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Well ID: 37-117-20482 | Loading map...
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Country: United States | |
State: Pennsylvania | |
County: Tioga | |
Municipality: Gaines Township | |
Operator Name: TILDEN MARCELLUS LLC | |
Well Pad ID: 149452 | |
Farm/Lease Name: TRACT 839 815 2H | |
License Status: Inactive | |
Spud Date: | |
Permit Date: 2009-11-10 | |
Well Type: GAS | |
Unconventional Well: Y | |
Configuration: Horizontal Well | |
Conservation: No | |
Latitude: 41.688550 | |
Longitude: -77.527694 |
Date | Event |
---|---|
2009-11-10 | New Permit Application |
2010-06-01 | Performed Spud Operation |
2010-07-10 | Drilling Completion |
2010-09-03 | Perforation |
2011-01-11 | New Permit Application |
2011-04-29 | DEVIATED |
2017-10-11 | Inactive Well Request Granted |
For data sources see[4]
Period | Operator Name | Gas Quantity (mcf) | Gas Production Days | Oil Quantity (bbl) | Oil Production Days | Water Quantity (bbl) | Water Production Days |
---|---|---|---|---|---|---|---|
2009 | ULTRA RESOURCES INC | 0.00 | 0 | 0.00 | 0 | 0.00 | 0 |
2010 | ULTRA RESOURCES INC | 6,590.41 | 21 | 0.00 | 0 | 0.00 | 0 |
2011 | ULTRA RESOURCES INC | 78,027.00 | 325 | 0.00 | 0 | 0.00 | 0 |
2012 | ULTRA RESOURCES INC | 74,418.00 | 366 | 0.00 | 0 | 0.00 | 0 |
2013 | ULTRA RESOURCES INC | 42,384.00 | 266 | 0.00 | 0 | 0.00 | 0 |
2014 | SWEPI LP | 7,441.01 | 196 | 0.00 | 0 | 0.00 | 0 |
2015 | SWEPI LP | 24,247.94 | 119 | 0.00 | 0 | 0.00 | 0 |
2016 | SWEPI LP | 7,276.84 | 28 | 0.00 | 0 | 0.00 | 0 |
2017 | SWEPI LP | 0.00 | 0 | 0.00 | 0 | 0.00 | 0 |
2019 | SWEPI LP | 0.00 | 0 | 0.00 | 0 | 0.00 | 0 |
For data sources see[5]
Period | Operator | Waste Type | Quantity | Disposal Method | Waste Facility ID |
---|---|---|---|---|---|
2010 | ULTRA RESOURCES INC | Produced Fluid | 2.12 Bbl | REUSE OTHER THAN ROAD SPREADING | |
2013 | ULTRA RESOURCES INC | Produced Fluid | 38.30 Bbl | RESIDUAL WASTE PROC FAC (GENERAL PERMIT) | WMGR123NC010 |
2013 | ULTRA RESOURCES INC | Produced Fluid | 20.20 Bbl | RESIDUAL WASTE PROC FAC (GENERAL PERMIT) | WMGR123 |
2014 | ULTRA RESOURCES INC | Produced Fluid | 29.80 Bbl | RESIDUAL WASTE PROC FAC (GENERAL PERMIT) | WMGR123NC010 |
2015 | SWEPI LP | Produced Fluid | 113.48 Bbl | RESIDUAL WASTE PROC FAC (GENERAL PERMIT) | WMGR123NC018 |
2016 | SWEPI LP | Produced Fluid | 7.95 Bbl | RESIDUAL WASTE TRANSFER FACILITY | 7-3115-00193 |
2017 | SWEPI LP | Produced Fluid | 4.00 Bbl | RESIDUAL WASTE PROCESSING FACILITY | WMGR123NC022 |
2017 | SWEPI LP | Other Oil & Gas Wastes | 24.49 Bbl | RESIDUAL WASTE TRANSFER FACILITY | 7-3115-00193 |
For data sources see[6]
Inspection ID | Inspection Category | Inspection Date | Inspection Type | Inspection Result | Inspection Comments |
---|---|---|---|---|---|
2014682 | Primary Facility | 2011-10-28 | Routine/Complete Inspection | Violation(s) Noted | |
2053489 | Primary Facility | 2012-03-20 | Routine/Complete Inspection | No Violations Noted | A routine inspection was conducted at the State Tract 839; 815 pad on Mar. 20, 2012. The perimeter of the site was walked and several puddles were screened for the presence of elevated specific conductance, no elevated readings were found. The site ID sign and well tags were present. The cut and fill slopes of the pad are in need of further stabilization. Four wells are permitted on this site and all four are drilled. Site restoration is required within 9 months of drilling the last permitted well. No violations were cited during this inspection. MRN |
