Post on 16-Jan-2016
North Sea Oil & Gas – The North Sea Regulator
Michael ReidHead Offshore Inspectorate Team
The Environmental Law Enforcement Conference
Edinburgh
Thursday 27 June 2013
• Background to DECC
• Environmental Management Team
• Offshore Environmental Inspectorate
• Decommissioning Unit
• Maitland Review - Deepwater Horizon– Emergency Response– National Exercise 2011– SOSREP– Liability and Insurance
• Future Developments
Topics
Background to DECC
Department of Energy and Climate Change
Responsible for• All aspects of UK Energy Policy• Tackling global climate change on behalf of UK
Regulators for Offshore Oil & Gas Industry• DECC – Environment, Consenting, Decommissioning• HSE – Health & Safety• MCA – Shipping, Counter Pollution• SEPA/EA – Radiation, Waste
Background to DECC
UK Reserves, Who Owns Them?
Petroleum Act 1998
• Ownership of oil and gas within the UK, within its territorial sea, and on its Continental Shelf, rests with the Crown
• Act gives the UK Government the right to grant licences to explore for and exploit resources
• Licences include terms and conditions‒ Exploration Licences‒ Production Licences
• Operational Phase subject to consents and approvals, e.g. to drill wells, install pipelines etc.
• Decommissioning Phase subject to approval of formal programme to abandon or remove facilities
Background to DECC
DECC – Offshore Environment and Decommissioning
Responsible for:• Licensing UK oil & gas developments, including CCS & gas storage
• Environmental regulation of offshore energy developments through permits / consents
• Inspection against permits
• Enforcement Action
• Review decommissioning plans for suitability
Background to DECC
How Does DECC Look After the Environment?
Policy
• Influencing EU, OSPAR and Domestic Policy
Implementing Policy
• Preparing regulations and agreeing voluntary initiatives
Management
• Approvals - environmental assessment of proposals, and issuing permits for discharges, emissions and other activities
• Decommissioning - financial guarantees, programme approval
Enforcement
• Inspections, investigations and prosecutions
• Secretary of State’s Representative (SOSREP)
Background to DECC
ENVIRONMENTAL MANAGEMENT TEAM
Exploration Activitye.g. Seismic Surveys
Drilling OperationsField
DevelopmentsDecommissioning
Production Operations
Clean Sea Bed
Each stage has an environmental impact that has to be assessed
The Offshore Oil and Gas Life Cycle
Regulatory Compliance Pollution Prevention,Inspections and Investigations
Enforcement
ActivitySpecific
Chemical Use And Discharge
DischargesOf Oil
Atmospheric Emissions
Incident Response
UKCS Offshore Environmental Regulation
Project and Site Specific
Generic and Wide Ranging
ENVIRONMENTAL IMPACT ASSESSMENT (EIA)HABITATS AND SPECIES DIRECTIVES (AA)
STRATEGIC ENVIRONMENTAL ASSESSMENT (SEA) HABITATS AND SPECIES DIRECTIVES (AA)
LICENSING
Licensing and Operatorship
Process for Operator Approval
• Formal application submitted to Licensing Authority, including details of technical, environmental and financial competence
• DECC Environmental Teams will interview all new applicants
• Environmental assessment includes review of Company Management Structure, Corporate Environmental Policy, Environmental Record, Environmental Management System and Pollution Liability Arrangements
Robust Assessment Process
• Technical Assessment by DECC Exploration / Field Teams
• Applicant must provide details of well location, target and architecture to obtain consent. Exploration / Field Teams can reject applications
• Environmental Assessment undertaken by DECC Environmental Operations Unit
• Applicant requires a number of environmental approvals, permits before operations can proceed
Well Operations
The SEA ProgrammeEC Directive 2001/42 on the assessment of the effects of certain plans and programmes on the environment
SEA undertaken in specific geographical areas prior to each licensing round
Total cost to date approximately £21M
Project and Site Specific AssessmentsEC Directive 85/337/EEC on the Assessment of the Effects of Certain Public and Private Projects on the Environment
