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Operators may now have the potential to sell carbon credits in exchange for the P&A of inactive, shut-in, or temporarily abandoned wells. The EPA estimates that there are over 3 million known abandoned and orphaned oil and gas wells (AOOG wells) in the United States. Well Eligibility. Additionality.
There is a significant focus on plug and abandonment decommissioning in today’s workscopes. I thought it would be pertinent to write something on the plug and abandonment (P&A) of subsea assets utilizing a Light Well Intervention Vessel (LWIV). In abandonment, no two wells will be the same. Reservoir abandonment 2.
The Report concluded that the Bureau of Safety and Environmental Enforcement (“BSEE”) lacks a robust oversight process (1) for ensuring the integrity of active offshore oil and gas pipelines and (2) to address the environmental risks posed by decommissioning and abandoning pipelines on the seafloor.
This clarification comes after a number of leaks in 2014 and 2015 from pipelines that were believed to be “abandoned.” In two incidents, the current owners or operators of the pipelines had purchased the pipelines from previous owners or operators with the understanding that the pipelines had been properly abandoned before purchase.
The Report concluded that the Bureau of Safety and Environmental Enforcement (“BSEE”) lacks a robust oversight process (1) for ensuring the integrity of active offshore oil and gas pipelines and (2) to address the environmental risks posed by decommissioning and abandoning pipelines on the seafloor.
As the number of solar projects continues to grow in Louisiana, a chief concern among Louisiana taxpayers is ensuring that these projects are properly decommissioning upon their abandonment. To receive information from Liskow & Lewis, your information will be kept in a secured contact database. 1] [link]. [2] 2] [link]. [3]
To receive information from Liskow & Lewis, your information will be kept in a secured contact database. As currently written, the Act allows the project operator to expropriate the rights “necessary or useful” in constructing and operating the storage facility. [1] Communications include firm news, insights, and events.
February 24, 2025 Edition At Valor, our goal is to keep you informed of the latest news and updates from the oil and gas industry. Stay tuned for weekly updates to keep you well-informed. We are committed to sharing the insights and knowledge that our team gathers to help you stay ahead in this dynamic sector. GW capacity.
As the number of solar projects continues to grow in Louisiana, a chief concern among Louisiana taxpayers is ensuring that these projects are properly decommissioning upon their abandonment. To receive information from Liskow & Lewis, your information will be kept in a secured contact database. 1] [link]. [2] 2] [link]. [3]
Specifically, the new final rule adds a section to 30 CFR 250, subpart Q regarding submission of decommissioning applications and reports when a blowout preventer (“BOP”) is used for abandonment operations, 250.1704(g)(1)(ii). 50856, 50882 (Aug. 50856, 50882 (Aug. 50856, 50883 (Aug. 50856, 50857 (Aug.
Sandhill never managed to stop the leak, and it abandoned the well in August 2019. In addition, Pioneer and Gary highlighted that orphan restoration work under the OSRL requires a formal bidding process, whereas the LDNR chose to employ the less-stringent informal bidding process available for emergency responses.
According to Britain’s Financial Conduct Authority, the London Interbank Offered Rate, or LIBOR, will be phased out and abandoned by the end of 2021. What should lenders and borrowers do to prepare for the end of LIBOR? Lenders and borrowers should monitor the development of alternative benchmark interest rates.
Contact Liskow attorneys Jana Grauberger and Kyrie Buffa for more information on this topic and visit the Federal Offshore Regulatory practice page on our website. To receive information from Liskow & Lewis, your information will be kept in a secured contact database. BSEE’s 2024 decommissioning rule would update 30 C.F.R.
Despite the plaintiff’s cooperation, defendants abandoned their plans to effectuate such an agreement and decided to conduct a document by document privilege review. Acknowledging the risk of inadvertent disclosure typically associated with large document productions, defendants initially sought the court’s approval of a “clawback agreement.”
Specifically, the letter addressed the following circumstances: Plugging Requirements : Regulations require any well that has been identified by the operator as inactive with no future utility to be placed on a schedule of abandonment or plugged within 90 days. Communications include firm news, insights, and events.
While the actions have been informed by feedback from the Task Force’s advisory groups, research on best practices in other states, and many conversations throughout meetings, workshops, and public comment, the draft action portfolio will continue to evolve in the coming months. Noteworthy actions include: ACTION 5.6
If a Notice of Contract has not been filed, subcontractors and suppliers have a sixty-day period to file a lien, which begins running on the date of substantial completion, the owner’s abandonment of the work, or the filing of a Notice of Termination.
Recently, the court applied Doiron in the context of a contract to plug and abandon a series of offshore wells in Crescent Energy Services, L.L.C., To receive information from Liskow & Lewis, your information will be kept in a secured contact database. Carrizo Oil & Gas, Inc. [3]
Statewide Order 29-N-6 provides clear guidelines for Class VI wells, which cover the permitting process, siting criteria, area of review, well construction and completion, operational protocol, testing and monitoring specifications, plugging and abandonment procedures, and reporting requirements.
To receive information from Liskow & Lewis, your information will be kept in a secured contact database. For a comprehensive list of energy legislation to be heard in upcoming state legislative sessions, see: [link]. [1] 1] [link]. [2] 2] [link]. [3] 3] [link]. [4] 4] [link]. [5] 5] [link]. [6] 6] [link]. [7] 7] [link]. [8]
Additional procedural history pertaining to this case, and information related to other similar, climate-change cases, can be found in our related blog posts titled (1) U.S. To receive information from Liskow & Lewis, your information will be kept in a secured contact database.
The well was a dry hole, however, and was therefore plugged and abandoned on April 21, 2006. To receive information from Liskow & Lewis, your information will be kept in a secured contact database. A well was spud on March 28, 2006. Communications include firm news, insights, and events.
2] Statewide Order 26-N-6 provides clear guidelines for Class VI wells, which cover the permitting process, siting criteria, area of review, well construction and completion, operational protocol, testing and monitoring specifications, plugging and abandonment procedures, and reporting requirements.
To receive information from Liskow & Lewis, your information will be kept in a secured contact database. For a comprehensive list of energy legislation to be heard in upcoming state legislative sessions, see: [link]. [1] 1] [link]. [2] 2] [link]. [3] 3] [link]. [4] 4] [link]. [5] 5] [link]. [6] 6] [link]. [7] 7] [link]. [8]
Additional procedural history pertaining to this case, and information related to other similar, climate-change cases, can be found in our related blog posts titled (1) U.S. To receive information from Liskow & Lewis, your information will be kept in a secured contact database.
Lease-specific abandonment accounts: Current Regulations – BOEM regulations allow for companies to establish lease-specific abandonment accounts instead of providing a supplemental bond. Proposed Regulations – The proposed regulations would make several changes with respect to these abandonment accounts.
Lease-specific abandonment accounts: Current Regulations – BOEM regulations allow for companies to establish lease-specific abandonment accounts instead of providing a supplemental bond. Proposed Regulations – The proposed regulations would make several changes with respect to these abandonment accounts.
At the time of the collision, the MEL OLIVER, which was pushing ACL’s barge DM-932 fully laden with oil, was operating without a captain who had effectively abandoned the vessel several days earlier. DRD then operated the MEL OLIVER under a time charter to ACL.
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