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Well ID: 37-129-28271 | Loading map...
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Country: United States | |
State: Pennsylvania | |
County: Westmoreland | |
Municipality: Fairfield Township | |
Operator Name: DIVERSIFIED OIL & GAS LLC | |
Well Pad ID: | |
Farm/Lease Name: CALVIN SMITH HEIRS 6 | |
License Status: | |
Spud Date: | |
Permit Date: 2010-02-12 | |
Well Type: GAS | |
Unconventional Well: N | |
Configuration: Vertical Well | |
Conservation: No | |
Latitude: 40.320198 | |
Longitude: -79.137154 |
Date | Event |
---|---|
2010-02-12 | New Permit Application |
2010-07-29 | Performed Spud Operation |
2010-08-04 | Drilling Completion |
2010-08-24 | Perforation |
2013-11-08 | NEWLY DRILLED |
For data sources see[4]
Period | Operator Name | Gas Quantity (mcf) | Gas Production Days | Oil Quantity (bbl) | Oil Production Days | Water Quantity (bbl) | Water Production Days |
---|---|---|---|---|---|---|---|
2010 | TEXAS KEYSTONE INC | 2,713.00 | 97 | 0.00 | 0 | 0.00 | 0 |
2011 | TEXAS KEYSTONE INC | 6,646.00 | 337 | 0.00 | 0 | 0.00 | 0 |
2012 | TEXAS KEYSTONE INC | 3,907.00 | 281 | 0.00 | 0 | 0.00 | 0 |
2013 | TEXAS KEYSTONE INC | 2,663.00 | 218 | 0.00 | 0 | 0.00 | 0 |
2014 | TEXAS KEYSTONE INC | 4,876.00 | 327 | 0.00 | 0 | 0.00 | 0 |
2015 | TEXAS KEYSTONE INC | 3,630.00 | 284 | 0.00 | 0 | 0.00 | 0 |
2016 | DIVERSIFIED OIL & GAS LLC | 1,077.00 | 121 | 0.00 | 0 | 0.00 | 0 |
2017 | DIVERSIFIED OIL & GAS LLC | 731.00 | 197 | 0.00 | 0 | 0.00 | 0 |
2018 | DIVERSIFIED OIL & GAS LLC | 191.00 | 365 | 0.00 | 0 | 0.00 | 0 |
2019 | DIVERSIFIED OIL & GAS LLC | 312.00 | 334 | 0.00 | 0 | 0.00 | 0 |
For data sources see[5]
Period | Operator | Waste Type | Quantity | Disposal Method | Waste Facility ID |
---|---|---|---|---|---|
2011 | TEXAS KEYSTONE INC | Produced Fluid | 200.00 Bbl | CENTRALIZED TREATMENT PLANT FOR RECYCLE | PA0095273 |
2012 | TEXAS KEYSTONE INC | Produced Fluid | 130.00 Bbl | CENTRALIZED TREATMENT PLANT FOR RECYCLE | PA0095273 |
2013 | TEXAS KEYSTONE INC | Produced Fluid | 70.00 Bbl | ROAD SPREADING | |
2014 | TEXAS KEYSTONE INC | Produced Fluid | 165.00 Bbl | CENT WASTE TRT FAC NPDES DISCHARGE | PA0095273 |
2014 | TEXAS KEYSTONE INC | Produced Fluid | 165 Bbl | CENT WASTE TRT FAC NPDES | PA0095273 |
2015 | TEXAS KEYSTONE INC | Produced Fluid | 80 Bbl | CENT WASTE TRT FAC NPDES | PA0095273 |
2015 | TEXAS KEYSTONE INC | Produced Fluid | 80.00 Bbl | CENT WASTE TRT FAC NPDES DISCHARGE | PA0095273 |
For data sources see[6]
Inspection ID | Inspection Category | Inspection Date | Inspection Type | Inspection Result | Inspection Comments |
---|---|---|---|---|---|
1856122 | Primary Facility | 2009-01-13 | Routine/Complete Inspection | No Violations Noted | : On January 13, 2010 I conducted an inspection for an OG 57 Request for waiver of distance requirement. Also on site was DEP WQS Nick Staffieri. The well site is proposed to be constructed within 100 ft. from an unnamed tributary to Hendricks Creek. Well was site staked. Construction has not begun at site. Proposed E & S plan should protect stream from adverse impact during site/well development if properly implemented & maintained. Drill cuttings are to be encapsulated on site. Operator must ensure that bottom of pit is at least 20 inches above the seasonal high groundwater table. |
2291880 | Primary Facility | 2014-07-24 | Site Restoration | No Violations Noted | At the time of inspection the well was drilled and equipped for production. The Department notes the site appears to be restored and meets the site restoration criteria of 70% uniform perennial vegetative coverage, however the sediment fence appears to be installed. The Department suggests the Operator remove the sediment fence and file the site restoration paperwork. Please submit copies of the Erosion and Sedimentation plan for the associated well pad and gathering pipelines associated with the well pad. |
2322583 | Primary Facility | 2014-09-18 | Complaint Inspection | No Violations Noted | On 8/11/2004 the operator submitted E&S plans and site restoration reports requested in inspection report # 2291880 dated 7/24/2014. After review of the material received and a follow up site inspection, the Department finds that the Operator followed the E&S plan and associated construction sequence. The complainants claim of erosion and estimation is unfounded in relation to the earth disturbance associated with the Texas Keystone projects on Toby Road. The Pending violation from the 7/24/2014 inspection has also been removed. The Department did observed a culvert that appears to be adding erosion and sedimentation to the UNT to Hedrick’s Creek between the Smith Heirs #1 well and the Smith Heirs #6 pipeline. |
For data sources see[7]