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Well ID: 34-153-22506 | Loading map...
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Country: United States | |
State: Ohio | |
County: <County> | |
Municipality: | |
Operator Name: BAAY OIL LLC | |
Well Pad ID: | |
Farm/Lease Name: FARRELL | |
License Status: Final Restoration | |
License Date: 2018-07-13 | |
Spud Date: 1988-11-30 | |
Spud Drilling Contractor: RAPID DRILLING | |
Final Drill Date: 1988-12-11 | |
Well Total Depth: 4452.00 ft | |
Configuration: Vertical | |
Latitude: 40.940000 | |
Longitude: -81.460000 |
For data sources see[1]
Well Status | Well Status Date | Comment |
---|---|---|
Oil and Gas | 1988-07-27 | Issued Date 7/27/88 Expired Date 7/27/89 Acres 0040796 Tool Type RTAF Proposed Formation CLINTON Proposed Depth 04452 Proposed Drill Depth 04452 |
Original Spud | 1988-11-30 | UPDATE LOCATION DOGRM SURVEYOR 08/01/2018 ALE. |
Completed | 1988-12-11 | UPDATE LOCATION DOGRM SURVEYOR 08/01/2018 ALE. |
Reached Total Depth | 1988-12-11 | UPDATE LOCATION DOGRM SURVEYOR 08/01/2018 ALE. |
CO | 1988-12-20 | 1304 SEAGULL DEVELOPMENT CORP GeoDate 7/27/88 |
Completion Report Received | 1989-05-19 | UPDATE LOCATION DOGRM SURVEYOR 08/01/2018 ALE. |
Change of Owner | 2012-02-03 | Operator changed from 1304, SEAGULL DEVELOPMENT CORP to 8560, BAAY OIL LLC |
APP | 2018-07-13 | Proposed Formations:CLINTON, Issued Date:7/13/2018, Expired Date:7/12/2020 12:00:00 PM, Drilling unit acres:40.796, Proposed Well Type:OG, Proposed Well Class: |
Plugged/Abandoned | 2018-09-17 | UPDATE LOCATION DOGRM SURVEYOR 08/01/2018 ALE. |
Record Last Modified | 2018-11-02 | UPDATE LOCATION DOGRM SURVEYOR 08/01/2018 ALE. |
Construction Permit Expires | 2020-07-12 | UPDATE LOCATION DOGRM SURVEYOR 08/01/2018 ALE. |
For data sources see[2]
Perforation Date | Interval Top (ft) | Interval Base (ft) | Number of Shots |
---|---|---|---|
1997-06-29 | 4295 | 4359 | 0 |
4295 | 4359 | 0 | |
4295 | 4359 | 0 |
For data sources see[3]
Stimulation Date | Chemical Agent | Chemical Agent Concentration (%) | Fracking Fluid Volume | Mass of Proppant Used (lb) | Fracking Company | Comments |
---|---|---|---|---|---|---|
0 | 0 | 0 | FRAC:SAND/WATER/N2 ASSIST |
For data sources see[4]
Period | Operator Name | Gas Quantity (mcf) | Oil Quantity (bbl) | Production Days |
---|---|---|---|---|
1989 | SEAGULL DEVELOPMENT CORP | 7692.00 | 173.00 | 247 |
1990 | SEAGULL DEVELOPMENT CORP | 9802.00 | 116.00 | 365 |
1991 | SEAGULL DEVELOPMENT CORP | 109.00 | 110.00 | 365 |
1992 | SEAGULL DEVELOPMENT CORP | 3815.00 | 73.00 | 365 |
1993 | SEAGULL DEVELOPMENT CORP | 3617.00 | 73.00 | 365 |
1995 | SEAGULL DEVELOPMENT CORP | 2359.00 | 0.00 | 365 |
1996 | SEAGULL DEVELOPMENT CORP | 2054.00 | 0.00 | 365 |
1998 | SEAGULL DEVELOPMENT CORP | 597.00 | 0.00 | 365 |
2001 | SEAGULL DEVELOPMENT CORP | 0.00 | 0.00 | 0 |
2002 | SEAGULL DEVELOPMENT CORP | 0.00 | 0.00 | 0 |
2003 | SEAGULL DEVELOPMENT CORP | 0.00 | 0.00 | 0 |
2004 | SEAGULL DEVELOPMENT CORP | 0.00 | 0.00 | 0 |
2005 | SEAGULL DEVELOPMENT CORP | 0.00 | 0.00 | 0 |
2006 | SEAGULL DEVELOPMENT CORP | 0.00 | 0.00 | 0 |
2007 | SEAGULL DEVELOPMENT CORP | 0.00 | 0.00 | 0 |
2008 | SEAGULL DEVELOPMENT CORP | 0.00 | 0.00 | 365 |
2009 | SEAGULL DEVELOPMENT CORP | 0.00 | 0.00 | 365 |
2012 | BAAY OIL LLC | 0.00 | 0.00 | 366 |
2013 | BAAY OIL LLC | 0.00 | 0.00 | 365 |
2014 | BAAY OIL LLC | 0.00 | 0.00 | 0 |
2015 | BAAY OIL LLC | 0.00 | 0.00 | 0 |
2016 | BAAY OIL LLC | 0.00 | 0.00 | 365 |
2017 | BAAY OIL LLC | 0.00 | 0.00 | 0 |
2018 | BAAY OIL LLC | 0.00 | 0.00 | 0 |
Period | Operator Name | Waste Type | Quantity (bbl) | Production Days |
---|---|---|---|---|
1989 | SEAGULL DEVELOPMENT CORP | Brine | 380 | 247 |
1990 | SEAGULL DEVELOPMENT CORP | Brine | 270 | 365 |
1991 | SEAGULL DEVELOPMENT CORP | Brine | 250 | 365 |
