Title: PON9 Workshop 2004
1PON9 Workshop 2004 Jointly sponsored by DTI and
UKOOA Aberdeen 13th May London 17th May
2PON 9 Workshop 2004 1. Welcome
Introduction Simon Toole, DTI (London) Paul
Dymond, UKOOA (Aberdeen)
3PILOT
- DTI, UKOOA and industry working together
- Workshop an important milestone
- Government commitment to digital business
- Changes to regulations requiring industry
compliance
4PILOT Data Initiative
- KEY DATES
- Oct 2001UKOOA Exploration Committee workgroup
set up - Feb 2002PILOT / PPWG workgroups established
- May 2003UKOOA Exploration MRT endorsement
- May 2004One year on, what has been happening?
5PILOT Data Initiative
- THE TARGET
- Improve knowledge DEAL Data Registryof data
- Reduce costs DEAL Data Registry NHDA
- Improve data access Earlier data release
- Prevent deterioration NHDAof data
- Eliminate redundant NHDAdata DEAL Data
Registry
6Implementation Scope
- PON9
- Been out to industry for consultation
- Will be issued on 1st July 2004
- DEAL Data Registry
- Complete seismic atlas
- 2004 data catalogue proposals
- National Hydrocarbons Data Archive
- Open for business - several operators archiving
- Web-based Archiving Handbook
7Summary
- This work is important
- You can influence what happens
- Your involvement is vital
8PON 9 Workshop 2004 2. The Workshop Russell
Hornzee, DTI
9Objectives for the Day
- To highlight proposed procedural and regulatory
changes and the need for you to comply with them - To give you the opportunity to influence both
timing and detail of the changes
10Workshop Agenda
- 1. Welcome Introduction Paul Dymond(A)/Simon
Toole(L) 1000 - 2. The Workshop Russell Hornzee 1015
- 3. PON9 Overview Jackie Banner 1030
- Coffee 1115
- 4. DEAL Data Registry Peter McCartney 1130
- Lunch 1215
- 5. Data Standards Stewart Robinson 1300
- 6. NHDA Archiving Process Malcolm Fleming 1345
- Coffee 1430
- 7. Panel Session - QA Panel 1500
- 8. Next Steps Russell Hornzee Malcolm
Fleming 1545 - Workshop closes 1600
11Your Role
- To participate actively and influence the detail
of the changes
12Outcome from today
- A clearer understanding, enabling compliance with
the regulatory and procedural changes - An understanding of the procedure and benefits of
the NHDA option - Slides (with added QAs) will be made available
no later than 21st May
13PON 9 Workshop 2004 3. PON9 Overview Jackie
Banner, DTI
14PON9 Overview
- Outline of the Presentation
- Scope and Purpose
- Why change now?
- Proposed changes
- Feedback from consultation
- Next Steps Publication, Compliance
- Questions
15Scope
- Activity under Petroleum Production Licences and
Exploration Licences - All Seaward Surveys
- All Seaward Exploration, Appraisal and
Development Wells
16Purpose
- Define Licensees obligations with respect to
retention and provision of data from surveys and
wells - Define DTIs requirement for data from surveys
and wells
17Why change now?
- PILOT Data Lifecycle Initiative
- Requirements set out in revised PON9 agreed in
principle through consultation with industry,
UKOOA and PILOT - Endorsed May 2003
- Now 1 year on framework established, time to
comply !
18Proposed Changes
- Better describes obligations and rights regarding
Licence Data - Reflects DTIs just-in-time not just-in-case
strategy - implemented through the DEAL Data
Registry - DTI will only directly request the data
- required to perform business functions or
- for publication by DTI or its agents
- Introduces the option to archive to the NHDA
- Includes new requirements for well and seismic
survey headers - Reflects the Governments digital business agenda
19DEAL Data Registry
- This is the main change
- A register of key proprietary and released
licence data - who owns it and where it is
stored. - Features
- Standard catalogues to be submitted to DEAL
- Submission by the licence operator
- Only entitled parties will be able to see the
catalogues - Cores and samples catalogues from all licensees
- Gradual, point-forward implementation starting in
2004 - Gradual addition of key legacy data from 2005
- Public catalogues of released well data from the
release agents - Public catalogues of archived data from the NHDA
- Catalogues subject to DTI scrutiny for
completeness
20Data to be sent directly to DTI
- Cores and Cuttings samples
- (fluid samples to be retained by Licensees for 5
years) - Seabed samples
- Paper print of Composite Log
- Seismic Navigation Data (DEAL)
21Data for Publication (Release)
- Clear definition of Basic Licence Data for
release - Clear start of clock for Confidentiality
Period - Clear statement of release process
- Well Data to be made available to DTI/agents 12
months prior to release date - Seismic Data UKOOA/IAGC Guidelines for release
by Licensees (to be posted on DEAL)
22Option to Archive to the NHDA
- DTI strongly supports the NHDA
- DTI encourages Licensees to consider Archive
option at Licence relinquishment / Cessation of
Field Production - Licensees gain relief from perpetual storage
obligation - NHDA Catalogue will become a requirement at
COP, and encouraged at Licence relinquishment
