Title: Onshore Oil
1Onshore Oil Gas Order 1
- BLM/Forest Service Final Rule
2Onshore Oil Gas Order 1
- Ken McMurrough
- NRS BLM, Colorado State Office
- 303-239-3642 (x3799 fax)
- hugh_mcmurrough_at_blm.gov
- Hank Szymanski 303-239-3797
- Hank_Szymanski_at_blm.gov
3OverviewOnshore Oil Gas Order No. 1
- Authority
- This rule, effective April 6, 2007, revised the
existing OO1 which supplemented primarily the
federal regulations at 43 CFR 3162.3 and 3162.5. - Purpose - Approval of Operations of Federal and
Indian Oil and Gas Leases - The purpose of OO1 is to state the application
requirements for the approval of all proposed oil
and gas and service wells, certain subsequent
well operations, and abandonment.
4OverviewOnshore Oil Gas Order No. 1
- Defines terms
- Components of APD
- Time line
- Approval requirements
- Split estate
- Indian leases
- Reclamation/Abandonment
- Appeals
5BackgroundReasons for Revision of Previous Order
- Leasing Reform Act of 1987
- Energy Policy Act of 2005
- Update for Current Practices
- Split estate policy
- Cultural wildlife inventory
- Right of Way coordination
- Master development plans, directional drilling
- Best Management Practices
6BackgroundStatus
- Proposed rule Published July 2005
- Energy Policy Act Signed August 2005
- Further proposed rule Published March 2006
- Public comments Received nearly 90 from
industry, interest groups and the public at large - Final rule March 7, 2007
7BackgroundMajor Revisions
- Process time line
- Section 366, Energy Policy Act of 2005
- Requires compliance with applicable law
- Define terms
- Complete APD
- Onsite inspection included
- Cultural wildlife Inventories not included
- Geo-referenced well plat
8BackgroundMajor Revisions (continued)
- Split estate
- Operator provides SUPO COAs to surface owner
- Bond compensation for loss or damages for access
based on statutory requirements on patented lands
(min 1000) - Onsite inspection
- 15 day requirement eliminated
- Onsite required for complete APD
- Valid period for APD
- Changed to 2 years with 2 year extension
9BackgroundControversial Issues
- Time line
- Onsite inspection required
- Required for complete APD
- NEPA, NHPA, ESA compliance
- Potential delays no definite time to process
- APD may be deferred or denied within 30 day after
complete APD submittal
10BackgroundControversial Issues (continued)
- Valid period for APD
- 2 years with 2 year extension
- Split estate
- SUPO COAs provided to surface owner
- Good Faith Effort vs mandatory notification
- What is a good faith effort
- Bonding for access
- Compensation based on loss or damages or
- as required by specific statutory authority
11SpecificsDefinitions, New or Revised
- Best Management Practices
- Casual Use
- COA
- Complete APD
- Days
- Emergency Repairs
- Geospatial Database
- Master Development Plan
- Onsite Inspection
- Private Surface Owner
- Reclamation
- Surface Managing Agency
12SpecificsGeneral
- Read the preamble first if you have questions
- Early notification is new (initial planning
conference) is voluntary, precede NOS - Best Management Practices, something we have been
doing for decades, are strongly recommended
13SpecificsNotice Of Staking Option
- Provides operator opportunity to gather
information to address site-specific resource
concerns while preparing the APD package. - 10 days after receiving NOS, an onsite inspection
will be scheduled to take place as soon as
weather conditions permit. - Minimum staking required 1) center stake for
proposed well, 2) 2 reference stakes, 3) flagged
access centerline. - BLM will invite surface managing agency (SMA) and
surface owner, if applicable.
