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COGIS DB

 
Facility TypeFacility ID/
API
Facility Name/
Number
Operator Name/
Number
StatusField Name/
Number
LocationLocation IDRelated Facilities
WELL05-005-07244Eastern Hills
4-65 17-18 3H_D
BURLINGTON RESOURCES OIL & GAS LP
26580
AL
10/8/2018
WILDCAT
99999
AURORA/ARAPAHOE  005
SENE 17 4S65W 6
442614View Related
 
COGIS - Conditions of Approval Results
TypeSource DocumentConditions of Approval
EngineerForm: (02)
400824704
07/12/2015
PILOT HOLE 1) Submit Form 42 electronically to COGCC 48 hours prior to MIRU. 2) Run and submit Directional Survey from TD to base of surface casing. FOR LATERAL 3) Comply with Rule 317.i and provide cement coverage from end of 7” casing to a minimum of 200' above Niobrara. Verify coverage with cement bond log. 4) Comply with Rule 321. Run and submit Directional Survey from TD to base of surface casing. Ensure that the wellbore complies with setback requirements in commission orders or rules prior to producing the well.
EngineerForm: (02)
401385911
04/30/2018
1) Submit Form 42 electronically to COGCC 48 hours prior to MIRU for the first well activity with a rig on the pad and provide 48 hour spud notice via Form 42 for all subsequent wells drilled on the pad. 2) Comply with Rule 317.j. and provide cement coverage from TD to a minimum of 200' above Niobrara. Verify coverage with cement bond log. Bradenhead tests shall be performed and reported according to the following schedule and Form 17 submitted within 10 days of each test: 1) Within 60 days of rig release, prior to stimulation. If any pressure greater than 200 psi, must contact COGCC engineer prior to stimulation. 2) 6 months after rig release, prior to stimulation (delayed completions). 3) Within 30 days of first production, as reported on Form 5A.
PermitForm: (02)
401385911
05/07/2018
Operator will insure the wellbore beyond the unit boundary setback is physically isolated and is not completed. In the Operator Comments on the Form 5A the operator will (1) report the footages from the section lines of the bottom of the completed interval (2) describe how the wellbore beyond the unit boundary setback is physically isolated and (3) certify that none of the wellbore setback was completed.
 
COGIS - Best Management Practice Results
BMP TypeSource DocumentBest Management Practices
General HousekeepingForm: (02 )
400824704
7/24/2015
All surface trash, debris, scrap or discarded material will be removed daily or weekly as necessary and in a legal manner.
Storm Water/Erosion ControlForm: (02 )
400824704
7/24/2015
Storm Water Management Plan (SWMP) will be in place to address construction, drilling and operations associated with oil and gas development through the state of Colorado in accordance with CDPHE General Permit Rules. BMP’s will vary according to location and will remain in place until the pad reaches final reclamation.
Material Handling and Spill PreventionForm: (02 )
400824704
7/24/2015
Spill prevention control and countermeasure plan is in place to address construction, drilling and operations associated with oil and gas development throughout the state of Colorado in accordance with CFR 112.
Drilling/Completion OperationsForm: (02 )
400824704
7/24/2015
Open-hole Resistivity Log with Gamma Ray Log will be run from the kick-off point into the surface casing. A Cement Bond Log with Gamma-Ray will be run on production casing, or on intermediate casing if a production liner is run. The horizontal portion of the wellbore will be logged with a measured-while-drilling gamma-ray log. The Form 5, Completion Report, will list all logs run and have those logs attached.
Drilling/Completion OperationsForm: (02 )
400824704
7/24/2015
Preferred Option: It is the intent of the County that operators utilize closed-loop or modified closed-loop systems for drilling and completion operations in order to minimize or eliminate the need for earthen pits; however, notwithstanding the foregoing, where appropriate, and subject to prior County approval, the County generally supports: 1) the use of unlined drilling pits when bentonite or a similar clay additive is used during the drilling process, and 2) the use of lined single- or multi-well water storage pits in order to minimize the transport of water and promote recycling, subject to the requirements set forth in this subsection. Permitted modified closedloop systems include oil and gas wells where air or fresh water is used to drill through the surface casing interval, defined as fifty (50) feet below the depth of the deepest aquifer, and a closed loop system is used for the remainder of the drilling and/or completion or recompletion procedures. Multi-well pits are defined as lined, engineered pits, constructed over an engineered base, with construction or liner specifications meeting or exceeding Commission pit lining rules, that will serve the functions of drilling, completion, and/or flowback pits for more than one well.
General HousekeepingForm: (02 )
400826589
7/29/2015
All surface trash, debris, scrap or discarded material will be removed daily or weekly as necessary and in a legal manner.
Storm Water/Erosion ControlForm: (02 )
400826589
7/29/2015
Storm Water Management Plan (SWMP) will be in place to address construction, drilling and operations associated with oil and gas development through the state of Colorado in accordance with CDPHE General Permit Rules. BMP’s will vary according to location and will remain in place until the pad reaches final reclamation.
Material Handling and Spill PreventionForm: (02 )
400826589
7/29/2015
Spill prevention control and countermeasure plan is in place to address construction, drilling and operations associated with oil and gas development throughout the state of Colorado in accordance with CFR 112.
Drilling/Completion OperationsForm: (02 )
400826589
7/29/2015
Open-hole Resistivity Log with Gamma Ray Log will be run from the kick-off point into the surface casing. A Cement Bond Log with Gamma-Ray will be run on production casing, or on intermediate casing if a production liner is run. The horizontal portion of the wellbore will be logged with a measured-while-drilling gamma-ray log. The Form 5, Completion Report, will list all logs run and have those logs attached.
Drilling/Completion OperationsForm: (02 )
400826589
7/29/2015
Preferred Option: It is the intent of the County that operators utilize closed-loop or modified closed-loop systems for drilling and completion operations in order to minimize or eliminate the need for earthen pits; however, notwithstanding the foregoing, where appropriate, and subject to prior County approval, the County generally supports: 1) the use of unlined drilling pits when bentonite or a similar clay additive is used during the drilling process, and 2) the use of lined single- or multi-well water storage pits in order to minimize the transport of water and promote recycling, subject to the requirements set forth in this subsection. Permitted modified closedloop systems include oil and gas wells where air or fresh water is used to drill through the surface casing interval, defined as fifty (50) feet below the depth of the deepest aquifer, and a closed loop system is used for the remainder of the drilling and/or completion or recompletion procedures. Multi-well pits are defined as lined, engineered pits, constructed over an engineered base, with construction or liner specifications meeting or exceeding Commission pit lining rules, that will serve the functions of drilling, completion, and/or flowback pits for more than one well.
Drilling/Completion OperationsForm: (02 )
401385911
5/15/2018
One of the first wells drilled on the pad will be logged with open-hole Resistivity Log and Gamma Ray Log from the kick-off point into the surface casing. All wells on the pad will have a cement bond log with gamma-ray run on production casing (or on intermediate casing if production liner is run) into the surface casing. The horizontal portion of every well will be logged with a measured-while-drilling gamma-ray log. The Form 5, Completion Report, for each well on the pad will list all logs run and have those logs attached. The Form 5 for a well without open-hole logs shall clearly state “No open-hole logs were run” and shall clearly identify (by API#, well name & number) the well in which open-hole logs were run.