23Feedback from Consultation (1)
- DEAL Data Registry catalogues concerns on
content, timing, updates - Question on joint and several obligations why
not just Operator? - PON9 to contain more definitions on content
e.g. composite log, completion report - Flow diagram
24Feedback from Consultation (2)
- Composite Log paper print only to DTI (no
transparency) - Navigation data supply within 6 months, DVDs
- Reprocessed products will be required on Data
Registry (entitlements) - Seismic Redundancy
- Seabed samples
25Next steps - Publication
- Incorporate changes from feedback and workshops
- Circulate to UKOOA etc. prior to June UKOOA
Exploration MRT - Publish 1st July annual revisions
26Next steps - Compliance
- Compliance will be monitored easier to do
through DEAL Data Registry - No excuse you are helping to design compliance
rules ! - DTI/CDA working together CDA wishes own dataset
complete - Spot-check and audit
- Consent process allows control
27Questions and Answers
28QA PON9
- Q.01 In Norway, licensees have agreed that their
collective responsibility for data is met
exclusively through the operator, acting on their
behalf. This approach offers significant cost
savings - why cant it be done in the UK too? - A. This is done to some extent (through CDA for
example), but there is scope for closer
collaboration of this type at a practical level.
This however cannot of course remove the joint
and several obligations that each company has
under the licence agreement. - Q.02 Will non-CDA members have to send digital
well data to Gilmerton from July 1st? - A. For wells spudded before January 1st 2004
there is no change non-CDA members must continue
to send in well data as hardcopy/tapes. - For wells spudded from January 1st 2004 onwards,
the DTI only wants to receive a paper print of
the composite log at its Victoria Street office
no digital data should be sent to either the DTI
or to Gilmerton. For these wells non-CDA members
must however provide a catalogue of their well
data to DEAL. - For these 2004 wells, CDA will meet the
obligations of its members to submit well data
catalogues to DEAL, however CDA members must send
the data to CDA within the prescribed time in
order for the complete catalogue to be prepared
for DEAL. - Q.03 What would be the data release arrangements
for seismic data shot by an oil company as
speculative data (i.e. 4 years or 10 years)? - A. This situation has not arisen and would need
to be considered further by the DTI.
29QA PON9
- Q.04 Are there any legal obligations to be
changed to enable the new PON9 to be implemented?
- A. The only legal change was the reduction of
the confidentiality period from 5 to 4 years for
pre-20R Licences. This was done by exchange of
letters last year. - Q.05 Compliance mechanisms what does DTI
consider teeth? - A. The DTI has worked with Industry over many
years to build trust through consultation. The
DTI trusts that companies will comply, and is
implementing a model endorsed by all stakeholders
through a consultation process. Ultimately, DTI
could withhold consents on surveys/wells, revoke
Licences or take behaviour into account when
issuing new Licences. - Q.06 What about non-geological data types
collected during site, pipeline surveys etc. ? - A. The PON9 only covers the geoscience data from
surveys and wells. - Q.07 Why will data listings be a requirement at
COP ? - A. It is essential to gather a listing of all
field related data and reports whilst expertise
is still available. Experience with Argyll and
Hutton shows that it is very difficult to do this
once the people in the know have disbanded.
COP is also a good time to archive, since budget
for the asset is available.
30QA PON9
- Q.08 Why isnt such a data catalogue also
mandatory at Licence relinquishment? - A. Less of an issue than fields there are
usually just a few exploration wells and seismic
surveys (which should already be catalogued on
DEAL). Could be made mandatory if a Licence is
being relinquished due to a work programme
waiver. - Q.09 What happens to data ownership at Licence
transfer? - A. Changes of interest in a Licence require DTI
consent (conditional on the Model Deed of
Assignment being executed). The Deed covers
all assets and liabilities including data. - Q.10 What is Licence Data? Not just basic
(purely factual), but also interpreted? - A. The Model Clauses cover all data acquired
during the term of the Licence the well and
survey data is just a subset. The PON9 defines
the Basic Licence Data for surveys and wells.
The DTI has a right to request all Licence Data
but may be challenged on the release of any
deemed to be commercially sensitive by the
Licensees. Similarly, the NHDA may request data
outside the Basic Licence Data, but its inclusion
in the NHDA collection is likewise a matter of
negotiation. - Q.11 What are the obligations for spec. data?
- A. Spec. companies are required to provide
navigation data to DEAL. Spec. data is also a
candidate for archiving. DTI will be kicking
off a project to establish guidelines for both
seismic redundancy and archive of spec. data.
