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COGIS DB

 
Facility TypeFacility ID/
API
Facility Name/
Number
Operator Name/
Number
StatusField Name/
Number
LocationLocation IDRelated Facilities
WELL05-057-06611SU 0680
12-9H16
FULCRUM ENERGY OPERATING LLC
10805
PR
11/1/2024
NORTH PARK HORIZONTAL NIOBRARA
60120
JACKSON  057
NENW 9 6N80W 6
445005View Related
 
COGIS - Conditions of Approval Results
TypeSource DocumentConditions of Approval
EngineerForm: (02)
401733694
10/29/2018
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. 3) Oil-based drilling fluid is to be used only after all fresh water aquifers are covered. 4) Operator acknowledges the proximity of the listed non-operated wells. Operator assures that this offset list will be remediated per the Horizontal Offset Policy (option 4). Operator will submit a Form 42 (“OTHER – AS SPECIFIED BY PERMIT CONDITION”) stating that appropriate mitigation will be completed, during the hydraulic stimulation of this well. This Form 42 shall be filed 48 hours prior to stimulation. Operator will assure that the well’s Bradenhead is open and monitored during the entire stimulation treatment – a person will monitor for any evidence of fluid, a Bradenhead test will be performed prior to the beginning of stimulation. SURPRISE UNIT 2-08H (API 05-057-06526) 5) The Operator shall monitor the bradenhead pressure of all wells under Operator’s control within 300 feet of the well which is to be treated, provided such other wells penetrate the productive zone which is to be treated. This offset monitoring will be required for any well stimulated on this pad. If at any time during the Treatment or the 24-hour post-stimulation period, the bradenhead annulus pressure of the Treatment well or any of the monitored offset wells increases by more than 200 psig, the Operator of the well being treated shall notify the Director by Form 42, as soon as practicable, but no later than twenty-four (24) hours following such incident. Within fifteen (15) days after the occurrence, the Operator or Adjacent Operator(s), as the case may be, shall submit a Sundry Notice, Form 4, giving all details, including corrective actions taken.
EngineerForm: (02)
401911743
01/24/2019
COA for the -00 permit apply to this -01 permit.
EngineerForm: (04)
401946450
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.
EngineerForm: (04)
402293300
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
EngineerForm: (04)
402522962
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.
EngineerForm: (04)
402522962
01/29/2021
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 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 SU 0680 12-9H16 well and the two additional wells at the Surprise Unit 9 Pad. Gondola will install a JT Unit and one natural gas-powered Waukasha driven 240 KW generator on the 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 Big Horn Pad where Gondola will be installing a mobile data center and energy intensive computing facilities located on the Bighorn Pad. Gondola anticipates this arrangement to be deployed and operational by year end. well and the two additional wells at the Surprise Unit 9 Pad. Gondola will install a JT Unit and one natural gas-powered Waukasha driven 240 KW generator on the 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 Big Horn Pad where Gondola will be installing a mobile data center and energy intensive computing facilities located on the Bighorn Pad. Gondola anticipates this arrangement to be deployed and operational by year end.
EnvironmentalForm: (04)
402891231
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.
 
COGIS - Best Management Practice Results
BMP TypeSource DocumentBest Management Practices
Drilling/Completion OperationsForm: (02 )
401733694
10/31/2018
Logging: 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 gammaray 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.