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Posts Tagged ‘cementing’

Industry standards are critical to safety achievement. They represent best practices as determined by leading experts in the many disciplines that support oil and gas exploration and development. Another plus for standards is that, unlike regulations, they can be developed in a timely manner, particularly where there is an immediate need. However, industry mergers and streamlining have reduced the diversity of input, and some companies either do not participate or participate primarily to promote or protect their particular interest. The need for a consensus can also result in “lowest common denominator” outcomes that lack the necessary rigor.

Minerals Management Service (MMS) reviews indicated that cementing issues were the leading contributing factor to well control incidents between 1992 and 1996 (see chart below). On August 16, 2000, MMS challenged a new API cementing work group to improve zonal isolation, reduce the occurrence of sustained casing pressure, and prevent annular flow incidents before, during, and after cementing operations. Unfortunately, the standard was long delayed because of internal disagreements within the work group. Feedback indicated that some participants preferred a watered down, less rigorous version.

It is undisputed that the primary cement at Macondo failed to isolate hydrocarbons in the formation from the wellbore—that is, it did not accomplish zonal isolation. If the cement had set properly in its intended location, the cement would have prevented hydrocarbons from flowing out of the formation and into the well. The cement would have been a stand-alone barrier that would have prevented a blowout even in the absence of any other barriers (such as closed blowout preventer rams, drilling mud, and cement plugs).

Chief Counsel’s Report, National Commission on the BP Deepwater Horizon Oil Spill

API Standard 65-2, Isolating Potential Flow Zones During Well Construction, if completed in a timely manner and complied with would likely have prevented not only the Macondo disaster, but also the 2009 Montara blowout in Australia. (The Montara investigation hearings were covered extensively on this blog in 2010.) This important standard was ultimately finalized in a reactive manner after the Macondo well blew out.

Standard 65-2 focuses on the prevention of flow through or past barriers that are installed during well construction. A few key elements that are pertinent from a Macondo perspective:

  • Companies are required to perform a risk assessment prior to utilizing foamed cement and make sure that the results of this assessment are incorporated in the cementing plan. In setting the production casing on the Macondo well, foamed cement was used in an oil-based mud environment, destablizing the cement and contributing to the failure to isolate the highly productive oil reservoir.
  • The standard specifies float valve and cement requirements for the shoe track at the base of the casing, the Macondo failure point. (Weatherford float equipment failures were a common element to both the Montara and Macondo blowouts. Weatherford’s $75 million settlement with BP seems rather modest when one considers the magnitude of the damage costs.)
  • The framework in Annex D of the standard does a good job of outlining the questions that should be asked in conducting a cementing risk assessment. These issues identified in the Chief Counsel’s report, which includes an outstanding review of the technical and management issues associated with the cementing/zonal isolation of the Macondo reservoirs, should have been addressed by BP and their contractors before initiating the well suspension program:
    • narrow pore pressure/fracture gradient;
    • use of nitrogen foamed cement;
    • use of long string casing design;
    • short shoe track;
    • limited number of centralizers;
    • uncertainty regarding float conversion;
    • limited pre-cementing mud circulation;
    • decision not to spot heavy mud in rathole;
    • low cement volume;
    • low cement flow rate;
    • no cement evaluation log before temporary abandonment; and
    • temporary abandonment procedures that would severely underbalance the well and place greater stress than normal on the cement job.

Unfortunately, such an assessment was not conducted and critical operational decisions were made in a rash manner with the objective of saving time. We know the outcome – 11 lives lost, massive pollution, and enormous social costs

Despite making multiple changes over the last nine days before the blowout, the Macondo team did not formally analyze the risks that its temporary abandonment procedures created. The Macondo team never asked BP experts such as subsea wells team leader Merrick Kelley about the wisdom of setting a surface cement plug 3,000 feet below the mudline to accommodate setting the lockdown sleeve or displacing 8,300 feet of mud with seawater without first installing additional physical barriers. It never provided rig personnel a list of potential risks associated with the plan or instructions for mitigating those risks.