Mandatory Environmental Statement• Field developments requiring consent for the production of >500 tonnes of
oil per day or >500,000 m3 of gas per day• Extension of a development consent involving an increase in production
that exceeds the thresholds detailed above• Construction of any pipeline of >40 km in length and >800 mm diameter
Recommended Environmental Statement• Qualifying activities in sensitive areas, or in areas where there has been no
previous, similar, activity, e.g. drilling in previously unlicensed blocks West of Shetland
Directions• Other activities, e.g. drilling operations, well tests, small production
increases and small pipelines, require a mini-ES to confirm that an ES is not required
Conservation / BiodiversityEC Directives 92/43/EEC on the Conservation of Natural Habitats and of Fauna and Flora and 79/409/EEC on the Conservation of Wild Birds
• Potential conservation / biodiversity issues must be identified and addressed in the SEA and EIA
• DECC required to undertake an Appropriate Assessment (AA) if a plan or project could affect integrity of a protected site or affect the protected species relevant to that site
• If the AA finds no significant effect – DECC can approve the proposals
• If the AA concludes the integrity of the site, or the protected species, could be adversely affected – DECC may refuse or require modification of the plan / project
Protected Species Issues
Special Protected Areas (SPAs) and SACs:• Coastal SPAs for seabirds, which are to be extended offshore to include feeding
areas• Specific areas and times of the year are considered to be to be particularly
sensitive for seabirds found further offshore – OPEP content• SACs for Bottlenose Dolphin populations in Moray Firth and Cardigan Bay have
impacted licensing and exploration activities
• Specific areas and times of the year are considered to be particularly sensitive for larger cetaceans (offshore) and seals (near-shore) – OPEP content
• Significant research being undertaken to provide a better understanding of potential impacts
Chemicals and Oil Discharges
• Offshore Chemical Regulations 2002 - The Chemicals Regulations– OSPAR Harmonised Mandatory Control System– Chemicals permits required for all offshore operations– Controls use and discharge of all operational chemicals
• Offshore Petroleum Activities (Oil Pollution Prevention and Control) Regulations 2005 - Oil Discharge Regulations– OSPAR controls on produced water, ballast water, drainage etc– Oil discharge permits required for all major waste streams contaminated with reservoir
hydrocarbons or other oils
Both recently amended to extend provisions
Control of Discharges
Combustion Equipment and Flare Emissions
• The Offshore Combustion Installations (Prevention and Control of Pollution) Regulations 2001 – the IED Directive– All facilities with aggregated capacity of >50MW(th)– Controls mass of NOx, SOx CO and UHC emissions– Monitoring requirements
• The Greenhouse Gases Emissions Trading Scheme Regulations 2005 – the EU ETS Regulations– All facilities >20MW(th)– Offshore sector restricted to CO2 from combustion plant– Trading scheme based on CO2 allocations and monitoring and reporting of
emissions
Control of Atmospheric Emissions
OFFSHORE ENVIRONMENTAL
INSPECTORATE
Offshore Oil and Gas - Operations On United Kingdom Continental Shelf (UKCS)
470 Installations - 58 Licensed Operators• 10% floating installations• 30% subsea installations• 50% small steel installations• 10% large steel or concrete installations –
potential derogations for abandonment
Approx 35,000 km pipelines• 10,000 km major pipelines
Currently 28 Mobile Drilling Units (MoDUs)
Assess – Inspect – Respond – Investigate – Enforce
Respond
Inspect
Investigate
Enforce
Combustion Emissions
Drilling – Cuttings and fluid management
Flare
Production Process -
Produced Water
Accidental Releases- oils and
chemicals
Chemical Use & Discharge
Bunkering
Operational Systems
Procedures
Assess &Review
Remit of Inspectorate
Exploration and Production - Drilling Activity
Production – Oil, Condensate and Gas
Operational Assessments and Inspections
Regulatory Reviews
• Linked to risk-based approach
