Department of Commerce, Community, and Economic Development
Alaska Oil and Gas Conservation Commission
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HomeMy WebLinkAboutCO 771CONSERVATION ORDER 771
Docket Number: CO -19-004
1. January 7, 2019 BlueCrest Energy application for a Spacing Exception H-13-1,03
2. January 15, 2019 Notice of hearing, affidavit of publication, email
distribution, mailings
3. July 23, 2019 BlueCrest Energy request to cancel PTD and therefore Spacing
exception
C.�I N:11 Y �[17�7I:T.Y:I1
ALASKA OIL AND GAS CONSERVATION COMMISSION
333 West 7" Avenue
Anchorage, Alaska 99501
Re: THE APPLICATION OF BlueCrest
Alaska Operating LLC to drill, complete,
test, and produce the Hansen H-13-1,03
development oil well branch within the
same governmental quarter section as, and
within 1,000 feet of, a well that is, or may be
capable of, producing from the same pool.
IT APPEARING THAT:
Docket Number: CO -19-004
Conservation Order 771
Cosmopolitan Unit
Hansen Undefined Oil Pool
Hansen H-13-1,03
Oil Development Well Branch
Kenai Peninsula Borough, Alaska
February 22, 2019
1. By a letter received January 8, 2019, BlueCrest Alaska Operating LLC (BlueCrest) requested
an exception to the statewide spacing requirements of 20 AAC 25.055 to drill, complete, test,
and produce the Hansen H-13-1,03 development oil well branch within the same governmental
quarter section as, and within 1,000 feet of, a well that is, or may be capable of, producing
from the same pool.
2. Pursuant to 20 AAC 25.540, the Alaska Oil and Gas Conservation Commission (AOGCC)
tentatively scheduled a public hearing for February 21, 2019. On January 14, 2019, the
AOGCC published notice of the opportunity for that hearing on the State of Alaska's Online
Public Notice website and on the AOGCC's website, electronically transmitted the notice to
all persons on the AOGCC's email distribution list, and mailed printed copies of the notice to
all persons on the AOGCC's mailing distribution list. On January 15, 2019, the AOGCC
published the notice in the ANCHORAGE DAILY NEWS.
3. BlueCrest sent by certified mail notice of the application to all owners, landowners, and
operators of all properties within 1,000 feet of the proposed Hansen H -13-L03 development
well branch—i.e., the State of Alaska and the Bureau of Ocean Energy Management—and
provided the notice, addresses to which the notices were delivered, and Certified Mail receipts.
4. No comments or request for hearing were received regarding BlueCrest's application.
5. The tentatively scheduled public hearing was vacated.
6. BlueCrest's application provided sufficient information upon which to make an informed
decision.
FINDINGS:
1. BlueCrest is the operator and sole working interest owner of the Cosmopolitan Unit, located
within the .Cook Inlet, Kenai Peninsula Borough, Alaska.
Hansen H-13-1,03 will be a horizontal, development oil well branch drilled directionally to
the northwest from an onshore surface location at 2,344 feet from the south line (FSL) and
1,524 feet from the east line (FEL) of Section 2, Township 4 South, Range 15 West (RI 5W),
Seward Meridian (S.M.). The top of the Hansen Undefined producing interval location will
lie offshore about 3,523 feet FSL and 1,721 feet FEL of Section 28, Township 3 South (T3S),
CO 771
February 22, 2019
Page 2 of 3
R15W, S.M. The bottom -hole location will lie offshore about 4,326 feet FSL and 2,986 feet
FEL of Section 28, T3S, R15W, S.M.
3. The surface location for Hansen H-13-LO3 lies on private property. A portion of the well
passes through State of Alaska leases ADL 18790 and ADL 391903. The top -of -productive
interval and bottom -hole locations will lie within State of Alaska lease ADL 384403.
4. Hansen H-13-LO3 will target reservoirs within the Hansen Undefined Oil Pool.
5. Hansen H-13-LO3 will be located within the same governmental quarter section as, and within
1,000 feet of, development oil well Hansen H-13 and development oil well branches Hansen
H-13-LO1, Hansen H-13-1,02, Hansen H-13-1,04, Hansen H-13-1,05, and Hansen H-13-LO6
that are, or may be capable of, producing from the same oil pool.