1992 | SEAGULL DEVELOPMENT CORP | Brine | 155 | 365 |
1993 | SEAGULL DEVELOPMENT CORP | Brine | 220 | 365 |
1995 | SEAGULL DEVELOPMENT CORP | Brine | 130 | 365 |
1996 | SEAGULL DEVELOPMENT CORP | Brine | 93 | 365 |
1998 | SEAGULL DEVELOPMENT CORP | Brine | 50 | 365 |
2001 | SEAGULL DEVELOPMENT CORP | Brine | 0 | 0 |
2002 | SEAGULL DEVELOPMENT CORP | Brine | 0 | 0 |
2003 | SEAGULL DEVELOPMENT CORP | Brine | 0 | 0 |
2004 | SEAGULL DEVELOPMENT CORP | Brine | 0 | 0 |
2005 | SEAGULL DEVELOPMENT CORP | Brine | 0 | 0 |
2006 | SEAGULL DEVELOPMENT CORP | Brine | 0 | 0 |
2007 | SEAGULL DEVELOPMENT CORP | Brine | 0 | 0 |
2008 | SEAGULL DEVELOPMENT CORP | Brine | 0 | 365 |
2009 | SEAGULL DEVELOPMENT CORP | Brine | 0 | 365 |
2012 | BAAY OIL LLC | Brine | 0 | 366 |
2013 | BAAY OIL LLC | Brine | 0 | 365 |
2014 | BAAY OIL LLC | Brine | 0 | 0 |
2015 | BAAY OIL LLC | Brine | 0 | 0 |
2016 | BAAY OIL LLC | Brine | 0 | 365 |
2017 | BAAY OIL LLC | Brine | 0 | 0 |
2018 | BAAY OIL LLC | Brine | 0 | 0 |
Inspection ID | Inspection Date | Inspection Type | Inspection Result | Inspection Comments |
---|---|---|---|---|
-1027766294 | 2018-9-20 0:00: | FR | No Violations | |
-1586827712 | 2018-1-18 0:00: | UP | No Violations | |
-275998978 | 2018-9-18 0:00: | PB | No Violations | |
-924423075 | 2017-9-15 0:00: | UP | No Violations | |
0000PL4231 | Preliminary Restoration | No Violations | Preliminary Restoration done information from Data Point | |
0275998978 | 2018-09-18 | Plug / Plug Back | No Violations | I found the cement level down the 8.625 surface casing at approximately two (2) feet. The cement top was firm and free of any indication of gas migration. I spoke with Steve Hagan ( plugging contractor ) and gave permission to cut off the 8.625 surface casing at least 30 below grade and attach the required I. D. cap. I received a photo indicating the well cap was attached. |
0924423075 | 2017-09-15 | UrbanProduction Wells | Violations Noted | I inspected, as a follow up to Compliance Notice # 1494345363, the Farrell # 1 well and tank battery and found both to be non-compliant of OAC 1501:9-9-05 ( E ). This well was not in production and the well has not been plugged. The wellhead consists of 4.5 casing with a 4 X 2 swage screwed into it and connected with a 2 line with a 2 ball valve ( in the closed position ). The tank battery consisted of a 2408 horizontal separator with meter connected, by a partially buried 2 steel line, to a poly 35 barrel poly tank. The tank battery was partially fence on three (3) sides with a six (6) foot fence. An earthen dike surrounded the separator and tank. The identification signage was not compliant for Urban location. The load line on the 35 barrel stock tank was not locked. The tank did not have the required activated charcoal filters, a low pressure relief valve, the tank hatch did not seal nor was it closed. The poly storage tank was not equipped with a lightning arrestor. There were brush cuttings piled inside the tank pad and a pile of pipes, fittings outside of the tank pad. In order to bring the Farrell # 1 into compliance the following items must be corrected; 1) prior to placing the well into production BAAY Oil shall erect an eight (8) foot high fence with three strands of barbed wire on top around the tank pad and wellhead areas, 2) replace current signage with Urbanized Areas signage, 3) place on the poly tank used for oil storage the required equipment for Urbanized areas, i.e. lightning arrestors, low pressure relief valves, activated charcoal filter and sealing lid for tank hatch. A lock must be placed on the load line, 4) remove replacement or unused equipment from location. Please contact Bob Roush at 330.690.8837. |