Almost every decision the Chief Counsel’s team identified as having potentially contributed to the blowout occurred during the execution phase.

Chief Counsel’s Report

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I was unaware of the Halliburton study referenced in the Montara Inquiry Report:

A 2001 Halliburton study of USA Gulf of Mexico cementing failures in 4000 wells showed that (i) approximately one in six casing shoes required remedial work after primary cementing (by way of a so‐called ‘squeeze job’); and (ii) intermediate casing shoes failed shoe tests 70 per cent more often than shallower casings because they were more likely to be over‐displaced.

This paper was presented at an SPE conference in New Orleans.  Click here to purchase the paper or read a good abstract.

Questions:

  1. Have other analyses and reports been prepared using these data?
  2. Would Halliburton make the data base available for the common good if they receive legal protection?
  3. In light of the worldwide interest in better understanding well integrity risks, would Halliburton and others expand the data base to include other regions?
  4. Surely, there must be other private data bases that would be useful for assessing operational risks and developing mitigations. Are the owners willing to identify these data bases? Can they be protected from liability risks if they agree to make the information accessible?

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Selected cementing recommendations from the Montara report:

Recommendation 30: Tracking and analysis of cementing problems/failures should occur to assess industry trends, principal causes, remedial techniques and so on.

Comment: This is an excellent recommendation that needs to be expanded to include other failures (e.g. BOPE) and incident data.

Recommendation 31: It is recommended that industry, regulators, and training/research institutions liaise with one another with a view to developing better techniques for testing and verifying the integrity of cemented casing shoes as barriers (particularly in atypical situations such as where the casing shoe is located within a reservoir in a horizontal or high angle position at great depth).

Recommendation 33: It should be standard industry practice to re‐test a cemented casing shoe (that is, after WOC) whenever the plugs do not bump or the float valves apparently fail. Standard industry practice should require consideration of other tests in addition to a repeat pressure test.

Comment: Negative pressure test guidance should be the highest priority.

Recommendation 37: Consideration should be given to ways to ensure that contractors who are involved in barrier installation (such as cementing companies) have a direct interest in the performance of works to a proper standard. In particular, consideration should be given to (i) preventing contractors from avoiding the economic consequences of negligent installation of barriers; and/or (ii) imposing specific legislative standards of workmanship on contractors with respect to well control (similar to those which presently apply to licensees).

Comment: I’m not sure I agree with this one.  It seems to me that one party should be responsible and accountable for the well construction, and that should be the operator. Operators should choose contractors who have outstanding performance records, apply the highest standards, and work effectively with the operator’s team to ensure that barriers are properly installed and tested.

 

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Mr Mueller likens the role of cementers in well construction to that of cornerbacks in football: “When we fall down and someone passes for a touchdown, everyone sees it. … When there’s a failure (in cementing), it’s typically quite noticeable and costly, even catastrophic. … You have to always ask yourself, ‘What haven’t I thought about? What can go wrong? If it does go wrong, how can we fix it?’ ”

In the wake of Montara, I recommend that you read an excellent article in the latest edition of Drilling Contractor magazine about Dan Mueller, a cementing specialist for ConocoPhillips.  Having read hundreds of pages about the cementing issues that appear to be the root-cause of the Montara blowout, it was refreshing to see Mr. Mueller’s comments and learn more about his company’s commitment to safe and effective cementing operations.  While incidents like Montara rightfully attract much of our attention, most companies understand the importance of cementing and provide the resources necessary to ensure success.  As the article reminds us:

The high stakes at play – plus the increasingly hostile conditions under which wells are drilled today – means that preplanning on a well-by-well basis is crucial. Thermal modeling, wellbore stress modeling, hydraulics modeling, computational dynamics modeling – everything that can be done has to be done to make sure nothing gets overlooked. In today’s complex wells, Mr Mueller explained, anything that’s an “unknown” has the potential to damage the cement’s effectiveness.

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