6. The well path and bottom -hole location for Hansen H-13-LO3 were chosen—based on
reservoir mapping and modeling results—to ensure greater ultimate recovery by maximizing
the amount of wellbore open to the reservoirs and extracting oil that cannot be efficiently
produced by existing wells and well branches.
CONCLUSIONS:
1. An exception to the well spacing provisions of 20 AAC 25.055(a)(3) is necessary to allow the
drilling, completion, testing, and regular production of the Hansen H-13-LO3 development oil
well branch in order to maximize resource recovery.
2. Granting an exception to the well spacing provisions of 20 AAC 25.055(a)(3) for the Hansen
H-13-1,03 well branch will not result in waste or jeopardize correlative rights of adjoining or
nearby owners.
NOW THEREFORE IT IS ORDERED:
The AOGCC grants B1ueCrest's January 8, 2019, application for an exception to the well spacing
provisions of 20 AAC 25.055(a)(3) to allow drilling, completion, testing, and regular production
of the Hansen H-13-LO3 development oil well branch within the Hansen Undefined Oil Pool.
B1ueCrest may proceed as long as it complies with all applicable laws, and all other legal
requirements.
DONE at Anchorage, Alaska and dated February 22, 2019.
7
Ca P. Foerster Daniel T. Seamount, Jr.
Commissioner Commissioner
CO 771
February 22, 2019
Page 3 of 3
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
STATE OF ALASKA
ALASKA OIL AND GAS CONSERVATION COMMISSION
333 West 7" Avenue
Anchorage, Alaska 99501
Re: THE APPLICATION OF BlueCrest ) Docket Number: CO -19-004
Alaska Operating LLC to drill, complete, ) Conservation Order 771
test, and produce the Hansen H -13-L03 ) Cosmopolitan Unit
development oil well branch within the ) Hansen Undefined Oil Pool
same governmental quarter section as, and ) Hansen H -13-L03
within 1,000 feet of, a well that is, or may be ) Oil Development Well Branch
capable of, producing from the same pool. ) Kenai Peninsula Borough, Alaska
February 22, 2019
IT APPEARING THAT:
1. By a letter received January 8, 2019, BlueCrest Alaska Operating LLC (BlueCrest) requested
an exception to the statewide spacing requirements of 20 AAC 25.055 to drill, complete, test,
and produce the Hansen H-13-1,03 development oil well branch within the same governmental
quarter section as, and within 1,000 feet of, a well that is, or may be capable of, producing
from the same pool.
2. Pursuant to 20 AAC 25.540, the Alaska Oil and Gas Conservation Commission (AOGCC)
tentatively scheduled a public hearing for February 21, 2019. On January 14, 2019, the
AOGCC published notice of the opportunity for that hearing on the State of Alaska's Online
Public Notice website and on the AOGCC's website, electronically transmitted the notice to
all persons on the AOGCC's email distribution list, and mailed printed copies of the notice to
all persons on the AOGCC's mailing distribution list. On January 15, 2019, the AOGCC
published the notice in the ANCHORAGE DAILY NEWS.
3. BlueCrest sent by certified mail notice of the application to all owners, landowners, and
operators of all properties within 1,000 feet of the proposed Hansen H -13-L03 development
well branch—i.e., the State of Alaska and the Bureau of Ocean Energy Management—and
provided the notice, addresses to which the notices were delivered, and Certified Mail receipts.
4. No comments or request for hearing were received regarding BlueCrest's application.
5. The tentatively scheduled public hearing was vacated.
6. BlueCrest's application provided sufficient information upon which to make an informed
decision.
FINDINGS:
1. BlueCrest is the operator and sole working interest owner of the Cosmopolitan Unit, located
within the Cook Inlet, Kenai Peninsula Borough, Alaska.
2. Hansen H -13-L03 will be a horizontal, development oil well branch drilled directionally to
the northwest from an onshore surface location at 2,344 feet from the south line (FSL) and
1,524 feet from the east line (FEL) of Section 2, Township 4 South, Range 15 West (R15W),
Seward Meridian (S.M.). The top of the Hansen Undefined producing interval location will
lie offshore about 3,523 feet FSL and 1,721 feet FEL of Section 28, Township 3 South (T3S),
CO 771
February 22, 2019
Page 2 of 3
RI 5W, S.M. The bottom -hole location will lie offshore about 4,326 feet FSL and 2,986 feet
FEL of Section 28, T3S, R15W, S.M.
