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| Well ID: 37-059-25208 | Loading map...
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| Country: United States | |
| State: Pennsylvania | |
| County: Greene | |
| Municipality: Jefferson Township | |
| Operator Name: GREYLOCK PROD LLC | |
| Well Pad ID: 149312 | |
| Farm/Lease Name: SKIB 5MH | |
| License Status: | |
| Spud Date: | |
| Permit Date: 2009-05-19 | |
| Well Type: GAS | |
| Unconventional Well: Y | |
| Configuration: Horizontal Well | |
| Conservation: Yes | |
| Latitude: 39.896363 | |
| Longitude: -80.069470 |
| Date | Event |
|---|---|
| 2009-05-19 | New Permit Application |
| 2009-08-04 | Performed Spud Operation |
| 2009-10-28 | Drilling Completion |
| 2010-02-05 | Perforation |
| 2010-02-05 | Performed Stimulation |
| 2010-08-10 | DEVIATED |
For data sources see[4]
| Stimulation Date | Phase Number | Chemical Agent | Volume (gal) | Treating Pressure (psi) | Breakdown Pressure (psi) |
|---|---|---|---|---|---|
| 2010-02-05 | 0 | 0 | 0 |
For data sources see[5]
| Period | Operator Name | Gas Quantity (mcf) | Gas Production Days | Oil Quantity (bbl) | Oil Production Days | Water Quantity (bbl) | Water Production Days |
|---|---|---|---|---|---|---|---|
| 2009 | ENERGY CORP OF AMER | 0.00 | 0 | 0.00 | 0 | 0.00 | 0 |
| 2010 | ENERGY CORP OF AMER | 308,638.50 | 120 | 0.00 | 0 | 0.00 | 0 |
| 2011 | ENERGY CORP OF AMER | 633,683.00 | 362 | 0.00 | 0 | 0.00 | 0 |
| 2012 | ENERGY CORP OF AMER | 392,224.00 | 353 | 0.00 | 0 | 0.00 | 0 |
| 2013 | ENERGY CORP OF AMER | 253,654.00 | 365 | 0.00 | 0 | 0.00 | 0 |
| 2014 | ENERGY CORP OF AMER | 236,180.00 | 354 | 0.00 | 0 | 0.00 | 0 |
| 2015 | ENERGY CORP OF AMER | 217,537.00 | 359 | 0.00 | 0 | 0.00 | 0 |
| 2016 | ENERGY CORP OF AMER | 121,440.00 | 340 | 0.00 | 0 | 0.00 | 0 |
| 2017 | ENERGY CORP OF AMER | 151,106.00 | 360 | 0.00 | 0 | 0.00 | 0 |
| 2018 | GREYLOCK PROD LLC | 153,211.00 | 362 | 0.00 | 0 | 0.00 | 0 |
| 2019 | GREYLOCK PROD LLC | 130,022.00 | 356 | 0.00 | 0 | 0.00 | 0 |
For data sources see[6]
| Period | Operator | Waste Type | Quantity | Disposal Method | Waste Facility ID |
|---|---|---|---|---|---|
| 2010 | ENERGY CORP OF AMER | Produced Fluid | 1,487.50 Bbl | REUSE OTHER THAN ROAD SPREADING | |
| 2010 | ENERGY CORP OF AMER | Produced Fluid | 44.00 Bbl | CENTRALIZED TREATMENT PLANT FOR RECYCLE | PA0095273 |
| 2011 | ENERGY CORP OF AMER | Drill Cuttings | 6.62 Tons | LANDFILL | 100172 |
| 2011 | ENERGY CORP OF AMER | Fracturing Fluid Waste | 2.97 Tons | LANDFILL | 100172 |
| 2011 | ENERGY CORP OF AMER | Produced Fluid | 2,328.00 Bbl | REUSE OTHER THAN ROAD SPREADING | |
| 2011 | ENERGY CORP OF AMER | Produced Fluid | 375.00 Bbl | STORAGE PENDING DISPOSAL OR REUSE | |
| 2012 | ENERGY CORP OF AMER | Produced Fluid | 570.00 Bbl | REUSE OTHER THAN ROAD SPREADING | |
| 2013 | ENERGY CORP OF AMER | Produced Fluid | 484.00 Bbl | REUSE OTHER THAN ROAD SPREADING | |
| 2014 | ENERGY CORP OF AMER | Produced Fluid | 747.00 Bbl | REUSE OTHER THAN ROAD SPREADING | |
| 2015 | ENERGY CORP OF AMER | Produced Fluid | 45.00 Bbl | RESIDUAL WASTE PROC FAC (GENERAL PERMIT) | WMGR123SW010 |
| 2015 | ENERGY CORP OF AMER | Produced Fluid | 45.00 Bbl | RESIDUAL WASTE PROC FAC (GENERAL PERMIT) | WMGR123SW001 |
| 2015 | ENERGY CORP OF AMER | Produced Fluid | 225.00 Bbl | REUSE OTHER THAN ROAD SPREADING | |
| 2016 | ENERGY CORP OF AMER | Produced Fluid | 67.00 Bbl | REUSE OTHER THAN ROAD SPREADING | |
