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HomeMy WebLinkAboutCO 824CONSERVATION ORDER 824
Sterling Unit (Federal, Terminated)
Sterling Undefined and Upper Beluga
Undefined Gas Pools
Sterling Unit 32-16 Gas Development Well
Kenai Peninsula Borough, Alaska
1. February 3, 2025 Hilcorp Application for Spacing Exception
2. February 5, 2025 AOGCC notice of public hearing
3. ---------------- Background information
4. --------- ------- emails
STATE OF ALASKA
ALASKA OIL AND GAS CONSERVATION COMMISSION
333 West 7th Avenue
Anchorage, Alaska 99501
Re: THE APPLICATION OF HILCORP
ALASKA, LLC for an exception to the
spacing requirements to drill, test, and
operate the Sterling Unit 32-16 gas
development well within 1,500 feet of a
property line, pursuant to 20 AAC
25.055(d).
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Conservation Order 824
Docket Number: CO-25-001
Sterling Unit (Federal, Terminated)
Sterling Undefined and Upper Beluga
Undefined Gas Pools
Sterling Unit 32-16 Gas Development Well
Kenai Peninsula Borough, Alaska
July 14, 2025
IT APPEARING THAT:
1. By letter dated February 3, 2025, Hilcorp Alaska, LLC (Hilcorp), in its capacity as operator of
the Sterling and Upper Beluga Undefined Gas Pools (Sterling and Beluga Undefined Gas
Pools) in the former Sterling Unit (SU), requests an order approving an exception to the spacing
requirement of 20 AAC 25.055 to drill, test, and operate as a gas development well the
proposed Sterling Unit 32-16 (SU 32-16) well in the Sterling and Beluga Undefined Gas Pools
within 1,500 feet of property lines where ownership or landownership change.
2. In accordance with 20 AAC 25.055(d), Hilcorp sent, by certified mail, notice of the application
to all owners, landowners, and operators of all properties within 3,000 feet of the SU 32-16
well and provided the notice, addresses to which the notices were delivered, and certified mail
receipts to the AOGCC.
3. Pursuant to 20 AAC 25.540, the AOGCC scheduled a tentative public hearing for March 13,
2025. On February 5, 2025, the AOGCC published notice of the hearing on the State of
Alaska’s Online Public Notices website, the AOGCC’s website, and the AOGCC electronically
transmitted the notice to all persons on the AOGCC’s email distribution list. On February 9,
2025 the notice was published in the ANCHORAGE DAILY NEWS.
4. The AOGCC received no comments or requests to hold the proposed hearing. The scheduled
hearing was vacated.
5. Hilcorp’s application, additional information submitted by Hilcorp, AOGCC’s records, and
publicly available information are sufficient to make an informed decision.
PURPOSE AND NEED FOR THIS ORDER:
Well spacing regulations protect the oil and gas rights of adjacent landowners and maximize
resource recovery by establishing default limits on how close, under the land's surface, oil and gas
wells can be to property lines where ownership changes. These limits are set forth in Regulation
20 AAC 25.055. Operators must abide by the default well spacing limits (referred to as statewide
spacing requirements) unless they apply for, and obtain, an exception to those limits. Although
exceptions to the default well spacing requirements are not unusual, AOGCC carefully evaluates
each application, and typically grants them only when actual geologic conditions demonstrate that
Conservation Order 824
July 14, 2025
Page 2 of 5
the proposed subsurface location of a well is necessary to reach otherwise unreachable oil or gas,
the rights of adjacent landowners are upheld, and underground sources of drinking water can be
protected. As a general matter, AOGCC does not have extensive authority over surface impacts
such as noise, emissions, or construction.
FINDINGS:
1. Sterling Unit History: The SU, comprising 2,760 acres, was approved as a federal oil and gas
unit on July 7, 1961. Discovered and first tested by exploratory well Sterling Unit 23-15 in
1961 and 1962, the six wells drilled and completed within the unit produced a total of
14,466,724,000 cubic feet of natural gas between May 1962 and April 2015 from the following
Undefined Gas Pools (in descending stratigraphic order): Sterling, Upper Beluga, Beluga,
Lower Beluga/Tyonek, and Tyonek. In 2013, Hilcorp was designated operator for this unit.
Since May 2015, wells within SU have not produced paying quantities of any unitized
substance. Accordingly, on December 15, 2017, the Federal Sterling Unit Agreement
(AA050887) was terminated by the U.S. Bureau of Land Management.1
2. Owners: Affected landowners are Cook Inlet Region, Inc. (CIRI) and the State of Alaska
(SOA) for the properties traversed by, or within 1,500 feet of, the proposed SU 32-16 well.
CIRI is landowner for lease C-061723 that contains the proposed surface, target, and bottom-
hole locations. SOA is landowner for lease ADL 394294 that is traversed in part by the well.
Hilcorp is 100% working interest owner for all properties within 1,500’ of SU 32-16. CIRI,
SOA, and the Alaska Mental Health Trust Authority are landowners for all properties within
3,000 feet of the well.
3. Operator: Hilcorp is Operator for this proposed onshore gas development well, which is located
within Kenai Peninsula Borough, on the east side of the Cook Inlet Basin, and about 3 miles
northeast of Soldotna, Alaska.
4. Well Location: The proposed SU 32-16 well, shown in Figure 1, will be located as follows.
Surface Location: 2323' FSL, 564' FEL, Section 9, T5N, R10W, Seward Meridian (SM)
Target Location (Estimated): 862' FNL, 1791’ FEL, Section 16, T5N, R10W, SM
Bottom Hole Location: 1462' FNL, 2022’ FEL, Section 16, T5N, R10W, SM
5. Governing Well-Spacing Rule: Regulation 20 AAC 25.055 governs well spacing for the
undefined gas pools within the former SU. Portions of proposed well SU 32-16 will lie within
1,500’ of property lines where ownership and / or landownership changes.
6. Exception Justification: SU 32-16 targets unproven reserves in the Sterling and Beluga
Undefined Gas Pools. These reserves cannot be reached and efficiently developed by
conforming to applicable statewide spacing regulations because of the narrow, discontinuous,
and lenticular nature of the Sterling and Beluga reservoir sands and their most prospective
locations on the subsurface structure.
1 U.S. Bureau of Land Management, Alaska State Office, Decision: Federal Oil and Gas Unit Terminated, Leases
Extended, date: April 10, 2018.
Conservation Order 824
July 14, 2025
Page 3 of 5
Figure 1. Map of Planned Hilcorp SU 32-16 Wellbore Displaying the 1,500’ and 3,000’
Buffers Surrounding the Proposed Well Path
(Source: Hilcorp Alaska, LLC)
Conservation Order 824
July 14, 2025
Page 4 of 5
7. Freshwater Protection and Waste Prevention: If constructed and operated as required, drilling,
completion, testing, and operation of SU 32-16 will not cause waste or result in an increased
risk of fluid movement into freshwater.
CONCLUSIONS:
1. An exception to the well spacing provisions of 20 AAC 25.055 is necessary to allow drilling,
completion, testing, and operation of SU 32-16 as a gas development well within the Sterling
and Beluga Undefined Gas Pools.
2. It is unlikely that a well conforming to the spacing provisions of 20 AAC 25.055 would be able
to access and efficiently produce the targeted reserves.
3. If constructed and operated as required, SU 32-16 will not cause waste or result in an increased
risk of fluid movement into freshwater.
4. Granting an exception to the well spacing provisions of 20 AAC 25.055 will not result in waste
or jeopardize correlative rights of adjoining or nearby owners, is based on sound engineering
and geoscience principles, and will not result in an increased risk of fluid movement into
freshwater.
NOW, THEREFORE, IT IS ORDERED:
The AOGCC grants Hilcorp’s February 3, 2025, application for an exception to the well spacing
provisions of Regulation 20 AAC 25.055 to allow the drilling, completion, testing, and operation
of SU 32-16 as a gas development well in the Sterling and Beluga Undefined Gas Pools. Hilcorp
may proceed and must comply with all applicable laws and all other legal requirements.
DONE at Anchorage, Alaska and dated July 14, 2025.
Jessie L. Chmielowski Gregory C. Wilson
Commissioner Commissioner
Gregory C. Wilson
Digitally signed by Gregory C.
Wilson
Date: 2025.07.14 14:41:02 -08'00'
Jessie L.
Chmielowski
Digitally signed by Jessie L.
Chmielowski
Date: 2025.07.14 16:01:46
-08'00'
Conservation Order 824
July 14, 2025
Page 5 of 5
RECONSIDERATION AND APPEAL NOTICE
As provided in AS 31.05.080(a), within 20 days after written notice of the entry of this order or decision, or such further time as
the AOGCC grants for good cause shown, a person affected by it may file with the AOGCC an application for reconsideration of
the matter determined by it. If the notice was mailed, then the period of time shall be 23 days. An application for reconsideration
must set out the respect in which the order or decision is believed to be erroneous.
The AOGCC shall grant or refuse the application for reconsideration in whole or in part within 10 days after it is filed. Failure to
act on it within 10-days is a denial of reconsideration. If the AOGCC denies reconsideration, upon denial, this order or decision
and the denial of reconsideration are FINAL and may be appealed to superior court. The appeal MUST be filed within 33 days
after the date on which the AOGCC mails, OR 30 days if the AOGCC otherwise distributes, the order or decision denying
reconsideration, UNLESS the denial is by inaction, in which case the appeal MUST be filed within 40 days after the date on
which the application for reconsideration was filed.
If the AOGCC grants an application for reconsideration, this order or decision does not become final. Rather, the order or
decision on reconsideration will be the FINAL order or decision of the AOGCC, and it may be appealed to superior court. That
appeal MUST be filed within 33 days after the date on which the AOGCC mails, OR 30 days if the AOGCC otherwise
distributes, the order or decision on reconsideration.
In computing a period of time above, the date of the event or default after which the designated period begins to run is not
included in the period; the last day of the period is included, unless it falls on a weekend or state holiday, in which event the
period runs until 5:00 p.m. on the next day that does not fall on a weekend or state holiday.
From:Coldiron, Samantha J (OGC)
To:AOGCC_Public_Notices
Subject:[AOGCC_Public_Notices] Conservation Orders 824 and 825 (Hilcorp)
Date:Monday, July 14, 2025 4:06:35 PM
Attachments:CO824.pdf
CO825.pdf
Please see attached.
Samantha Coldiron
AOGCC Special Assistant
Alaska Oil and Gas Conservation Commission
333 West 7th Avenue
Anchorage, AK 99501
(907) 793-1223
__________________________________
List Name: AOGCC_Public_Notices@list.state.ak.us
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From:Luke Suchecki
To:Davies, Stephen F (OGC)
Cc:Coldiron, Samantha J (OGC); Dewhurst, Andrew D (OGC); Roby, David S (OGC)
Subject:RE: [EXTERNAL] Application for Spacing Exception - Sterling Unit 32-16
Date:Monday, February 3, 2025 3:55:17 PM
Mr. Davies,
The area of interest (Sterling) isn’t subject to established pool rules. Additionally, the requirements
of 20 AAC 25.055(a)(2) dictate a spacing exception is required in the instance a wellbore drilling for
gas is within 1,500’ of a property line where the owners and landowners are not the same on both
sides.
There is currently unleased acreage within the 1,500’ boundary. Hilcorp is actively engaging
mineral owners to lease.
The well is planned to be constructed in manner that protects both correlative rights and freshwater
aquifers in accordance with AOGCC regulations.
Please advise if the above is satisfactory.
Luke Suchecki
Hilcorp Alaska, LLC
Landman
3800 Centerpoint Drive, Suite 1400
Anchorage, Alaska 99503
Direct: (907) 777-8432
Mobile: (907) 217-9729
Email: luke.suchecki@hilcorp.com
This document may contain information that is privileged, confidential and exempt from disclosure under applicable
law. If you are not the intended recipient, you are on notice that any unauthorized disclosure, copying, distribution,
or taking of any action in reliance on the contents of this document is prohibited.
From: Davies, Stephen F (OGC) <steve.davies@alaska.gov>
Sent: Monday, February 3, 2025 3:25 PM
To: Luke Suchecki <Luke.Suchecki@hilcorp.com>
Cc: Coldiron, Samantha J (OGC) <samantha.coldiron@alaska.gov>; Dewhurst, Andrew D (OGC)
<andrew.dewhurst@alaska.gov>; Roby, David S (OGC) <dave.roby@alaska.gov>
Subject: [EXTERNAL] Application for Spacing Exception - Sterling Unit 32-16
Luke,
Hilcorp’s application for a Spacing Exception for Sterling Unit 32-16 needs more information. That
application states that Sterling Unit 32-16 will target an up-dip location in the Sterling B and Upper
Beluga reservoirs. Please provide additional information as to why the reserves that will be accessed
by this well could not be recovered by a well that conforms to current spacing requirements. The
information provided should also demonstrate that the proposed subsurface location of this well is
necessary to reach otherwise unreachable oil or gas and that both the rights of adjacent
leaseholders and landowners and underground drinking water will be protected.
Thanks and Be Well,
Steve Davies
AOGCC
CONFIDENTIALITY NOTICE: This e-mail message, including any attachments, contains information from the Alaska Oil
and Gas Conservation Commission (AOGCC), State of Alaska and is for the sole use of the intended recipient(s). It may contain
confidential and/or privileged information. The unauthorized review, use or disclosure of such information may violate state or
federal law. If you are an unintended recipient of this e-mail, please delete it, without first saving or forwarding it, and, so that the
AOGCC is aware of the mistake in sending it to you, contact Steve Davies at 907-793-1224 or steve.davies@alaska.gov
The information contained in this email message is confidential and may be legally privileged and is intended only for the use of the
individual or entity named above. If you are not an intended recipient or if you have received this message in error, you are hereby
notified that any dissemination, distribution, or copy of this email is strictly prohibited. If you have received this email in error, please
immediately notify us by return email or telephone if the sender's phone number is listed above, then promptly and permanently delete
this message.
While all reasonable care has been taken to avoid the transmission of viruses, it is the responsibility of the recipient to ensure that the
onward transmission, opening, or use of this message and any attachments will not adversely affect its systems or data. No responsibility
is accepted by the company in this regard and the recipient should carry out such virus and other checks as it considers appropriate.
CAUTION: External sender. DO NOT open links or attachments from UNKNOWN senders.
From:Luke Suchecki
To:Davies, Stephen F (OGC)
Cc:Coldiron, Samantha J (OGC); Dewhurst, Andrew D (OGC); Roby, David S (OGC)
Subject:RE: [EXTERNAL] Application for Spacing Exception - Sterling Unit 32-16
Date:Tuesday, February 4, 2025 2:25:21 PM
Mr. Davies,
Please see the individual replies to your inquiries below, in blue.
Please contact me with any questions.