• Onshore meetings with licence operator and drilling contractor, particularly new operators or MODU owners, or when the MODU is new to the UKCS
• Review of documentary evidence , procedures, competencies etc., to confirm that arrangements are compliant and fit for purpose
• Liaison with HSE to confirm MODUs have accepted UK safety case
Operational Assessments and Inspections
Offshore Inspections
• Linked to risk-based approach
‒ Unproven Operations – New Operator / New Drilling Contractor / New MODU
‒ Well type
‒ Reservoir type
‒ Estimated liquid hydrocarbon flow rates
‒ HPHT
‒ Well location
‒ Water depth
‒ Distance to the shore or nearest median line
Operational Assessments and Inspections
Offshore Inspections (continued)
• Pre Spud inspections undertaken prior to commencement of operations for MODUs new to UKCS and for the most complex wells
• Pre Reservoir inspections undertaken prior to drilling reservoir sections for high flow-rate wells
• Routine MODU inspections undertaken at regular intervals, with frequency dependent upon the nature of the operations
• Liaison with HSE for joint inspections
UKCS Oil Spill Statistics 2008-2012*(*2011 & 2012 data subject to change)
0
20
40
60
80
100
120
140
160
2008 2009 2010 2011 2012
37
51
154
42 40
Total Volume Released - Tonnes
220
230
240
250
260
270
280
290
300
2008 2009 2010 2011 2012
272
293
271
284
248
Total Number of Oil Reports
2008 2009 2010 2011 20120
50
100
150
200
250
163
180
175
242 227
Number of Chemical Reports
2008 2009 2010 2011 20120
200
400
600
800
1000
1200
1400
703
1300
593
410 402
Chemicals Released to Sea (Tonnes)
UKCS Chemical Spill Statistics 2008-2012*(*2011 & 2012 data subject to change)
UKCS Statistics 2007 – 2011*High Level Cause Analysis(*2011 & 2012 figures subject to change)
05
101520253035404550
HoseFailure
PipeworkLeak
CaissonOverflow
Seal Failure Tank FillingOverflow
LevelController
DrainOverflow
ValveFailure
2008 2009 2010 2011 2012
Investigations
Common Factors and Learning
• Routine Operations • Reinforce Risk Assessment procedures• Procedures ‘not followed’ or ‘not in place’• Review competency and training• Ensure roles and responsibilities are understood• Communication failures• Maintain ownership of task• Equipment failure / lack of maintenance• Operator error• Lateral learning within / between companies• Post incident Implications
Investigation and Enforcement Policy in Practice
• Size, scale and nature of the spill• Environmental impact and potential impact• Location of incident, e.g. special area of conservation or other
environmentally sensitive area• Permit holders/operators past performance
• Previous enforcement record of the installation
• Seriousness of any potential breach of law
• Notification that may give rise to public concern or media interest
Enforcement Policy
• The Enforcement Policy describes an escalating tariff of enforcement:
• Enforcement options that can be applied by OED inspectors include:– Enforcement letter – Enforcement notice – Prohibition notice – Revocation of a permit – Prosecution
DECOMMISSIONING
UNIT
What Are We Responsible For?
• Protecting the Government and Taxpayer from incurring decommissioning liabilities
• Maintaining statutory liabilities on operators• Government policy and industry guidelines• Supporting operators as they develop their decommissioning programmes• Approving decommissioning programmes and monitoring programme execution• Management of post decommissioning activity• Cradle to grave involvement
Complexity and Scale
• Health and safety • Economics • Technical
• Politics • Stakeholder engagement
Context
• Decommissioning is taking place under the taxpayer’s radar• Increasing press coverage• Difficult economic period• High energy and fuel costs• Highly profitable industry• Significant tax relief• Freedom of Information• Actual costs >40% greater than estimated in approved programmes
Decommissioning
• Technical Feasibility• Environmental Impact
• Other Users of the Sea
• Safety
- Well abandonment
- Decontamination of facilities
- Topsides, jackets and pipelines
- Seabed disturbance
- Derogations (footings / concrete)
- Drill cuttings
- Monitoring
- Long-term liability
£30-40 billion and rising
How much work is there?