The surface location for Hansen H -13-L03 lies on private property. A portion of the well
passes through State of Alaska leases ADL 18790 and ADL 391903. The top -of -productive
interval and bottom -hole locations will lie within State of Alaska lease ADL 384403.
4. Hansen H -13-L03 will target reservoirs within the Hansen Undefined Oil Pool.
5. Hansen H -13-L03 will be located within the same governmental quarter section as, and within
1,000 feet of, development oil well Hansen H-13 and development oil well branches Hansen
H-13-1,01, Hansen H -13-L02, Hansen H -13-L04, Hansen H -13-L05, and Hansen H-13-1,06
that are, or may be capable of, producing from the same oil pool.
6. The well path and bottom -hole location for Hansen H -13-L03 were chosen—based on
reservoir mapping and modeling results—to ensure greater ultimate recovery by maximizing
the amount of wellbore open to the reservoirs and extracting oil that cannot be efficiently
produced by existing wells and well branches.
CONCLUSIONS:
1. An exception to the well spacing provisions of 20 AAC 25.055(a)(3) is necessary to allow the
drilling, completion, testing, and regular production of the Hansen H-13-1,03 development oil
well branch in order to maximize resource recovery.
2. Granting an exception to the well spacing provisions of 20 AAC 25.055(a)(3) for the Hansen
H-13-1,03 well branch will not result in waste or jeopardize correlative rights of adjoining or
nearby owners.
NOW THEREFORE IT IS ORDERED:
The AOGCC grants BlueCrest's January 8, 2019, application for an exception to the well spacing
provisions of 20 AAC 25.055(a)(3) to allow drilling, completion, testing, and regular production
of the Hansen H -13-L03 development oil well branch within the Hansen Undefined Oil Pool.
BlueCrest may proceed as long as it complies with all applicable laws, and all other legal
requirements.
DONE at Anchorage, Alaska and dated February 22, 2019.
//signature on file// //signature on file//
Cathy P. Foerster Daniel T. Seamount, Jr.
Commissioner Commissioner
CO 771
February 22, 2019
Page 3 of 3
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
Bernie Karl
K&K Recycling Inc. Gordon Severson Penny Vadla
P.O. Box 58055 3201 Westmar Cir. 399 W. Riverview Ave.
Fairbanks, AK 99711 Anchorage, AK 99508-4336 Soldotna, AK 99669-7714
George Vaught, Jr.
P.O. Box 13557
Denver, CO 80201-3557
Darwin Waldsmith
P.O. Box 39309
Ninilchik, AK 99639
Richard Wagner
P.O. Box 60868
Fairbanks, AK 99706
3
OC-) "7%/
Davies, Stephen F (CED)
From: Davies, Stephen F (CED)
Sent: Wednesday, July 24, 2019 10:29 AM
To: Guhl, Meredith D (CED); Colombie, Jody J (CED); 'tom.mckay@bluecrest.com'
Cc: Roby, David S (CED); Schwartz, Guy L (CED); Rixse, Melvin G (CED)
Subject: RE: REQUEST TO CANCEL PTD -Hansen H13_PTD 219-023 23July2019
Done: Well H-13 and all associated well branches cancelled in RBDMS database (PTDs 219-023 thru 219-030) and
removed from Geographix database. Conservation Orders 768 thru 775 marked as cancelled in RBDMS and on the
website. Copies of this email thread have been printed and they will be scanned and placed in all affected well history
files and order files.
Thanks,
Steve D.
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.aov.
From: Davies, Stephen F (CED)
Sent: Wednesday, July 24, 2019 9:58 AM
To: Guhl, Meredith D (CED) <meredith.guhl@alaska.gov>; Colombie, Jody J (CED) <jody.colombie@alaska.gov>;
tom.mckay@bluecrest.com
Cc: Roby, David S (CED) <dave.roby@alaska.gov>; Schwartz, Guy L (CED) <guy.schwartz@alaska.gov>; Rixse, Melvin G
(CED) <melvin.rixse@alaska.gov>
Subject: RE: REQUEST TO CANCEL PTD -Hansen H13 -PTD 219-023_23July2019
The eight associated spacing exception Conservation Orders must be cancelled too.
Thanks,
Steve D.