Luke Suchecki
Hilcorp Alaska, LLC
Landman
3800 Centerpoint Drive, Suite 1400
Anchorage, Alaska 99503
Direct: (907) 777-8432
Mobile: (907) 217-9729
Email: luke.suchecki@hilcorp.com
This document may contain information that is privileged, confidential and exempt from disclosure under applicable
law. If you are not the intended recipient, you are on notice that any unauthorized disclosure, copying, distribution,
or taking of any action in reliance on the contents of this document is prohibited.
From: Davies, Stephen F (OGC) <steve.davies@alaska.gov>
Sent: Monday, February 3, 2025 4:06 PM
To: Luke Suchecki <Luke.Suchecki@hilcorp.com>
Cc: Coldiron, Samantha J (OGC) <samantha.coldiron@alaska.gov>; Dewhurst, Andrew D (OGC)
<andrew.dewhurst@alaska.gov>; Roby, David S (OGC) <dave.roby@alaska.gov>
Subject: RE: [EXTERNAL] Application for Spacing Exception - Sterling Unit 32-16
Thank you, Luke. I have a few additional questions:
Why must the well be drilled to this particular subsurface location? Why couldn’t it target the
potential reservoir at another location that conforms to spacing requirements? The project
geologist should provide additional justification.
The wells bottom hole location is targeting the top of the Lower Sterling/Upper Beluga
structure. The 3D seismic volume indicates the top of structure to be located at this
location. These reservoirs are likely water drive, so any and all structure we can gain here
will add to the producible gas. Moreover, it’s necessary to drill the maximize recovery and
ensure the most efficient development of the available resources.
CAUTION: This email originated from outside the State of Alaska mail system. Do not
click links or open attachments unless you recognize the sender and know the content
is safe.
What measures will Hilcorp take to protect the correlative rights of affected owners or
landowners who choose not to lease at this time?
Hilcorp will diligently establish escrow accounts for all affected unleased parties.
Thanks Again and Be Well,
Steve Davies
AOGCC
CONFIDENTIALITY NOTICE: This e-mail message, including any attachments, contains information from the Alaska Oil
and Gas Conservation Commission (AOGCC), State of Alaska and is for the sole use of the intended recipient(s). It may contain
confidential and/or privileged information. The unauthorized review, use or disclosure of such information may violate state or
federal law. If you are an unintended recipient of this e-mail, please delete it, without first saving or forwarding it, and, so that the
AOGCC is aware of the mistake in sending it to you, contact Steve Davies at 907-793-1224 or steve.davies@alaska.gov
From: Luke Suchecki <Luke.Suchecki@hilcorp.com>
Sent: Monday, February 3, 2025 3:55 PM
To: Davies, Stephen F (OGC) <steve.davies@alaska.gov>
Cc: Coldiron, Samantha J (OGC) <samantha.coldiron@alaska.gov>; Dewhurst, Andrew D (OGC)
<andrew.dewhurst@alaska.gov>; Roby, David S (OGC) <dave.roby@alaska.gov>
Subject: RE: [EXTERNAL] Application for Spacing Exception - Sterling Unit 32-16
Mr. Davies,
The area of interest (Sterling) isn’t subject to established pool rules. Additionally, the requirements
of 20 AAC 25.055(a)(2) dictate a spacing exception is required in the instance a wellbore drilling for
gas is within 1,500’ of a property line where the owners and landowners are not the same on both
sides.
There is currently unleased acreage within the 1,500’ boundary. Hilcorp is actively engaging
mineral owners to lease.
The well is planned to be constructed in manner that protects both correlative rights and freshwater
aquifers in accordance with AOGCC regulations.
Please advise if the above is satisfactory.
Luke Suchecki
Hilcorp Alaska, LLC
Landman
3800 Centerpoint Drive, Suite 1400
Anchorage, Alaska 99503
Direct: (907) 777-8432
Mobile: (907) 217-9729
CAUTION: External sender. DO NOT open links or attachments from UNKNOWN senders.
Email: luke.suchecki@hilcorp.com
This document may contain information that is privileged, confidential and exempt from disclosure under applicable
law. If you are not the intended recipient, you are on notice that any unauthorized disclosure, copying, distribution,
or taking of any action in reliance on the contents of this document is prohibited.
From: Davies, Stephen F (OGC) <steve.davies@alaska.gov>
Sent: Monday, February 3, 2025 3:25 PM
To: Luke Suchecki <Luke.Suchecki@hilcorp.com>
Cc: Coldiron, Samantha J (OGC) <samantha.coldiron@alaska.gov>; Dewhurst, Andrew D (OGC)
<andrew.dewhurst@alaska.gov>; Roby, David S (OGC) <dave.roby@alaska.gov>
Subject: [EXTERNAL] Application for Spacing Exception - Sterling Unit 32-16
Luke,
Hilcorp’s application for a Spacing Exception for Sterling Unit 32-16 needs more information. That
application states that Sterling Unit 32-16 will target an up-dip location in the Sterling B and Upper
Beluga reservoirs. Please provide additional information as to why the reserves that will be accessed
by this well could not be recovered by a well that conforms to current spacing requirements. The
information provided should also demonstrate that the proposed subsurface location of this well is
necessary to reach otherwise unreachable oil or gas and that both the rights of adjacent
leaseholders and landowners and underground drinking water will be protected.
Thanks and Be Well,
Steve Davies
AOGCC
CONFIDENTIALITY NOTICE: This e-mail message, including any attachments, contains information from the Alaska Oil
and Gas Conservation Commission (AOGCC), State of Alaska and is for the sole use of the intended recipient(s). It may contain
confidential and/or privileged information. The unauthorized review, use or disclosure of such information may violate state or
federal law. If you are an unintended recipient of this e-mail, please delete it, without first saving or forwarding it, and, so that the
AOGCC is aware of the mistake in sending it to you, contact Steve Davies at 907-793-1224 or steve.davies@alaska.gov
The information contained in this email message is confidential and may be legally privileged and is intended only for the use of the
individual or entity named above. If you are not an intended recipient or if you have received this message in error, you are hereby
notified that any dissemination, distribution, or copy of this email is strictly prohibited. If you have received this email in error, please
immediately notify us by return email or telephone if the sender's phone number is listed above, then promptly and permanently delete
this message.
While all reasonable care has been taken to avoid the transmission of viruses, it is the responsibility of the recipient to ensure that the
onward transmission, opening, or use of this message and any attachments will not adversely affect its systems or data. No responsibility
is accepted by the company in this regard and the recipient should carry out such virus and other checks as it considers appropriate.
The information contained in this email message is confidential and may be legally privileged and is intended only for the use of the
individual or entity named above. If you are not an intended recipient or if you have received this message in error, you are hereby
notified that any dissemination, distribution, or copy of this email is strictly prohibited. If you have received this email in error, please
immediately notify us by return email or telephone if the sender's phone number is listed above, then promptly and permanently delete
this message.
While all reasonable care has been taken to avoid the transmission of viruses, it is the responsibility of the recipient to ensure that the
onward transmission, opening, or use of this message and any attachments will not adversely affect its systems or data. No responsibility
is accepted by the company in this regard and the recipient should carry out such virus and other checks as it considers appropriate.
Sterling Pad
SU 32-16
wp02
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CAUTION: This email originated from outside the State of Alaska mail system. Do not
click links or open attachments unless you recognize the sender and know the content
is safe.
From:Luke Suchecki
To:Davies, Stephen F (OGC)
Subject:RE: [EXTERNAL] Sterling Unit Well Spacing Exceptions
Date:Saturday, April 19, 2025 8:58:14 AM
Attachments:4-16-2025 - Plat - SU 43-10.pdf
2-17-2025 - Plat - SU 32-16.pdf
4-17-2025 - Plat - SU 43-10RD.pdf
Mr. Davies,
I don’t have plats with the labels specifically; however, I do have them color coded with a
corresponding legend.
Does this satisfy your request?
Luke Suchecki
Hilcorp Alaska, LLC
Landman
3800 Centerpoint Drive, Suite 1400
Anchorage, Alaska 99503
Direct: (907) 777-8432
Mobile: (907) 217-9729
Email: luke.suchecki@hilcorp.com
This document may contain information that is privileged, confidential and exempt from disclosure under applicable
law. If you are not the intended recipient, you are on notice that any unauthorized disclosure, copying, distribution,
or taking of any action in reliance on the contents of this document is prohibited.
From: Davies, Stephen F (OGC) <steve.davies@alaska.gov>
Sent: Saturday, April 19, 2025 8:26 AM
To: Luke Suchecki <Luke.Suchecki@hilcorp.com>
Subject: [EXTERNAL] Sterling Unit Well Spacing Exceptions
Hello Luke,
I’m currently writing the draft spacing exception decision orders for the SU 16, SU 43-10, and SU 43-
10RD wells. According to the land plats provided with Hilcorp’s exception applications, the mineral
estate owners are predominantly CIRI, the State of Alaska (SOA), and the Mental Health Trust
Authority (MHT). So that the record and draft decision orders are complete, could Hilcorp please
provide revised land plats on which the lease numbers are labeled for the various properties owned
by CIRI, SOA, and MHT? I also note that there are other affected landowners who were also notified
by certified mail. On those revised land plats, could Hilcorp also please outline and label the
properties owned by each of these parties?
Thanks for Your Help and Be Well,
Steve Davies
Senior Petroleum Geologist
AOGCC
CONFIDENTIALITY NOTICE: This e-mail message, including any attachments, contains information from the Alaska Oil
and Gas Conservation Commission (AOGCC), State of Alaska and is for the sole use of the intended recipient(s). It may contain
confidential and/or privileged information. The unauthorized review, use or disclosure of such information may violate state or
federal law. If you are an unintended recipient of this e-mail, please delete it, without first saving or forwarding it, and, so that the
AOGCC is aware of the mistake in sending it to you, contact Steve Davies at 907-793-1224 or steve.davies@alaska.gov
The information contained in this email message is confidential and may be legally privileged and is intended only for the use of the
individual or entity named above. If you are not an intended recipient or if you have received this message in error, you are hereby
notified that any dissemination, distribution, or copy of this email is strictly prohibited. If you have received this email in error, please
immediately notify us by return email or telephone if the sender's phone number is listed above, then promptly and permanently delete
this message.
While all reasonable care has been taken to avoid the transmission of viruses, it is the responsibility of the recipient to ensure that the
onward transmission, opening, or use of this message and any attachments will not adversely affect its systems or data. No responsibility
is accepted by the company in this regard and the recipient should carry out such virus and other checks as it considers appropriate.
TRACT LANDOWNER LEASE MINERAL %
006 The Alaska Mental Health MHT No. 9300101 100.00%
Trust Authority
045 Cook Inlet Region, Inc. ("CIRI") C-061723 100.00%
043 State of Alaska, ADL No. 394294 100.00%
Department of Natural Resources
U.S.P.S TRACKING NO.DELIVERY
9489017898203021081367 2/5/2025
9489017898203021081305 2/5/2025
9489017898203021081299 2/5/2025
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CAUTION: External sender. DO NOT open links or attachments from UNKNOWN senders.
CAUTION: This email originated from outside the State of Alaska mail system. Do not click
links or open attachments unless you recognize the sender and know the content is safe.
From:Luke Suchecki
To:Davies, Stephen F (OGC)
Cc:Dewhurst, Andrew D (OGC)
Subject:RE: [EXTERNAL] RE: Sterling Unit Well Spacing Exceptions
Date:Wednesday, April 23, 2025 12:52:33 PM
Attachments:image001.png
image002.png
image003.png
4-22-2025 - Spacing Exceptions - Sterling.xlsx
4-22-2025 - SU 32-16.pdf
4-23-2025 - SU 43-10.pdf
4-23-2025 - SU 43-10RD.pdf
4-12-2018 - Decision - Federal OGLs - Sterling.pdf
3-07-2025 - Notice - Lands Vesting to State of Alaska.pdf
Mr. Davies,
Per request, please find attached:
Spreadsheet tabulating the respective Landowners for each well and their corresponding Lease.
Three (3) separate plats depicting the Landowners tracts (color coded).
BLM Notice of Lease Termination and Lands vesting to State of Alaska
Please contact me with any questions.
Luke Suchecki
Hilcorp Alaska, LLC
Landman
3800 Centerpoint Drive, Suite 1400
Anchorage, Alaska 99503
Direct: (907) 777-8432
Mobile: (907) 217-9729
Email: luke.suchecki@hilcorp.com
This document may contain information that is privileged, confidential and exempt from disclosure under applicable law. If
you are not the intended recipient, you are on notice that any unauthorized disclosure, copying, distribution, or taking of
any action in reliance on the contents of this document is prohibited.
From: Davies, Stephen F (OGC) <steve.davies@alaska.gov>
Sent: Monday, April 21, 2025 10:05 AM
To: Luke Suchecki <Luke.Suchecki@hilcorp.com>
Cc: Dewhurst, Andrew D (OGC) <andrew.dewhurst@alaska.gov>
Subject: [EXTERNAL] RE: Sterling Unit Well Spacing Exceptions
Luke,
For AOGCC’s records, I’d appreciate it if you could also provide a copy of the letter from BLM
to Hilcorp that describes dissolution of the federally administered units in the Cook Inlet
Basin.
Thanks Again for Your Help,
Steve Davies
AGOCC
From: Davies, Stephen F (OGC)
Sent: Monday, April 21, 2025 8:03 AM
To: Luke Suchecki
Cc: Dewhurst, Andrew D (OGC)
Subject: RE: Sterling Unit Well Spacing Exceptions
Hello Luke,
Following up on our conversation on 4/19, I’m seeking additional lease and ownership
information that will allow me to describe the affected properties in a manner that is similar to
Findings 1 and 2 of CO 701G:
Please refer to Hilcorp’s spacing exception for the Pearl 10 well for an example of the
ownership schedule referenced in Finding 2.
For any unleased affected acreage, AOGCC needs further information regarding how
production will be allocated to those properties and how any royalties due to the owners and
landowners of those properties will be tracked and managed. Again, an example can be found
in Rules 4 and 5 of CO 701G:
Thanks for Your Help and Be Well,
Steve Davies
Senior Petroleum Geologist
AOGCC
CONFIDENTIALITY NOTICE: This e-mail message, including any attachments, contains
information from the Alaska Oil and Gas Conservation Commission (AOGCC), State of Alaska
and is for the sole use of the intended recipient(s). It may contain confidential and/or privileged
information. The unauthorized review, use or disclosure of such information may violate state
or federal law. If you are an unintended recipient of this e-mail, please delete it, without first
saving or forwarding it, and, so that the AOGCC is aware of the mistake in sending it to you,
contact Steve Davies at 907-793-1224 or steve.davies@alaska.gov
From: Davies, Stephen F (OGC)
Sent: Saturday, April 19, 2025 8:26 AM
To: Luke Suchecki <Luke.Suchecki@hilcorp.com>
Subject: Sterling Unit Well Spacing Exceptions
Hello Luke,
I’m currently writing the draft spacing exception decision orders for the SU 16, SU 43-10, and
SU 43-10RD wells. According to the land plats provided with Hilcorp’s exception applications,
the mineral estate owners are predominantly CIRI, the State of Alaska (SOA), and the Mental
Health Trust Authority (MHT). So that the record and draft decision orders are complete, could
Hilcorp please provide revised land plats on which the lease numbers are labeled for the
various properties owned by CIRI, SOA, and MHT? I also note that there are other affected
landowners who were also notified by certified mail. On those revised land plats, could Hilcorp
also please outline and label the properties owned by each of these parties?