06-07
07-08
08-09
09-10
10-11
0100200300400500600
Notfications Issued
Installations Pipelines
Q3 Q4 Q1 Q2 Q30
10
20
30
40
50
60
Items Reviewed Over the Last 2 Years
FDP Licence Transfers IPR PWA2009-10 to 2010-11
Items R
eviewed
200820092010201120122013201420152016201720182019202020210
10
20
30
40
50
60
70
Potential
Likely
Actual
Decommissioning Programmes
• 18 active decommissioning programmes
• £7 Billion estimated decommissioning costs
• Further 20 programmes on the horizon
Responding to increasing workload
• Continuous improvement– Measuring internal performance– Maximise use of web based systems– Streamlining programme content
• Strengthen the relationship with industry– Promote regular dialogue and open door approach– Secondment programme– Participate in industry working groups
• Recovering our costs from April 2012– simple, fit for purpose, fair to both the taxpayer and industry – balance resources against increasing workload
MAITLAND REVIEW – DEEPWATER HORIZON
As a result of the Deepwater Horizon incident in April 2010 the UK Government commissioned an independent review (Maitland) of the UK Offshore Oil and Gas Industry, looking at areas such as
• Well Planning and Control
Deepwater Horizon Review
• Emergency Response
• Environmental Protection
• Current OPEP Guidance viewed as robust and enabled operators to produce an OPEP which is a fit for purpose operational document which sets out clear procedures to respond to offshore oil pollution incidents
• However: Letters with revised Guidance to industry sent 23 December 2010; July and September 2011
o Operator must have systems and procedures in place to source and initiate contract for controlling the well situation – details of time taken to source and deploy equipment both for capping and relief well drilling
o Confirmation of operators financial position or insurance provision to cover costs of responding to a spill, deploying a capping device or drilling a relief well.
• OPEP Guidance strengthened and re-issued July 2012
Emergency ResponseOPEP Guidance
Emergency ResponseEnvironmental Assessment
• All offshore operations must be covered by an Oil Pollution Emergency Plan, as required under Oil Pollution Preparedness Response and Cooperation Convention
• Development and production wells are incorporated within the main Field Plan and exploration and appraisal wells are either likewise an appendix to this plan or a completely separate plan
• DECC requires additional information within the OPEP to provide evidence that systems and procedures are in place that allows both the Operator and their third party oil spill response contractor(s) to respond effectively to any pollution event
• Well operations plans must assess the worst-case scenarios of an uncontrolled release of hydrocarbons (a blow out) and the loss of the installation’s maximum fuel inventory
Emergency ResponseEnvironmental Assessment
• Operators responsibility to ensure the OPEP clearly identifies the potential release scenarios, including the worst case scenario, the potential environmental impacts and the strategies/measures that will utilised to respond to and mitigate those impacts
• The measures that must be detailed include, where applicable, the deployment of a capping device and/or the drilling of a relief well – with all the logistical timeframes for such deployment
• Plans must include modeling to assess whether, and when, spills would cross median lines or beach (UK or adjacent States)
• Plans must demonstrate operators ability to respond to a spill and the procedures that would be followed, and confirm they have the financial capacity to deal with the potential consequences of the spill
National Exercise 2011Exercise Sula Overall Aim & Objectives
To exercise the United Kingdom’s (UK) response to major oil spill from deep water drilling incident (similar to Macondo / Gulf of Mexico incident)
• Test National Contingency Plan for marine pollution from an offshore installation• Demonstrate Oil and Gas Industry’s ability to respond to major deepwater well control
incident and resulting oil spill• Exercise Chevron Well Control, Oil Spill Response and Tier 2&3 emergency response
plans• Test liaison on National and International basis (Norway, Denmark, Faeroe Islands)• Exercise National Contingency Plan media response and management
In addition:• Physical demonstration of Industry Tier 2/3 oil spill response assets
‒ Surveillance and dispersant aircraft‒ Marine vessels – dispersant and oil skimming‒ Shoreline protection and counter pollution response
National Exercise 2011SULA Scenario
• Chevron drilling Cambo 4 appraisal well in Atlantic Ocean 162 kilometres West of Shetland Islands, 170 kilometres east of Faeroes and 8 kilometres from the median line between UK and Faeroese waters.
• Water depth is 1090 metres and well flowing at 6,000 barrels of oil per day.
• Emergency disconnect occurs of Stena Carron after failure of marine riser tensioner system and an increasing sea state.
• Failure of subsea test tree and BOP system to fully close.
• Resultant uncontrolled release of oil to sea.
National Exercise 2011SULA - Resultant Release (6,000bopd)79 days duration with 68,000 tonne gross release
• Surface (OSIS) modelling predicts ‒ first oil beaches in 9 days‒ Max Oil Day 18 (8,700 tonne)
• Alternate OSCAR Modelling ‒ Majority of oil remains within water
column‒ First beaching day 12‒ 83 tonnes of oil beaches in Shetland‒ Further 12 tonnes beaches Norway
day 77‒ 0.14% oil beached
Exercise ArtificialityWeather simulated to drive oil towards Shetland.