31QA PON9
- Q.12 What if the seismic data is not available
when requested for release? What will the DTI
response be? Has the DTI ever checked up on
anyone? - A. The DTI will consider this matter further.
- Q.13 Where are the legal obligations for data
written ? - A. The main data requirements are set out in the
Model Clauses associated with the licence
agreements (which can be found at
http//www.hmso.gov.uk/si/si1999/19990160.htm).
The PON9 defines the what and when. The
expectation is that data is maintained in a
useable format and is transcribed to the
recommended media on request to supply to DTI or
for release. - Q.14 What are the plans for developing Guidelines
for redundant seismic ? - A. These will be developed between now and the
end of the year, along with the archive process
for spec. data. Volunteers are welcome for the
workgroup and should contact Jackie Banner. - Q.15 What are the obligations for seismic field
tapes ? - A. Field tapes are the responsibility of
Licensees and must be released on request under
the DTI/UKOOA Seismic Data Release Guidelines.
They are part of the NHDA shopping list, but
archiving to the NHDA is optional and the final
data set is open to negotiation.
32QA PON9
- Q.16 What is the timing on conversion of 9-track
data ? - A. The Licensee is required to retain its data in
usable condition and to provide data to the DTI
upon request, in the format requested (which
obviously will not be 9-track). Whilst it is not
the DTIs intention to instruct licensees to
convert 9-track data en masse, Licensees must
ensure that they are able to comply with the
regulations and it would therefore be prudent to
upgrade to modern media when prompted by other
business events e.g. when reprocessing, when
satisfying external requests for the data under
the DTI/UKOOA Seismic Data Release Guidelines or
when trading data. The archive process offers an
endgame for any rump remaining in older formats
insofar that only selected datasets will finally
need to be upgraded to the prescribed modern
media - the NHDA will generally not require old
seismic data that has been overshot.
33PON 9 Workshop 2004 4. DEAL Data Registry Peter
McCartney, CDA
34(No Transcript)
35DEAL Data Registry Objectives
- To provide a complete inventory of UKCS wells,
seismic surveys and infrastructure - To provide access to well, seismic and
infrastructure data attributes - To provide catalogues of well and seismic data
products - To provide contact details for data owners
36Attributes of data types
- Wells
- Well headers
- Well mapping
- Well ownership
- Seismic
- Seismic metadata
- Seismic navigation mapping
- Seismic ownership
37(No Transcript)
38(No Transcript)
39(No Transcript)
40Infrastructure Attributes
- Infrastructure
- mapping
- details
- ownership
41Attributes of data types
- Slide showing infrastructure mapping
42Public Information - Well Data
- Well Header (includes Release status)
- Data Release Agent (DRA) catalogues of well
products (Released wells) - Gilmerton cores catalogue (Released wells)
- Data Vendor catalogues (Products for sale)
- NHDA data
43Well Data Products
- Slide showing Well Products
44Products of data types
- Slide showing Gilmerton Cores catalogue
45Public information - Seismic Data
- Seismic atlas
- Seismic metadata
- Gilmerton 2D sections catalogue (Released
seismic only) - Data Owner catalogues (Released
seismic only) - Data Vendor catalogues (Products for
sale) - NHDA seismic data products
46Products of data types
- Slide showing Gilmerton Catalogue
47Entitlement
DTI Gilmerton
Data Owner
Catalogue Source
DEAL
Well Seismic Catalogues
Cores Seismic Catalogues
Public subset for Gilmerton catalogues
Entitlement from Data Owner Public subset from
Data Owner (if authorised by Data Owner)
Public subset
Entitled subsets
Public subset
DTI
Data Owner
Catalogue Visibility
Public
Entitled Party
48Non-public catalogues
- Catalogues seen only by DTI and Data Owner
- Wells
- Data Owner catalogues of well products
- Data Owner catalogue of cores
- Seismic
- Data Owner catalogues for unreleased seismic
- Data Vendor catalogues for products marked as
not for sale
49Catalogue submission
- Catalogue submission forms on DEAL
- Wells
- Cores
- Seismic
50Catalogue submission
- Slide showing catalogue submission downloads
screen
51Submission forms
- Available on DEAL
- Timetable for roll-out of catalogues required
submission by Data Owners.
52 Catalogue Development Implementation
Catalogue Version Compliance Date Availability
of Catalogue Well Cores DTI Core
Store Now Now All cores October 2004 Now Well
Cuttings DTI Core Store October 2004 June
2004 All cores October 2004 June 2004 Well
Logs Released Now Now CDA June 2004 June
2004 New wells (gt 2004) October 2004 June
2004 Well Reports Released Now Now CDA June
2004 Now New wells (gt2004) October 2004 June
2004 Seismic 2D DTI (pre-93) Now Now New
seismic (gt2003) October 2004 June 2004 Seismic
3D New seismic (gt2003) October 2004 June 2004
53Catalogue Development
- Each new catalogue will be tested against Data
Owner in-house catalogues before launch - Each data type will be launched with limited
datasets to allow any adjustments needed to
finalise the catalogues
54Data Ownership
- Only Data Owners can submit catalogues.
