HomeMy WebLinkAboutDAQ-2024-0045891
DAQC-PBR151940001-23
Site ID 15194 (B1)
MEMORANDUM
TO: FILE – SCOUT ENERGY MANAGEMENT, LLC – Ashley Fed 11-27-9-15
THROUGH: Rik Ombach, Minor Source Oil and Gas Compliance Section Manager
FROM: Chris Jensen, Environmental Scientist
DATE: December 11, 2023
SUBJECT: OIL AND GAS PERMIT-BY-RULE EVALUATION
INSPECTION DATE: December 6, 2023
SOURCE LOCATION: Ashley Fed 11-27-9-15
Lat: 39.99935 Long: -110.22018
Business Office:
13800 Montfort Drive, Suite 100
Dallas, TX 75240
SOURCE TYPE: Tank Battery
Duchesne County
API: 4301332877, 4301352240, 4301352241
SOURCE CONTACTS: Abby Molyneaux, Corporate Environmental Contact
Phone: (972) 325-1170, Email: abby.molyneaux@scoutep.com
Chris Patterson, Local Contact
Phone: 970 620-3459, Email: chris.patterson@scoutep.com
OPERATING STATUS: Operating
PROCESS DESCRIPTION: Oil and gas products are brought to the surface. These products
go through a separator where the oil and any water products are
sent to storage tanks and the gas is used to power equipment on
site (pump jack engine, tank heater, separator, flare, combustor,
etc.) Any remaining gas is sent to a pipeline that feeds a local gas
plant. The oil and process water in the storage tanks is loaded
into tanker trucks and hauled off site for processing and disposal.
APPLICABLE REGULATIONS: Utah Administrative Code (UAC) R307-500 Series for the Oil
and Gas Industry, and UAC R307-201: Emission Standards:
General Emission Standards; and UAC R307-150: Emission
Inventories, and 40 CFR 60 Subpart JJJJ, 40 CFR 60 Subpart
OOOO.
2
SOURCE EVALUATION: Site Type: PBR-Uncontrolled
Voluntarily Controlled by Flare
Site powered by Engine
The source registered: 20,000 Estimated Oil BBL.
DOGM current 12 month rolling production is: 5,720 BBLs.
Utah Statute R307-506 requires a source with throughput
greater than 8,000 BBLs to have controls.
REGISTERED EQUIPMENT: Engine - Engine - Natural Gas 2-Stroke Lean Burn Make - Ajax
Model - E-565 Mfg Year - 2014 Horse Power - 40 Combustion -
natural gas, Pneumatic, Tank
3 General Provisions
4 VOC emissions are minimized as reasonably practicable by equipment design, maintenance and
operation practices. [R307-501-4(1)]
In Compliance. The source was inspected by AVO and with an OGI camera was found to be
well-kept with no visible or fugitive emissions. Requested records were provided in a timely
manner and reviewed at the local field office.
5 Air pollution control equipment is designed and installed appropriately, maintained and operated to
control emissions. [R307-501-4(2)]
In Compliance. Voluntarily controlled. Air pollution control equipment is not required at this
source. The production has fallen below the 8,000 BBL threshold and they claim the exemption.
An enclosed combustor still remains.
6 Vessel vent lines are sloped away from the flare inlet or to a separation vessel (scrubber). [R307-501-2]
In Compliance. The vent lines are sloped properly.
8 Pneumatic Controllers
9 Continuous bleed natural gas-driven pneumatic controllers are in compliance with 40 CFR 60.5390 or
60.5390a as applicable. Exemptions to tagging and record keeping requirements apply to controllers
existing before December 1, 2015. [R307-502-4]
In Compliance. This source does not use continuous bleed natural gas-driven pneumatic
controllers.
10 Flares
11 Any flare has an operational auto-igniter. [R307-503-4]
In Compliance. Auto-ignition is managed by the ECD control box.
12 Tank Truck Loading
13 Truck loading is done by bottom filling or submerged fill pipe. [R307-504(1)]
In Compliance. The truck loading area is suitable for submerged loading and it is routine for
truck drivers to load this way.
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14 A vapor capture line is used during truck loading if subject to storage vessel emissions controls of
R307-506-4(2). Effective July 1, 2019, for sources existing before January 1, 2018, and upon
construction for new sources. [R307-504-4(2)]
In Compliance. This source has the required vapor capture line installed.
