Oil and gas field waste regulations handbook
The Oil and Gas Handbook Drilling Waste Management Chapter provides industry with the requirements for storage and disposal of drilling wastes. Chapter 9 provides information on operational regulatory requirements and guidance for well completion, maintenance and abandonment activities. Hydraulic Fracture Data - CSV Requirements Guide is intended to guide users through the processes for submitting hydraulic fracturing data electronically.
The Hydraulic Fracturing Electronic Submission - Frac Submission Template provides users with the exact format required for creating a. The Hydraulic Fracturing Electronic Submission - Perf Submission Template provides users with the exact format required for creating a. The Management of Saline Fluids for Hydraulic Fracturing Guideline is intended to provide guidance for permit holders planning to construct saline fluid storage facilities.
Chapter 10 provides an overview of operational regulatory requirements for production and injection disposal activities. Chapter 11 provides information on operational regulatory requirements for pipeline activities. The Commission has provided separate documentation to the identified permit holders for their self-assessment as part of the phase 1 of the compliance process. The guideline, previously known as the Measurement Guideline for Upstream Oil and Gas Operations, has been updated with information including the addition of Chapter 6: Determination of Production at Gas Wells; updates to requirements and references; introduction of a decision tree analysis for well testing, and updates to measurement requirements for consistency with other provincial regulators.
Facility Schedule 3s are submitted by industry to notify the Commission of production facilities and small gas plants that discharge air emissions. It must be submitted if the cumulative facility compressor s prime mover kilowatt rating if between and It must be submitted 24 hours before flaring begins.
Search bcogc. Oil and Gas Activity Operations Manual. Overview of Oil and Gas Regulations and Permit Management Chapter 1 provides an overview of the oil and gas activity regulatory life cycle and general information on permit management. Details Chapter 1 v1. Online Submission Requirements for Permit Holders Chapter 2 provides an introduction to the online services through which permit holders are required to submit information to the Commission during the various stages of an oil and gas activity's regulatory life cycle.
Details Chapter 2 v1. Supporting Documents. Permit Holder Responsibilities Chapter 3 provides an overview of permit holder obligations common amongst all oil and gas activity types.
Details Chapter 3 v1. Guidelines Environmental Protection and Management Guideline The Environmental Protection and Management Guideline guides industry through the requirements and processes associated with the Commission's legislative authorities. Fugitive Emissions Management Guideline The Fugitive Emissions Management Guideline guides industry through the regulatory requirements and guidance for fugitive emissions management in B.
Construction Details for Oil and Gas Activities Chapter 4 provides information on regulatory requirements in the construction phase of the oil and gas regulatory life cycle. Details Chapter 4 v1. Geophysical Activity Requirements Chapter 5 provides information on operational regulatory requirements for geophysical activities. Details Chapter 5 v1. Road Activity Requirements Chapter 6 provides information on operational regulatory requirements for road activities.
Details Chapter 6 v1. Road Notification Form WORD The Road Notification Form allows permit holders to notify the Commission of temporary road closures or restrictions and must be submitted within 30 days of stoppage of use. Well Activity: Overview Chapter 7 provides information on operational regulatory requirements for well activities, including considerations for well data and well data submission.
Details Chapter 7 v1. Supplementary Information for Water Source Wells PDF This document outlines the water source approval process and the requirements for hydrogeological assessment and data collection, monitoring, and data reporting. Well Activity: Drilling Chapter 8 provides information on operational regulatory requirements and guidance for well drilling activities. Details Chapter 8 v1. Well Activity: Completions, Maintenance and Abandonment Chapter 9 provides information on operational regulatory requirements and guidance for well completion, maintenance and abandonment activities.
Wastes generated from crude oil and natural gas exploration and production are generally subject to regulation under Subtitle D of the Resource Conservation and Recovery Act RCRA and state regulations, and many state governments have specific regulations and guidance for exploration and production wastes. In addition, some states are developing legislation and regulations in response to the increase in the use of hydraulic fracturing, including requirements related to waste management.
As the use of hydraulic fracturing has increased, so too have concerns about potential impacts on public health and the environment, including potential impacts arising from improper management of wastes from exploration and production activities. Proper waste management is important for all exploration and production wastes, including those that are associated with hydraulic fracturing activities. Section b of RCRA requires every regulation promulgated under the Act to be reviewed and, where necessary, revised not less frequently than every three years.
District Court for the District of Columbia that alleged EPA had failed to perform its non-discretionary duty under Section b to evaluate the federal Subtitle D solid waste regulatory requirements for the management of wastes associated with exploration, development and production wastes from crude oil, natural gas and geothermal energy oil and gas activities.
In response, EPA entered into a consent decree to conduct a review and determine whether revisions to the federal solid waste management regulations are necessary. To support this effort, EPA conducted an extensive literature review of government, industry and academic sources to supplement the information available from previous Agency actions.
This review, to determine whether changes to the federal solid waste regulations are necessary, evaluated factors such as waste characteristics, management practices, damage cases and the coverage of state programs. Based on the information gathered for this review, EPA concludes that revisions to the federal regulations for the management of exploration, development and production wastes of crude oil, natural gas and geothermal energy under Subtitle D of RCRA title 40 of the Code of Federal Regulations in Part are not necessary at this time.
EPA will continue to work with states and other organizations to identify areas for continued improvement and to address emerging issues to ensure that exploration, development and production wastes continue to be managed in a manner that is protective of human health and the environment.
Natural gas plays a key role in our nation's clean energy future. The United States has vast reserves of natural gas that are commercially viable as a result of advances in horizontal drilling and hydraulic fracturing technologies enabling greater access to gas in shale formations.
Responsible development of America's shale gas resources offers important economic, energy security, and environmental benefits. Oil and gas exploration and production well installation operations typically comprise three stages:. During hydraulic fracturing specially engineered fluids containing chemical additives and proppant eg.
Hydraulic fracturing is often performed in stages, and following each stage, some fluids return to the surface as fracturing fluid returns 'flowback'. It is important to note that the use of horizontal drilling in conjunction with hydraulic fracturing can often result in large volumes of flowback, a key attribute distinguishing wastes generated during hydraulic fracturing in unconventional reservoirs from wastes generated during other types of exploration and production activities.
For example, larger volumes of flowback require larger on-site storage capacity, either using land-based units pits or tanks. While many exploration and production wastes are exempt from regulation as hazardous waste under Subtitle C of RCRA, these wastes are generally subject to non-hazardous waste regulation under RCRA Subtitle D and applicable state regulations. Many state governments have specific regulations and guidance for exploration and production wastes.
Over the last several years, many states have been developing and updating legislation and regulations in light of the increase in the use of hydraulic fracturing, including requirements related to waste management. Exploration and production activity occurring on federal lands is regulated under the jurisdiction of the Department of Interior's Bureau of Land Management BLM , subject to BLM regulations and guidance.
0コメント