- Where ownership is incorrect on DEAL the existing
owner must advise BGS of the name of the new
owner. - The new owner will be contacted by BGS with a
request to validate ownership and supply the
relevant catalogue
55Data Ownership
- Slide showing Data Ownership details on DEAL
56Compliance
- DTI will monitor compliance
- No new seismic consents for companies that have
not completed their PON14a close out form for the
previous years seismic
57Questions and Answers
58QA DEAL Data Registry
- Q.01 Who will be responsible for sending in
catalogues to DEAL? - A. In the majority of cases this will be the
Licence Operator acting on behalf of all partners
in a licence, however the DTI would like all
licensees to provide catalogues of cores and
cuttings. - Beyond these regulatory obligations, there will
be benefits for licensees to use DEAL to
consolidate their catalogues, giving them the
opportunity to view and then rationalize their
data collections even potentially using this
mechanism to help resolve ownership and licence
liability. - Q.02 Why does the DTI want a catalogue of cores
when it has the cores themselves in Gilmerton,
and why does the DTI not adopt the Canadian model
(which prohibits sampling of the regulators core
sections)? - A. Many of the Gilmerton cores have been sampled
and may not therefore be as complete as the
slabbed sections retained by licensees.
Experience shows that in some cases, core has
never been submitted to Gilmerton. - It is probably too late to adopt the Canadian
model. - Q.03 Why is the DTI intending to require
catalogues of reprocessed seismic also to be
submitted to DEAL Data Registry? This is not
practical, nor is reprocessed data required by
the NHDA. - A. Good point, the DTI will review its position.
59QA DEAL Data Registry
- Q.04 CDA can only submit catalogues for basic
(well) data to DEAL on behalf of CDA members.
Is there a requirement therefore for licensees
separately to submit catalogues to DEAL of any
other classes of well data that fall outside
CDAs scope? - A. The only significant outlier appears to be
seismic well data and CDA is currently looking at
the feasibility of extending the scope of the CDA
DataStore to include this data type. - Q.05 How can the DTI be confident that non-CDA
members are keeping their well data in a proper
fashion if the data is no longer actually sent to
the DTI. The Data Registry is one thing but
would it not be sensible for the DTI, its release
agents or CDA to collect this (digital) non-CDA
member data at the time the data is still fresh
? - A. The DTI will consider this matter further.
- Q.06 Which are the master seismic headers and
well headers on DEAL, with the DTI or on the CDA
DataStore? - A. The well headers and seismic headers on DEAL
are the masters (and are kept in synch. with the
CDA DataStore headers). - Changes to either well or seismic headers should
be made on DEAL, using the forms available from
the site.
60QA DEAL Data Registry
- Q.07 Considerable confusion regarding who
actually owns data persists who therefore is
responsible for submitting catalogues to DEAL and
who has liability to the DTI? - A The PON9 draft is clear on these matters. But
bear in mind that (1) implementation of the Data
Registry will be gradual and will be
point-forward and (2) CDA/UKOOA is holding a
workshop in June to explore the issue of data
ownership, data liability and best practices
associated with information exchange upon asset
sale and purchase. - Q.08 Will Licensees be expected to verify their
catalogues as provided to the DEAL Data Registry? - A Point-forward (i.e. for new wells and new
seismic surveys) a requirement to verify is
perhaps reasonable. A different and more
pragmatic view may have to be taken with respect
to catalogues for legacy data. This matter will
be considered further by the DTI. - Q.09 Why go to the trouble of entitling the Data
Registry Catalogue (a lot of work) it is just a
catalogue? - A. The public has no intrinsic right to see
catalogues of Licensees proprietary data. The
reason therefore that catalogues are entitled is
to protect this right (which of course the
Licensees may opt out of, but this is their
choice).
61QA DEAL Data Registry
- Q.10 Can data storage companies help with the
Data Registry catalogues ? - A. Yes. Operators can instruct data storage
companies to submit catalogues on their behalf.
Operators should collaborate with data storage
companies to simplify the process and this could
potentially be done collectively for CDA members.