1027766294 | 2018-09-20 | Final Restoration | No Violations | My inspection indicated that there was not any restoration activity being performed today. |
1494345363 | 2017-05-03 | Production Wells | Violations Noted | Northeast Region District Supervisor Steven Ochs received a call from the landowner of an idle well on her property, documented in Complaint # 5599. I performed an inspection and found that the sales meter has been removed, there is no production unit or tanks at the tank battery.There is piping and a part of the tank battery fence still on location. The well head has a 4X2 swage and a 2 valve in the closed position on top of the 4.5 casing. There is no ID sign with permit number or emergency contact number posted on location. This well has zero production reported since 1998. The well owner/operator shall sumit a written plugging plan to John Fleming at 3575 Forest Lake Drive, Suite 150. Uniontown Ohio. 44685-8116 within 30 days and if approved, the well shall be plugged with-in 180 days. I contacted Brooks Yarbrough, owner/operator (330-665-9946) on 5/9/2017 and informed him of this Compliance Notice. |
1499432657 | 2017-07-05 | Production Wells | No Violations | On 5/1/2017, there was a compliant filed ( #5599 ) of an idle well and that all of the equipment had been removed on the above location. Up on my inspection the well is equipped with 4.5 casing with a 4X 2 swage the valves are in the closed position, there is no production equipment or sales meter. The lasted reported production was 2001 but there was 182 mcfs reported for 2016. I spoke with Brooks Yarbrough Owner/Operator of Baay Energy that there was a compliant and that I would be issuing him a Compliance Notice #1494345363 to plug the well. The compliance notice was sent by registered mail to Baay Energy. On 6/5/2017 I received a letter from Mr. Yarbrough stating that he would be putting the well back in production. On 7/5/2017 Mr. Yarbrough called and stated that he was on location getting ready to install the new production equipment. I meet with him stating that this would have to comply with 1501:9-9- |
1499437618 | 2017-07-06 | Production Wells | No Violations | I performed an inspection on the installation of the new tank battery installation. The horizontal separator and the 35 barrel tank and the distance from the well head are set in compliance of the urban rule 1501:9-9 05 (E) spacing. They will call when the DEOG meter is set and the well is in production. Compliance # 1494345363 / Compliant # 5599 |
1510689141 | 2017-11-14 | Production Wells | No Violations | I performed a follow up inspection on the above location. Compliance # 1494345363 / Compliant # 5599. The well is equipped with a 4X2 swage. There is a 2 ball value installed on the flow line and it is in the closed position. There is one 50 barrel poly tank and one horizontal separator. There is no fence around the well head and tank battery that is in compliance with 1501:9-9-05E urban rules. The ID signs are not in compliance. The sales meter is installed but is locked out. At tis time the well is not plugged. |
1537295889 | 2018-09-17 | Plug / Plug Back | No Violations | Steve Hagan Well Services was the plugging contractor. With Petroset Cementing Services supplied the cement and pumping services. A pre-plug evaluation indicated a pressure differential and casing integrity. The Clinton plug ( 4258 - 3958 ) was placed utilizing a Bullhead squeeze. The casing was parted at 3075. The Big Lime ( 2900 - 2600 ), a combined Berea Sandstone and bottom of surface casing plug ( 794 - 476 ) and surface plug ( 200 - 0 ) were placed using the 4.5 casing. |
1564661286 | 2019-7-31 0:00: | FR | No Violations | 0.60 |
