| Engineer | Form: (02) 2510476 09/30/2010 | (1) COMPLIANCE WITH THE MOST CURRENT REVISION OF THE NORTHWEST COLORADO NOTIFICATION POLICY IS REQUIRED.
(2) CEMENT-TOP VERIFICATION BY CBL REQUIRED.
(3) THE MOISTURE CONTENT OF ANY DRILL CUTTINGS IN A CUTTINGS PIT, TRENCH, OR PILE SHALL BE AS LOW AS PRACTICABLE TO PREVENT ACCUMULATION OF LIQUIDS GREATER THAN DE-MINIMIS AMOUNTS. AT THE TIME OF CLOSURE, THE DRILL CUTTINGS MUST ALSO MEET THE APPLICABLE STANDARDS OF TABLE 910-1.
(4) THE PROPOSED SURFACE CASING IS MORE THAN 50’ BELOW THE DEPTH OF THE DEEPEST WATER WELL WITHIN 1-MILE OF THE SURFACE LOCATION WHEN CORRECTED FOR ELEVATION DIFFERENCES. THE DEEPEST WATER WELL WITHIN 1-MILE IS 000 FEET DEEP.
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| Engineer | Form: (05) 2510477 01/28/2011 | PRELIMINARY this reports on conductor and surface csg. well experienced problems (fish) and int. csg string will be side-tracked from original loc. BHL intended to be same as permitted |
| Engineer | Form: (04) 403233360 11/23/2022 | 1) Operator shall comply with COGCC Rule 419. Bradenhead Monitoring, Testing, and Reporting and Rule 420. Form 17, Bradenhead Test Report
2) At least once a year shut in bradenhead for 7 days or until the pressure reaches the bradenhead threshold and perform a bradenhead test. Report results on a Form 17, as specified in Rule 420 or other Director approved submittal method.
3) Within 30 days of completing the work, submit a Form 4 Subsequent Report - Bradenhead Plan -Include diagnostic information on causal factors for intermediate casing pressure.
4) Complete installation of BH monitoring system by 3/31/2023
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