- Q.11 Will the Data Registry catalogue scope be
extended beyond seismic and well cores? When? - A. The 2004 plan includes well data catalogues
for wells spudded after 1st January 2004 and for
seismic surveys acquired since January 2003. The
plan is to start population of the legacy
catalogues from 2005. Companies with a lot of
data should get in touch with DEAL, as help is
available to walk through the process together. - Q.12 It has proved difficult to associate data
with a licence. For point forward data, will the
Licence Number be an attribute on each well and
seismic header? - A. Yes, this will be put in place in DEAL as soon
as possible. -
62QA DEAL Data Registry
- Q.13 Do Regulations also apply to site survey
data? Why not include site surveys as part of
the 2004 implementation? - A. Yes, site surveys constitute Licence Data. The
priority however must be to complete the atlas
of 2D and 3D surveys so that data products can
be hung on these hooks. The inclusion of site
surveys needs more research and this work will be
included in the scope for 2005 development. - Q.14 Why are there 2 catalogues of the same data
- e.g. for a released well there will be the Data
Release Agents catalogue and the proprietary
data owners view ? - A. Neither the catalogues nor their purpose are
truly the same. It is the Licensees who have the
obligations to the DTI with respect of retention
and provision of Licence Data and it is their
catalogues that the DTI will scrutinize for
compliance. For reasons explained elsewhere,
(other than for released seismic data), the
Licensees catalogues will not be available to
the public this is the function of the released
data catalogues.
63PON 9 Workshop 5. Data Format Exchange
Standards Stewart Robinson, DTI
64Modern UK Oil Portal Web services Feedback
65New PON9
661
PONs
Standards Format Naming Well Seismic
Pipeline etc Exchange
2
3
Overview
4
5
9
12
Version Control
67PON data exchange standardsinto and out of
DTIbut importantlywith release agents and NHDA
68UK Government mandatory requirements
- Alignment with the internet
- Adoption of XML as primary standard for data
integration - Browser as key interface
- Addition of meta data
69What standards Criteria
Realism
- de facto
- CDA / UKOOA
- POSC
- WITS
70Data exchange formats - Index
Media 3590
71Seismic processing data
72hole / casing / liner details
73Reference entities
- Codes
- Units of measure
- Align with
- POSC / PIDD / PPDM / API
74Spatial data
- Stop sending us maps to digitise
- Arc compatible
- Projection systems
- Offshore ED50 or WGS84
- Onshore OSGB36
75Cataloguing standardDiscovery Dublin Core -
CDA
Well name DTI well name Item
group REPT Item type Well_comp Title Wel
l completion report Date of report Date
delivered to CDA Company name Originator
76Issues that I have covered
- Cataloguing
- Units of measure
- Reference entities
- Spatial data
- Delivery
77WITSML
witsml.org
78Legacy data
DTI recognise that delivery of legacy data sets
may be difficult and are prepared to discuss
these issues on a case by case basis
79Thats for nowWhere are we going?
Future delivery
80The UK Oil Portal
81Other Govt Depts
Oil companies
82Other Govt Depts
Oil companies
83DEAL
WellheaderML
Web Sites
EEMS
Other Govt Depts
Oil companies
84Repository
Other Govt Depts
Oil companies
85DEAL
Web Sites
EEMS
Repository
PON9
Other Govt Depts
Oil companies
86DTI receiving documents
Repository
PON9
Oil companies
87Portal Repository
- XML, pdf (or TIFF)
- Digital signatures (assured source, unchanged)
- Trust rules
88Oil Gas Document Repository
- Safe upload of documents
- Documents can be signed
- Validation of signed documents
- Currently support signed PDF (Adobe 6) and signed
XML
89Repository Demo Upload
90Repository Demo Postbox
91Repository Demo Success
92stewart.robinson_at_dti.gsi.gov.uk og.dti.gsi.gov.uk
cdal.com witsml.org posc.org
93Questions and Answers
94QA Data Standards
- Q.01 Do the Data Format Standards relate to
multiple PONs (its not clear how Stewarts draft
document relates to PON9)? - A. The document is intended to apply to all data
exchanged with the DTI (and its agents). The next
revision will improve the relationship with PON9
in particular. - Q.02 What is the format that is legally
admissible ? - A. The legally admissible format is that defined
from time to time by the DTI. The recommended,
mandatory format for digital data exchange into
and out of Government is XML. DTI is moving to
this through the UK Oil Portal and for some data
sets are providing a rendering in PDF. - Q.03 Are there standards for keeping data in
good condition? What does this mean? - A. The Model Clauses state that the Licensee
shall keep in the United Kingdom accurate
geological plans and maps relating to the
licensed area and such other records in relation
thereto as may be necessary to preserve all
information about the geology of the licensed
area. Data must be maintained so that it is
still useable whenever requested by the DTI. - Q.04 Can the Oil Portal be used to track asset
disposals where seismic Group Shoots are split
into 2 or more parts ? - A. No. DTI is currently rewriting its Licensing
system, so will investigate if asset ownership
can be tracked.
95PON 9 Workshop 6. NHDA Archiving Process Malcolm
Fleming, CDA
96NHDA Archiving Process
- Outline of Presentation
- Overview
- Why archive?
- Who should archive?
- When should archiving be done?
- What to archive
- How to Archive - the Process
- The Business Case
- Remaining Challenges
- Question Time
97Why Archive?