| 2016 | ENERGY CORP OF AMER | Produced Fluid | 130.00 Bbl | RESIDUAL WASTE PROC FAC (GENERAL PERMIT) | WMGR123SW001 |
| 2016 | ENERGY CORP OF AMER | Produced Fluid | 6.00 Bbl | RESIDUAL WASTE PROCESSING FACILITY | WMGR123SW001 |
| 2016 | ENERGY CORP OF AMER | Produced Fluid | 57.00 Bbl | RESIDUAL WASTE PROCESSING FACILITY | WMGR123SW010 |
| 2016 | ENERGY CORP OF AMER | Produced Fluid | 30.00 Bbl | CENTRALIZED TREATMENT PLANT FOR RECYCLE | WMGR123SW019 |
| 2017 | ENERGY CORP OF AMER | Produced Fluid | 295.00 Bbl | REUSE (AT WELL PAD) | |
| 2018 | ENERGY CORP OF AMER | Produced Fluid | 182.00 Bbl | REUSE (AT WELL PAD) | |
| 2018 | GREYLOCK PROD LLC | Produced Fluid | 46.89 Bbl | RESIDUAL WASTE PROCESSING FACILITY | WMGR123SW019 |
| 2018 | GREYLOCK PROD LLC | Produced Fluid | 121.00 Bbl | RESIDUAL WASTE PROCESSING FACILITY | WMGR123SW010 |
| 2018 | GREYLOCK PROD LLC | Produced Fluid | 90.00 Bbl | INJECTION DISPOSAL WELL | 34-155-24079 |
| 2019 | GREYLOCK PROD LLC | Produced Fluid | 45.00 Bbl | RESIDUAL WASTE PROCESSING FACILITY | WMGR123SW031 |
| 2019 | GREYLOCK PROD LLC | Other Oil & Gas Wastes | 8.13 Bbl | SURFACE IMPOUNDMENT | 95-7-37312-21 |
| 2019 | GREYLOCK PROD LLC | Produced Fluid | 133.00 Bbl | RESIDUAL WASTE PROCESSING FACILITY | WMGR123SW010 |
| 2019 | GREYLOCK PROD LLC | Produced Fluid | 28.00 Bbl | RESIDUAL WASTE PROCESSING FACILITY | WMGR123SW005 |
| 2019 | GREYLOCK PROD LLC | Other Oil & Gas Wastes | 9.00 Bbl | RESIDUAL WASTE PROCESSING FACILITY | WMGR123SW010 |
| 2019 | GREYLOCK PROD LLC | Produced Fluid | 113.00 Bbl | REUSE (AT WELL PAD) |
For data sources see[7]
| Inspection ID | Inspection Category | Inspection Date | Inspection Type | Inspection Result | Inspection Comments |
|---|---|---|---|---|---|
| 1836401 | Primary Facility | 2009-08-10 | Drilling/Alteration | No Violations Noted | SITE, PIT, E&S, OK, AT THIS MARCELLUS SITE. |
| 1911269 | Primary Facility | 2010-08-09 | Routine/Complete Inspection | No Violations Noted | |
| 2008086 | Primary Facility | 2011-10-04 | Drilling/Alteration | No Violations Noted | well drilled and in line; location restored; E&S good |
| 2016938 | Primary Facility | 2011-10-11 | Drilling/Alteration | No Violations Noted | WELL IS HOOKED UP AND PRODUCING. |
| 2415734 | Primary Facility | 2015-09-04 | Routine/Partial Inspection | No Violations Noted | On 9/4/15, I inspected the Skib A and B Pads with DEP Engineer Dr. Tae-Uk Kim and DEP Biologist Samantha Sullivan and made the following observations: |
| 2448923 | Primary Facility | 2016-02-05 | Compliance Evaluation | No Violations Noted | On 2/5/16, I performed a compliance evaluation inspection at the Skib A & B Unit Site in response to a previous inspection from 9/4/15 (2415691) that resulted in multiple violations and made the following observations:
•Inconsistencies in pad construction and unmarked wetland areas have been addressed… •At the time of inspection the impoundment on site was full with the liner in place… •The non-permitted access road noted during the 9/4/15 inspection was reported by ECA to be… •The sediment trap that was found to previously be in poor condition had been renovated… Conclusion: •All violations noted in NOV from the 9/4/15 inspection appear to have been satisfactorily resolved. •No additional violations were noted at the time of inspection. Issues related to the impoundment will be followed up on in summer 2016. |
For data sources see[8]