Thanks for Your Help and Be Well,
Steve Davies
Senior Petroleum Geologist
AOGCC
CONFIDENTIALITY NOTICE: This e-mail message, including any attachments, contains
information from the Alaska Oil and Gas Conservation Commission (AOGCC), State of Alaska
and is for the sole use of the intended recipient(s). It may contain confidential and/or privileged
information. The unauthorized review, use or disclosure of such information may violate state
or federal law. If you are an unintended recipient of this e-mail, please delete it, without first
saving or forwarding it, and, so that the AOGCC is aware of the mistake in sending it to you,
contact Steve Davies at 907-793-1224 or steve.davies@alaska.gov
The information contained in this email message is confidential and may be legally privileged and is intended only for the use of the individual or
entity named above. If you are not an intended recipient or if you have received this message in error, you are hereby notified that any
dissemination, distribution, or copy of this email is strictly prohibited. If you have received this email in error, please immediately notify us by return
email or telephone if the sender's phone number is listed above, then promptly and permanently delete this message.
While all reasonable care has been taken to avoid the transmission of viruses, it is the responsibility of the recipient to ensure that the onward
transmission, opening, or use of this message and any attachments will not adversely affect its systems or data. No responsibility is accepted by
the company in this regard and the recipient should carry out such virus and other checks as it considers appropriate.
CAUTION: This email originated from outside the State of Alaska mail system. Do not click
links or open attachments unless you recognize the sender and know the content is safe.
From:Luke Suchecki
To:Davies, Stephen F (OGC)
Cc:Dewhurst, Andrew D (OGC)
Subject:RE: [EXTERNAL] RE: Sterling Unit Well Spacing Exceptions
Date:Saturday, April 26, 2025 5:28:10 PM
Attachments:image001.png
image002.png
image003.png
Mr. Davies,
I inadvertently neglected to affirm that Hilcorp will allocate production in accordance with the State of
Alaska – Division of Oil and Gas (“DOG”) unit and participating area decisions.
Copies of the same will be provided to the AOGCC upon approval receipt.
To protect correlative rights of adjoining or proximal owners, Hilcorp will establish and maintain, without
costs to the non-participating owners and landowners, an interest-bearing escrow account for the non-
participating owners and landowners and will provide documentation to the AOGCC that said escrow
account has been established.
Please contact me with any questions.
Luke Suchecki
Hilcorp Alaska, LLC
Landman
3800 Centerpoint Drive, Suite 1400
Anchorage, Alaska 99503
Direct: (907) 777-8432
Mobile: (907) 217-9729
Email: luke.suchecki@hilcorp.com
This document may contain information that is privileged, confidential and exempt from disclosure under applicable law. If
you are not the intended recipient, you are on notice that any unauthorized disclosure, copying, distribution, or taking of
any action in reliance on the contents of this document is prohibited.
From: Luke Suchecki <Luke.Suchecki@hilcorp.com>
Sent: Wednesday, April 23, 2025 12:50 PM
To: Davies, Stephen F (OGC) <steve.davies@alaska.gov>
Cc: Dewhurst, Andrew D (OGC) <andrew.dewhurst@alaska.gov>
Subject: RE: [EXTERNAL] RE: Sterling Unit Well Spacing Exceptions
Mr. Davies,
Per request, please find attached:
Spreadsheet tabulating the respective Landowners for each well and their corresponding Lease.
Three (3) separate plats depicting the Landowners tracts (color coded).
CAUTION: External sender. DO NOT open links or attachments from UNKNOWN senders.
BLM Notice of Lease Termination and Lands vesting to State of Alaska
Please contact me with any questions.
Luke Suchecki
Hilcorp Alaska, LLC
Landman
3800 Centerpoint Drive, Suite 1400
Anchorage, Alaska 99503
Direct: (907) 777-8432
Mobile: (907) 217-9729
Email: luke.suchecki@hilcorp.com
This document may contain information that is privileged, confidential and exempt from disclosure under applicable law. If
you are not the intended recipient, you are on notice that any unauthorized disclosure, copying, distribution, or taking of
any action in reliance on the contents of this document is prohibited.
From: Davies, Stephen F (OGC) <steve.davies@alaska.gov>
Sent: Monday, April 21, 2025 10:05 AM
To: Luke Suchecki <Luke.Suchecki@hilcorp.com>
Cc: Dewhurst, Andrew D (OGC) <andrew.dewhurst@alaska.gov>
Subject: [EXTERNAL] RE: Sterling Unit Well Spacing Exceptions
Luke,
For AOGCC’s records, I’d appreciate it if you could also provide a copy of the letter from BLM
to Hilcorp that describes dissolution of the federally administered units in the Cook Inlet
Basin.
Thanks Again for Your Help,
Steve Davies
AGOCC
From: Davies, Stephen F (OGC)
Sent: Monday, April 21, 2025 8:03 AM
To: Luke Suchecki
Cc: Dewhurst, Andrew D (OGC)
Subject: RE: Sterling Unit Well Spacing Exceptions
Hello Luke,
Following up on our conversation on 4/19, I’m seeking additional lease and ownership
information that will allow me to describe the affected properties in a manner that is similar to
Findings 1 and 2 of CO 701G:
Please refer to Hilcorp’s spacing exception for the Pearl 10 well for an example of the
ownership schedule referenced in Finding 2.
For any unleased affected acreage, AOGCC needs further information regarding how
production will be allocated to those properties and how any royalties due to the owners and
landowners of those properties will be tracked and managed. Again, an example can be found
in Rules 4 and 5 of CO 701G:
Thanks for Your Help and Be Well,
Steve Davies
Senior Petroleum Geologist
AOGCC
CONFIDENTIALITY NOTICE: This e-mail message, including any attachments, contains
information from the Alaska Oil and Gas Conservation Commission (AOGCC), State of Alaska
and is for the sole use of the intended recipient(s). It may contain confidential and/or privileged
information. The unauthorized review, use or disclosure of such information may violate state
or federal law. If you are an unintended recipient of this e-mail, please delete it, without first
saving or forwarding it, and, so that the AOGCC is aware of the mistake in sending it to you,
contact Steve Davies at 907-793-1224 or steve.davies@alaska.gov
From: Davies, Stephen F (OGC)
Sent: Saturday, April 19, 2025 8:26 AM
To: Luke Suchecki <Luke.Suchecki@hilcorp.com>
Subject: Sterling Unit Well Spacing Exceptions
Hello Luke,
I’m currently writing the draft spacing exception decision orders for the SU 16, SU 43-10, and
SU 43-10RD wells. According to the land plats provided with Hilcorp’s exception applications,
the mineral estate owners are predominantly CIRI, the State of Alaska (SOA), and the Mental
Health Trust Authority (MHT). So that the record and draft decision orders are complete, could
Hilcorp please provide revised land plats on which the lease numbers are labeled for the
various properties owned by CIRI, SOA, and MHT? I also note that there are other affected
landowners who were also notified by certified mail. On those revised land plats, could Hilcorp
also please outline and label the properties owned by each of these parties?
Thanks for Your Help and Be Well,
Steve Davies
Senior Petroleum Geologist
AOGCC
CONFIDENTIALITY NOTICE: This e-mail message, including any attachments, contains
information from the Alaska Oil and Gas Conservation Commission (AOGCC), State of Alaska
and is for the sole use of the intended recipient(s). It may contain confidential and/or privileged
information. The unauthorized review, use or disclosure of such information may violate state
or federal law. If you are an unintended recipient of this e-mail, please delete it, without first
saving or forwarding it, and, so that the AOGCC is aware of the mistake in sending it to you,
contact Steve Davies at 907-793-1224 or steve.davies@alaska.gov
The information contained in this email message is confidential and may be legally privileged and is intended only for the use of the individual or
entity named above. If you are not an intended recipient or if you have received this message in error, you are hereby notified that any
dissemination, distribution, or copy of this email is strictly prohibited. If you have received this email in error, please immediately notify us by return
email or telephone if the sender's phone number is listed above, then promptly and permanently delete this message.
While all reasonable care has been taken to avoid the transmission of viruses, it is the responsibility of the recipient to ensure that the onward
transmission, opening, or use of this message and any attachments will not adversely affect its systems or data. No responsibility is accepted by
the company in this regard and the recipient should carry out such virus and other checks as it considers appropriate.
From:Luke Suchecki
To:Davies, Stephen F (OGC)
Subject:Sterling Area - Spacing Exceptions
Start:Thursday, May 8, 2025 1:00:00 PM
End:Thursday, May 8, 2025 1:30:00 PM
Location:AOGCC Office
CAUTION: This email originated from outside the State of Alaska mail system. Do not click links or open attachments unless you recognize the
sender and know the content is safe.
Mr. Davies,
Per email, setting aside a half hour, from 1PM to 1:30PM tomorrow, May 8th to discuss the Sterling Area Spacing Exceptions at the AOGCC office
location.
Please feel free to reschedule at your convenience.
Thanks,
Luke Suchecki
Hilcorp Alaska, LLC
Landman
3800 Centerpoint Drive, Suite 1400
Anchorage, Alaska 99503
Direct: (907) 777-8432
Mobile: (907) 217-9729
Email: luke.suchecki@hilcorp.com <mailto:luke.suchecki@hilcorp.com>
This document may contain information that is privileged, confidential and exempt from disclosure under applicable law. If you are not the intended
recipient, you are on notice that any unauthorized disclosure, copying, distribution, or taking of any action in reliance on the contents of this document
is prohibited.
________________________________
The information contained in this email message is confidential and may be legally privileged and is intended only for the use of the individual or
entity named above. If you are not an intended recipient or if you have received this message in error, you are hereby notified that any dissemination,
distribution, or copy of this email is strictly prohibited. If you have received this email in error, please immediately notify us by return email or
telephone if the sender's phone number is listed above, then promptly and permanently delete this message.
While all reasonable care has been taken to avoid the transmission of viruses, it is the responsibility of the recipient to ensure that the onward
transmission, opening, or use of this message and any attachments will not adversely affect its systems or data. No responsibility is accepted by the
company in this regard and the recipient should carry out such virus and other checks as it considers appropriate.
________________________________
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CAUTION: External sender. DO NOT open links or attachments from UNKNOWN senders.
CAUTION: External sender. DO NOT open links or attachments from UNKNOWN senders.
From:Luke Suchecki
To:Davies, Stephen F (OGC)
Cc:Dewhurst, Andrew D (OGC)
Subject:RE: [EXTERNAL] RE: Sterling Unit Well Spacing Exceptions
Date:Thursday, May 8, 2025 12:11:32 PM
Attachments:image001.png
image002.png
image003.png
image004.png
5-08-2025 - SU 43-10RD.pdf
5-08-2025 - SU 32-16.pdf
5-08-2025 - SU 43-10.pdf
5-07-2025 - Exhibit D.pdf
5-07-2025 - Exhibit E.pdf
Exhibit F - U.S.P.S. Tracking Nos..pdf
Mr. Davies,
In preparation for our meeting, please find attached, digital copies of:
Updated plats for each Sterling well
Exhibit D – Tract Ownership
Exhibit E – Owners and Addresses
Exhibit F – U.S.P.S. Certified Mail Tracking Nos.
Luke Suchecki
Hilcorp Alaska, LLC
Landman
3800 Centerpoint Drive, Suite 1400
Anchorage, Alaska 99503
Direct: (907) 777-8432
Mobile: (907) 217-9729
Email: luke.suchecki@hilcorp.com
This document may contain information that is privileged, confidential and exempt from disclosure under applicable law. If you are not the intended recipient, you are on notice that any unauthorized disclosure, copying, distribution, or
taking of any action in reliance on the contents of this document is prohibited.
From: Davies, Stephen F (OGC) <steve.davies@alaska.gov>
Sent: Wednesday, May 7, 2025 7:55 AM
To: Luke Suchecki <Luke.Suchecki@hilcorp.com>
Cc: Dewhurst, Andrew D (OGC) <andrew.dewhurst@alaska.gov>
Subject: RE: [EXTERNAL] RE: Sterling Unit Well Spacing Exceptions
Hello Luke,
My calendar is open tomorrow from 9 to 2. Let me know what is most convenient for you and whether you’ll be coming to AOGCC’s office via a phone call.
Thank You and Be Well,
Steve Davies
AOGCC
From: Luke Suchecki <Luke.Suchecki@hilcorp.com>
Sent: Wednesday, May 7, 2025 12:02 AM
To: Davies, Stephen F (OGC) <steve.davies@alaska.gov>
Cc: Dewhurst, Andrew D (OGC) <andrew.dewhurst@alaska.gov>
Subject: RE: [EXTERNAL] RE: Sterling Unit Well Spacing Exceptions
Mr. Davies,
Please advise if you’re available on Thursday, May 8th, to meet in person to discuss further the previously provided documents and attached Exhibits.
Luke Suchecki
Hilcorp Alaska, LLC
Landman
3800 Centerpoint Drive, Suite 1400
Anchorage, Alaska 99503
Direct: (907) 777-8432
Mobile: (907) 217-9729
Email: luke.suchecki@hilcorp.com
This document may contain information that is privileged, confidential and exempt from disclosure under applicable law. If you are not the intended recipient, you are on notice that any unauthorized disclosure, copying, distribution, or
taking of any action in reliance on the contents of this document is prohibited.
From: Davies, Stephen F (OGC) <steve.davies@alaska.gov>
Sent: Tuesday, May 6, 2025 4:43 PM
To: Luke Suchecki <Luke.Suchecki@hilcorp.com>
Cc: Dewhurst, Andrew D (OGC) <andrew.dewhurst@alaska.gov>
Subject: RE: [EXTERNAL] RE: Sterling Unit Well Spacing Exceptions
Hello Luke,
Looking at the additional maps that Hilcorp provided for the Sterling Unit 43-10 and 43-10RD spacing exception applications on April 23rd, I notice that there are many privately held parcels
within the 1,500’ Affected Area and the 3,000’ notification area. However, only a few of the parcels are numbered on the maps. Who are the landowners for these properties? Were they all
notified in accordance with the requirements of 20 AAC 25.055? In the past, your predecessors Cody Terrell and David Duffy provided tract maps that were labeled with tract numbers for each
parcel and accompanied by an associated exhibit that detailed landownership, acreage, working interest ownership, and other information. Here is an example screenshot from the AOGCC’s CO
701A file that is available online through our Document Search application. Could Hilcorp please provide a similar map and ownership listing for SU 43-10? A similar coded map and similar
ownership listing is also needed for SU 43-10RD, if any privately help parcels fall within the 3,000’ notification buffer.
