- 2021 (entire year) and 2022 (first half) BSEE incident tables. If safety is the highest priority, these data should be updated quarterly.
- IRF 2021 safety performance data
- An international treaty (accompanied by a standard) on disclosing major offshore accidents and the collection and release of incident data. (Also, see this related post.)
- Hogan and Houchin decommissioning update, most notably the financial responsibility aspects
- Huntington Beach pipeline spill report
- Workable California decommissioning legislation
- ONRR flaring and venting data (update: ONRR advises that they anticipate publication of these data in September.)
- DOI statement on the Sale 257 carbon sequestration bids
- Definitive casualty information and report on the 2-2-2022 Trinity Spirit FPSO fire
- Updated DOI-DOT offshore pipeline regulations
- Coast Guard report on the May 2008 Russell Peterson liftboat tragedy
- Updated US Coast Guard Subchapter N regulations
- Information on the mysterious sinking of the Aban Pearl semi-submersible in May 2010.
Posts Tagged ‘Hogan and Houchin’
Still waiting for…
Posted in accidents, CCS, decommissioning, Offshore Energy - General, pipelines, Regulation, tagged aban pearl, BSEE, CCS, flaring, Hogan and Houchin, Huntington Beach, incident data, offshore pipelines, Russell Peterson, Trinity Spirit, USCG on August 11, 2022| Leave a Comment »
Gulf of Mexico violations surged in 2021; one company is largely responsible
Posted in accidents, Gulf of Mexico, Offshore Energy - General, Regulation, tagged Chevron, Fieldwood Energy, Hogan and Houchin, INCs, safety leadership, safety violations on January 20, 2022| Leave a Comment »
Per BSEE’s Incidents of Non-Compliance (INC) data base, the number of violations surged in 2021, both in terms of the total number of INCs and the INCs/inspection ratio (see chart below). Remarkably, a single company – Fieldwood Energy – was responsible for 845 INCs or 44% of the total number issued. Normalizing for the number of inspections, Fieldwood facilities were cited for 1.46 INCs/inspection versus 0.46 INCs/inspection for all other companies. An unprecedented 61 of Fieldwood’s 2021 INCs called for facility shut-ins, many times more than any other operator. Through the first 17 days of 2022, Fieldwood has already been cited for 21 INCs, 5 of which required facilities to be shut-in.

Fieldwood and its affiliates have experienced multiple bankruptcies and the company has once again been reorganized with the blessing of the courts. Chevron’s comprehensive objection to the reorganization plan asserted that Fieldwood has $9 billion in current and anticipated decommissioning obligations. These enormous decommissioning liabilities and their implications for predecessor lessees (former facility owners) and the Federal government were the main issue in these proceedings, and the bankruptcy plan includes settlements with predecessor companies and the government.
Even more significant than the financial matters and INCs are the following:
- A worker died while repairing a badly corroded Fieldwood facility in May 2020.
- Per BSEE, Fieldwood was the responsible party in 4 of the 13 civil penalty cases settled in FY 2020.
- In January 2021, two Fieldwood employees were indicted for allegedly allowing oil to spill into the Gulf.
While BSEE regulations provide for the removal of operating rights for poor safety performance, companies can reorganize and problem managers can reappear elsewhere. As a result, marginally financed and ineffective operating companies are a major challenge for BSEE as evidenced by the INCs, civil penalties, and investigations. (See the related saga of Platforms Hogan and Houchin in the Pacific Region.)
Poor safety performers drag down the entire industry. The costs of mega-disasters like the Santa Barbara and Macondo blowouts have been widely discussed. However, chronic poor performance and the associated incidents also weaken the industry and damage the integrity of the offshore oil and gas program. These performance issues can’t be left entirely to BSEE and the Coast Guard to resolve. The industry needs to do a better job of self-evaluation, calling out poor performers, and exercising judgement in the assignment of offshore properties.
Decisions, investigations, reports, and trends that BOE will be tracking in 2022
Posted in accidents, decommissioning, energy policy, hurricanes, Offshore Energy - General, tagged 2020 offshore fatalities, Beta Unit pipeline, Globetrotter II, Hogan and Houchin, Huntington Beach, Khamsin, Lease Sale 257, offshore production, Russell Peterson on January 10, 2022| Leave a Comment »
- DC Federal Court decision on Gulf of Mexico Oil and Gas Lease Sale 257: Will the Court uphold the 11/17/2022 sale? If the Court upholds the sale, will BOEM accept the carbon sequestration bids without having announced that tracts would be offered for those purposes, and without advising about lease terms and bid analysis procedures?
- Investigation reports for the 6 fatal US offshore incidents in 2020: When will these overdue reports be issued? Also, we know that there were at least two 2021 fatalities? When will those reports be issued?
- Platforms Hogan and Houchin, Santa Barbara Channel: When will we learn more about the Inspector General’s findings regarding the improper use of decommissioning funds? Why was the lessee, Signal Hill, allowed to withdraw funds from those accounts for purposes unrelated to decommissioning? How does this affect the liability of predecessor lessees?
- Investigation of the Huntington Beach pipeline spill: When will the the joint investigation team report be issued? To what extent can the pipeline operator be held liable for a leak caused by anchor dragging, particularly given the leak detection limitations for low pressure pipelines?
- Globetrotter 2 incident during Hurricane Ida: When will the Coast Guard issue their report on the delayed relocation of the Noble Globetrotter 2 drillship during Hurricane Ida? In light of this incident, the fatality on the Pacific Khamsin prior to Tropical Storm Laura (2020), and similar incidents, further attention to the timely relocation of dynamically positioned drillships would seem to be in order.
- US offshore drilling and production trends: With several deepwater fields scheduled to begin producing in 2022, will GoM oil production meet or exceed the August 2019 peak of 2.044 million BOPD, at least temporarily? Will exploratory drilling activity increase to levels needed for reserve replacement? Will the prolonged decline in US offshore gas production be reversed?
- Russell Peterson liftboat tragedy (2008): Will the Coast Guard ever explain why their investigation report in unavailable?