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COGIS DB

 
Facility TypeFacility ID/
API
Facility Name/
Number
Operator Name/
Number
StatusField Name/
Number
LocationLocation IDRelated Facilities
WELL05-123-43654Ward
W-20-19HC
PDC ENERGY INC
69175
PR
3/1/2024
WATTENBERG
90750
WELD  123
SESE 20 6N66W 6
447748View Related
 
COGIS - Conditions of Approval Results
TypeSource DocumentConditions of Approval
EngineerForm: (02 )
401048780
8/19/2016
Bradenhead tests shall be performed on all wells on this pad on the following schedule: 1) Within 60 days of rig release and prior to stimulation (wells already stimulated excepted). 2) Between 6 and 7 months after rig release or prior to stimulation. 3) Within 30 days of First Production as reported on Form 5A (wells already producing shall be tested within 30 days). Test results shall be submitted on Form 17 within 10 days of test.
EngineerForm: (02 )
401048780
8/19/2016
1) Submit Form 42 electronically to COGCC 48 hours prior to MIRU for the first well activity with a rig on the pad and provide 48 hour spud notice for each subsequent well drilled on the pad. 2) Comply with Rule 317.j and provide cement coverage from TD to a minimum of 200' above the Niobrara. Verify coverage with cement bond log. 3) Operator has indicated that no oil based drilling fluids are to be used on this location.
EngineerForm: (02 )
401048780
8/25/2016
Operator acknowledges the proximity of the listed well(s). Operator agrees to provide mitigation Option 1 or 2 (per the DJ Basin Horizontal Offset Policy, ensure all applicable documentation is submitted based on the selected mitigation option chosen, and submit Form 42(s) “OFFSET MITIGATION COMPLETED” for the remediated well(s), referencing the API Number of the proposed horizontal wells stating what appropriate mitigation occurred and that it has been completed, prior to the hydraulic stimulation of the proposed wells. Pope 1 (API #123-11373)
PermitForm: (02 )
401048780
9/27/2016
This Permit to Drill is approved subject to all the BMPs and COAs on the most recently approved Form 2A and any subsequently approved Form 4 for the Oil and Gas Location (Location ID #447748). The most recently approved Form 2A and any subsequent Form 4s containing applicable COAs for this location shall be posted onsite during construction, drilling, and completions operations.
EngineerForm: (04 )
402884175
12/2/2021
1. Operator shall implement measures to control venting, to protect health and safety, and to ensure that vapors and odors from well operations do not constitute a nuisance or hazard to public welfare. 2. Prior to starting Bradenhead mitigation, if a sample has not been collected within the last twelve months collect Bradenhead and production gas samples for laboratory analysis. Sampling shall comply with Operator Guidance - Bradenhead Testing and Reporting Instructions, Appendix A: Liquid and Gas Sampling. Copies of all final laboratory analytical results shall be provided to the COGCC within three months of collecting the samples. 3. During the first day of mitigation operator shall implement measures to get an initial estimate of the gas flow rate and/or volume from the Bradenhead. During the shut-in period record pressure data to adequately characterize the build-up. This mitigation plan may be used for six consecutive months. 4. At the conclusion of the six months, conduct a new Bradenhead test and submit the Form 17 within ten days of the test and submit a Form 4 Sundry that summarizes current well condition. The sundry should include details of the future plans and the flow rate information and pressure data.
EngineerForm: (04 )
402884175
12/2/2021
Shut in Bradenhead pressure shall not exceed 50 psig.
EngineerForm: (04 )
403375248
4/20/2023
At the conclusion of the six months (10/20/2023), conduct a new Bradenhead test and submit the Form 17 within ten days of the test and submit a Form 4 Sundry that summarizes current well condition. The sundry should include details of the future plans and the flow rate information and pressure data.
EngineerForm: (04 )
403375248
4/20/2023
Shut in Bradenhead pressure shall not exceed 50 psig.