- Licensees are jointly and severally obliged to
retain Licence Data in an accurate and usable
form in perpetuity - This obligation survives data release and licence
relinquishment (and potentially even licence
equity sale, where obligations may revert in the
event of default) - Archiving is the only certain way to escape but
it makes sense anyway - Data storage and management cost savings
- Data preservation
- Elimination of duplicated and redundant data
- Data release obligations disappear
98Who should Archive?
- Licence Groups share the obligations and the
benefits - Licence Groups should act through one licensee
- current operator
- or last active operator
- Archiving is currently an optional process
- Adequate take-up will keep it optional
99When to Archive
- At the time of...
- Block relinquishment (non-contiguous)
- Entire licence relinquishment
- COP ahead of field decommissioning
- Other events
gt600 licences have been fully relinquished to date
100What to Archive
- Data associated with the Licensed Feature
- Well data (most logs and reports)
- Seismic data (selected surveys) including
bathymetry - Potential field data (gravity and magnetics)
- Production data
- Selected interpreted maps and reports
- Reservoir data
- Site surveys
- Digital data only
101Anomalies Special Cases
- Well cores and samples
- Perpetual obligations do not apply
- DTI Gilmerton has right of first refusal
- BGS wishes to select from the balance
- 2D hardcopy seismic
- Special provisions for CDA members
102How to Archive - the Process
- Handbook (www.bgs.ac.uk/nhda)
- Version 1 (excludes fields)
- Phase 1 to 4 Evaluate the Option
- 1. Explore option with partners
- 2. Gather information, including baseline costs
- 3. Select and categorise the data
- 4. Estimate the cost and the payback
- Phase 5 Archive and Dispose
103Five Archiving Phases
Total Cost to Archive Payback (Years)
Baseline Cost
1
Explore Archive Option
2
Information Gathering
Decision to Proceed
3
Data Selection Categorisation
Archiving
4
Compare BaselineCost and Total Cost to Archive
Cost Evaluation
5
Implementation
Phase 1 to 4 Evaluate the option to archive
Disposal
104Archiving ProcessPhase 1
Explore the Archive Option
OPERATORS TASKS
DETAILS
Start
- 1) Establish a clear identity for the Licensed
Feature to be archived, specifically - Geographic boundaries
- List of associated wells
- List of associated seismic surveys (including
grav./mag. data) - List of fields
- List of Licence Partners
- History of Licence Partners
- 2) Confirm with the DTI that the nominated
Licence Feature is eligible for Relief of
Obligation. - 3) Contact Licence Partners to obtain their
consent to proceed to explore the option to
archive. - 4) Develop an agreed position with Licence
Partners with respect to cost sharing.
Select Licensed Feature for archiving.
Identify the wells and surveys that fall within
the Licensed Feature.
Consult with Licence Partners to determine
Licence Group support for moving to Phase 4.
To Phase 2
105Archiving ProcessPhase 2
Information Gathering
OPERATORS TASKS
DETAILS
From Phase 1
Locate all data associated with the Licensed
Feature
Identify all the sites (internal and external)
where Licence Data (in all its forms) may be
stored
Collect data catalogues with reference to Licence
Data Selection List
Assemble catalogues for all (proprietary) Licence
Data acquired in association with the Licensed
Feature
Determine Annual Baseline Costs to store and
maintain this data.
Estimate the annual cost to store, maintain and
otherwise meet licence obligations for the
Licence Data.
To Phase 3
106Archiving ProcessPhase 3
Data Selection Categorisation
OPERATORS TASKS
DETAILS
From Phase 2
- Review the Licence Data catalogues with the NHDA
to agree a selection for the NHDA (with reference
to the Licence Data Selection List). - Conduct any data inspection needed.
- Identify and agree any processing or reformatting
required prior to submission to the NHDA.
Liaise with the NHDA to make Archive Data
Selection.
Identify any Licence Data required by the DTI.
Review the Licence Data catalogues with the NHDA
to agree any data to be selected and shipped to
the DTI in Gilmerton (Edinburgh).
Determine action to be taken with any remaining
Licence Data
Review the remaining Licence Data to determine
whether it is to be retained or disposed of, and
if the latter, its method of disposal.
To Phase 4
107Archiving ProcessPhase 4
Cost Evaluation
OPERATORS TASKS
DETAILS
From Phase 3
- Obtain cost estimates
- Retrieval
- Scanning and tape transcription
- Packing, packaging and transport
- Destruction
- Project management
- Archive endowment fee
Determine the Total Archiving Cost.
Determine Payback Time and general business case
for archiving
Build the business case for archiving the
Licensed Feature by comparing the Total Archiving
Cost with the Annual Baseline Cost (from Phase 2)
and consider any other arguments for and against.
Consult with Licence Partners
Consult with Licence Partners on the basis agreed
in Phase 1.
