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COGIS DB

 
Facility TypeFacility ID/
API
Facility Name/
Number
Operator Name/
Number
StatusField Name/
Number
LocationLocation IDRelated Facilities
WELL05-123-36795HOWARD
30N-21HZX
KERR MCGEE OIL & GAS ONSHORE LP
47120
SI
1/1/2023
WATTENBERG
90750
WELD  123
SESW 21 1N67W 6
317564View Related
 
COGIS - Conditions of Approval Results
TypeSource DocumentConditions of Approval
EngineerForm: (02)
400370868
01/23/2013
1)Provide notice of MIRU via an electronic Form 42. 2)Comply with Rule 317.i and provide cement coverage from the 7” casing TD to a minimum of 200' above the Niobrara and from 200’ below Sussex to 200’ above Sussex. Verify coverage with a cement bond log per Rule 317.o.
EngineerForm: (02)
400497816
10/29/2013
1) Comply with Rule 317.i and provide cement coverage from TD to a minimum of 200' above Niobrara. Verify coverage with cement bond log. 2) 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: (04)
403175665
11/04/2022
1) Provide electronic Form 42 Notice of MIRU 2 business days ahead of operations. 2) Operator shall implement measures to control venting, to protect health and safety, and to ensure that vapors and odors from well plugging operations do not constitute a nuisance or hazard to public welfare.
PermitForm: (06)
404422262
11/10/2025
Submit Operator's Monthly Production Reports (Form 7) required for compliance with Rule 413 within 30 days. Production reporting delinquent for 00 wellbore 6/2013-current. Was this AB? The 5A said TA.
OGLAForm: (06)
404422262
11/11/2025
COA's provided by the operator as Best Management Practices under Technical Detail / Comments: Signage for P&As: Prior to commencing operations, Kerr McGee will post signs in conspicuous locations.  The signs will indicate plugging and abandonment operations are being conducted, the well name, well, and the Operator’s contact information.  Signs will be placed so as not to create a potential traffic hazard. Notifications: Courtesy notifications will be sent to all parcel owners with building units within 1,500 feet of the location letting them know about out plugging and abandonment operations and providing contact information for Kerr McGee's response line and online resources. Wellbore Pressure: In some cases, wellbore pressure drawdown operations may occur approximately 1-2 days prior to Move In Rig Up (MIRU) of the workover rig. This is conducted to allow for reduced time that the workover rig is needed on location. These operations will be conducted in accordance with Form 4 and/or Form 6 requirements. Water: Water will be placed on dirt access roads to mitigate dust as needed. Lighting: Operations are daylight-only; no lighting impacts are anticipated from operations. Noise: Operations will be in compliance with Table 423-1 requirements. Based off the rig sound signature, rig orientation will be considered to reduce noise levels to nearby building units. Environmental Concerns: This location was reviewed using a desktop method to review publicly available wildlife data (including CPW & ECMC data) as well as internal wildlife datasets and aerial imagery. All field personnel are trained to identify wildlife risks and raise concerns noticed during operations with the KMOG Health, Safety, and Environment (HSE) department.
OGLAForm: (06)
404422262
11/11/2025
Due to proximity to a wetland and potential surface water, operator will use secondary containment for all tanks and other liquid containers. Operator will implement stormwater BMPs and erosion control measures as needed to prevent sediment and stormwater runoff from entering the wetland and surface water.
EngineerForm: (06)
404422262
12/01/2025
Prior to starting plugging operations a bradenhead test shall be performed if there has not been a reported bradenhead test within the 60 days immediately preceding the start of plugging operations. 1) If, before opening the bradenhead valve, the beginning pressure is greater than 25 psi, sampling is required. 2) If pressure remains at the conclusion of the test, or if any liquids were present during the test, sampling is required. The Form 17 shall be submitted within 10 days of the test. Sampling shall comply with Operator Guidance - Bradenhead Testing and Reporting Instructions. If samples are collected, copies of all final laboratory analytical results shall be provided to the ECMC within three (3) months of collecting the samples. If there is a need for sampling, contact ECMC engineering for verification of plugging procedure.
EngineerForm: (06)
404422262
12/01/2025
Operator shall implement measures to control venting, to protect health and safety, and to ensure that vapors and odors from well plugging operations do not constitute a nuisance or hazard to public welfare.
EngineerForm: (06)
404422262
12/01/2025
Consistent with Rule 911.a, a Form 27 must be approved prior to cut and cap, conducting flowline abandonment, or removing production equipment. Allow 30 days for Director review of the Form 27; include the Form 27 document number on the Form 44 for offsite flowline abandonment (if applicable) and on the Form 6 Subsequent. Properly abandon flowlines per Rule 1105. If flowlines will be abandoned in place, include details with the Form 27.
EngineerForm: (06)
404422262
12/01/2025
1) Provide electronic Form 42 Notice of MIRU 2 business days ahead of operations and electronic Form 42 Notice of Plugging Operations 48 hours prior to mobilizing for plugging operations. These are two separate notifications, required by Rules 405.e and 405.l. 2) Prior to placing cement above the base of the Upper Pierre (1901') : verify that all fluid (liquid and gas) migration has been eliminated. If evidence of fluid migration or pressure remains, contact ECMC Engineer for an update to plugging orders. 3) Pump surface casing shoe plug only after isolation has been verified. If surface casing cement is not circulated to surface, shut-in, WOC 4 hours then tag plug – must be at 886’ or shallower and provide a minimum of 10 sx plug at the surface. 4) Leave at least 100’ of cement in the wellbore for each plug without mechanical isolation. 5) After surface plug and prior to cap, verify isolation by either a 15 minute bubble test or 15 minute optical gas imaging. If there is indication of flow contact ECMC Engineering. Provide a statement on the 6SRA which method was used and what was observed. Retain records of final isolation test for 5 years. 6) With the Form 6 SRA operator must provide written documentation which positively affirms each COA listed above has been addressed.
 