 
COGIS - Best Management Practice Results
BMP TypeSource DocumentBest Management Practices
PlanningForm: (02 )
401048780
9/28/2016
Multi-well Pads are selected in a manner which allows for resource extraction while maintaining the highest and equidistant measurements from offsetting residential areas while also honoring the wishes of the surface owner. Bayswater utilizes flood plain information, COGCC setbacks, development strategies, economics, mechanical and well bore integrity, safety, traffic, geology and operations life cycles among other items when planning horizontal sites. Bayswater plans extended reach laterals when possible to minimize the number of disturbance areas and the number of multi-well sites. The use of existing pad sites, access roads and the proximity to pipelines all play important roles in site selection. Additionally, Bayswater looks at the torque and drag on drilling operations to see what the limitations are on site selection compared to landing points of the laterals. Bayswater will continue to be in close communication with Surface Owner(s) with respect to land use consideration, construction and drilling rig move in date. A meeting with the surface owner will determine the fencing and sound wall plan. A meeting with the land owner will help determine any changes to fencing or culverts.
Community Outreach and NotificationForm: (02 )
401048780
9/28/2016
Operator will also provide a toll-free hotline to all Building Unit Owners in the area if they have any complaints.
Pre-ConstructionForm: (02 )
401048780
9/28/2016
Identification of plugged and abandoned wells will be identified pursuant to 319.a.(5)
Traffic controlForm: (02 )
401048780
9/28/2016
Access Roads: Bayswater plans to utilize an existing farm field entrance. The access can be improved upon to accommodate drilling and completions operations trucks as wells as local emergency vehicles. Bayswater has implemented traffic signs at our entrances and exits from pads to suggest traffic patterns and also for speed control. Traffic from this pad will be directed north.
General HousekeepingForm: (02 )
401048780
9/28/2016
Visual Impacts: Equipment observable from any public highway, regardless of construction date, shall be painted with uniform, non-contrasting, non-reflective color tones (similar to the Munsell Soil Color Coding System), and with colors matched to, but slightly darker than, the surrounding landscape. Maintain appearance with garbage clean-up; a trash bin will be located on site to accumulate waste by the personnel drilling the wells. Site will have unused equipment, trash and junk removed immediately. Operator shall keep the Surface Use Area as well as any roads or other areas used by Operator safe and in good order, including control of noxious weeds litter and debris.
Storm Water/Erosion ControlForm: (02 )
401048780
9/28/2016
Use water bars, and other measures to prevent erosion and non-source pollution. Implement and maintain BMPs to control storm water runoff in a manner that minimizes erosion, transport of sediment offsite, and site degradation. Co-locate gas and water gathering lines whenever feasible, and mitigate any erosion problems that arise due to the construction of any pipeline(s).
Material Handling and Spill PreventionForm: (02 )
401048780
9/28/2016
Leak Detention Plan: Pumper will visit the location daily and visually inspect all wellheads and fittings for leaks. Additionally, annual documented SPCCP inspections are conducted pursuant to 40 CFR 112. Control of fire hazards: All material that is considered a fire hazard shall be a minimum of 25’ from the wellhead. Electrical equipment shall comply with API IRP 500 and will comply with the current national electrical code. Operator shall comply with state and federal laws, rules and regulations governing the presence of any petroleum products, toxic or hazardous chemicals or wastes on the Subject lands.
Dust controlForm: (02 )
401048780
9/28/2016
Operator shall employ practices for control of fugitive dust caused by their operations. Such practices shall include but are not limited to the use of speed restrictions, regular road maintenance, restriction of construction activity during high- wind days, and silica dust controls when handling sand used in hydraulic fracturing operations. Bayswater additionally has implemented the use of traffic signs when leaving the location to remind drivers of specific routes to utilize. Additional management practices such as road surfacing, wind breaks and barriers, or automation of wells to reduce truck traffic may also be required if technologically feasible and economically reasonable to minimize fugitive dust emissions.
ConstructionForm: (02 )
401048780
9/28/2016
Guy line anchors: All guy line anchors shall be brightly marked pursuant to Rule 604.c.(2)Q.