Decide whether to proceed with archiving
- Decide whether to
- Abandon the notion of archiving
- Return to Phase 3 to re-work costs
- Proceed to Phase 5
To Phase 5
108Archiving ProcessPhase 5
Implementation
OPERATORS TASK
DETAILS
From Phase 4
Complete an integrated Project Plan for Phase 5
implementation coordinating the processes for
extracting and providing data from the different
sources to the various destinations (via
intermediate steps as necessary)
Receive DTI Notice that archiving will bring
Relief from Obligation.
- Carefully co-ordinate implementation to ensure
that the correct actions are applied to the
correct data at the appropriate time - Data for DTI Gilmerton
- Initiate after DTI Notice received
- Data for the NHDA
- Initiate after DTI Notice received
- Meet timetable agreed with NHDA
- Data for disposal
- Delay until Relief of Obligation received from
DTI - Complete at Licensees own pace
Complete Project Plan
Implement project plan
Feed back learnings to NHDA and DTI
End
109Archiving ProcessPhase 5 Destinations
Licence Group
110The Business Case (1)
- Payback (in years) (Phase 1 to 4 Costs)
(Phase 5 Archiving Costs) - Annual Baseline Costs
- Costs can be recovered in 3 to 5 years (not
counting any partners savings) - Its the responsible thing to do
- Endorsed by PILOT and UKOOA
- The only certain way to remove the perpetual
retention obligation in the licence - DTI wants the process to be adopted voluntarily,
but...
111The Business Case (2)
- 2003 Archiving Project
- Very little incremental cost to get to Phase 4
- Payback Time is 2.7 to 4.6 years (for unilateral
action) - Accelerated Payback from acting as Licence Groups
- Activity
- BG and KMG are currently archiving
- BP, ChevronTexaco, Shell and Total likely to
start in Q2/2004 - New facilitated project for 2004
Total Archiving Cost
Baseline
Unilateral Action
Joint Action
112Remaining Challenges
2004/05
- Associating data with licences
- Tracking all licensees with obligations
- Proprietary rights and title
- Well and survey naming
- Cataloguing standards and quality
- Knowledge of the data
- Archiving data for Fields
- Exploration licenses
- Group Shoots
- Who acquired the data?
- Under which licence?
- Who has the data obligation?
- Who would get relief?
- Who has the data?
113In Summary
- An optional process, pre-empting a possible
regulatory obligation - The only certain way to escape from perpetual
obligations (and therefore perpetual costs) - Licence groups must act together to share the
costs and rewards - Theres a strong business case to archive
- Its a responsible thing to do anyway
- Companies have started to archive data
114For more information...
- Russell Hornzee russell.hornzee_at_dti.gsi.gov.uk
- Malcolm Fleming mfleming_at_cdal.com
- Archiving Handbook www.bgs.ac.uk/NHDA
115Questions and Answers
116QA NHDA
- Q.01 If Operators submit hardcopy 2D seismic to
the DTI in Gilmerton will they be relieved of
their obligation for this data? - A. The DTI has stopped collecting seismic data
and the only way relief of obligation can be
obtained for 2D seismic is through the archiving
process. The DTI intends to look more closely at
a process where by licensees could apply for
seismic data to be agreed as being redundant,
separate from the archiving process, but this is
not currently in place. - Q.02 The DTI expresses strong support for the
NHDA but its use is not mandatory why not? - A. The case for the NHDA is self-evident and has
support from UKOOA and PILOT. The DTIs current
position is that compulsion is unwarranted. - Q.03 Is relief from storage obligations given to
all Licensees ? - A. Yes. All licensees for a licence receive
relief from the DTI and the NHDA adopts
responsibility for the data. - Q.04 Have the costs of retrieving data from the
current data storage locations been included in
the estimates resulting in the quoted payback
periods? - A. Yes. Retrieval costs have been included in the
business case.
117QA NHDA
- Q.05 Where does the NHDA funding come from?
- A. The archiving company (normally the Operator)
will be responsible for (a) providing an
application fee, for BGS to undertake data
selection and calculate endowment costs, and (b)
providing a one off endowment at the time of
archiving, to cover the cost of placing the data
in the NHDA. These costs are covered by charges
made by the NHDA to the archiving company and its
partners. - The BGS parent body,the National Environmental
Research Council (NERC) has defined 7 data
centres to hold environmental, geoscientific and
other strategic datasets on behalf of the nation.
One of those defined is the National Geosciences
Data Centre (NGDC). Data acquired by the NHDA
will be maintained in perpetuity as part of the
NGDC. The NGDC is funded directly by the
Government Science budget - Q.06 Is there a feedback loop to the Data
Registry to show data that has been archived ? - A . Yes. The Data Owner on DEAL will be amended
and shown as the NHDA. - Q.07 How is data retrieved from the NHDA?
- A. Users will identify the required data on the
DEAL catalogue and place an order to the NHDA.
118QA NHDA
- Q.08 Does the panel appreciate that data quality
is not just copying to modern format, 90 of
surveys need remedial work? It is imperative
that this QC work is done if originals are to be
destroyed. - A. Yes. The panel recognises the importance of
seismic QC. - Q.09 What system is used in NHDA?