14SpecificsGeneral
- Geospatial database, required for well plat
- Operator must make a Good Faith Effort 1)
notify the private surface owner for access, 2)
provide operator with SUPO COA, 3) obtain
surface access agreement - Casual Use further explained, includes surveying
and staking
15Specifics9-point Drilling Plan
- More complete casing and cementing information
- Added language for directional drilling
16Specifics12-point Surface Use Plan
- Geospatial data optional
- Additional staking required over that used for an
NOS - Certify or Good Faith Effort made to get the SUPO
to the private surface owner (11) - Moved Certification out of SUPO, it now stands
alone as a required APD component
17SpecificsBonding
- Bond increase and phased release (lease bond
only) are now in the Order - BLM requires sufficient bond to restore surface
adversely affected by lease operations after
abandonment - Authority to require additional bond to be
applied to off-lease facilities required to
develop a lease
18SpecificsNOS Processing Time Line
- Onsite scheduled within 10 days
- List of Concerns provided at onsite or within 7
days - Submit APD within 60 days or NOS may be returned
19SpecificsAPD Processing Time Line
- 10-Day letter for APD completeness notification
- Onsite scheduled within 10 days (unless NOS
onsite conducted) - Additional Deficiencies provided at onsite
- 45 days to submit additional information
- 30 days for BLM decision after complete APD
submitted - Decision to Approve, Defer, or Deny APD
20SpecificsAPD Permit Deferral
- BLM will provide the operator a list of pending
actions and a schedule for completion before
final APD approval can be granted - BLM will inform the operator of the actions they
could take to assist - The operator has 2 years to take the specified
actions - BLM will approve the APD within 10 days after all
actions are complete
21SpecificsAPD Approval
- FS has NEPA responsibility on the Forest
- On the Forest, BLM should be a cooperating agency
(Co-lead) and adopt the NEPA analysis as a basis
for its decision - On Indian lands, BLM may be a cooperating agency
(Co-lead) OR may adopt the NEPA analysis prepared
by the BIA
22SpecificsMaster Development Plans
- Eliminated Master Drilling Plans
- Master development plan (MDP) for 2 or more APDs
with common drilling plan, SUPO and POD. - Subsequent APDs can reference the MDP for NEPA
analysis - Each subsequent proposed well must have a survey
plat and an APD Form (3160-3)
23SpecificsOperator Responsibilities
- Section IV, General Operating Requirements
Operator responsibilities discussed - includes
requirements for - NEPA
- General operations
- Protecting cultural historic resources
- Protecting endangered species their habitat
- Surface protection
- Safety
- Completion reports
24SpecificsCompletion Reports
- Well logs submitted in electronic format
- For directional wells be sure to report the
bottom hole lat/long locations (at top of
production interval and at total depth)
25SpecificsPrivate Surface
- Certify to BLM that a Good Faith Effort has been
made to notify the private surface owner before
entry - Certify to BLM that a surface use or access
agreement has been reached or a Good Faith Effort
made - Certify copy of SUPO COA provided to private
surface owner or a Good Faith Effort made
26SpecificsSubsequent Operations
- NOI required for new construction,
re-construction, or alterations that result in
new disturbance. - If no existing approved plan exists, an NOI must
be filed approved by the BLM. New field
inspection may be required additional cultural
or biological inventories may be required. - Split Estate - Operator must certify that good
faith effort made to provide private surface
owner a copy of any proposal for new surface
disturbance.
27SpecificsWell Conversions
- Order includes a more complete explanation of
well conversions - Added a section on conversion to an injection well
28SpecificsWaivers, Exceptions, Modifications
- Waiver Permanent removal of lease stipulation.
- Exception Case-by-case exemption from lease
stipulation. - Modify Permanent change to lease stipulation
- Request should also include information to
support that the stipulation no longer justified
or the proposed operation would not cause
unacceptable impacts.
29SpecificsAbandonment
- 6 months to complete earthwork (weather
permitting) after well completion/plugging - May be difficult on multi-well pad
- An agreement between the SMA or private surface
owner and the operator necessary before assuming
improvements (roads, pads, other)
30SpecificsAppeals
- FS SUPO subject to FS appeal requirements
- BIA decisions subject to BIA appeal requirements
31Thoughts, Comments?
- Onshore Oil and Gas Order Number 1, Approval of
Operations - Federal Register, Volume 72, Page 10308-10338
(72FR10308), Wednesday, March 7, 2007 - Effective May 7, 2007