Exercise Artificiality• Models do not account for counter
pollution measures.• Assume ongoing release with no well
intervention.
National Exercise 2011SULA - Increased Release Scenario
Day 2 injects will assess response capability with increased oil rate of 88,000 bopd.
Replace BOP Scenario (2 day increase)• 34,404 tonne gross release• >75% remains in water column• Beaching in 12 days• 114 tonne estimated beached
Failure case (79 day increase)unable to replace BOP
• 926,000 tonne gross release• 800 tonne beached on Shetland• Majority remains within water column• Norwegian Coastline beaching 60 days
Exercise Artificiality• Models do not account for counter pollution
measures.• Assume ongoing release with no well
intervention.• Worst case exercise weather conditions.• Maximum theoretical well flow condition.
Cambo NCP - 6mbd/6 days + 88mbd/2 days
National Exercise 2011Exercise Sula – Recommendations
Following the completion of the exercise, a report was published and contained therein were 13 recommendations and 15 Observations/Best practice issues - published on both DECC and MCA web sites.
A Recommendations Review Group established to oversee the outcome of the recommendations. Target dates were set and the group required monthly updates from the action assigned personnel.
Report of the Recommendations Review Group is published on the MCA web sites.
http://www.dft.gov.uk/mca/mcga07-home/emergencyresponse/mcga-dops_cp_environmental-counter-pollution_and_response.htm
SOSREP
SOSREPNational Contingency Plan (NCP)
• As a Party to the UN Convention on the Law of the Sea (UNCLOS), the UK as do all coastal states, has an obligation;‘to protect and preserve the marine environment.’
• The Plan is one of the measures that the UK has taken to meet this obligation.
• Currently under review
SOSREPHistory and Development
• Following the Sea Empress incident in 1996 – 72,000 tonnes crude released
• Lord Donaldson’s Review of Salvage and Intervention and their Command and Control
‒ 26 recommendations – 4 deemed fundamental1) The ‘Trigger’ point is when there is “a threat of significant pollution” to
the UK’s pollution control zone, territorial waters or coastline;
2) MCA as a whole should play a much larger part in operations;
3) Response to the threat of pollution from or involving an offshore installation to be compatible with same from shipping casualty – need for new legislation;
4) Involvement of Ministers in Operational decisions is not a practicable option
SOSREPHistory and Development
‘There should be ‘ultimate’ control of salvage by a Secretary of State’s Representative acting
in the overriding public interest’
‘SOSREP’
Secretary of State’s Representative for Maritime Salvage and Intervention
SOSREPRole
To represent the Secretaries of State for Transport and Energy & Climate Change by removing or reducing the risk to persons, property and the UK Environment arising from accident involving ships, fixed or floating platforms or sub-sea infrastructures within UK waters, within the remainder of the UK Pollution Control Zone and on the UK Continental Shelf
SOSREPFunction
• One person to act as representative of Secretary of State’s
• Free to act without recourse to higher authority
• Ultimate and decisive voice
• Ultimate control
• Cannot choose to ignore a situation
• Tacitly approves all actions
• During operations must be
“Backed or sacked”
SOSREPPowers of Intervention
• Merchant Shipping Act 1995, as amended;• Dangerous Vessels Act 1985• Maritime Security Act 1997• Offshore Emergency Pollution Control (EPC) Regulations 2002• Marine Safety Act 2003
• Powers cannot be used in anticipation of an incident
• In all cases an accident must have occurred
SOSREPPowers of Intervention
• Purpose:‒ Removing, preventing or reducing the risk to safety or of pollution‒ Securing safety of a ship/installation, persons or property
• Application:‒ Safety – UK Territorial Waters (12 miles)‒ Pollution – UK Pollution Control Zone (200 miles)/median line‒ Pollution - Offshore Installations – UK Continental Shelf
• Directions:‒ Ship/Installation is/is not to be moved, use of facilities, remove from UK
waters‒ Destruction of a vessel or installation!
• Served to:‒ Masters, owners, offshore operators, managers, servants etc.