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: Guhl, Meredith D (CED) <meredith.guhl@alaska.gov>
Sent: Wednesday, July 24, 2019 9:09 AM
To: Colombie, Jody J (CED) <iody.colombie@alaska.gov>; tom.mckay@bluecrest.com
Cc: Davies, Stephen F (CED) <steve.davies@alaska.gov>; Roby, David S (CED) <dave.robv@alaska.gov>; Schwartz, Guy L
(CED) <guy.schwartzC@alaska.gov>; Rixse, Melvin G (CED) <melvin.rixse@alaska.gov>
Subject: RE: REQUEST TO CANCEL PTD -Hansen H13 -PTD 219-023_23July2019
I have updated Hansen H-13 (PTD 219-023) and seven associated laterals H-13 L01 through H-13 L07 (PTDs 219-024
through 219-030) as Canceled.
Meredith
Meredith Guhl
Petroleum Geology Assistant
Alaska Oil and Gas Conservation Commission
333 W. 7th Ave, Anchorage, AK 99501
meredith.guhl @alaska.gov
Direct: (907) 793-1235
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 AOG CC is aware of the mistake in sending it to you, contact Meredith Guhl at
907-793-1235 or meredith.auhIPalaska.eov.
From: Colombie, Jody 1 (CED) <iody.colombie@alaska.gov>
Sent: Wednesday, July 24, 2019 9:03 AM
To: Rixse, Melvin G (CED) <melvin.rixse@alaska.gov>; tom.mckav@bluecrest.com
Cc: Davies, Stephen F (CED) <steve.davies@alaska.gov>; Roby, David S (CED) <dave.robv@alaska.gov>; Schwartz, Guy L
(CED) <guy.schwartz@alaska.gov>; Guhl, Meredith D (CED) <meredith.guhl@alaska.gov>
Subject: RE: REQUEST TO CANCEL PTD—Hansen H13—PTD 219-023_23Ju1y2019
Tom,
Once the AOGCC cancels PTD 219-023, BlueCrest Alaska will not need a bond for this well.
Jody
From: Tom McKay <tom.mckay@bluecrestenergv.com>
Sent: Tuesday, July 23, 2019 2:23 PM
To: Schwartz, Guy L (CED) <guy.schwartz@alaska.gov>; Rixse, Melvin G (CED) <melvin.rixse@alaska.gov>
Cc: 'Tom McKay'<tom.mckav@bluecrestenergy.com>; 'Andrew Buchanan' <abuchanan@bluecrestenergy.com>
Subject: REQUEST TO CANCEL PTD—Hansen H13—PTD 219-023_23July2019
Guy and Mel,
Please be advised that BlueCrest Alaska requests the cancellation of the H13 approved PTD (PTD No. 219-023)
since we have no current plans to drill this well at this time.
The well API Number is 50-231-20065-00-00, FYI.
BlueCrest understands that since this PTD will be cancelled, that no further bonding expenses by the AOGCC
would be incurred on H13.
Please advise if this is not the case, and if there are any issues with cancelling and voiding this PTD.
Thanks and best regards,
Tom McKay
Principal Drilling Engineer
BlueCrest
907-350-9544 cell
907-754-9566 office
tom.mckav@bluecrestenergy.com
2
Notice of Public Hearing
STATE OF ALASKA
ALASKA OIL AND GAS CONSERVATION COMMISSION
Re: Docket Number: CO -19-001
Well
H-13
Docket Number: CO -19-002
Well
H-13-LO1
Docket Number: CO -19-003
Well
H -13-L02
Docket Number: CO -19-004
Well
H-13-1,03
Docket Number: CO -19-005
Well
H-13-1,04
Docket Number: CO -19-006
Well
H-13-1,05
Docket Number: CO -19-007
Well
H -13-L06
Docket Number: CO -19-008
Well
1-1-13-1,07
B1ueCrest, by letter dated January 7, 2019, requests the Alaska Oil and Gas Conservation
Commission (AOGCC) issue an order for an exception to the spacing requirement of 20 AAC
25.055 because the proposed well and well branches will be drilled within the same governmental
quarter sections as, and within 1,000 feet of wells which are, or maybe capable of, producing from
the same pool.
The AOGCC has tentatively scheduled a public hearing on this application for February 21, 2019,
at 10:00 a.m. at 333 West 7`h Avenue, Anchorage, Alaska 99501. 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 2, 2019.
If a request for a hearing is not timely filed, the AOGCC may consider the issuance of an order
without a hearing. To learn if the AOGCC will hold the hearing, call (907) 793-1221 after February
5, 2019.