ConstructionForm: (02 )
401048780
9/28/2016
Operator will post a copy of the approved Form 2A and associated Form 4s on location. Operator will survey the wells after construction to ensure COGCC setbacks have been maintained.
Noise mitigationForm: (02 )
401048780
9/28/2016
Operator will provide engineered noise abatement sound walls to comply with COGCC requirements. Sound walls will be installed for the duration of drilling and completion activities per third party sound modeling studies. Baseline studies will be conducted prior to commencement of construction and dirt work, which includes both A and C scale measurements. A sound model will be developed with the drilling rig and completion operations noise signatures. Bayswater has recently acquired a new rig signature for the Frontier # 8 rig with hospital grade mufflers. This signature information is available upon request. Various height sound walls will be engineered and installed where required and necessary. Temporary Ibeams will be installed for walls 20’ and higher. Sound walls themselves, a combination of STC-32 and STC-25 Acoustical Barrier Blankets, will be implemented. Both drilling and completion operations will be conducted within these sound walls. 10’-16’ portable walls will be used to dampen gen-sets, if necessary, pursuant to sound model results. Additionally, sound blankets may be utilized in and around the rig floor to dampen noise from the draw works. Operator is investigating the possibility of powering the drill site by electricity.
Emissions mitigationForm: (02 )
401048780
9/28/2016
Green Completions - Emission Control System: Test separators and associated flow lines and sand traps shall be installed to accommodate green completions techniques pursuant to COGCC Rules. Operator is working with midstream operators in the area. Operator will connect to a gas sales line prior to flowback and immediately direct salable quality gas down line. The flowback gas shall be thermally oxidized in an emissions control device (ECD), which will be installed and kept in operable condition for at least the first 90 days of production pursuant to CDPHE rules. This ECD shall have an adequate capacity for 1.5 times the largest flowback within a 10 mile radius, will be flanged to route gas to other or permanent oxidizing equipment, and shall be provided with the equipment needed to maintain combustion where non-combustible gases are present.
Odor mitigationForm: (02 )
401048780
9/28/2016
Equipment shall be operated in such a manner that odors and dust do not constitute a nuisance or hazard to public welfare. Oil and gas operations shall be in compliance with the Department of Public Health and Environment, Air Quality Control Commission, Regulation No. 2 Odor Emission, 5 C.C.R. 1001-4, Regulation No. 3 (5 C.C.R. 1001-5), and Regulation No. 7 Section XVII.B.1 (a-c) and Section XII.
Drilling/Completion OperationsForm: (02 )
401048780
9/28/2016
A closed –loop system will be used for drilling operations. Blowout Prevention Equipment (“BOPE”): A double ram and annular preventer will be used during drilling. Stabbing valves shall be installed in the event of reverse circulation and shall be prior tested with low and high pressure fluid. Lighting: Site lighting shall be directed downward and inward and shielded so as to avoid glare on public roads and Building Units within one thousand (1000) feet where possible. Once the drilling and completion rigs leave the site, there will be no permanently installed lighting on site. Bradenhead Monitoring: Operator acknowledges and will comply with COGCC Policy for Bradenhead Monitoring during Hydraulic Fracturing Treatments in the Greater Wattenberg Area dated May 29, 2012.
Drilling/Completion OperationsForm: (02 )
401048780
9/28/2016
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 gamma-ray 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.
Interim ReclamationForm: (02 )
401048780
9/28/2016
Operator shall be responsible for segregating the topsoil, backfilling, repacking, reseeding, and recontouring the surface of any disturbed area so as not to interfere with Owner’s operations and shall reclaim such area to be returned to pre-existing conditions as best as possible with control of all weeds.
Final ReclamationForm: (02 )
401048780
9/28/2016
Within 90 days subsequent to the time of plugging and abandonment of the entire site, superfluous debris and equipment shall be removed from the site. The Operator shall restore the surface of the Land affected by such terminated operations as near as possible to the previous state that existed prior to operations.