15 Oil and Gas Industry Registration Requirement
17 Registration has been updated within 30 days of a company name change, removal or addition of
control devices, or termination of operations. [R307-505-3(3)]
In Compliance.
18 Storage Vessels
19 Thief hatches are kept closed and latched. [R307-506-4(1)]
In Compliance. All hatches were found closed at the start of the evaluation.
20 VOCs from storage vessels are recycled, recovered or controlled by a device that is compliant with
R307-508. Exempt if <8000 bbls crude oil per year, <2000 bbls condensate, or if uncontrolled
emissions are <4 tons VOC per year. [R307-506-4(2)(a)]
In Compliance. Tank emissions are routed to an enclosed combustor.
21 Emissions from emergency storage vessels are controlled according to R307-506-4(2), or are only used
in emergencies, are emptied within 15 days of receiving fluids and are equipped with a liquid level
gauge. [R307-506-4(4)]
In Compliance. No tanks are uncontrolled or used as an emergency tank.
23 Upon modification, the well site was re-evaluated against the thresholds of R307-506-4(2).
[R307-506-4(6)]
In Compliance. The DAQ did not identify any modifications or unauthorized equipment.
24 Records for each of the following are kept for three years:
Storage vessel vent system inspections (openings, thief hatches, pressure relief devices,
bypasses, etc.), if required
Monthly crude oil throughput
Emission calculations, actuals and sampling data when used to justify an exemption to storage
vessel rules
Emergency storage vessel usage (dates used, emptied, and volumes), if not controlled
per R307-506-4(2)[R307-506-5]
In Compliance. The recordkeeping procedures of the operator, concerning these requirements,
are found to be orderly and complete. These records were reviewed at the local office.
25 VOC Control Devices
26 The VOC control device(s) required by R307-506 or R307-507 has a control efficiency of 95% or
greater, operates with no visible emissions and has an operational auto-igniter according to R307-503.
[R307-508-3(1)]
In Compliance. The ECD is a brand of combustor that has been certified by the US EPA.
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27 Monthly AVO inspections are conducted on VOC control devices and associated equipment, and
corrective actions are taken within 15 days. [R307-508-3(3)]
In Compliance. The operator supplied inspection forms for review. These inspections were
conducted monthly as required by 40 CFR (60) OOOO and this requirement. The operator
indicated on the monthly inspection records that they use the EPA method 22 to detect visible
emissions.
28 The following records are kept:
VOC control device efficiency, for life of the equipment
Manufacturer operating and maintenance instructions for VOC control devices, for life
of the equipment
AVO inspections of the VOC control device(s), associated equipment and any repairs, for 3 years.
[R307-508-4]
In Compliance.
29 Leak Detection and Repair
30 The source has an emissions monitoring plan. [R307-509-4(1)(a)]
In Compliance. A field wide plan was produced to the DAQ for review during the records
portion of the evaluation. The DAQ is not pursuing compliance action if this has not been
prepared for each individual source.
31 The monitoring plan addresses difficult-to-monitor and unsafe-to-monitor components.
[R307-509-4(1)(b)]
In Compliance. The plan supplied by the operator met the standards required here.
32 If emissions control is required, monitoring surveys are conducted to observe each fugitive emissions
component for fugitive emissions. [R307-509-4(1)(c)]
In Compliance. The records supplied by the operator met the standards required here.
33 Initial monitoring surveys were within 60 days after startup for new sources. Subsequent surveys are
semi-annual for regular components, annual for difficult-to-monitor components, and as required by
the monitoring plan for unsafe-to-monitor components. [R307-509-4(1)(d)]
In Compliance. The operator supplied LDAR inspection forms for review. These inspections
were conducted twice a year, no sooner than 4 months apart and no later than 7 months apart as
required by 40 CFR (60) OOOO and this requirement.
34 Monitoring surveys are done with OGI equipment or by Method 21. [R307-509-4(1)(e)]
In Compliance. The operator uses a Flir GF 320 OGI camera.
35 Fugitive leaks are repaired within 15 days unless infeasible, unsafe, etc., as stated in the rule, which
require repair within 24 months per the rule. [R307-509-4(1)(f)]
In Compliance. The supplied inspection forms showed that the latest surveys found leaking
components that were addressed and repaired the same day.