CAUTION: External sender. DO NOT open links or attachments from UNKNOWN senders.
CAUTION: This email originated from outside the State of Alaska mail system. Do not click links or open attachments unless you recognize the sender and know the content is safe.
Thanks for Your Help,
Steve Davies
AOGCC
Source: CO 701A online file, page 170.
From: Luke Suchecki <Luke.Suchecki@hilcorp.com>
Sent: Wednesday, April 23, 2025 12:50 PM
To: Davies, Stephen F (OGC) <steve.davies@alaska.gov>
Cc: Dewhurst, Andrew D (OGC) <andrew.dewhurst@alaska.gov>
Subject: RE: [EXTERNAL] RE: Sterling Unit Well Spacing Exceptions
Mr. Davies,
Per request, please find attached:
Spreadsheet tabulating the respective Landowners for each well and their corresponding Lease.
Three (3) separate plats depicting the Landowners tracts (color coded).
BLM Notice of Lease Termination and Lands vesting to State of Alaska
Please contact me with any questions.
Luke Suchecki
Hilcorp Alaska, LLC
Landman
3800 Centerpoint Drive, Suite 1400
Anchorage, Alaska 99503
Direct: (907) 777-8432
Mobile: (907) 217-9729
Email: luke.suchecki@hilcorp.com
This document may contain information that is privileged, confidential and exempt from disclosure under applicable law. If you are not the intended recipient, you are on notice that any unauthorized disclosure, copying, distribution, or
taking of any action in reliance on the contents of this document is prohibited.
From: Davies, Stephen F (OGC) <steve.davies@alaska.gov>
Sent: Monday, April 21, 2025 10:05 AM
To: Luke Suchecki <Luke.Suchecki@hilcorp.com>
Cc: Dewhurst, Andrew D (OGC) <andrew.dewhurst@alaska.gov>
Subject: [EXTERNAL] RE: Sterling Unit Well Spacing Exceptions
Luke,
For AOGCC’s records, I’d appreciate it if you could also provide a copy of the letter from BLM to Hilcorp that describes dissolution of the federally administered units in the Cook
Inlet Basin.
Thanks Again for Your Help,
Steve Davies
AGOCC
From: Davies, Stephen F (OGC)
Sent: Monday, April 21, 2025 8:03 AM
To: Luke Suchecki
Cc: Dewhurst, Andrew D (OGC)
Subject: RE: Sterling Unit Well Spacing Exceptions
Hello Luke,
Following up on our conversation on 4/19, I’m seeking additional lease and ownership information that will allow me to describe the affected properties in a manner that is similar to
Findings 1 and 2 of CO 701G:
Please refer to Hilcorp’s spacing exception for the Pearl 10 well for an example of the ownership schedule referenced in Finding 2.
For any unleased affected acreage, AOGCC needs further information regarding how production will be allocated to those properties and how any royalties due to the owners and
landowners of those properties will be tracked and managed. Again, an example can be found in Rules 4 and 5 of CO 701G:
Thanks for Your Help and Be Well,
Steve Davies
Senior Petroleum Geologist
AOGCC
CONFIDENTIALITY NOTICE: This e-mail message, including any attachments, contains information from the Alaska Oil and Gas Conservation Commission (AOGCC), State of
Alaska and is for the sole use of the intended recipient(s). It may contain confidential and/or privileged information. The unauthorized review, use or disclosure of such information
may violate state or federal law. If you are an unintended recipient of this e-mail, please delete it, without first saving or forwarding it, and, so that the AOGCC is aware of the mistake
in sending it to you, contact Steve Davies at 907-793-1224 or steve.davies@alaska.gov
From: Davies, Stephen F (OGC)
Sent: Saturday, April 19, 2025 8:26 AM
To: Luke Suchecki <Luke.Suchecki@hilcorp.com>
Subject: Sterling Unit Well Spacing Exceptions
Hello Luke,
I’m currently writing the draft spacing exception decision orders for the SU 16, SU 43-10, and SU 43-10RD wells. According to the land plats provided with Hilcorp’s exception
applications, the mineral estate owners are predominantly CIRI, the State of Alaska (SOA), and the Mental Health Trust Authority (MHT). So that the record and draft decision orders
are complete, could Hilcorp please provide revised land plats on which the lease numbers are labeled for the various properties owned by CIRI, SOA, and MHT? I also note that there
are other affected landowners who were also notified by certified mail. On those revised land plats, could Hilcorp also please outline and label the properties owned by each of these
parties?
Thanks for Your Help and Be Well,
Steve Davies
Senior Petroleum Geologist
AOGCC
CONFIDENTIALITY NOTICE: This e-mail message, including any attachments, contains information from the Alaska Oil and Gas Conservation Commission (AOGCC), State of
Alaska and is for the sole use of the intended recipient(s). It may contain confidential and/or privileged information. The unauthorized review, use or disclosure of such information
may violate state or federal law. If you are an unintended recipient of this e-mail, please delete it, without first saving or forwarding it, and, so that the AOGCC is aware of the mistake
in sending it to you, contact Steve Davies at 907-793-1224 or steve.davies@alaska.gov
The information contained in this email message is confidential and may be legally privileged and is intended only for the use of the individual or entity named above. If you are not an intended recipient or if you have received this message in error, you are hereby notified that any
dissemination, distribution, or copy of this email is strictly prohibited. If you have received this email in error, please immediately notify us by return email or telephone if the sender's phone number is listed above, then promptly and permanently delete this message.
While all reasonable care has been taken to avoid the transmission of viruses, it is the responsibility of the recipient to ensure that the onward transmission, opening, or use of this message and any attachments will not adversely affect its systems or data. No responsibility is
accepted by the company in this regard and the recipient should carry out such virus and other checks as it considers appropriate.
The information contained in this email message is confidential and may be legally privileged and is intended only for the use of the individual or entity named above. If you are not an intended recipient or if you have received this message in error, you are hereby notified that any
dissemination, distribution, or copy of this email is strictly prohibited. If you have received this email in error, please immediately notify us by return email or telephone if the sender's phone number is listed above, then promptly and permanently delete this message.
While all reasonable care has been taken to avoid the transmission of viruses, it is the responsibility of the recipient to ensure that the onward transmission, opening, or use of this message and any attachments will not adversely affect its systems or data. No responsibility is
accepted by the company in this regard and the recipient should carry out such virus and other checks as it considers appropriate.
The information contained in this email message is confidential and may be legally privileged and is intended only for the use of the individual or entity named above. If you are not an intended recipient or if you have received this message in error, you are hereby notified that any
dissemination, distribution, or copy of this email is strictly prohibited. If you have received this email in error, please immediately notify us by return email or telephone if the sender's phone number is listed above, then promptly and permanently delete this message.
While all reasonable care has been taken to avoid the transmission of viruses, it is the responsibility of the recipient to ensure that the onward transmission, opening, or use of this message and any attachments will not adversely affect its systems or data. No responsibility is
accepted by the company in this regard and the recipient should carry out such virus and other checks as it considers appropriate.
86)HHW
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CAUTION: External sender. DO NOT open links or attachments from UNKNOWN senders.
From:Luke Suchecki
To:Davies, Stephen F (OGC)
Cc:Dewhurst, Andrew D (OGC)
Subject:RE: [EXTERNAL] RE: Sterling Unit Well Spacing Exceptions
Date:Friday, May 9, 2025 6:12:25 PM
Attachments:image001.png
image002.png
image003.png
image004.png
5-09-2025 - SU 43-10RD.pdf
5-09-2025 - SU 32-16.pdf
5-09-2025 - SU 43-10.pdf
5-05-1958 - Oil and Gas Royalty Deed - Mackey to McFarland.pdf
5-07-2025 - Exhibit D - Ownership.pdf
Mr. Davies,
Thank you again for meeting with me May 7th to discuss the Spacing Exceptions for the proposed SU 32-16, SU 43-10, and SU 43-10RD wells in the Sterling area.
Per discussion, please see the respective, additional commentary of the requests from meeting:
Attached are further updated, separate plats that address small the portion of acreage in the SE1/4 of Section 10-T5N-R10W, S.M., AK, not initially displayed as leased in prior plats by mapping error.
Please note, the legend indicates unleased Tracts through hatching patterns, while leased Tracts are represented in beige. Currently, only Tract 004 is leased.
Public records indicate Tract 004’s mineral ownership to be split between The Estate of Robert J. Mackey, c/o Robert Nyden (99.00%) and the Heirs or devisees of John F. McFarland (1.00%) via the
attached copy of that Oil and Gas Royalty Deed, between Robert J. Mackey and John F. McFarland and Aletha A. McFarland dated May 5, 1958.
Hilcorp noticed (and leased) Tract 004 Owner - Robert Nyden, as said deed reserved the right to lease for oil and gas and receive rentals to Grantor.
As such, Tract 004 – Owner, Heirs or devisees of John F. McFarland was not noticed because the ownership is a non-executive mineral interest.
As of today, Tract 042 – James W. Ziehler and Nancy J. Ziehler is the only Notice that has not been delivered (U.S.P.S. Tracking No. 9489017898203021081480).
Communication has been established with the Owner via lease proposal by mail and telephone correspondences. Tract 042 Owner has verbally expressed the desire to lease; however, has
been delayed.
Tract 005 Owner, W.B. Gann & Co., communicated the desire to execute an oil and gas lease with Hilcorp on May 2, 2025.
Hilcorp proposes to allocate production on an acreage basis; being the proportionate Tract Acreage within the Total Acreage that is determined to lie within the 1,500’ drainage area.
Please note that the Tract Acreage calculation shall be rendered from the As-Drilled final survey plat for the SU 43-10.
Should Tract 005 Owner not lease prior the SU 43-10’s completion, Hilcorp will establish and maintain, without costs to the non-participating owners and landowners, an interest-bearing
escrow account for the non-participating owners and landowners and will provide documentation to the AOGCC that said escrow account has been established.
Upon technical analysis from the completion of the well, Hilcorp will allocate production in accordance with the State of Alaska – Division of Oil and Gas unit and participating area decisions.
I hope to have supplied you with the pertinent information to satisfy your requests.
Please contact me with any questions.
Luke Suchecki
Hilcorp Alaska, LLC
Landman
3800 Centerpoint Drive, Suite 1400
Anchorage, Alaska 99503
Direct: (907) 777-8432
Mobile: (907) 217-9729
Email: luke.suchecki@hilcorp.com
This document may contain information that is privileged, confidential and exempt from disclosure under applicable law. If you are not the intended recipient, you are on notice that any unauthorized disclosure, copying, distribution, or
taking of any action in reliance on the contents of this document is prohibited.
From: Luke Suchecki <Luke.Suchecki@hilcorp.com>
Sent: Thursday, May 8, 2025 12:10 PM
To: Davies, Stephen F (OGC) <steve.davies@alaska.gov>
Cc: Dewhurst, Andrew D (OGC) <andrew.dewhurst@alaska.gov>
Subject: RE: [EXTERNAL] RE: Sterling Unit Well Spacing Exceptions
Mr. Davies,
In preparation for our meeting, please find attached, digital copies of:
Updated plats for each Sterling well
Exhibit D – Tract Ownership
Exhibit E – Owners and Addresses
Exhibit F – U.S.P.S. Certified Mail Tracking Nos.
Luke Suchecki
Hilcorp Alaska, LLC
Landman
3800 Centerpoint Drive, Suite 1400
Anchorage, Alaska 99503
Direct: (907) 777-8432
Mobile: (907) 217-9729
Email: luke.suchecki@hilcorp.com
This document may contain information that is privileged, confidential and exempt from disclosure under applicable law. If you are not the intended recipient, you are on notice that any unauthorized disclosure, copying, distribution, or
taking of any action in reliance on the contents of this document is prohibited.
From: Davies, Stephen F (OGC) <steve.davies@alaska.gov>
Sent: Wednesday, May 7, 2025 7:55 AM
To: Luke Suchecki <Luke.Suchecki@hilcorp.com>
Cc: Dewhurst, Andrew D (OGC) <andrew.dewhurst@alaska.gov>
Subject: RE: [EXTERNAL] RE: Sterling Unit Well Spacing Exceptions
CAUTION: External sender. DO NOT open links or attachments from UNKNOWN senders.
Hello Luke,
My calendar is open tomorrow from 9 to 2. Let me know what is most convenient for you and whether you’ll be coming to AOGCC’s office via a phone call.
Thank You and Be Well,
Steve Davies
AOGCC
From: Luke Suchecki <Luke.Suchecki@hilcorp.com>
Sent: Wednesday, May 7, 2025 12:02 AM
To: Davies, Stephen F (OGC) <steve.davies@alaska.gov>
Cc: Dewhurst, Andrew D (OGC) <andrew.dewhurst@alaska.gov>
Subject: RE: [EXTERNAL] RE: Sterling Unit Well Spacing Exceptions
Mr. Davies,
Please advise if you’re available on Thursday, May 8th, to meet in person to discuss further the previously provided documents and attached Exhibits.
Luke Suchecki
Hilcorp Alaska, LLC
Landman
3800 Centerpoint Drive, Suite 1400
Anchorage, Alaska 99503
Direct: (907) 777-8432
Mobile: (907) 217-9729
Email: luke.suchecki@hilcorp.com
This document may contain information that is privileged, confidential and exempt from disclosure under applicable law. If you are not the intended recipient, you are on notice that any unauthorized disclosure, copying, distribution, or
taking of any action in reliance on the contents of this document is prohibited.
From: Davies, Stephen F (OGC) <steve.davies@alaska.gov>
Sent: Tuesday, May 6, 2025 4:43 PM
To: Luke Suchecki <Luke.Suchecki@hilcorp.com>
Cc: Dewhurst, Andrew D (OGC) <andrew.dewhurst@alaska.gov>
Subject: RE: [EXTERNAL] RE: Sterling Unit Well Spacing Exceptions
Hello Luke,
Looking at the additional maps that Hilcorp provided for the Sterling Unit 43-10 and 43-10RD spacing exception applications on April 23rd, I notice that there are many privately held parcels
within the 1,500’ Affected Area and the 3,000’ notification area. However, only a few of the parcels are numbered on the maps. Who are the landowners for these properties? Were they all
notified in accordance with the requirements of 20 AAC 25.055? In the past, your predecessors Cody Terrell and David Duffy provided tract maps that were labeled with tract numbers for each
parcel and accompanied by an associated exhibit that detailed landownership, acreage, working interest ownership, and other information. Here is an example screenshot from the AOGCC’s CO
701A file that is available online through our Document Search application. Could Hilcorp please provide a similar map and ownership listing for SU 43-10? A similar coded map and similar
ownership listing is also needed for SU 43-10RD, if any privately help parcels fall within the 3,000’ notification buffer.
Thanks for Your Help,
Steve Davies
AOGCC
Source: CO 701A online file, page 170.
From: Luke Suchecki <Luke.Suchecki@hilcorp.com>
CAUTION: External sender. DO NOT open links or attachments from UNKNOWN senders.