2479513 | Primary Facility | 2016-04-21 | Routine/Partial Inspection | No Violations Noted | The Department of Environmental Protection (DEP) conducted a routine partial inspection of the SWEPI LP – DCNR Tract 839 815 Well site (ESG09-117-0053) on 4/21/2016 @1330 hours, located in Gaines/Elk Twp., Tioga Co., during an onsite meeting to discuss restoration of the site. Present for the meeting were Dan DiCamillo, DCNR Forester & Gas Lease Administrator; Jason VanDergrift, SWEPI – Civil Construction Supervisor; Troy Spehar, SWEPI and Jeff Watts, J.L. Watts.
The pad surface appears mostly vegetated. The submitted restoration drawings show removal of the E&S sediment traps on either side of the pad surface. Infiltration berms will then be installed to meet the PCSM BMP requirements. There are 3 active wells on the pad, the 2H, 3H, and 4H. There does not appear to be any plans to reduce the pad size. Construction of the PCSM BMPs is scheduled to begin next week. No violations are issued at this time. I departed the site @1330 hours. This inspection report references the following well permits – API# |
2484300 | Primary Facility | 2016-05-04 | Routine/Complete Inspection | No Violations Noted | |
2602851 | Primary Facility | 2017-06-05 | Routine/Complete Inspection | No Violations Noted | On 6/5/17 at 0930 hrs I conducted a routine inspection at the State 815 well site. It was overcast and 66 degrees F. No one was present during my inspection.
The 1H - 4H wells have been drilled. Production equipment is present at the site, however, was not running at the time of my inspection. According to DEP records, the 1H was placed on inactive status on 12/23/15 and the 2H - 4H wells remain on active status. The wells were tagged. Containment structures at the site were observed. The production tank containment held water; the specific conductance field measurement of the containment water was 278 micro Siemens/cm (Photo #1). A temporary containment structure holding four totes was located on the south side of the dehydration unit (Photo #2). The two totes on the west side of the containment appeared to be empty. Non-hazardous Waste labels were affixed to the other two totes. One tote held a reddish/pink fluid; the label was dated 4/11/17 and -not sure- was listed for the contents (Photo #4). The top |
2612922 | Primary Facility | 2017-07-06 | Compliance Evaluation | No Violations Noted | On 7/6/17 at 1343 hrs I conducted a follow up inspection at the State 815 well site. No one was present during my inspection. It was overcast and 73 degrees F.
The purpose of the inspection was to verify that a violation cited against the 4H permit (117-20484) during the 6/5/17 inspection had been resolved. During the 6/5/17 inspection, I observed a compromised containment structure holding four totes; one of the totes was broken, exposing the waste inside. A Notice of Violation (NOV) was sent to SWEPI on 6/9/17; SWEPI's written response was received on 6/23/17. Since the last inspection, the containment structure and totes have been removed. No staining was observed in the gravel area where the totes had been staged. The violation is hereby corrected. SWEPI is documenting their containment Inspections; the most recent one was completed on 7/2/17. I concluded the inspection at 1520 hrs. TLT |
2626937 | Primary Facility | 2017-08-10 | Routine/Complete Inspection | No Violations Noted |
Inspection ID | Violation ID | Violation Date | Date Resolved | Violation Code | Violation Type | Violation Comments |
---|---|---|---|---|---|---|
2014682 | 623394 | 10/28/2011 | 2011-10-28 | 201H - Failure to properly install the permit number, issued by the department, on a completed well. | Administrative |
For data sources see[7]