OCD Permitting

[C-141] Initial C-141 (C-141-V-INITIAL) Application

Submission Information
Submission ID: 318512   Districts: Hobbs
Operator: [331199] Maverick Permian LLC   Counties: Lea
Description: Maverick Permian LLC [331199]
, MCA Battery 2 Separator Release
, nAPP2401652485
 
Status: APPROVED  
Status Date: 02/28/2024  
References (2):
fAPP2129428535, nAPP2401652485 ... (click-to-expand) (click-to-collapse)
Forms
Attachments:
Volume Calculation
Questions

Prerequisites

Incident ID (n#) nAPP2401652485
Incident Name NAPP2401652485 MCA BATTERY 2 SEPARATOR RELEASE @ 0
Incident Type Oil Release
Incident Status Initial C-141 Received
Incident Facility [fAPP2129428535] MCA BATTERY 2

Location of Release Source

Please answer all the questions in this group.
Site Name
Date Release Discovered
Surface Owner

Incident Details

Please answer all the questions in this group.
Incident Type
Did this release result in a fire or is the result of a fire
Did this release result in any injuries
Has this release reached or does it have a reasonable probability of reaching a watercourse
Has this release endangered or does it have a reasonable probability of endangering public health
Has this release substantially damaged or will it substantially damage property or the environment
Is this release of a volume that is or may with reasonable probability be detrimental to fresh water

Nature and Volume of Release

Material(s) released, please answer all that apply below. Any calculations or specific justifications for the volumes provided should be attached to the follow-up C-141 submission.
Crude Oil Released (bbls) Details
Produced Water Released (bbls) Details
Is the concentration of chloride in the produced water >10,000 mg/l
Condensate Released (bbls) Details
Natural Gas Vented (Mcf) Details
Natural Gas Flared (Mcf) Details
Other Released Details
Are there additional details for the questions above (i.e. any answer containing Other, Specify, Unknown, and/or Fire, or any negative lost amounts)

Nature and Volume of Release (continued)

Is this a gas only submission (i.e. only significant Mcf values reported) No, according to supplied volumes this does not appear to be a gas only report.
Was this a major release as defined by Subsection A of 19.15.29.7 NMAC Yes
Reasons why this would be considered a submission for a notification of a major release From paragraph A. Major release determine using:
        (1) an unauthorized release of a volume, excluding gases, of 25 barrels or more.
With the implementation of the 19.15.27 NMAC (05/25/2021), venting and/or flaring of natural gas (i.e. gas only) are to be submitted on the C-129 form.

Initial Response

The responsible party must undertake the following actions immediately unless they could create a safety hazard that would result in injury.
The source of the release has been stopped
The impacted area has been secured to protect human health and the environment
Released materials have been contained via the use of berms or dikes, absorbent pads, or other containment devices
All free liquids and recoverable materials have been removed and managed appropriately
If all the actions described above have not been undertaken, explain why
Per Paragraph (4) of Subsection B of 19.15.29.8 NMAC the responsible party may commence remediation immediately after discovery of a release. If remediation has begun, please prepare and attach a narrative of actions to date in the follow-up C-141 submission. If remedial efforts have been successfully completed or if the release occurred within a lined containment area (see Subparagraph (a) of Paragraph (5) of Subsection A of 19.15.29.11 NMAC), please prepare and attach all information needed for closure evaluation in the follow-up C-141 submission.
I hereby certify that the information given above is true and complete to the best of my knowledge and understand that pursuant to OCD rules and regulations all operators are required to report and/or file certain release notifications and perform corrective actions for releases which may endanger public health or the environment. The acceptance of a C-141 report by the OCD does not relieve the operator of liability should their operations have failed to adequately investigate and remediate contamination that pose a threat to groundwater, surface water, human health or the environment. In addition, OCD acceptance of a C-141 report does not relieve the operator of responsibility for compliance with any other federal, state, or local laws and/or regulations.
I hereby agree and sign off to the above statement

Site Characterization

Please answer all the questions in this group (only required when seeking remediation plan approval and beyond). This information must be provided to the appropriate district office no later than 90 days after the release discovery date.
What is the shallowest depth to groundwater beneath the area affected by the release in feet below ground surface (ft bgs)
What method was used to determine the depth to ground water
Did this release impact groundwater or surface water
What is the minimum distance, between the closest lateral extents of the release and the following surface areas:
A continuously flowing watercourse or any other significant watercourse
Any lakebed, sinkhole, or playa lake (measured from the ordinary high-water mark)
An occupied permanent residence, school, hospital, institution, or church
A spring or a private domestic fresh water well used by less than five households for domestic or stock watering purposes
Any other fresh water well or spring
Incorporated municipal boundaries or a defined municipal fresh water well field
A wetland
A subsurface mine
An (non-karst) unstable area
Categorize the risk of this well / site being in a karst geology
A 100-year floodplain
Did the release impact areas not on an exploration, development, production, or storage site

Remediation Plan

Please answer all the questions that apply or are indicated. This information must be provided to the appropriate district office no later than 90 days after the release discovery date.
Requesting a remediation plan approval with this submission
The OCD recognizes that proposed remediation measures may have to be minimally adjusted in accordance with the physical realities encountered during remediation. If the responsible party has any need to significantly deviate from the remediation plan proposed, then it should consult with the division to determine if another remediation plan submission is required.
Acknowledgments
This submission type does not have acknowledgments, at this time.
Comments
No comments found for this submission.
Conditions
Summary:
scwells (2/28/2024), None
Reasons
No reasons found for this submission.
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