CAUTION: This email originated from outside the State of Alaska mail system. Do not click links or open attachments unless you recognize the sender and know the content is safe.
Sent: Wednesday, April 23, 2025 12:50 PM
To: Davies, Stephen F (OGC) <steve.davies@alaska.gov>
Cc: Dewhurst, Andrew D (OGC) <andrew.dewhurst@alaska.gov>
Subject: RE: [EXTERNAL] RE: Sterling Unit Well Spacing Exceptions
Mr. Davies,
Per request, please find attached:
Spreadsheet tabulating the respective Landowners for each well and their corresponding Lease.
Three (3) separate plats depicting the Landowners tracts (color coded).
BLM Notice of Lease Termination and Lands vesting to State of Alaska
Please contact me with any questions.
Luke Suchecki
Hilcorp Alaska, LLC
Landman
3800 Centerpoint Drive, Suite 1400
Anchorage, Alaska 99503
Direct: (907) 777-8432
Mobile: (907) 217-9729
Email: luke.suchecki@hilcorp.com
This document may contain information that is privileged, confidential and exempt from disclosure under applicable law. If you are not the intended recipient, you are on notice that any unauthorized disclosure, copying, distribution, or
taking of any action in reliance on the contents of this document is prohibited.
From: Davies, Stephen F (OGC) <steve.davies@alaska.gov>
Sent: Monday, April 21, 2025 10:05 AM
To: Luke Suchecki <Luke.Suchecki@hilcorp.com>
Cc: Dewhurst, Andrew D (OGC) <andrew.dewhurst@alaska.gov>
Subject: [EXTERNAL] RE: Sterling Unit Well Spacing Exceptions
Luke,
For AOGCC’s records, I’d appreciate it if you could also provide a copy of the letter from BLM to Hilcorp that describes dissolution of the federally administered units in the Cook
Inlet Basin.
Thanks Again for Your Help,
Steve Davies
AGOCC
From: Davies, Stephen F (OGC)
Sent: Monday, April 21, 2025 8:03 AM
To: Luke Suchecki
Cc: Dewhurst, Andrew D (OGC)
Subject: RE: Sterling Unit Well Spacing Exceptions
Hello Luke,
Following up on our conversation on 4/19, I’m seeking additional lease and ownership information that will allow me to describe the affected properties in a manner that is similar to
Findings 1 and 2 of CO 701G:
Please refer to Hilcorp’s spacing exception for the Pearl 10 well for an example of the ownership schedule referenced in Finding 2.
For any unleased affected acreage, AOGCC needs further information regarding how production will be allocated to those properties and how any royalties due to the owners and
landowners of those properties will be tracked and managed. Again, an example can be found in Rules 4 and 5 of CO 701G:
Thanks for Your Help and Be Well,
Steve Davies
Senior Petroleum Geologist
AOGCC
CONFIDENTIALITY NOTICE: This e-mail message, including any attachments, contains information from the Alaska Oil and Gas Conservation Commission (AOGCC), State of
Alaska and is for the sole use of the intended recipient(s). It may contain confidential and/or privileged information. The unauthorized review, use or disclosure of such information
may violate state or federal law. If you are an unintended recipient of this e-mail, please delete it, without first saving or forwarding it, and, so that the AOGCC is aware of the mistake
in sending it to you, contact Steve Davies at 907-793-1224 or steve.davies@alaska.gov
From: Davies, Stephen F (OGC)
Sent: Saturday, April 19, 2025 8:26 AM
To: Luke Suchecki <Luke.Suchecki@hilcorp.com>
Subject: Sterling Unit Well Spacing Exceptions
Hello Luke,
I’m currently writing the draft spacing exception decision orders for the SU 16, SU 43-10, and SU 43-10RD wells. According to the land plats provided with Hilcorp’s exception
applications, the mineral estate owners are predominantly CIRI, the State of Alaska (SOA), and the Mental Health Trust Authority (MHT). So that the record and draft decision orders
are complete, could Hilcorp please provide revised land plats on which the lease numbers are labeled for the various properties owned by CIRI, SOA, and MHT? I also note that there
are other affected landowners who were also notified by certified mail. On those revised land plats, could Hilcorp also please outline and label the properties owned by each of these
parties?
Thanks for Your Help and Be Well,
Steve Davies
Senior Petroleum Geologist
AOGCC
CONFIDENTIALITY NOTICE: This e-mail message, including any attachments, contains information from the Alaska Oil and Gas Conservation Commission (AOGCC), State of
Alaska and is for the sole use of the intended recipient(s). It may contain confidential and/or privileged information. The unauthorized review, use or disclosure of such information
may violate state or federal law. If you are an unintended recipient of this e-mail, please delete it, without first saving or forwarding it, and, so that the AOGCC is aware of the mistake
in sending it to you, contact Steve Davies at 907-793-1224 or steve.davies@alaska.gov
The information contained in this email message is confidential and may be legally privileged and is intended only for the use of the individual or entity named above. If you are not an intended recipient or if you have received this message in error, you are hereby notified that any
dissemination, distribution, or copy of this email is strictly prohibited. If you have received this email in error, please immediately notify us by return email or telephone if the sender's phone number is listed above, then promptly and permanently delete this message.
While all reasonable care has been taken to avoid the transmission of viruses, it is the responsibility of the recipient to ensure that the onward transmission, opening, or use of this message and any attachments will not adversely affect its systems or data. No responsibility is
accepted by the company in this regard and the recipient should carry out such virus and other checks as it considers appropriate.
The information contained in this email message is confidential and may be legally privileged and is intended only for the use of the individual or entity named above. If you are not an intended recipient or if you have received this message in error, you are hereby notified that any
dissemination, distribution, or copy of this email is strictly prohibited. If you have received this email in error, please immediately notify us by return email or telephone if the sender's phone number is listed above, then promptly and permanently delete this message.
While all reasonable care has been taken to avoid the transmission of viruses, it is the responsibility of the recipient to ensure that the onward transmission, opening, or use of this message and any attachments will not adversely affect its systems or data. No responsibility is
accepted by the company in this regard and the recipient should carry out such virus and other checks as it considers appropriate.
The information contained in this email message is confidential and may be legally privileged and is intended only for the use of the individual or entity named above. If you are not an intended recipient or if you have received this message in error, you are hereby notified that any
dissemination, distribution, or copy of this email is strictly prohibited. If you have received this email in error, please immediately notify us by return email or telephone if the sender's phone number is listed above, then promptly and permanently delete this message.
While all reasonable care has been taken to avoid the transmission of viruses, it is the responsibility of the recipient to ensure that the onward transmission, opening, or use of this message and any attachments will not adversely affect its systems or data. No responsibility is
accepted by the company in this regard and the recipient should carry out such virus and other checks as it considers appropriate.
86)HHW
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CAUTION: External sender. DO NOT open links or attachments from UNKNOWN senders.
From:Luke Suchecki
To:Davies, Stephen F (OGC)
Subject:RE: [EXTERNAL] Sterling Unit Well 32-16 Spacing Exception - Question
Date:Sunday, June 15, 2025 2:03:44 PM
Attachments:image002.png
image003.png
image004.png
image005.png
5-09-2025 - SU 32-16.pdf
Good Afternoon Steve,
Please see replies below in blue.
Please contact me with any questions.
Luke Suchecki
Hilcorp Alaska, LLC
Landman
3800 Centerpoint Drive, Suite 1400
Anchorage, Alaska 99503
Direct: (907) 777-8432
Mobile: (907) 217-9729
Email: luke.suchecki@hilcorp.com
This document may contain information that is privileged, confidential and exempt from disclosure under applicable law. If you are not the intended recipient, you are on notice that any unauthorized disclosure, copying, distribution, or
taking of any action in reliance on the contents of this document is prohibited.
From: Davies, Stephen F (OGC) <steve.davies@alaska.gov>
Sent: Sunday, June 15, 2025 1:52 PM
To: Luke Suchecki <Luke.Suchecki@hilcorp.com>
Subject: [EXTERNAL] Sterling Unit Well 32-16 Spacing Exception - Question
Hello Luke,
To ensure my clear understanding of landownership for the proposed SU 32-16 well, could Hilcorp please confirm:
CIRI and the State of Alaska are the only landowners within 1,500’ of this proposed well,
Yes.
All properties within 1,500’ of this well have been leased by Hilcorp,
Yes.
Hilcorp is the 100% working interest owner for those properties,
Yes.
An escrow account will not be required for this proposed well to protect the interests of non-participating landowners, and
No, an escrow account will not be required because all (two) landowners have been leased.
CIRI, SOA, and the Alaska Mental Health Trust Authority are the landowners for all properties within 3,000 feet of proposed SU 32-16 well?
Yes. The above three (3) parties are the landowners of the affected tracts within 3,000’ of the proposed SU 32-16.
Thank You for Your Help and Be Well,
Steve Davies
Senior Petroleum Geologist
AOGCC
CONFIDENTIALITY NOTICE: This e-mail message, including any attachments, contains information from the Alaska Oil and Gas Conservation Commission (AOGCC), State of Alaska and is for the sole use of the intended recipient(s). It may contain
confidential and/or privileged information. The unauthorized review, use or disclosure of such information may violate state or federal law. If you are an unintended recipient of this e-mail, please delete it, without first saving or forwarding it, and, so that the AOGCC
is aware of the mistake in sending it to you, contact Steve Davies at 907-793-1224 or steve.davies@alaska.gov.
From: Luke Suchecki <Luke.Suchecki@hilcorp.com>
Sent: Wednesday, May 28, 2025 8:20 PM
To: Davies, Stephen F (OGC) <steve.davies@alaska.gov>
Cc: Dewhurst, Andrew D (OGC) <andrew.dewhurst@alaska.gov>
Subject: RE: [EXTERNAL] RE: Sterling Unit Well Spacing Exceptions
Mr. Davies,
Please see updates below in blue.
Luke Suchecki
Hilcorp Alaska, LLC
Landman
3800 Centerpoint Drive, Suite 1400
Anchorage, Alaska 99503
Direct: (907) 777-8432
Mobile: (907) 217-9729
Email: luke.suchecki@hilcorp.com
This document may contain information that is privileged, confidential and exempt from disclosure under applicable law. If you are not the intended recipient, you are on notice that any unauthorized disclosure, copying, distribution, or
taking of any action in reliance on the contents of this document is prohibited.
From: Luke Suchecki
Sent: Friday, May 9, 2025 6:11 PM
To: Davies, Stephen F (OGC) <steve.davies@alaska.gov>
Cc: Dewhurst, Andrew D (OGC) <andrew.dewhurst@alaska.gov>
Subject: RE: [EXTERNAL] RE: Sterling Unit Well Spacing Exceptions
Mr. Davies,
CAUTION: External sender. DO NOT open links or attachments from UNKNOWN senders.
Thank you again for meeting with me May 7th to discuss the Spacing Exceptions for the proposed SU 32-16, SU 43-10, and SU 43-10RD wells in the Sterling area.
Per discussion, please see the respective, additional commentary of the requests from meeting:
Attached are further updated, separate plats that address small the portion of acreage in the SE1/4 of Section 10-T5N-R10W, S.M., AK, not initially displayed as leased in prior plats by mapping error.
Please note, the legend indicates unleased Tracts through hatching patterns, while leased Tracts are represented in beige. Currently, only Tract 004 is leased.
Public records indicate Tract 004’s mineral ownership to be split between The Estate of Robert J. Mackey, c/o Robert Nyden (99.00%) and the Heirs or devisees of John F. McFarland (1.00%) via the
attached copy of that Oil and Gas Royalty Deed, between Robert J. Mackey and John F. McFarland and Aletha A. McFarland dated May 5, 1958.
Hilcorp noticed (and leased) Tract 004 Owner - Robert Nyden, as said deed reserved the right to lease for oil and gas and receive rentals to Grantor.
As such, Tract 004 – Owner, Heirs or devisees of John F. McFarland was not noticed because the ownership is a non-executive mineral interest.
As of today, Tract 042 – James W. Ziehler and Nancy J. Ziehler is the only Notice that has not been delivered (U.S.P.S. Tracking No. 9489017898203021081480).
Communication has been established with the Owner via lease proposal by mail and telephone correspondences. Tract 042 Owner has verbally expressed the desire to lease; however, has
been delayed.
Tract 005 Owner, W.B. Gann & Co., communicated the desire to execute an oil and gas lease with Hilcorp on May 2, 2025.
Tract 005 Owner, W.B. Gann & Co., executed oil and gas lease with Hilcorp on May 12, 2025; attached, please find recorded Memorandum of Oil and Gas Lease recorded on May 28, 2025, as
Instrument No. 2025-003543-0 in the Kenai Recording District.
Hilcorp proposes to allocate production on an acreage basis; being the proportionate Tract Acreage within the Total Acreage that is determined to lie within the 1,500’ drainage area.
Please note that the Tract Acreage calculation shall be rendered from the As-Drilled final survey plat for the SU 43-10.
Should Tract 005 Owner not lease prior the SU 43-10’s completion, Hilcorp will establish and maintain, without costs to the non-participating owners and landowners, an interest-bearing
escrow account for the non-participating owners and landowners and will provide documentation to the AOGCC that said escrow account has been established.
Upon technical analysis from the completion of the well, Hilcorp will allocate production in accordance with the State of Alaska – Division of Oil and Gas unit and participating area decisions.
I hope to have supplied you with the pertinent information to satisfy your requests.
Please contact me with any questions.
Luke Suchecki
Hilcorp Alaska, LLC
Landman
3800 Centerpoint Drive, Suite 1400
Anchorage, Alaska 99503
Direct: (907) 777-8432
Mobile: (907) 217-9729
Email: luke.suchecki@hilcorp.com
This document may contain information that is privileged, confidential and exempt from disclosure under applicable law. If you are not the intended recipient, you are on notice that any unauthorized disclosure, copying, distribution, or
taking of any action in reliance on the contents of this document is prohibited.
From: Luke Suchecki <Luke.Suchecki@hilcorp.com>
Sent: Thursday, May 8, 2025 12:10 PM
To: Davies, Stephen F (OGC) <steve.davies@alaska.gov>
Cc: Dewhurst, Andrew D (OGC) <andrew.dewhurst@alaska.gov>
Subject: RE: [EXTERNAL] RE: Sterling Unit Well Spacing Exceptions
Mr. Davies,
In preparation for our meeting, please find attached, digital copies of:
Updated plats for each Sterling well
Exhibit D – Tract Ownership
Exhibit E – Owners and Addresses
Exhibit F – U.S.P.S. Certified Mail Tracking Nos.
Luke Suchecki
Hilcorp Alaska, LLC
Landman
3800 Centerpoint Drive, Suite 1400
Anchorage, Alaska 99503
Direct: (907) 777-8432
Mobile: (907) 217-9729
Email: luke.suchecki@hilcorp.com
This document may contain information that is privileged, confidential and exempt from disclosure under applicable law. If you are not the intended recipient, you are on notice that any unauthorized disclosure, copying, distribution, or
taking of any action in reliance on the contents of this document is prohibited.
