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During President Biden’s first year in office, his administration published a document titled “The Long-Term Strategy of the United States: Pathways to Net-Zero Greenhouse Gas Emissions by 2050.” The document […] The post Five Key Transformations Required to Achieve Net-Zero in the U.S. appeared first on POWER Magazine.
built offshore wind substation departed from a Texas fabrication facility where Danish multinational energy company, Ørsted, and domestic energy provider, Eversource, partnered to build the revolutionary vessel. The Kansas-engineered substation was designed and built by Kiewit Offshore Services, Ltd., documented under U.S.
On June 23, 2022, the Bureau of Ocean Energy Management (BOEM) published a draft guidance on mitigating potential impacts of offshore wind development on commercial and recreational fishing. BOEM also recommends gear loss and damage payments.
This is the first in a series of articles in which Liskow’s offshore team will discuss the regulatory framework for wind energy projects in federal waters and highlight legal issues pertinent to this dynamic area. To date, the development of offshore wind in federal waters has largely been limited to the east coast. 556.400; 30 C.F.R.
Documented vessels with overnight accommodations for at least 10 individuals on board that are on a voyage of at least 600 miles and crosses seaward of the Boundary Line; OR at least 24 meters (79 feet) in overall length and required to have a load line under 46 U.S.C. 14502, or an alternate tonnage measured under 46 U.S.C. 1331(a))). “In
The Violation In March 2012, BSEE conducted an inspection of ATP’s floating production platform facility, known as the ATP Innovator, while it was moored to the sea floor about 45 nautical miles offshore of southeastern Louisiana (about 125 miles south of New Orleans) and engaged in the production of oil and natural gas.
This recently enacted legislation is indicative of strong support in Texas for the development of CCUS projects and helps clear the path for onshore and offshore CCUS deployment within the state. Louisiana began this process last year, sending drafts of primacy documents to the EPA for review at the end of 2020.
This recently enacted legislation is indicative of strong support in Texas for the development of CCUS projects and helps clear the path for onshore and offshore CCUS deployment within the state. Louisiana began this process last year, sending drafts of primacy documents to the EPA for review at the end of 2020.
This document contains proposed strategies and specific actions across several priority areas to be considered in reducing greenhouse gas emissions. The period for public comment ends on October 8 th. The actions were developed through input from members of the Task Force’s sector committees and submissions from the public.
The NSTA provide plenty of documentation but sometimes the process can be tricky because of the difficulty in collaborating across several teams to identify the internal source of truth of data, the volume of data to be processed, and the QC checks the data must pass at submission. What do you need to submit? So, what needs to be submitted?
The NSTA provide plenty of documentation but sometimes the process can be tricky because of the difficulty in collaborating across several teams to identify the internal source of truth of data, the volume of data to be processed, and the QC checks the data must pass at submission. What do you need to submit? So, what needs to be submitted?
With the title of “Air Quality Control, Reporting, and Compliance,” the 349-page document details what would be the first major re-write of the OCS air quality regulations in 35 years. On March 17, BOEM released a pre-publication version on their website. 1334(a)(8).
This recently enacted legislation is indicative of strong support in Texas for the development of CCUS projects and helps clear the path for onshore and offshore CCUS deployment within the state. Louisiana began this process last year, sending drafts of primacy documents to the EPA for review at the end of 2020.
For example, if the service is in European Datum 1950, there is a long list of transformations for retrieving WGS84 coordinates, but ED50 to WGS 84 (18) is most commonly used for UK offshore oil and gas exploration and production, so we could use the code 1311 as the datum transformation. Hyperlinks are current as of date of publication.
For example, an operator might only learn of the IRU investigation when it receives a request from the IRU to provide documents and/or make its employees available for interviews. For reasons of logistics, the interviews are unlikely to take place offshore.
The Coast Guard advises that all applicable vessels have a documented system in place. Response : The law 14 does not specifically exempt vessels that do not have a master key nor does the law make the overall requirements contingent upon having a master key.
The path to this Proposed Rule has been long and winding, beginning in 2014 with BOEM resisting making changes through formal notice and comment rulemaking pursuant to the Administrative Procedures Act, and instead continuing to regulate this issue through Notice to Lessee (“NTL”) guidance documents.
The path to this Proposed Rule has been long and winding, beginning in 2014 with BOEM resisting making changes through formal notice and comment rulemaking pursuant to the Administrative Procedures Act, and instead continuing to regulate this issue through Notice to Lessee (“NTL”) guidance documents.
This 130-page document outlines analytic expectations and technical approaches that can be used by agency analysts in such an evaluation. The draft revision updates and expands on EPA’s original guidance issued in 2016.
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