In addition, written comments regarding this application may be submitted to the AOGCC at 333
West 7`h Avenue, Anchorage, Alaska 99501. Comments must be received no later than 4:30 p.m.
on February 16, 2019, except that, if a hearing is held, comments must be received no later than
the conclusion of the February 21, 2019 hearing.
If, because of a disability, special accommodations may be needed to comment or attend the
hearing, contact the AOGCC's Special Assistant, Jody Colombie, at (907) 793-1221, no later than
February 8, 2019.
Hollis S. French
Chair, Commissioner
Notice of Public Hearing
STATE OF ALASKA
ALASKA OIL AND GAS CONSERVATION COMMISSION
Re: Docket Number: CO -19-001
Well
H-13
Docket Number: CO -19-002
Well
H-13-LOI
Docket Number: CO -19-003
Well
H-13-LO2
Docket Number: CO -19-004
Well
H-13-LO3
Docket Number: CO -19-005
Well
H-13-LO4
Docket Number: CO -19-006
Well
H-13-LO5
Docket Number: CO -19-007
Well
H-13-LO6
Docket Number: CO -19-008
Well
H-13-LO7
BlueCrest, by letter dated January 7, 2019, requests the Alaska Oil and Gas Conservation
Commission (AOGCC) issue an order for an exception to the spacing requirement of 20 AAC
25.055 because the proposed well and well branches will be drilled within the same governmental
quarter sections as, and within 1,000 feet of wells which are, or maybe capable of, producing from
the same pool.
The AOGCC has tentatively scheduled a public hearing on this application for February 21, 2019,
at 10:00 a.m. at 333 West 7`^ Avenue, Anchorage, Alaska 99501. 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 2, 2019.
If a request for a hearing is not timely filed, the AOGCC may consider the issuance of an order
without a hearing. To learn if the AOGCC will hold the hearing, call (907) 793-1221 after February
5, 2019.
In addition, written comments regarding this application may be submitted to the AOGCC at 333
West 7`s Avenue, Anchorage, Alaska 99501. Comments must be received no later than 4:30 p.m.
on February 16, 2019, except that, if a hearing is held, comments must be received no later than
the conclusion of the February 21, 2019 hearing.
If, because of a disability, special accommodations may be needed to comment or attend the
hearing, contact the AOGCC's Special Assistant, Jody Colombie, at (907) 793-1221, no later than
February 8, 2019.
//signature on file//
Hollis S. French
Chair, Commissioner
STATE OF ALASKA
ADVERTISING
ORDER
NOTICE TO PUBLISHER
SUBMIT INVOICE SHOWING ADVERTISING ORDER NO.N CERTIFIED
AFFIDAVIT OF PUBLICATION WnH ATTACHED COPY OFADVERTISMENT.
ADVERTISING ORDER NUMBER
p
AO-I9-018
FROM: AGENCY CONTACT:
Jody Colombie/Samantha Carlisle
Alaska Oil and Gas Conservation Commission DATE OF A.O.AGENCY PHONE:
333 West 7th Avenue 1/14/2019 (907) 279-1433
Anchorage, Alaska 99501
DATES ADVERTISEMENT REQUIRED:
COMPANY CONTACT NAME:
PHONE NUMBER: ASAP
FAX NUMBER:
(907) 276-7542
TO PUBLISHER:
Anchorage Daffy News, LLC
SPECIAL INSTRUCTIONS:
PO Box 140147
Anchorage Alaska 99514-0174
TYPE OF ADVERTISEMENT:
FY-0 LEGAL DISPLAY ;. FV CLASSIFIED r OTHER (Specify below)
DESCRIPTION PRICE
CO-19-001 through CO-19-008
Initials of who prepared AO:
Alaska Non -Taxable 92-600185
:.sURADf jwvtjlte S9oWi c9D.vTJIiIdING:
:'. ORDEN N(j:�13'.it'fIF1EDpFt`1pAVt)'bf!_, :
:puetilcAnoN:Whl'aaYi'wCtle6Coeuoi?::
wuyiaNlTSMedr7xs:
ADGCC
333 West 7th Avenue
Anchorage, Alaska 99501
Ea.71,f
Total of
All Pa es $
REF Type Number
Amount Dare Comments
1 PVN VCO21795
2 AO AO-19-018
3
4
FIN AMOUNT SY Act. Template PGM LGR Object FY DIST LIQ
1 119 A14100 3046 19
2
3
4
5
Purchasing Authority Name: Title:
Purchasing Authority's Signature Telephone Number
1. .O. # an 2 n nam must 4pear
2, he state d f
res e.
on all invoices and documents relating to this purchase,
s under Chapter 32, IRS code. Registration number 92-73-0006 K. Items we for the molusive use of the stale and not to
Divislo F' tatlQrigmal AO
-Copses Publisher (faxed):Drvlslon Elseal RetetvlOg:
u
Form: 02-901
Revised: 1/14/2019
Bernie Karl
K&K Recycling Inc.
