]] | |
Final Drill Date: 1990-06-17 | |
Well Total Depth: 3993.00 ft | |
Configuration: Vertical | |
Latitude: 41.110000 | |
Longitude: -81.500000 |
For data sources see[1]
Well Status | Well Status Date | Comment |
---|---|---|
CO | 1990-01-05 | 2455 WHIDBEY RESOURCES INC GeoDate 1/5/90 |
Oil and Gas | 1990-01-05 | Issued Date 1/5/90 Expired Date 1/5/91 Acres 0044076 Tool Type RTF Proposed Formation CLINTON Proposed Depth 03993 Proposed Drill Depth 03993 |
Original Spud | 1990-06-13 | |
Completed | 1990-06-17 | |
Reached Total Depth | 1990-06-17 | |
Completion Report Received | 1990-11-20 | |
Construction Permit Expires | 1991-01-05 | |
CO | 1991-07-26 | 84 EVERFLOW EASTERN PTNS L P GeoDate 1/5/90 |
Record Last Modified | 2017-02-15 |
For data sources see[2]
Perforation Date | Interval Top (ft) | Interval Base (ft) | Number of Shots |
---|---|---|---|
1997-06-29 | 3775 | 3826 | 0 |
3775 | 3826 | 0 | |
2006-09-11 | 3798 | 3802 | 5 |
3798 | 3802 | 5 | |
3775 | 3826 | 0 | |
2006-09-11 | 3810 | 3820 | 11 |
For data sources see[3]
Stimulation Date | Chemical Agent | Chemical Agent Concentration (%) | Fracking Fluid Volume | Mass of Proppant Used (lb) | Fracking Company | Comments |
---|---|---|---|---|---|---|
ACID | 0 | 150 Gal | 0 | FRAC:WATER/SAND | ||
H2O | 0 | 2100 Bbl | 50000 | |||
ACID | 0 | 150 Gal | 0 | FE |
For data sources see[4]
Inspection ID | Inspection Date | Inspection Type | Inspection Result | Inspection Comments |
---|---|---|---|---|
-849369753 | 2017-9-27 0:00: | UP | No Violations | |
0000016092 | Preliminary Restoration | No Violations | PASSED Y WITNESSED 9/25/92 INSPECTOR BEUCLER,PAUL DATE 09/2519/92 DATA FROM OLD VAX INFO | |
0849369753 | 2017-09-27 | UrbanProduction Wells | No Violations | I performed a follow up inspection with regards to Compliance Notice # 1505927915 concerning the required replacement of the 100 barrel stock tank. I found that Sutton Pump and Supply was on location perform various functions including ; steaming the tank, tank removal, removal of contaminated soils, positioning and connection of the replacement 100 barrel tank. I will re-inspect the work to assure complete compliance. |
0932925944 | 2017-10-05 | UrbanProduction Wells | No Violations | I performed a follow up inspection to assess if the requirements were met as outlined in Compliance Notice # 150927915 addressing the issue of a leak 100 barrel stock tank. My inspection revealed that the leaking 100 barrel stock tank was replaced and the dike was re-established. The remedies outlined in Compliance Notice # 1505927915 were met. |
1505927915 | 2017-09-20 | UrbanProduction Wells | Violations Noted | The Riegler Unit # 1 was operated as a plunger lift well. The well was surrounded with a locked chain link fence. The I D signage was posted and legible. The well was not operating during my inspection. The 8.625 annulus valve was open. There were several domestic gas taps coming off of the casing. I did not identify any leaks or contamination during my inspection of the wellhead area. The tank battery was located approximately 830 east of the wellhead in the northwest corner of the parking lot at StoneHedge Lanes. The tank battery was comprised of one (1) 100 barrel stock tank, one (1) 50 barrel steel brine tank and one ( 1 ) 2408 horizontal separator. The tank battery was surrounded with a locked chain link fence. The required I D signage was posted. The 100 barrel stock tank was leaking from several areas around the tank. Oil had previously leaked from the tank and contaminated the tank pad. The heater tube hatch seal was leaking. The fluid level in the tank appeared to at the five foot level, below where the perforations started. I spoke with George Strawn ( field Superintendent for Everflow Eastern ) and explained that the tank will require replacement due to its poor condition and positioning. I requested that the tank be replaced within two (2) weeks and Mr. Strawn agreed to that time frame. In order to bring the Riegler Unit # 1 well into compliance the Owner / Operator shall replace the defective tank ( OAC 1501:9:9-05 ( A ) 1 & 8 ) within two (2) weeks. Please contact Bob Roush prior to the tank replacement at 330.690.8837. |
16092 | PL | No Violations | ||
932925944 | 2017-10-5 0:00: | UP | No Violations |
Inspection ID | Violation ID | Violation Date | Violation Code | Violation Comments |
---|---|---|---|---|
1505927915 | US-OH-114195 | 2017-09-26 | OPERATIONMAINTANCE (a-c) |
For data sources see[9]