36 Resurvey of the repaired components is completed within 30 days. [R307-509-4(1)(g)]
In Compliance.
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37 The following records are kept:
The emissions monitoring plan, for life of the site
LDAR inspections, repairs and resurveys, for 3 years [R307-509-5]
In Compliance. The records supplied by the operator met the standards required here.
38 Natural Gas Engines
39 Engines subject to R307-510 (does not have an AO, began operations, installed or modified after
January 1, 2016) meet the following limits:
Maximum Engine hp Emission Standards in (g/hp-hr)
NOx CO VOC HC+NOx
>25 hp and < 100 hp - 4.85 - 2.83
>100 hp 1.0 2.0 0.7 -
[R307-510-4(1)]
In Compliance. The pump jacks use Ajax E-565 engines. These are EPA certified.
40 Affected engines are certified or have an initial performance test per 40 CFR 60.4244. [R307-510-4(2)]
In Compliance. Certified engines.
41 Affected engine exhaust vents are vertical and unrestricted.
Stacks are 8' or greater if the site horsepower rating is 151 to 305
Stacks are 10' or greater if the site horse power rating is 306 or greater. [R307-510-4(3)]
In Compliance. The stacks all vent vertically.
42 Engine certifications or initial performance tests required are kept for the life of the engine at the
source. [R307-510-5]
In Compliance.
43 Associated Gas Flaring
44 Associated gas is routed to a process unit for combustion, a sales pipeline or an operating VOC control
device, except in an emergency.
An emergency release is unanticipated, temporary, infrequent, unavoidable, =24 hrs. and is not
due to operator negligence.
Low pressure gas from working loss, breathing loss and oil flashing is not
"associated gas". [R307-511-4(1)]
In Compliance. Associated gas is gathered to a sales line.
45 The following records are kept:
The time and date of event
Volume of emissions
Any corrective action taken for 3 years. [R307-511-5(1)(a)(b)]
In Compliance. Scout gave a statement that they were not aware of any reportable venting or
breakdowns.
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46 Visible Emissions
47 Visible emissions, except for unavoidable irregularities that do not exceed three minutes, are within the
following opacity limits:
Installations constructed on or before 4/25/1971 40%
Installations constructed after 4/25/1971 20%
Gasoline engines 0%
Diesel engines manufactured after 1/1/1973 20%
Diesel engines manufactured before 1/1/1973 40%
Note: Required VOC control devices shall have no visible emissions per R307-508-3. [R307-201-3]
In Compliance. No visible emissions were detected.
55 Emission Inventory:
56 An emissions inventory has been submitted within the past three years. [R307-150-9(1)]
In Compliance. The operator submitted for the 2020 emissions inventory.
59 NSPS (Part 60) JJJJ: Standards of Performance for Stationary Spark Ignition Internal Combustion
Engines [40 CFR 60 Subpart JJJJ]
In Compliance. The pump jacks use Ajax E-565 engines. These are EPA certified. The
recordkeeping and maintenance provisions are also met to maintain the certification.
60 NSPS (Part 60) OOOO: Standards of Performance for Crude Oil and Natural Gas Production,
Transmission and Distribution [40 CFR 60 Subpart OOOO]
In Compliance. This source has an Approval Order from the State of Utah with legal and
enforceable limits. A monitoring, repair, and record keeping program is in place that would
satisfy the requirements of 40 CFR (60) OOOO for a tank affected facility although the tank
battery no longer has the PTE in excess of 6 TPY. There are no other affected facilities that are
installed.
PREVIOUS ENFORCEMENT
ACTIONS: No enforcement actions within the past five years.
COMPLIANCE STATUS &
RECOMMENDATIONS: In Compliance - The source was inspected by AVO and with an
OGI camera was found to be well-kept with no visible or
fugitive emissions. Requested records were provided in a timely
manner and reviewed at the local field office.
RECOMMENDATION FOR
NEXT INSPECTION: The DAQ has no recommendations for the next inspector other
than what are customary. The DAQ recommends the inspection
frequency of this source be reduced. The DAQ was joined by
Scout personnel during the site inspection.
ATTACHMENTS: None.