P.O. Box 58055
Fairbanks, AK 99711
George Vaught, Jr.
P.O. Box 13557
Denver, CO 80201-3557
Gordon Severson
3201 Westmar Cir.
Anchorage, AK 99508-4336
Darwin Waldsmith
P.O. Box 39309
Ninilchik, AK 99639
Penny Vadla
399 W. Riverview Ave.
Soldotna, AK 99669-7714
Richard Wagner
P.O. Box 60868
Fairbanks, AK 99706
ANCHORAGE DMIX "
AFFIDAVIT OF PUBLICATION JAN 17 2019
Account*: 270227
ST OF AK/AK OIL AND GAS Ordert 0001433244 Product ADN -Anchorage Daily News
CONSERVATION COMMISSION Cost $249.00 Placement 0300
333 WEST 7TH AVE STE 100 Position 0301
p nlnNnfiplOC pK Oe5e1'151e
STATE OF ALASKA
THIRD JUDICIAL DISTRICT
Joleesa Stepetin
being first duly sworn on oath deposes and says
that he/she is a representative of the Anchorage
Daily News, a daily newspaper. That said
newspaper has been approved by the Third
Judicial Court, Anchorage, Alaska, and it now
and has been published in the English language
continually as a daily newspaper in Anchorage,
Alaska, and it is now and during all said time
was printed in an office maintained at the
aforesaid place of publication of said newspaper.
That the annexed is a copy of an advertisement
as it was published in regular issues (and not in
supplemental form) of said newspaper on
January 15, 2019
and that such newspaper was regularly
distributed to its subscribers during all of said
period. That the full amount of the fee charged
for the foregoing publication is not in excess of
the rate charged private individuals.
-• moi[/1/�J[a!II�i�/_..aR.7�
Subscribed and sworn to before me
this 15th day of January, 2019
&Itr v, 3hn-'-)0SM4
Notary PublicIn and for
The State o laska.
Third Division
Anchorage, Alaska
My COMMISSIO�m (9l
Notice of Public Hearing
STATE OF ASKA
ALASKA OIL AND GAS CON SERVATION COMMISSION
Re: Docket Number: CO -19-001 Well H-13
Docket Number: CO -19-002 Well H-13-1,01
Docket Number: CO -19-003 Well H-13-LO2
Docket Number: CO -194 ell H-13-LO3
Docket Number: CO -19-05 Well - H-13-104
Docket Number: CO -19-006 Well H -13-L05
Docket,Numbec CO -19-007 Well H -13,1'A6
Docket Number: CO -19-008 Well H -13-L07
SlueCrest, by letter dated January 7, 2019, requests the Alaska
Oil and Gas Conservation COMMIS810n (AOGCC) issue an order
for an exception to the spacing requirement of 20 AAC 25.055
because the proposed well and well branches will be drilled
within the samegOvernmental quarter sections as, and within
1,000 feet of wells which are, or maybe capable of, producing
from the same pool.
The AOGCC has tentatively scheduled a public hearing on this
application for February 21, 2019, at 10:00 a.m. at 333 West 7th
Avenue, AnchoraSe Alaska 99501. 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 2,
2019.
If a request for a hearing is not timely filed, the AOGCC may.
consider the issuance of an order without a hearing. To learn if
the AOGCC will hold the hearing, call (907) 793-1221 after
February 5, 2019.
In addition, written comments regarding this application may be
Submitted t0 the AOGCC at 333 West 7th Avenue, Anchorage,
Alaska 99501. rCyomments must be received no later Sthan 4:30
ebrua
omments must a received no later than the conclusion of the
February 21, 2019 hearing.
h, because of a disability, special accommodations may be
needed to Commnt or attend theSpecial Assistant,Jody Colombia, at (90r7)g793-1 21t no later than
February 8, 2019.