- A. The NHDA is not based on any commercial
system. The data model reflects the categories of
data as defined in the Archive Licence Dataset
listed in the Archive Handbook. Items are
structured in a file system whose attributes are
stored in the database and metadata is created
which maps to the categories of data
received. The system is implemented in the BGS
ORACLE database and is directly accessible via
the web using Cold Fusion scripting. It is
intended to use DEAL to link directly to the
appropriate URL string defined for data
categories and metadata so that users can select
archived features and find out directly the
datasets available from the NHDA
database. Digital well logs will be stored in the
RECALL system and logs will be dynamically linked
via appropriate attribute content. - Q.10 Is there a minimum set of data to be
supplied to NHDA? - A. The published Licence Data Selection List
provides guidance, but the final set is agreed on
a case by case basis by the NHDA and the
Licence Operator.
119QA NHDA
- Q.11 Why does selling Licence interest not always
relieve a company of its data obligation? - A. The situation is theoretical and unlikely, but
the Deed of Assignment by which such
transactions are done includes a provision
whereby liability reverts to the seller in the
event of default. This provision is intended to
cover eventualities such as decommissioning costs
but in theory applies equally in the event of
default on obligations with respect to Licence
Data. - Q.12 What happens if an interpretation is
deposited to the NHDA and someone subsequently
uses it and it proves to be false? - A. Data provided by the NHDA will carry an
indemnity. The same indemnity should be made
between the Operator and the NHDA at the time of
archive. - Q.13 If added value datasets are archived (e.g.
AVO cubes, seismic gathers) can the NHDA
guarantee that the former data owners will be
able to retrieve these 10 years on ? - A. The NHDA does not intend to provide a storage
alternative for companies in this way. The
Archive Licence Dataset as presently defined
would be retained in perpetuity, but the
NHDA does not have any obligation to retain data
that falls outwith the scope of this dataset.
120QA NHDA
- Q.14 What is the key lesson learnt by BG in the
Archive Project ? - A. The most valuable lesson was the importance of
keeping Licence Data in a good state then the
whole archive process goes a lot more smoothly. - Q.15 The payback periods look optimistic - is
re-mastering (e.g. from 9-track) included? - A. Yes. The payback costs for the archive project
Licences include re-mastering costs. - Q.16 What would happen if a company decided not
to archive due to costs ? - A. There would be some further discussion and
negotiation around the selection made by the
NHDA. If these fail then the Licensees would
simply continue to meets their obligations by
retaining all Licence Data in perpetuity and
satisfying any DTI requests for the data. - Q.17 Why is it so difficult to relate the
ownership of seismic surveys to licences? - A. A seismic survey over a specific geographical
area could have been acquired by several means
(for example under a Production Licence, as spec.
data under an Exploration Licence, as open
access proprietary data under an Exploration
Licence, as part of a group shoot, as courtesy
data or as a seismic trade). The DTI now has a
database that links surveys to Licences now that
PON14a close-out notices are required however,
more detective work is needed for legacy data
acquired since the PON9 Annual Return forms
were neither routinely submitted by all Licensees
nor policed by the DTI.
121QA NHDA
- Q.18 Do you have a schedule or an upper limit for
the number of licensed features that you plan to
archive in 2005 and beyond? Or are you gong to
resource and deal with the volume as and when it
happens? - A. The BGS business model for the NHDA is based
on archiving data from at least 4 fields and 16
licences in each calendar year for the next 5
years. DTI will use best endeavours at all times
to convince sufficient Licensees to submit data
to the archive to at least meet the level of
activity required by the business model.
122PON 9 Workshop 7. Panel Session
123The Panel Any Questions?
- PON9 Overview Jackie Banner, DTI
- DEAL Data Registry Peter McCartney, CDA
- Data Standards Stewart Robinson, DTI
- NHDA Malcolm Fleming, CDA
- John McInnes, BGS
- Peter Kennedy, BP (Aberdeen)
- Jenni McDonnell, BG (London)
124PON 9 Workshop 8. Summary Next Steps Russell
Hornzee, DTI Malcolm Fleming, CDA
125Summary Next Steps
- Revise and reissue
- PON9
- Data Standards
- Other?
- Slides available
- Latest May 21st from DTI, DEAL and CDA sites
- Feedback
- Other Actions?
126Thank you...
- Contact details
- Jackie Banner jackie.banner_at_dti.gsi.gov.uk
- Russell Hornzee russell.hornzee_at_dti.gsi.gov.uk
- Stewart Robinson stewart.robinson_at_dti.gsi.gov.uk
- Peter McCartney pmccartney_at_cdal.com
- Malcolm Fleming mfleming_at_cdal.com
- John McInnes jlmc_at_bgs.ac.uk
127PON 9 Workshop 9. Attendees
128Attendance List