From: Davies, Stephen F (OGC) <steve.davies@alaska.gov>
Sent: Wednesday, May 7, 2025 7:55 AM
To: Luke Suchecki <Luke.Suchecki@hilcorp.com>
Cc: Dewhurst, Andrew D (OGC) <andrew.dewhurst@alaska.gov>
Subject: RE: [EXTERNAL] RE: Sterling Unit Well Spacing Exceptions
Hello Luke,
My calendar is open tomorrow from 9 to 2. Let me know what is most convenient for you and whether you’ll be coming to AOGCC’s office via a phone call.
Thank You and Be Well,
Steve Davies
AOGCC
From: Luke Suchecki <Luke.Suchecki@hilcorp.com>
CAUTION: This email originated from outside the State of Alaska mail system. Do not click links or open attachments unless you recognize the sender and know the content is safe.
CAUTION: External sender. DO NOT open links or attachments from UNKNOWN senders.
Sent: Wednesday, May 7, 2025 12:02 AM
To: Davies, Stephen F (OGC) <steve.davies@alaska.gov>
Cc: Dewhurst, Andrew D (OGC) <andrew.dewhurst@alaska.gov>
Subject: RE: [EXTERNAL] RE: Sterling Unit Well Spacing Exceptions
Mr. Davies,
Please advise if you’re available on Thursday, May 8th, to meet in person to discuss further the previously provided documents and attached Exhibits.
Luke Suchecki
Hilcorp Alaska, LLC
Landman
3800 Centerpoint Drive, Suite 1400
Anchorage, Alaska 99503
Direct: (907) 777-8432
Mobile: (907) 217-9729
Email: luke.suchecki@hilcorp.com
This document may contain information that is privileged, confidential and exempt from disclosure under applicable law. If you are not the intended recipient, you are on notice that any unauthorized disclosure, copying, distribution, or
taking of any action in reliance on the contents of this document is prohibited.
From: Davies, Stephen F (OGC) <steve.davies@alaska.gov>
Sent: Tuesday, May 6, 2025 4:43 PM
To: Luke Suchecki <Luke.Suchecki@hilcorp.com>
Cc: Dewhurst, Andrew D (OGC) <andrew.dewhurst@alaska.gov>
Subject: RE: [EXTERNAL] RE: Sterling Unit Well Spacing Exceptions
Hello Luke,
Looking at the additional maps that Hilcorp provided for the Sterling Unit 43-10 and 43-10RD spacing exception applications on April 23rd, I notice that there are many privately held parcels
within the 1,500’ Affected Area and the 3,000’ notification area. However, only a few of the parcels are numbered on the maps. Who are the landowners for these properties? Were they all
notified in accordance with the requirements of 20 AAC 25.055? In the past, your predecessors Cody Terrell and David Duffy provided tract maps that were labeled with tract numbers for each
parcel and accompanied by an associated exhibit that detailed landownership, acreage, working interest ownership, and other information. Here is an example screenshot from the AOGCC’s CO
701A file that is available online through our Document Search application. Could Hilcorp please provide a similar map and ownership listing for SU 43-10? A similar coded map and similar
ownership listing is also needed for SU 43-10RD, if any privately help parcels fall within the 3,000’ notification buffer.
Thanks for Your Help,
Steve Davies
AOGCC
Source: CO 701A online file, page 170.
From: Luke Suchecki <Luke.Suchecki@hilcorp.com>
Sent: Wednesday, April 23, 2025 12:50 PM
To: Davies, Stephen F (OGC) <steve.davies@alaska.gov>
Cc: Dewhurst, Andrew D (OGC) <andrew.dewhurst@alaska.gov>
Subject: RE: [EXTERNAL] RE: Sterling Unit Well Spacing Exceptions
Mr. Davies,
Per request, please find attached:
CAUTION: External sender. DO NOT open links or attachments from UNKNOWN senders.
Spreadsheet tabulating the respective Landowners for each well and their corresponding Lease.
Three (3) separate plats depicting the Landowners tracts (color coded).
BLM Notice of Lease Termination and Lands vesting to State of Alaska
Please contact me with any questions.
Luke Suchecki
Hilcorp Alaska, LLC
Landman
3800 Centerpoint Drive, Suite 1400
Anchorage, Alaska 99503
Direct: (907) 777-8432
Mobile: (907) 217-9729
Email: luke.suchecki@hilcorp.com
This document may contain information that is privileged, confidential and exempt from disclosure under applicable law. If you are not the intended recipient, you are on notice that any unauthorized disclosure, copying, distribution, or
taking of any action in reliance on the contents of this document is prohibited.
From: Davies, Stephen F (OGC) <steve.davies@alaska.gov>
Sent: Monday, April 21, 2025 10:05 AM
To: Luke Suchecki <Luke.Suchecki@hilcorp.com>
Cc: Dewhurst, Andrew D (OGC) <andrew.dewhurst@alaska.gov>
Subject: [EXTERNAL] RE: Sterling Unit Well Spacing Exceptions
Luke,
For AOGCC’s records, I’d appreciate it if you could also provide a copy of the letter from BLM to Hilcorp that describes dissolution of the federally administered units in the Cook
Inlet Basin.
Thanks Again for Your Help,
Steve Davies
AGOCC
From: Davies, Stephen F (OGC)
Sent: Monday, April 21, 2025 8:03 AM
To: Luke Suchecki
Cc: Dewhurst, Andrew D (OGC)
Subject: RE: Sterling Unit Well Spacing Exceptions
Hello Luke,
Following up on our conversation on 4/19, I’m seeking additional lease and ownership information that will allow me to describe the affected properties in a manner that is similar to
Findings 1 and 2 of CO 701G:
Please refer to Hilcorp’s spacing exception for the Pearl 10 well for an example of the ownership schedule referenced in Finding 2.
For any unleased affected acreage, AOGCC needs further information regarding how production will be allocated to those properties and how any royalties due to the owners and
landowners of those properties will be tracked and managed. Again, an example can be found in Rules 4 and 5 of CO 701G:
Thanks for Your Help and Be Well,
Steve Davies
Senior Petroleum Geologist
AOGCC
CONFIDENTIALITY NOTICE: This e-mail message, including any attachments, contains information from the Alaska Oil and Gas Conservation Commission (AOGCC), State of
Alaska and is for the sole use of the intended recipient(s). It may contain confidential and/or privileged information. The unauthorized review, use or disclosure of such information
may violate state or federal law. If you are an unintended recipient of this e-mail, please delete it, without first saving or forwarding it, and, so that the AOGCC is aware of the mistake
in sending it to you, contact Steve Davies at 907-793-1224 or steve.davies@alaska.gov
From: Davies, Stephen F (OGC)
Sent: Saturday, April 19, 2025 8:26 AM
To: Luke Suchecki <Luke.Suchecki@hilcorp.com>
Subject: Sterling Unit Well Spacing Exceptions
Hello Luke,
I’m currently writing the draft spacing exception decision orders for the SU 16, SU 43-10, and SU 43-10RD wells. According to the land plats provided with Hilcorp’s exception
applications, the mineral estate owners are predominantly CIRI, the State of Alaska (SOA), and the Mental Health Trust Authority (MHT). So that the record and draft decision orders
are complete, could Hilcorp please provide revised land plats on which the lease numbers are labeled for the various properties owned by CIRI, SOA, and MHT? I also note that there
are other affected landowners who were also notified by certified mail. On those revised land plats, could Hilcorp also please outline and label the properties owned by each of these
parties?
Thanks for Your Help and Be Well,
Steve Davies
Senior Petroleum Geologist
AOGCC
CONFIDENTIALITY NOTICE: This e-mail message, including any attachments, contains information from the Alaska Oil and Gas Conservation Commission (AOGCC), State of
Alaska and is for the sole use of the intended recipient(s). It may contain confidential and/or privileged information. The unauthorized review, use or disclosure of such information
may violate state or federal law. If you are an unintended recipient of this e-mail, please delete it, without first saving or forwarding it, and, so that the AOGCC is aware of the mistake
in sending it to you, contact Steve Davies at 907-793-1224 or steve.davies@alaska.gov
The information contained in this email message is confidential and may be legally privileged and is intended only for the use of the individual or entity named above. If you are not an intended recipient or if you have received this message in error, you are hereby notified that any
dissemination, distribution, or copy of this email is strictly prohibited. If you have received this email in error, please immediately notify us by return email or telephone if the sender's phone number is listed above, then promptly and permanently delete this message.
While all reasonable care has been taken to avoid the transmission of viruses, it is the responsibility of the recipient to ensure that the onward transmission, opening, or use of this message and any attachments will not adversely affect its systems or data. No responsibility is
accepted by the company in this regard and the recipient should carry out such virus and other checks as it considers appropriate.
The information contained in this email message is confidential and may be legally privileged and is intended only for the use of the individual or entity named above. If you are not an intended recipient or if you have received this message in error, you are hereby notified that any
dissemination, distribution, or copy of this email is strictly prohibited. If you have received this email in error, please immediately notify us by return email or telephone if the sender's phone number is listed above, then promptly and permanently delete this message.
While all reasonable care has been taken to avoid the transmission of viruses, it is the responsibility of the recipient to ensure that the onward transmission, opening, or use of this message and any attachments will not adversely affect its systems or data. No responsibility is
accepted by the company in this regard and the recipient should carry out such virus and other checks as it considers appropriate.
The information contained in this email message is confidential and may be legally privileged and is intended only for the use of the individual or entity named above. If you are not an intended recipient or if you have received this message in error, you are hereby notified that any
dissemination, distribution, or copy of this email is strictly prohibited. If you have received this email in error, please immediately notify us by return email or telephone if the sender's phone number is listed above, then promptly and permanently delete this message.
While all reasonable care has been taken to avoid the transmission of viruses, it is the responsibility of the recipient to ensure that the onward transmission, opening, or use of this message and any attachments will not adversely affect its systems or data. No responsibility is
accepted by the company in this regard and the recipient should carry out such virus and other checks as it considers appropriate.
The information contained in this email message is confidential and may be legally privileged and is intended only for the use of the individual or entity named above. If you are not an intended recipient or if you have received this message in error, you are hereby notified that any
dissemination, distribution, or copy of this email is strictly prohibited. If you have received this email in error, please immediately notify us by return email or telephone if the sender's phone number is listed above, then promptly and permanently delete this message.
While all reasonable care has been taken to avoid the transmission of viruses, it is the responsibility of the recipient to ensure that the onward transmission, opening, or use of this message and any attachments will not adversely affect its systems or data. No responsibility is
accepted by the company in this regard and the recipient should carry out such virus and other checks as it considers appropriate.
CAUTION: External sender. DO NOT open links or attachments from UNKNOWN senders.
From:Davies, Stephen F (OGC)
To:Luke Suchecki
Subject:RE: [EXTERNAL] Sterling Unit Well 32-16 Spacing Exception - Question
Date:Sunday, June 15, 2025 2:05:00 PM
Attachments:image002.png
image003.png
image004.png
image005.png
Thank you, Luke for your quick response. I appreciate your help.
Thanks Again and Be Well,
Steve Davies
AOGCC
From: Luke Suchecki <Luke.Suchecki@hilcorp.com>
Sent: Sunday, June 15, 2025 2:03 PM
To: Davies, Stephen F (OGC) <steve.davies@alaska.gov>
Subject: RE: [EXTERNAL] Sterling Unit Well 32-16 Spacing Exception - Question
Good Afternoon Steve,
Please see replies below in blue.
Please contact me with any questions.
Luke Suchecki
Hilcorp Alaska, LLC
Landman
3800 Centerpoint Drive, Suite 1400
Anchorage, Alaska 99503
Direct: (907) 777-8432
Mobile: (907) 217-9729
Email: luke.suchecki@hilcorp.com
This document may contain information that is privileged, confidential and exempt from disclosure under applicable law. If you are not the intended recipient, you are on notice that any unauthorized disclosure, copying, distribution, or
taking of any action in reliance on the contents of this document is prohibited.
From: Davies, Stephen F (OGC) <steve.davies@alaska.gov>
Sent: Sunday, June 15, 2025 1:52 PM
To: Luke Suchecki <Luke.Suchecki@hilcorp.com>
Subject: [EXTERNAL] Sterling Unit Well 32-16 Spacing Exception - Question
Hello Luke,
To ensure my clear understanding of landownership for the proposed SU 32-16 well, could Hilcorp please confirm:
CIRI and the State of Alaska are the only landowners within 1,500’ of this proposed well,
Yes.
All properties within 1,500’ of this well have been leased by Hilcorp,
Yes.
Hilcorp is the 100% working interest owner for those properties,
Yes.
An escrow account will not be required for this proposed well to protect the interests of non-participating landowners, and
No, an escrow account will not be required because all (two) landowners have been leased.
CIRI, SOA, and the Alaska Mental Health Trust Authority are the landowners for all properties within 3,000 feet of proposed SU 32-16 well?
Yes. The above three (3) parties are the landowners of the affected tracts within 3,000’ of the proposed SU 32-16.
Thank You for Your Help and Be Well,
Steve Davies
Senior Petroleum Geologist
AOGCC
CONFIDENTIALITY NOTICE: This e-mail message, including any attachments, contains information from the Alaska Oil and Gas Conservation Commission (AOGCC), State of Alaska and is for the sole use of the intended recipient(s). It may contain
confidential and/or privileged information. The unauthorized review, use or disclosure of such information may violate state or federal law. If you are an unintended recipient of this e-mail, please delete it, without first saving or forwarding it, and, so that the AOGCC
is aware of the mistake in sending it to you, contact Steve Davies at 907-793-1224 or steve.davies@alaska.gov.
From: Luke Suchecki <Luke.Suchecki@hilcorp.com>
Sent: Wednesday, May 28, 2025 8:20 PM
To: Davies, Stephen F (OGC) <steve.davies@alaska.gov>
Cc: Dewhurst, Andrew D (OGC) <andrew.dewhurst@alaska.gov>
Subject: RE: [EXTERNAL] RE: Sterling Unit Well Spacing Exceptions
Mr. Davies,
Please see updates below in blue.
Luke Suchecki
Hilcorp Alaska, LLC
Landman
3800 Centerpoint Drive, Suite 1400
Anchorage, Alaska 99503
Direct: (907) 777-8432
Mobile: (907) 217-9729
Email: luke.suchecki@hilcorp.com
CAUTION: External sender. DO NOT open links or attachments from UNKNOWN senders.
This document may contain information that is privileged, confidential and exempt from disclosure under applicable law. If you are not the intended recipient, you are on notice that any unauthorized disclosure, copying, distribution, or
taking of any action in reliance on the contents of this document is prohibited.