COGIS - Best Management Practice Results
BMP TypeSource DocumentBest Management Practices
Drilling/Completion OperationsForm: (02 )
400370868
2/15/2013
“Prior to drilling operations, Operator may perform an anti-collision review of existing offset wells that have the potential of being within close proximity of the proposed well. This anti-collision review may include MWD or gyro surveys and surface locations of the offset wells with included error of uncertainty per survey instrument, and compared against the proposed wellpath with its respective error of uncertainty. If current surveys do not exist for the offset wells, Operator may have gyro surveys conducted to verify bottomhole location. The proposed well may only be drilled if the anti-collision review results indicate that the risk of collision is sufficiently low as defined by the anti-collision plan, with separation factors greater than 1.5, or if the risk of collision has been mitigated through other means including shutting in wells, plugging wells, increased drilling fluid in the event of lost returns or as is appropriate for the specific situation. In the event of an increased risk of collision, that risk will be mitigated to prevent harm to people, the environment or property. For the proposed well, upon conclusion of drilling operations, an as-constructed directional survey will be submitted to COGCC with the Form 5.”
Drilling/Completion OperationsForm: (02 )
400370868
2/15/2013
Kerr McGee acknowledges and will comply with the COGCC Policy for Bradenhead Monitoring during Hydraulic Fracturing Treatments in the Greater Wattenberg Area dated May 29, 2012.
PlanningForm: (04 )
403175665
11/4/2022
Operations are daylight-only; no lighting impacts are anticipated from operations.
Community Outreach and NotificationForm: (04 )
403175665
11/4/2022
Signs will be placed in conspicuous locations and will include Oxy contact information; the Oxy Stakeholder Relations team will respond to all community member inquiries. The signs will be placed so as not to create a potential traffic hazard
Community Outreach and NotificationForm: (04 )
403175665
11/4/2022
Courtesy notifications will be sent to all parcel owners with building units within 1,500 feet of the location letting them know about our subsequent well operations and providing contact information for Kerr McGee’s response line and online resources.
WildlifeForm: (04 )
403175665
11/4/2022
This location was reviewed using a desktop method to review publicly available wildlife data (including CPW & COGCC data) as well as internal wildlife datasets and aerial imagery. No risks were identified. All field personal are trained to identify wildlife risks and raise concerns noticed during operations with the Health, Safety, and Environment (HSE) department.
Dust controlForm: (04 )
403175665
11/4/2022
Water will be placed on dirt access roads to mitigate dust as needed.
Noise mitigationForm: (04 )
403175665
11/4/2022
Operations will be in compliance with Table 423-1 requirements. Based off the rig sound signature, rig orientation will be considered to reduce noise levels to nearby building units.