| Engineer | Form: (02) 401021643 06/08/2016 | 1)Operator shall comply with the most current revision of the Northwest Notification Policy.
2) Operator shall provide cement coverage from the production casing shoe (5+1/2" First String) to a minimum of 200' above the surface casing shoe to provide full isolation of the Coalmont Formation. Verify production casing cement coverage with a cement bond log. |
| Engineer | Form: (04) 401946459 03/07/2019 | 1) Comply with all requirements of Rule 912, including monthly reporting of flared volumes (on Form 7) and notifications to local emergency dispatch or the local government designee.
2) Submit annual updates (requests to flare) to COGCC on Form 4s (Sundry Notices), including all information specified in COGCC’s "Notice to Operators, Rule 912 Venting or Flaring Produced Natural Gas - Statewide."
3) Comply with any Colorado Department of Public Health and Environment, Air Pollution Control Division rules or requirements for all atmospheric discharges.
4) An enclosed flare shall be used, unless an open flare is specifically allowed by CDPHE’s Regulation 7.
5) With the next annual update (request to flare), collect a new gas sample for laboratory analysis including hydrogen sulfide and submit a Form 43 to upload the laboratory results to the COGCC Environmental Database. Form 43 instructions are on COGCC’s website under Regulation => Forms => Form 43 COGCC Environmental Database.
|
| Engineer | Form: (04) 402293307 02/12/2020 | 1) Comply with all requirements of Rule 912, including monthly reporting of flared volumes (on Form 7) and notifications to local emergency dispatch or the local government designee.
2) Submit annual updates (requests to flare) to COGCC on Form 4s (Sundry Notices), including all information specified in COGCC’s "Notice to Operators, Rule 912 Venting or Flaring Produced Natural Gas - Statewide." Next sundry request due 1/23/2021.
3) Comply with any Colorado Department of Public Health and Environment, Air Pollution Control Division rules or requirements for all atmospheric discharges.
4) An enclosed flare shall be used, unless an open flare is specifically allowed by CDPHE’s Regulation 7.
5) With the next annual update (request to flare), collect a new gas sample for laboratory analysis including hydrogen sulfide and submit a Form 43 to upload the laboratory results to the COGCC Environmental Database. Form 43 instructions are on COGCC’s website
|
| UIC | Form: (04) 402310093 12/23/2020 | Operator required to repeat this analysis in 5 years from the sample date here = 5/30/2019. Unless there is a significant change in the water being injected, such as addition of new producing formations in the source water, the next sample is due 5/30/2024. If there is a significant change in the water to be injected then a new sample will be required. See the new 800 Series Rules that become effective 1/15/2021. The 2024 sample will be required to be submitted by EDD; Electronic Data Deliverable. |
| Engineer | Form: (04) 402522782 01/27/2021 | Following the anticipated acquisition of certain assets owned and operated by SandRidge Energy in Jackson County, Colorado, SandRidge acknowledges Gondola Resources plans to modify SandRidge’s pending Gas Capture Plan for the Ray Ranch 0780 2-16H well and one additional well at the Ray Ranch Pad. Gondola will install a CAT driven 250 KW generator at the Ray Ranch Pad and use natural gas from the wells to power the engines on the pad. This work is expected to commence in the Spring of 2021 and conclude in the Summer of 2021. Remaining gas volumes will be routed to the Pintail SWD Pad. Gondola anticipates this arrangement to be deployed and operational by Summer 2021. |
| Engineer | Form: (04) 402522782 01/29/2021 | 1) Flaring of natural gas shall comply with COGCC Rule 903.
2) Report metered volumes on Form 7, Operator’s Monthly Report of Operations for gas flared, sold or used on location.
3) The operator is required to obtain and maintain any required air permits from CDPHE.
4) The expectation for permanent flares controlling separators or residual gas will be an enclosed combustion device with a 98% design destruction efficiency for hydrocarbons. Operator shall manage this well so that production volumes do not exceed the combustor capacity.
5) Operator is to provide prior notification to the local emergency dispatch or the local governmental designee of any flaring or venting event.
Operator shall have an approved a Gas Capture Plan or have sought and received a variance from the COGCC Commission for continued production without gas infrastructure, prior to January 15, 2022 or wells must be shut in by January 15, 2022.
|
| Environmental | Form: (04) 402890837 12/10/2021 | Because the Form 9 -Transfer of Ownership has not been approved by COGCC Staff, the operator’s Form 43(s) for this well will be due 30 days from the date the Form 9 is approved. |
| Engineer | Form: (04) 403006749 03/30/2023 | Resubmitted. Bradenhead tests on 5/11/22 and 12/15/22 showed SCP=0 and no flow. Monitor monthly and perform annual Bradenhead tests taking care to ensure gauges and piping are not frozen.
|
| Engineer | Form: (04) 404400692 01/19/2026 | This well last produced in 11/2023 and until recently had been reported as SI. The well is Inactive and is therefore subject to 434.c. Within 6 months of that designation, the well must be,
1) Returned to production,
2) Plugged and abandoned,
3) Noticed inactive with a Form 5B,
4) Designated Out of Service with a Form 6A.
The 6 month period to act has expired and one of the following actions must be completed by 4/28/2026. |