From: Luke Suchecki
Sent: Friday, May 9, 2025 6:11 PM
To: Davies, Stephen F (OGC) <steve.davies@alaska.gov>
Cc: Dewhurst, Andrew D (OGC) <andrew.dewhurst@alaska.gov>
Subject: RE: [EXTERNAL] RE: Sterling Unit Well Spacing Exceptions
Mr. Davies,
Thank you again for meeting with me May 7th to discuss the Spacing Exceptions for the proposed SU 32-16, SU 43-10, and SU 43-10RD wells in the Sterling area.
Per discussion, please see the respective, additional commentary of the requests from meeting:
Attached are further updated, separate plats that address small the portion of acreage in the SE1/4 of Section 10-T5N-R10W, S.M., AK, not initially displayed as leased in prior plats by mapping error.
Please note, the legend indicates unleased Tracts through hatching patterns, while leased Tracts are represented in beige. Currently, only Tract 004 is leased.
Public records indicate Tract 004’s mineral ownership to be split between The Estate of Robert J. Mackey, c/o Robert Nyden (99.00%) and the Heirs or devisees of John F. McFarland (1.00%) via the
attached copy of that Oil and Gas Royalty Deed, between Robert J. Mackey and John F. McFarland and Aletha A. McFarland dated May 5, 1958.
Hilcorp noticed (and leased) Tract 004 Owner - Robert Nyden, as said deed reserved the right to lease for oil and gas and receive rentals to Grantor.
As such, Tract 004 – Owner, Heirs or devisees of John F. McFarland was not noticed because the ownership is a non-executive mineral interest.
As of today, Tract 042 – James W. Ziehler and Nancy J. Ziehler is the only Notice that has not been delivered (U.S.P.S. Tracking No. 9489017898203021081480).
Communication has been established with the Owner via lease proposal by mail and telephone correspondences. Tract 042 Owner has verbally expressed the desire to lease; however, has
been delayed.
Tract 005 Owner, W.B. Gann & Co., communicated the desire to execute an oil and gas lease with Hilcorp on May 2, 2025.
Tract 005 Owner, W.B. Gann & Co., executed oil and gas lease with Hilcorp on May 12, 2025; attached, please find recorded Memorandum of Oil and Gas Lease recorded on May 28, 2025, as
Instrument No. 2025-003543-0 in the Kenai Recording District.
Hilcorp proposes to allocate production on an acreage basis; being the proportionate Tract Acreage within the Total Acreage that is determined to lie within the 1,500’ drainage area.
Please note that the Tract Acreage calculation shall be rendered from the As-Drilled final survey plat for the SU 43-10.
Should Tract 005 Owner not lease prior the SU 43-10’s completion, Hilcorp will establish and maintain, without costs to the non-participating owners and landowners, an interest-bearing
escrow account for the non-participating owners and landowners and will provide documentation to the AOGCC that said escrow account has been established.
Upon technical analysis from the completion of the well, Hilcorp will allocate production in accordance with the State of Alaska – Division of Oil and Gas unit and participating area decisions.
I hope to have supplied you with the pertinent information to satisfy your requests.
Please contact me with any questions.
Luke Suchecki
Hilcorp Alaska, LLC
Landman
3800 Centerpoint Drive, Suite 1400
Anchorage, Alaska 99503
Direct: (907) 777-8432
Mobile: (907) 217-9729
Email: luke.suchecki@hilcorp.com
This document may contain information that is privileged, confidential and exempt from disclosure under applicable law. If you are not the intended recipient, you are on notice that any unauthorized disclosure, copying, distribution, or
taking of any action in reliance on the contents of this document is prohibited.
From: Luke Suchecki <Luke.Suchecki@hilcorp.com>
Sent: Thursday, May 8, 2025 12:10 PM
To: Davies, Stephen F (OGC) <steve.davies@alaska.gov>
Cc: Dewhurst, Andrew D (OGC) <andrew.dewhurst@alaska.gov>
Subject: RE: [EXTERNAL] RE: Sterling Unit Well Spacing Exceptions
Mr. Davies,
In preparation for our meeting, please find attached, digital copies of:
Updated plats for each Sterling well
Exhibit D – Tract Ownership
Exhibit E – Owners and Addresses
Exhibit F – U.S.P.S. Certified Mail Tracking Nos.
Luke Suchecki
Hilcorp Alaska, LLC
Landman
3800 Centerpoint Drive, Suite 1400
Anchorage, Alaska 99503
Direct: (907) 777-8432
Mobile: (907) 217-9729
Email: luke.suchecki@hilcorp.com
This document may contain information that is privileged, confidential and exempt from disclosure under applicable law. If you are not the intended recipient, you are on notice that any unauthorized disclosure, copying, distribution, or
taking of any action in reliance on the contents of this document is prohibited.
From: Davies, Stephen F (OGC) <steve.davies@alaska.gov>
Sent: Wednesday, May 7, 2025 7:55 AM
To: Luke Suchecki <Luke.Suchecki@hilcorp.com>
Cc: Dewhurst, Andrew D (OGC) <andrew.dewhurst@alaska.gov>
Subject: RE: [EXTERNAL] RE: Sterling Unit Well Spacing Exceptions
CAUTION: External sender. DO NOT open links or attachments from UNKNOWN senders.
Hello Luke,
My calendar is open tomorrow from 9 to 2. Let me know what is most convenient for you and whether you’ll be coming to AOGCC’s office via a phone call.
Thank You and Be Well,
Steve Davies
AOGCC
From: Luke Suchecki <Luke.Suchecki@hilcorp.com>
Sent: Wednesday, May 7, 2025 12:02 AM
To: Davies, Stephen F (OGC) <steve.davies@alaska.gov>
Cc: Dewhurst, Andrew D (OGC) <andrew.dewhurst@alaska.gov>
Subject: RE: [EXTERNAL] RE: Sterling Unit Well Spacing Exceptions
Mr. Davies,
Please advise if you’re available on Thursday, May 8th, to meet in person to discuss further the previously provided documents and attached Exhibits.
Luke Suchecki
Hilcorp Alaska, LLC
Landman
3800 Centerpoint Drive, Suite 1400
Anchorage, Alaska 99503
Direct: (907) 777-8432
Mobile: (907) 217-9729
Email: luke.suchecki@hilcorp.com
This document may contain information that is privileged, confidential and exempt from disclosure under applicable law. If you are not the intended recipient, you are on notice that any unauthorized disclosure, copying, distribution, or
taking of any action in reliance on the contents of this document is prohibited.
From: Davies, Stephen F (OGC) <steve.davies@alaska.gov>
Sent: Tuesday, May 6, 2025 4:43 PM
To: Luke Suchecki <Luke.Suchecki@hilcorp.com>
Cc: Dewhurst, Andrew D (OGC) <andrew.dewhurst@alaska.gov>
Subject: RE: [EXTERNAL] RE: Sterling Unit Well Spacing Exceptions
Hello Luke,
Looking at the additional maps that Hilcorp provided for the Sterling Unit 43-10 and 43-10RD spacing exception applications on April 23rd, I notice that there are many privately held parcels
within the 1,500’ Affected Area and the 3,000’ notification area. However, only a few of the parcels are numbered on the maps. Who are the landowners for these properties? Were they all
notified in accordance with the requirements of 20 AAC 25.055? In the past, your predecessors Cody Terrell and David Duffy provided tract maps that were labeled with tract numbers for each
parcel and accompanied by an associated exhibit that detailed landownership, acreage, working interest ownership, and other information. Here is an example screenshot from the AOGCC’s CO
701A file that is available online through our Document Search application. Could Hilcorp please provide a similar map and ownership listing for SU 43-10? A similar coded map and similar
ownership listing is also needed for SU 43-10RD, if any privately help parcels fall within the 3,000’ notification buffer.
Thanks for Your Help,
Steve Davies
AOGCC
Source: CO 701A online file, page 170.
CAUTION: External sender. DO NOT open links or attachments from UNKNOWN senders.
CAUTION: This email originated from outside the State of Alaska mail system. Do not click links or open attachments unless you recognize the sender and know the content is safe.
From: Luke Suchecki <Luke.Suchecki@hilcorp.com>
Sent: Wednesday, April 23, 2025 12:50 PM
To: Davies, Stephen F (OGC) <steve.davies@alaska.gov>
Cc: Dewhurst, Andrew D (OGC) <andrew.dewhurst@alaska.gov>
Subject: RE: [EXTERNAL] RE: Sterling Unit Well Spacing Exceptions
Mr. Davies,
Per request, please find attached:
Spreadsheet tabulating the respective Landowners for each well and their corresponding Lease.
Three (3) separate plats depicting the Landowners tracts (color coded).
BLM Notice of Lease Termination and Lands vesting to State of Alaska
Please contact me with any questions.
Luke Suchecki
Hilcorp Alaska, LLC
Landman
3800 Centerpoint Drive, Suite 1400
Anchorage, Alaska 99503
Direct: (907) 777-8432
Mobile: (907) 217-9729
Email: luke.suchecki@hilcorp.com
This document may contain information that is privileged, confidential and exempt from disclosure under applicable law. If you are not the intended recipient, you are on notice that any unauthorized disclosure, copying, distribution, or
taking of any action in reliance on the contents of this document is prohibited.
From: Davies, Stephen F (OGC) <steve.davies@alaska.gov>
Sent: Monday, April 21, 2025 10:05 AM
To: Luke Suchecki <Luke.Suchecki@hilcorp.com>
Cc: Dewhurst, Andrew D (OGC) <andrew.dewhurst@alaska.gov>
Subject: [EXTERNAL] RE: Sterling Unit Well Spacing Exceptions
Luke,
For AOGCC’s records, I’d appreciate it if you could also provide a copy of the letter from BLM to Hilcorp that describes dissolution of the federally administered units in the Cook
Inlet Basin.
Thanks Again for Your Help,
Steve Davies
AGOCC
From: Davies, Stephen F (OGC)
Sent: Monday, April 21, 2025 8:03 AM
To: Luke Suchecki
Cc: Dewhurst, Andrew D (OGC)
Subject: RE: Sterling Unit Well Spacing Exceptions
Hello Luke,
Following up on our conversation on 4/19, I’m seeking additional lease and ownership information that will allow me to describe the affected properties in a manner that is similar to
Findings 1 and 2 of CO 701G:
Please refer to Hilcorp’s spacing exception for the Pearl 10 well for an example of the ownership schedule referenced in Finding 2.
For any unleased affected acreage, AOGCC needs further information regarding how production will be allocated to those properties and how any royalties due to the owners and
landowners of those properties will be tracked and managed. Again, an example can be found in Rules 4 and 5 of CO 701G:
Thanks for Your Help and Be Well,
Steve Davies
Senior Petroleum Geologist
AOGCC
CONFIDENTIALITY NOTICE: This e-mail message, including any attachments, contains information from the Alaska Oil and Gas Conservation Commission (AOGCC), State of
Alaska and is for the sole use of the intended recipient(s). It may contain confidential and/or privileged information. The unauthorized review, use or disclosure of such information
may violate state or federal law. If you are an unintended recipient of this e-mail, please delete it, without first saving or forwarding it, and, so that the AOGCC is aware of the mistake
in sending it to you, contact Steve Davies at 907-793-1224 or steve.davies@alaska.gov
From: Davies, Stephen F (OGC)
Sent: Saturday, April 19, 2025 8:26 AM
To: Luke Suchecki <Luke.Suchecki@hilcorp.com>
Subject: Sterling Unit Well Spacing Exceptions
Hello Luke,
I’m currently writing the draft spacing exception decision orders for the SU 16, SU 43-10, and SU 43-10RD wells. According to the land plats provided with Hilcorp’s exception
applications, the mineral estate owners are predominantly CIRI, the State of Alaska (SOA), and the Mental Health Trust Authority (MHT). So that the record and draft decision orders
are complete, could Hilcorp please provide revised land plats on which the lease numbers are labeled for the various properties owned by CIRI, SOA, and MHT? I also note that there
are other affected landowners who were also notified by certified mail. On those revised land plats, could Hilcorp also please outline and label the properties owned by each of
these parties?
Thanks for Your Help and Be Well,
Steve Davies
Senior Petroleum Geologist
AOGCC
CONFIDENTIALITY NOTICE: This e-mail message, including any attachments, contains information from the Alaska Oil and Gas Conservation Commission (AOGCC), State of
Alaska and is for the sole use of the intended recipient(s). It may contain confidential and/or privileged information. The unauthorized review, use or disclosure of such information
may violate state or federal law. If you are an unintended recipient of this e-mail, please delete it, without first saving or forwarding it, and, so that the AOGCC is aware of the mistake
in sending it to you, contact Steve Davies at 907-793-1224 or steve.davies@alaska.gov
The information contained in this email message is confidential and may be legally privileged and is intended only for the use of the individual or entity named above. If you are not an intended recipient or if you have received this message in error, you are hereby notified that any
dissemination, distribution, or copy of this email is strictly prohibited. If you have received this email in error, please immediately notify us by return email or telephone if the sender's phone number is listed above, then promptly and permanently delete this message.
While all reasonable care has been taken to avoid the transmission of viruses, it is the responsibility of the recipient to ensure that the onward transmission, opening, or use of this message and any attachments will not adversely affect its systems or data. No responsibility is
accepted by the company in this regard and the recipient should carry out such virus and other checks as it considers appropriate.
The information contained in this email message is confidential and may be legally privileged and is intended only for the use of the individual or entity named above. If you are not an intended recipient or if you have received this message in error, you are hereby notified that any
dissemination, distribution, or copy of this email is strictly prohibited. If you have received this email in error, please immediately notify us by return email or telephone if the sender's phone number is listed above, then promptly and permanently delete this message.
While all reasonable care has been taken to avoid the transmission of viruses, it is the responsibility of the recipient to ensure that the onward transmission, opening, or use of this message and any attachments will not adversely affect its systems or data. No responsibility is
accepted by the company in this regard and the recipient should carry out such virus and other checks as it considers appropriate.
The information contained in this email message is confidential and may be legally privileged and is intended only for the use of the individual or entity named above. If you are not an intended recipient or if you have received this message in error, you are hereby notified that any
dissemination, distribution, or copy of this email is strictly prohibited. If you have received this email in error, please immediately notify us by return email or telephone if the sender's phone number is listed above, then promptly and permanently delete this message.
While all reasonable care has been taken to avoid the transmission of viruses, it is the responsibility of the recipient to ensure that the onward transmission, opening, or use of this message and any attachments will not adversely affect its systems or data. No responsibility is
accepted by the company in this regard and the recipient should carry out such virus and other checks as it considers appropriate.
The information contained in this email message is confidential and may be legally privileged and is intended only for the use of the individual or entity named above. If you are not an intended recipient or if you have received this message in error, you are hereby notified that any
dissemination, distribution, or copy of this email is strictly prohibited. If you have received this email in error, please immediately notify us by return email or telephone if the sender's phone number is listed above, then promptly and permanently delete this message.
While all reasonable care has been taken to avoid the transmission of viruses, it is the responsibility of the recipient to ensure that the onward transmission, opening, or use of this message and any attachments will not adversely affect its systems or data. No responsibility is
accepted by the company in this regard and the recipient should carry out such virus and other checks as it considers appropriate.
