Notice
to Lessees and Operators (NTL) of Federal Oil, Gas,
and Sulphur Leases in the Outer Continental Shelf
Conservation
Information
This Notice to Lessees and Operators (NTL) describes how
the Minerals Management Service (MMS) will obtain conservation information about Gulf of
Mexico OCS Region (GOMR) deepwater or subsea development projects early in the planning
phase. The MMS will use this information to assure development of economically producible
reservoirs in accordance with sound conservation, engineering, and economic practices as
cited in 30 CFR 250.32(a) and 250.171(a) before you commit or expend substantial funds.
The MMS will obtain the necessary information as part of the approval process for
Supplemental Plans of Exploration (SPOE) and Initial and Supplemental Development
Operations Coordination Documents (DOCD).
If you are contemplating developing a lease or leases
located in water depths greater than 1000 feet, we require that you provide the
conservation information listed below in a separate document with your SPOE or DOCD in
accordance with 30 CFR 250.33(b)(21) or 30 CFR 250.34(b)(17). This will assist MMS in
determining that predevelopment or development activities proposed after the initial
exploration program are in accordance with MMSs mandate to conserve resources. You
must also submit the information for development scenarios involving subsea wells,
regardless of water depth. Development scenarios which will use conventional steel-piled
jacket platforms are exempt from this early conservation review.
The following proprietary information, to the extent that
it is available, shall be submitted to the Regional Supervisor for Field Operations for
each penetrated, hydrocarbon-bearing reservoir which would qualify a well as capable of
producing in paying quantities under 30 CFR 250.11:
A. Estimate of original oil and gas in place and
anticipated recoverable reserves;
B. Reservoir development strategies or a statement
that the reservoir is not planned for development;
C. Project-specific economic justification, including
risk assessment, consistent with your internal evaluation if the reservoir is not planned
for development;
D. Structure maps, the penetration point and subsea
depth for each well penetrating the reservoir, fluid contacts or the lowest or highest
known levels in the absence of actual contacts, reservoir boundaries, and the scale of the
map;
E. Interpreted structural cross sections and
corresponding full-scale interpreted seismic lines or block diagrams, as necessary, which
include all current wellbores and planned wellbores on the leases to be developed; the
reservoir boundaries, gas/oil/water contacts, depth scale, and stratigraphic positions
should be included on the cross sections;
F. Isopach maps of each reservoir showing the net
feet of pay for each well within the reservoir identified at the penetration point, along
with the well name, labeled contours, and the correct scale of the map;
G. Appropriate well logs;
H. Appropriate pressure data, specified by date, and
whether estimated or measured; and
I. Any other appropriate data used in performing your
reservoir evaluations and preparing your reservoir development strategies.
Submit only that reservoir and geologic information that
has changed; reference all other information that has been submitted in a previous POE or
DOCD.
We understand that formulation of reservoir development
plans involves the analysis of numerous complex and uncertain factors. We further
understand that different parties may use different assumptions concerning matters such as
price forecast, risk tolerance, marginal cost of capital, discount rate, inflation
factors, and the like. It is not our intent to require the development of uneconomic
reservoirs.
You are encouraged to submit this SPOE or DOCD conservation
document as early as practical and/or request an informal meeting(s) or presentation(s)
when capital investments could be affected by MMS conservation decisions. When this
conservation document is submitted separately, prior to the submission of the complete
SPOE or DOCD, the Regional Supervisor will provide a timely written response indicating
acceptability concerning conservation issues.
The GOMR will review this NTL and its application within 2
years following its effective date.
[signed] Lucy R. Querques
Acting Associate Director for
Offshore Energy and Minerals Management
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Last Updated:
08/14/2008,
09:57 AM

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