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Louisiana First Circuit Reaffirms Prescription and Subsequent Purchaser Principles

The Energy Law

Chevron Pipelines Company , et al., One of the assessments further included two 1991 LDNR compliance orders to Stone Petroleum, requiring the closure of two pits and finding that the pits were not in compliance with Statewide Order 29-B because they were full and had overflowed in the past. Exxon Mobil Corporation , 2009-2368 (La.

Casing 59
article thumbnail

Louisiana First Circuit Reaffirms Prescription and Subsequent Purchaser Principles

The Energy Law

Chevron Pipelines Company , et al., One of the assessments further included two 1991 LDNR compliance orders to Stone Petroleum, requiring the closure of two pits and finding that the pits were not in compliance with Statewide Order 29-B because they were full and had overflowed in the past. Exxon Mobil Corporation , 2009-2368 (La.

Casing 52
article thumbnail

Louisiana First Circuit Reaffirms Prescription and Subsequent Purchaser Principles

The Energy Law

Chevron Pipelines Company , et al., One of the assessments further included two 1991 LDNR compliance orders to Stone Petroleum, requiring the closure of two pits and finding that the pits were not in compliance with Statewide Order 29-B because they were full and had overflowed in the past. Exxon Mobil Corporation , 2009-2368 (La.

Casing 52