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COGIS DB

 
Facility TypeFacility ID/
API
Facility Name/
Number
Operator Name/
Number
StatusField Name/
Number
LocationLocation IDRelated Facilities
WELL05-045-11550Battlement Mesa
33B-35-795
CAERUS PICEANCE LLC
10456
AL
8/3/2020
PARACHUTE
67350
GARFIELD  045
NWSW 35 7S95W 6
416986View Related
 
COGIS - Conditions of Approval Results
TypeSource DocumentConditions of Approval
EngineerForm: (02)
400952310
01/14/2016
(1) Operator shall comply with the most current revision of the Northwest Notification Policy. (2) Operator shall comply with the most current revision of the Garfield County Rulison Field Notice to Operators, with the following exception: All field notice requirements specified in that Notice to Operators are superseded by the requirements of the most current revision of the Northwest Colorado Notification Policy (see Condition of Approval #1). (3) Operator shall provide cement coverage from the production casing shoe to a minimum of 200' above all Mesa Verde Group (and Ohio Creek Formation, if present) oil, gas, and water-bearing sandstone and coalbed formations. Verify production casing cement coverage with a cement bond log. (4) In lieu of the standard Form 42 spud notice required by the Northwest Notification Policy, submit Form 42 Rulison SAP - Spud Notice, specifying the bottom hole location sector and tier. (5) Operator shall comply with all provisions of the most recent COGCC-approved revision of the Rulison Sampling and Analysis Plan. (6) Operator shall provide complete well-specific emergency contact information to COGCC via email prior to spudding this well. DNR_Rulison.Submittal@state.co.us (7) The operator will perform an anti-collision evaluation of all active (producing, shut in, or temporarily abandoned) offset wellbores that have the potential of being within 150 feet of a proposed well prior to drilling operations for the proposed well. Notice shall be given to all offset operators prior to drilling. Operator shall also review COGCC Operator Guidance: Form 2 Instructions – STATEWIDE WELLBORE COLLISION PREVENTION – Rule 317.r
PermitForm: (02)
400952310
03/15/2016
Approval of this refile APD does not provide relief from compliance with the COGCC Reclamation Rules.
EngineerForm: (02)
401510310
04/17/2018
1) Operator shall comply with the most current revision of the Northwest Notification Policy. 2) Operator shall comply with the most current revision of the Garfield County Rulison Field Notice to Operators, with the following exception: All field notice requirements specified in that Notice to Operators are superseded by the requirements of the most current revision of the Northwest Colorado Notification Policy (see Condition of Approval #1). 3) Operator shall provide cement coverage from the production casing shoe (4+1/2" FIRST STRING) to a minimum of 200' above the Lower Wasatch (as defined by COGCC in the report "Casing and Cement Standards for Geologic Isolation Piceance Basin Bradenhead Monitoring Area and Nearby Fields," dated April 18, 2016, COGCC Document No. 2056199, Appendix A Field Scout Cards and Annotated Type Logs) to provide isolation of the Lower Wasatch, all Mesaverde Group formations including the Ohio Creek Formation, and underlying formations, if penetrated. Verify production casing cement coverage with a cement bond log. 4) In lieu of the standard Form 42 spud notice required by the Northwest Notification Policy, submit Form 42 Rulison SAP - Spud Notice, specifying the bottom hole location sector and tier. 5) Operator shall comply with all provisions of the most recent COGCC-approved revision of the Rulison Sampling and Analysis Plan. 6) Operator shall provide complete well-specific emergency contact information to COGCC via email prior to spudding this well. Rulison.Submittal@state.co.us
PermitForm: (02)
401510310
04/18/2018
Operator shall comply with Notice to Operators: Interim Reclamation Procedures for Delayed Operations (dated January 5, 2017).
 
COGIS - Best Management Practice Results
BMP TypeSource DocumentBest Management Practices
PlanningForm: (02 )
400952310
3/21/2016
In compliance with Rule 317.p the first well that is operationally feasible on the Battlement Mesa 35L-795 pad will be logged with an open-hole Resistivity Log and Gamma Ray Log from TD into the surface casing. All wells on the pad will have a Cement Bond Log with cased-hole Gamma Ray run on the production casing. The Form 5 Completion Report will list all the logs run in the subject well and identify the well that was logged with the open-hole Resistivity Log.
Drilling/Completion OperationsForm: (02 )
400952310
3/21/2016
Caerus Operating LLC will adhere to the COGCC Policy for Bradenhead Monitoring effective May 29, 2012.
PlanningForm: (02 )
401510310
7/27/2018
The first well drilled on the Battlement Mesa 35L-795 Pad will be logged with an open-hole Resistivity Log and Gamma Ray Log from TD into the surface casing. All wells on the pad will have a Cement Bond Log with cased-hole Gamma Ray run on the production casing. The Form 5 Completion Report will list all the logs run in the subject well and identify the well that was logged with the open-hole Resistivity Log.
Drilling/Completion OperationsForm: (02 )
401510310
7/27/2018
Caerus Operating LLC will adhere to the COGCC Policy for Bradenhead Monitoring effective May 29, 2012.