77signture on file//
Hollis S. French
Chair, Commissioner
Publsihed: January 15, 22, 29, 2019
Notary Public art,
BRITNE'y L. THOi✓Psoil
star. of Alaska
_," (�Omrnissjon EXpfrE$ Feb 23, 2012,
1
.lue st
Energy
January 7, 2019
Alaska Oil and Gas Conservation Commission
333 West 711 Avenue, Suite 100
Anchorage, Alaska 99501
Cosmopolitan Project
BlueCrest Energy - 1-1-13-1-03 Spacing Exception_AOGCC
3301 C Street, Suite 202, Anchorage, AK 99503
Larry Burgess
Phone: (907)754-9552
Email: lburgess@bluecrestenergy.com
RE: Application for Spacing Exception for 1-11-13-1.03 Onshore Horizontal Producer JAN 0 8 2019
Dear Commissioners, 4'°' OG C V
BlueCrest Alaska Operating LLC hereby applies for a spacing exception for the horizontal production well H-33403. Reservoir
modeling indicates that the optimum spacing for the laterals is 800'. Because of that spacing, the laterals conflict with each
other. Also, due to the 303" azimuth we are drilling for hole stability, there are multiple instances where two or more of the
laterals will be within the same Y. section. Accordingly, an exception to statewide spacing requirements is requested.
BlueCrest Energy is the only effected working interest owner and operator within the leasehold contacting the Cosmopolitan
Undefined Oil Pool. The Bureau of Ocean Energy Management (BOEM) and Alaska Department of Natural Resources Division
of Oil and Gas (ADNR DOG) have been notified of BlueCrest Energy's intent to submit this application for exception. The
necessary documentation confirming notice is included in the attached.
For these reasons, in lieu of pool rules that would allow for this unique and field specific spacing, BlueCrest Energy is
requesting a spacing exception.
Please find attached for the review of the Commission the information required by 20 ACC 25.055 for this well bore.
If you have any questions or require further information, please do not hesitate to contact Andrew Buchanan at 907-754-
9563.
Sincerely
Larry Burgess
Alaska Manager
BlueCrest Energy - H -13-L03 Spacing Exception_AOGCC
nue est
Energy
Application for Spacing Exception
Horizontal Producer H-13403
Table of Contents
Cosmopolitan Project
H13-1-03 Application for Spacing Exception
20 AAC 25.055. Drilling units and well spacing.......................................................... 2
1. Requirements of 20 AAC 25.055(a)........................................................................ 2
2. Requirements of 20 AAC 25.055 (b)....................................................................... 2
3. Requirements of 20 AAC 25.055(c)........................................................................ 2
4. Requirements of 20 AAC 25.055 (d)....................................................................... 3
5. Attachments.............................................................................................................3
Attachment 1 Spacing Exception Platt......................................................................................................... 3
Attachment2 Affidavit.............................................................................................................................. 3
Attachment 3 Notification Information....................................................................................................... 3
11Page
H13 -L03 Application for Spacing Exception
Olue
Energy
20 AAC 25.055. Drilling units and well spacing
1. Requirements of 20 AAC 25.055 (a)
Cosmopolitan Project
1-113-103 Application for Spacing Exception
The commission will, in its discretion, establish drilling units to govern well spacing and prescribe a spacing pattern by
pool rules adopted in accordance with 20 AAC 15.520. In the absence of an order by the commission establishing drilling
units or prescribing a spacing pattern for a pool, the following statewide spacing requirements apply:
(1) for a well drilling for oil, a wellbore may be open to test or regular production within 500 feet of a
property line only if the owner is the some and the landowner is the some on both sides of the line,
Not Applicable — Well is not within 500' of the federal lease line
(2) for a well drilling for gas, a wellbore may be open to test or regular production within 1,500 feet of a
property line only if the owner is the same and the landowner is the some on both sides of the line;
Not Applicable — Wellbore is drilling for oil.
(3) if oil has been discovered, the drilling unit for the pool is a governmental quarter section; not more than
one well may be drilled to and completed in that pool on any governmental quarter section; a well may not
be drilled or completed closer than 1,000 feet to any well drilling to or capable of producing from the some
pool;
Please see Attachment 1: Spacing Exception Platt
(4) if gas has been discovered, the drilling unit for the pool is a governmental section; not more than one well
may be drilled to and completed in that pool on any governmental section; a well may not be drilled or
completed closer than 3,000 feet to any well drilling to or capable of producing from the some pool.