3
Sterling Pad
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Tract No. Landowner Lease Mineral Interest Gross Acreage
The Estate of Robert J. Mackey, c/o Robert Nyden 99.00%
Heirs of John F. McFarland 1.00%
005 W.B. Gann & Co. Unleased 100.00% 2.23
The Alaska Mental Health
Trust Authority
038 Clyde Saltz and Laura N. Saltz Unleased 100.00% 1.003
039 Herbert A. Mann and Susan C. Mann Unleased 100.00% 1.441
040 Dave and/or April Williams Unleased 100.00% 0.9532
041 Jack Blackwell and Michelle Blackwell Unleased 100.00% 0.05906
042 James W. Ziehler and Nancy J. Ziehler Unleased 100.00% 0.6364
State of Alaska,
Department of Natural Resources
State of Alaska,
Department of Natural Resources
045 Cook Inlet Region, Inc. ("CIRI") C-061723 100.00% 6253.7
100.00%
100.00%
Exhibit "D"
dated May 7, 2025
Tract Ownership Schedule
Application for Spacing Exception dated February 3, 2025
044
MHT No. 9300101 100.00% 286.82
780.97ADL No. 394294
637.9ADL No. 394293
L2078800000 143.67004
006
043
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Landowner U.S.P.S. Tracking No.
The Estate of Robert J. Mackey, c/o Robert Nyden
Heirs of John F. McFarland
W.B. Gann & Co. 9489017898203021081497
The Alaska Mental Health Trust Authority 9489017898203021081428
Clyde Saltz and Laura N. Saltz 9489017898203021081503
Herbert A. Mann and Susan C. Mann 9489017898203021081459
Dave and/or April Williams 9589071052702430768205
Jack Blackwell and Michelle Blackwell 9489017898203021081466
James W. Ziehler and Nancy J. Ziehler 9489017898203021081480
State of Alaska, Department of Natural Resources 9489017898203021081411
Cook Inlet Region, Inc. ("CIRI") 9489017898203021081374
9589071052702430766904
Exhibit "F"
dated May 8, 2025
Certified Mailing List
Application for Spacing Exception dated February 3, 2025
2
Notice of Public Hearing
STATE OF ALASKA
ALASKA OIL AND GAS CONSERVATION COMMISSION
RE: Docket Number: CO-25-001
Hilcorp Alaska, LLC’s Spacing Exception Application for Well Sterling Unit 32-16
Sterling Unit
Kenai Peninsula Borough, Alaska
Hilcorp Alaska, LLC (Hilcorp), by letter dated February 3, 2025, filed an application with the
Alaska Oil and Gas Conservation Commission (AOGCC) for an exception to the spacing
requirements of 20 AAC 25.055 to allow for the drilling, completion, testing, and operation of the
proposed Sterling Unit 32-16 development gas well in the Sterling Unit Sterling and Upper Beluga
Pool within 1,500 feet of an external property line where the owners and landowners are not the
same on both sides of the line, pursuant to 20 AAC 25.055(d).
Surface Location: 2323' FSL, 564' FEL, Section 9, T5N, R10W, Seward Meridian (SM)
Target Location (Estimated): 862' FNL, 1791’ FEL, Section 16, T5N, R10W, SM
Bottom Hole Location: 1462' FNL, 2022’ FEL, Section 16, T5N, R10W, SM
Well spacing regulations protect the oil and gas rights of adjacent leaseholders and landowners
and maximize resource recovery by establishing default limits on how close, under the land's
surface, oil and gas wells can be to property lines where ownership changes hands. These limits
are set forth in a regulation, 20 AAC 25.055. Operators must abide by the default limits unless
they apply for, and obtain, an order approving an exception to those limits. Although exceptions
to the default limits are not unusual, AOGCC carefully evaluates each application, and typically
grants them only when actual geologic conditions demonstrate that the proposed subsurface
location of a well is necessary to reach otherwise unreachable oil or gas and that both the rights of
adjacent leaseholders and landowners and underground drinking water can be protected. As a
general matter, AOGCC does not have extensive authority over surface impacts such as noise,
emissions, or construction.
This notice does not contain all the information filed by Hilcorp. To obtain more information,
contact the AOGCC’s Special Assistant, Samantha Coldiron, at (907) 793-1223 or
samantha.coldiron@alaska.gov.
The AOGCC has tentatively scheduled a public hearing on this matter for March 13, 2025, at 10:00
a.m. via Microsoft Teams. The hearing, which may be changed to full virtual, if necessary, will be
held in the AOGCC hearing room located at 333 West 7th Avenue, Anchorage, AK 99501. The
audio call in information is (907) 202 7104 Conference ID: 160 146 389#. Anyone who wishes to
participate remotely using MS Teams video conference should contact Ms. Samantha Coldiron at
least two business days before the scheduled public hearing to request an invitation for the MS
Teams. To request that the tentatively scheduled hearing be held, a written request must be filed
with the AOGCC no later than 4:30 p.m. on February 24, 2025.
If a request for a hearing is not timely filed, the AOGCC may issue an order without a hearing. To
learn if the AOGCC will hold the hearing, call (907) 793-1223 after February 25, 2025.
In addition, written comments regarding this application may be submitted to the AOGCC, at 333
West 7th Avenue, Anchorage, AK 99501 or samantha.coldiron@alaska.gov. Comments must be
received no later than 4:30 p.m. on March 10, 2025, except that, if a hearing is held, comments
must be received no later than the conclusion of the March 13, 2025, hearing.
If, because of a disability, special accommodations may be needed to comment or attend the
hearing, contact Samantha Coldiron, at (907) 793-1223, no later than March 6, 2025.
Jessie L. Chmielowski Gregory C. Wilson
Commissioner Commissioner
Jessie L.
Chmielowski
Digitally signed by
Jessie L. Chmielowski
Date: 2025.02.05
13:28:44 -09'00'
Gregory C. Wilson
Digitally signed by Gregory C.
Wilson
Date: 2025.02.05 14:59:52 -09'00'
From:Coldiron, Samantha J (OGC)
To:AOGCC_Public_Notices
Subject:[AOGCC_Public_Notices] Public Hearing Notices (Hilcorp)
Date:Wednesday, February 5, 2025 3:13:55 PM
Attachments:CO-25-001 Public Hearing Notice Hilcorp SU 32-16 Spacing Exception.pdf
CO-25-002 Public Hearing Notice Hilcorp SU 43-10RD Spacing Exception.pdf
CO-25-003 Public Hearing Notice Hilcorp SU 43-10 Spacing Exception.pdf
Docket Number: CO-25-001
Hilcorp Alaska, LLC’s Spacing Exception Application for Well Sterling Unit 32-16
Sterling Unit
Kenai Peninsula Borough, Alaska
Docket Number: CO-25-002
Hilcorp Alaska, LLC’s Spacing Exception Application for Well Sterling Unit 43-10RD
Sterling Unit
Kenai Peninsula Borough, Alaska
Docket Number: CO-25-003
Hilcorp Alaska, LLC’s Spacing Exception Application for Well Sterling Unit 43-10
Sterling Unit
Kenai Peninsula Borough, Alaska
Samantha Coldiron
AOGCC Special Assistant
Alaska Oil and Gas Conservation Commission
333 West 7th Avenue
Anchorage, AK 99501
(907) 793-1223
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Notice of Public HearingSTATE OF ALASKAALASKA OIL AND GAS CONSERVATION COMMISSION RE: Docket Number: CO-25-001Hilcorp Alaska, LLC’s Spacing Exception Application for Well Sterling Unit 32-16Sterling UnitKenai Peninsula Borough, Alaska Hilcorp Alaska, LLC (Hilcorp), by letter dated February 3, 2025, filed an application with the Alaska Oil and Gas Conservation Commission (AOGCC) for an exception to the spacing requirements of 20 AAC 25.055 to allow for the drilling, completion, testing, and operation of the proposed Sterling Unit 32-16 development gas well in the Sterling Unit Sterling and Upper Beluga Pool within 1,500 feet of an external property line where the owners and landowners are not the same on both sides of the line, pursuant
to 20 AAC 25.055(d). Surface Location: 2323’ FSL, 564’ FEL, Section 9, T5N, R10W, Seward Meridian (SM)Target Location (Estimated): 862’ FNL, 1791’ FEL, Section 16, T5N, R10W, SMBottom Hole Location: 1462’ FNL, 2022’ FEL, Section 16, T5N, R10W, SM Well spacing regulations protect the oil and gas rights of adjacent leaseholders and landowners and maximize resource recovery by
establishing default limits on how close, under the land’s surface, oil and gas wells can be to property lines where ownership changes hands. These limits are set forth in a regulation, 20 AAC 25.055. Operators must abide by the default limits unless they apply for, and obtain, an order approving an exception to those limits. Although exceptions to the default limits are not unusual, AOGCC carefully evaluates each application, and typically grants them only when actual geologic conditions demonstrate that the proposed subsurface location of a well is necessary to reach otherwise unreachable oil or gas and that both the rights of adjacent leaseholders and landowners and underground drinking
water can be protected. As a general matter, AOGCC does not have extensive authority over surface impacts such as noise, emissions, or construction. This notice does not contain all the information filed by Hilcorp. To obtain more information, contact the AOGCC’s Special Assistant, Samantha Coldiron, at (907) 793-1223 or samantha.coldiron@alaska.gov. The AOGCC has tentatively scheduled a public hearing on this matter for March 13, 2025, at 10:00 a.m. via Microsoft Teams.
The hearing, which may be changed to full virtual, if necessary, will be held in the AOGCC hearing room located at 333 West 7th Avenue, Anchorage, AK 99501. The audio call in information is (907) 202 7104 Conference ID: 160 146 389#. Anyone who wishes to participate remotely using MS Teams video conference should contact Ms. Samantha Coldiron at least two business days before the scheduled public hearing to request an invitation for the MS Teams. To request that the tentatively scheduled hearing be held, a written request must be filed with the AOGCC no later than 4:30 p.m. on February 24, 2025. If a request for a hearing is not timely filed, the AOGCC may issue an order without a hearing. To learn if the AOGCC will hold the hearing, call (907) 793-1223 after February 25, 2025. In addition, written comments regarding this application may be submitted to the AOGCC, at 333 West 7th Avenue, Anchorage, AK 99501 or samantha.coldiron@alaska.gov. Comments must be received no later than 4:30 p.m. on March 10, 2025, except that, if a hearing is held, comments must be received no later than the conclusion of the March 13, 2025, hearing. If, because of a disability, special accommodations may be needed to comment or attend the hearing, contact Samantha Coldiron, at (907) 793-1223, no later than March 6, 2025. Jessie L. Chmielowski Gregory C. WilsonCommissioner Commissioner
Pub: Feb. 9, 2025
STATE OF ALASKA
THIRD JUDICIAL DISTRICT
______________________________________2025-02-11
2028-07-14
Document Ref: VPYCO-DGRGD-UTKQX-PEKSI Page 8 of 31
1
February 3, 2025
Jessie Chmielowski, Commissioner
Alaska Oil and Gas Conservation Commission
333 West 7th Avenue
Anchorage, Alaska 99501
RE: Application for Spacing Exception
Sterling Unit 32-16
Kenai Peninsula Borough, AK
Commissioner Chmielowski:
Hilcorp Alaska, LLC (“Hilcorp”), hereby respectfully submits this application for a Spacing
Exception to drill the Sterling Unit 32-16 (“SU 32-16”) pursuant to 20 AAC 25.055(a)(2). The
proposed productive interval and respective locations are listed below, and more particularly
depicted on the attached Exhibit “A”:
Surface Hole Location: 2,323' FSL & 564' FEL, Section 9, T5N-R10W, S.M.
Top of Producing Horizon: Estimated Top of Sterling and Upper Beluga
862' FNL, 1,791' FEL, Section 16, T5N-R10W, S.M.
Bottom Hole Location: 1462' FNL, 2,022' FEL, Sec 16, T5N-R10W, S.M.
The proposed grassroots development wells on the Sterling anticline will be targeting any
remaining gas productive reservoirs. The SU 32-16 will target an updip location in the Sterling
B4 and Upper Beluga reservoirs.
As of the date of delivery of this application, and in accordance with 20 AAC 25.055(d)(1),
notice of Hilcorp’s intent to drill the SU 32-16 well has been sent via U.S. Certified Mail to those
identified owners and landowners within 3,000’ of the well, listed in Exhibit “B”.
Additionally attached, please find a copy of an affidavit as Exhibit “C”, in accordance with 20
AAC 25.055(d)(3).
It is requested that the Alaska Oil and Gas Conservation Commission schedule a public hearing
to review this application for in accordance with 20 AAC 25.540.
3800 Centerpoint Drive, Suite 1400
Anchorage, AK 99503
Phone: 907-777-8432
Email: luke.suchecki@hilcorp.com
Hilcorp Alaska, LLC
Spacing Exception Application
Sterling Unit 32-16
February 3, 2025
Page 2 of 6
Should you require additional information regarding this application, please don’t hesitate to
contact the undersigned.
Sincerely,
Luke Suchecki
Landman
Hilcorp Alaska, LLC
cc: Samantha Coldiron
Special Assistant, AOGCC (via E-mail)
Hilcorp Alaska, LLC
Spacing Exception Application
Sterling Unit 32-16
February 3, 2025
Page 3 of 6
EXHIBIT “A”
PLAT
Hilcorp Alaska, LLC
Spacing Exception Application
Sterling Unit 32-16
February 3, 2025
Page 4 of 6
EXHIBIT “B”
OWNERS
Alaska Mental Health Trust Authority
3745 Community Park Loop
Suite 200
Anchorage, AK 99508
Cook Inlet Region, Inc.
725 E. Fireweed Lane, Suite 800
Anchorage, Alaska 99503
Attn: Land Department
Department of Natural Resources
Division of Oil & Gas
550 W. 7th Avenue, Suite 1100
Anchorage, AK, 99501-3560
Attn: Derek Nottingham, Director
Hilcorp Alaska, LLC
Spacing Exception Application
Sterling Unit 32-16
February 3, 2025
Page 5 of 6
EXHIBIT C
Affidavit of Verification
Spacing Exception
Sterling Unit 32-16
I, Luke Suchecki, Senior Landman for Hilcorp Alaska, LLC, do hereby verify the following:
I am acquainted with the application submitted for the drilling of the Sterling Unit 32-16
Well.
I have reviewed the application submitted for the exception to 20 AAC 25.055 (a)(2) and
all facts therein are true.
I have reviewed the plat attached to said application, and it correctly portrays pertinent and
required data.
DATED at Anchorage, Alaska, this 3rd day of February 2025.
_________________________________
Luke Suchecki
Senior Landman
STATE OF ALASKA )
)
THIRD JUDICIAL DISTRICT )
SUBSCRIBED TO AND SWORN before me this 3rd day of February, 2025.