1586827712 | 2018-01-18 | UrbanProduction Wells | No Violations | I conducted a follow up inspection to Compliance Notice # 1494345363 to assess the level of compliance of the issues identified on 5/3/2017. The original Compliance Notice ( # 1494345363 ) detailed non-compliant issues including: General Safety ( OAC 1501-9-9-02 ), Failure to legible identify well ( OAC 1501-9-9-05 (A) 10 ) and that the well shall be plugged ( ORC 1509:12B ). The well Owner / Operator had not reported production volumes since 1998. I conducted a follow up inspection on 9/15/2017 ( # 924423075 ) and found that none of the violations previously outlined in Compliance Notice # 1494345363 had been corrected and the well had not been plugged. I also found, during that inspection, that the equipment in the tank battery was not satisfying the Urbanized Area Permit Conditions section of OAC 1501:9-9-05 ( E ). The identifying signage did not meet the Urbanized Area requirements, the load line were not locked, the poly stock tank did not have the required equipment including activated charcoal filter, low pressure relief valve, lightning arrestor or pressure sealing tank hatch. A pile of non-essential piping and fittings were found outside the tank battery. My inspection today revealed that the Dominion / East Ohio Gas meter station was shut in and locked out with a EOG lock. The Mercury Digital meter read : 000000 ccf ( hundred cubic feet ). The I. D. sign at the meter site off Wise Road was still non-compliant. There was not any lease road to the tank battery and well casing which were approximately 500 south of Wise Road. The tank battery consisted of one (1) 35 barrel poly tank and one (1) 2408 horizontal separator with gas meter ( no chart ). An earthen dike and partially completed chain link fence surrounded the tank battery. The required tank equipment and locks were not in place. The pile of non-essential piping and fittings were still lying outside the tank battery. The well consisted of 4.5 casing swaged down to two (2) inch then connected to te |
1737990900 | 2018-05-17 | UrbanProduction Wells | No Violations | I conducted a follow up inspection to assess the level of compliance with a previously issued Notice of Violation ( # 1494345363 issued 5/9/2017 ). The original Notice of Compliance found various items including : General Safety ( OAC 1501-9-902 ), Failure to legibly identify well ( OAC 1501-9-9-05 (A) 10 and that the well shall be plugged. I found that the well has not been plugged or placed into production, the identifying signage was not conforming with the Urbanized Area Conditions. I did not find any indication of progress to bring this well into compliance. |
1781508686 | 2018-10-10 | Final Restoration | No Violations | The lease road and location was rough graded and void of vegetation. The two (2) inch sales line was reportedly ( per Hugh Palmer, Palmer Excavating ) removed from the tank battery to Dominion / EOG meter site. The flow line from the wellhead to the tank battery was also reportedly removed. The tank battery equipment had been removed, but the fence remained. There were sections of one (1) inch orange plastic pipe ( house service ) that were exposed during the removal of the sales line. Trees and brush debris was pushed into the woods. I will contact the Operator to effect corrective measures. This well did not pass Final Restoration. |
PL4231 | PL | No Violations |
Inspection ID | Violation ID | Violation Date | Violation Code | Violation Comments |
---|---|---|---|---|
0924423075 | US-OH-130462 | 2017-09-26 | ID (a-i) | |
0924423075 | US-OH-130463 | 2017-09-26 | LOCKS | |
0924423075 | US-OH-130464 | 2017-09-26 | TANKS (a-i) | |
1494345363 | US-OH-113967 | 2017-05-12 | General Safety | |
1494345363 | US-OH-113968 | 2017-05-12 | Failure to legibly identify well | |
1494345363 | US-OH-113969 | 2017-05-12 | Well shall be plugged |
For data sources see[9]