Not Applicable — Target is the Cosmopolitan Undefined Oil Pool
2. Requirements of 20 AAC 25.055 (b)
A well may not begin regular production of oil from a property that is smaller than the governmental quarter section upon
which the well is located or begin regular production of gas from a property that is smaller than the governmental section
upon which the well is located, unless the interests of the persons owning the drilling rights in and the right to share in the
production from the quarter section or section, respectively, have been pooled under AS 31.05.100.
BlueCrest Energy is the only operator and 100% working interest owner within the Cosmopolitan Unit.
3. Requirements of 20 AAC 25.055 (c)
A pooling agreement under AS 31.05.100 must be filed with the commission before regular production from the affected
property begins.
The leases currently being exploited by BlueCrest Energy all fall within the currently unitized Cosmopolitan
Unit. Pool rules are not currently identified.
2 1 P a g e
H13•L03 Application for Spacing Exception
BI e Ne"
Fnvrs�
4. Requirements of 20 AAC 25.055 (d)
Cosmopolitan Project
H 13-L03 Application for Spacing Exception
The commission will review on application for on exception to the provisions of this section in accordance with 20 AAC
25.540. The applicant for on exception shall send notice of the application by certified mail to the owners, landowners,
and operators described in (1) of this subsection and shall furnish the commission with a copy of the notice, the date of
mailing, and the addresses to which the notice was sent. The application must include
(1) the names of all owners, landowners, and operators of all properties within 1,000 feet of a well drilling
for oil or within 3,000 feet of a well drilling for gas for which an exception is sought
BlueCrest Energy LLC
Alaska Division of Natural Resources (ADNR)
Bureau of Ocean Energy Management (BOEM)
Please see Attachment 3: Notification Information
(2) a plat drawn to a scale of one inch equaling 2,640 feet or larger, showing the location of the well for
which the exception is sought, all other completed and drilling wells on the property, and all adjoining
properties and wells, and
Please see Attachment 1: Spacing Exception Platt
(3) on affidavit by a person acquainted with the facts, verifying that all facts are true and that the plat
correctly portrays pertinent and required data.
Please see Attachment 2: Affidavit
5. Attachments
Attachment 15pacing Exception Platt
Attachment 2 Affidavit
Attachment 3 Notification Information
31Page
H13 -L03 Application for Spacing Exception
/it,
Energy
January 7, 2019
State of Alaska
Alaska Oil and Gas Conservation Commission
333 West 7" Avenue, Suite 100
Anchorage, Alaska 99501
RE: Spacing exception for the proposed H-13-1.03 Well
Dear Commissioners,
Cosmopolitan Project
BlueCrest Energy - H-13-1-03 Affidavit
BlueCrest Alaska Operating LLC
3301 C Street, Suite 202
Anchorage, AK 99503
BlueCrest Alaska Operating LLC is requesting a spacing exception for the proposed H-13403 well.
I, Andrew Buchanan, verify that the facts stated are true and the plat correctly portrays all pertinent and required data.
Regards,
Andrew Buchanan
Sr. Operations Geologist
BlueCrest Alaska Operating LLC
Phone(907)754-9563
The foregoing instrument was acknowledged before me on the 777�Aday o 2019.
By Andrew A. Buchanan.
Notary Public in and for Alaska
My Commission Expires: 12111 0ZZ—
M
, 20Jt2
BlueCrest Energy - H -13-L03 Affidavit
H -13-L03 S
((�� � With 1000' Radii
IAV H-13
< 0
H -13-L03
a, as anw. v
N -13-L03 Top of PreMucUon:
N"ing:2,156,825.21RUS
Eas0ng:158,M5.59NUS
CSC:3,523' FSL,1,721' FEL, Sec. 28. T3S, R1SW SM
DepM:1912097122.78'
Total DepM:
NorMing:2.157,663.00RUS
Eas0ng:157,163.00RUS
CSC:4,326' FSL, 2,986' FEL, Sec. 28, nS, RI SW SM
DepM: 20725.89'/6580.17'
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H-13 Multi -Lateral Producer
scare
Dare
1:30000
04/01/2019
Preparedbyr
Field
ABuchenen
Cosmopolitan
Re
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►round Production Interval
ac n 11. emw r.,
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Spacing
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Section
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Cosmopo n
Andrew Buchanan
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