As a result of the Deepwater Horizon incident in April 2010 the UK Government commissioned an independent review (Maitland) of the UK Offshore Oil and Gas Industry, looking at areas such as
• Well Planning and Control• Environmental Protection• Emergency Response
Deepwater Horizon Review
• Implementation Assurance
• Learning from Incidents and Best Practice
• Competency and Training of Work Force
• Work Force Engagement
• Liability and Insurance
Liability and InsuranceFinancial Responsibility Guidance
What is it DECC requires?
Assurance that OPEP will be implemented, when required, including the mitigation measures identified
Assurance that operators have accurately calculated the risks associated with the planned activity
Assurance that appropriate financial mechanisms are in place to meet those risks
DOES THE OPERATOR HAVE THE FINANCIAL RESOURCE TO IMPLEMENT THE RESPONSE STRATEGY AND/OR DEAL WITH
COMPENSATION CLAIMS?
Liability and InsuranceFinancial Responsibility Guidance
The level of Financial Responsibility that operators are required to demonstrate for any particular well should be calculated by establishing the combined:
– 1st party costs - Cost of well control, and– 3rd party costs - Cost of financial remediation and compensation from
pollution
This should be provided at the time the OPEP is submitted to DECC for approval, unless otherwise agreed with DECC
Liability and InsuranceFinancial Responsibility Guidance
Financial Responsibility can be verified by means of
– Reliance on credit/financial strength rating of the operator or co-venturer– Insurance– Parent company/affiliate undertaking– Any combination of the above
DECC also requires confirmation through a Resolution of the Board of Directors of the Operator Company and Board of any Joint Venture
Partners that DECC Guidance Note and OGUK Guidelines have been implemented.
As a result of the Deepwater Horizon incident in April 2010 the UK Government commissioned an independent review (Maitland) of the UK Offshore Oil and Gas Industry, looking at areas such as
• Well Planning and Control• Environmental Protection• Emergency Response• Learning From Incidents and Best Practice• Implementation Assurance• Competency and Training of Work Force • Work Force Engagement• Liability and Insurance
Deepwater Horizon Review
• Regulator Issues
• Technology Development
FUTURE
DEVELOPMENTS
The objective of this Directive is to
• reduce as far as possible the occurrence of major accidents relating to offshore oil and
gas operations and limit their consequences
• increase the protection of the marine environment and coastal economies against
pollution
• establish minimum conditions for safe offshore exploration
• exploit oil and gas and limit disruptions to Union indigenous energy production
• improve the response mechanism in case of an accident
EU Directive on Safety of Offshore Oil and Gas Operations
• Appointment of Competent Authority – Assess and accept reports on major hazards– Oversee compliance by operators, including inspections, investigations and
enforcement actions– Produce Annual Plans securing compliance with the regulatory framework for
major accident prevention– Produce reports
• Functions of the Competent Authority shall be carried out within an authority that is independent of functions relating to economic development of the offshore resources, licensing and collection and management of revenues.
EU Directive on Safety of Offshore Oil and Gas Operations
• PILOT is the Joint Oil and Gas Government
Industry and Trade Union strategic forum,
originally started in 2000 and refocused in 2010
• Unique collaborative forum which works on the
key issue affecting the UKCS
• 8 industry representatives at MD level from Oil
and Gas
• UK and 5 independent industry members
appointed by the Ministers
• Trade Union representative from Scottish TUC
Role:
T To secure full economic recovery of our hydrocarbon resources
T Secure the long term future of the UK oil and gas industry
T Ensure security of energy supply for the UK
Government and Industry Working in Partnership
What PILOT is working on now and for the future
Current PILOT Work Areas
• Infrastructure – working to ensure the infrastructure is available to exploit the remaining reserves.
• Improved Oil Recovery/ Enhanced Oil Recovery – working to improve our recovery rates in the UK.(currently leaving more behind than recover)
• Access to Capital – ensuring the funds are available for investment.• Supply Chain – drive on increasing UK content.
New work streams» Technology» Exploration
The Future
• The oil and gas sector has been one of the UK’s major industrial success stories, a key contributor to growth, jobs and tax revenue
• 41 billion barrels produced and circa 20 billion barrels or more could still be produced
• New challenges face the offshore oil and gas industry in extracting this oil and gas reserves
• Factors to be considered– Declining exploration and production rates– Aging infrastructure risk of premature decommissioning– New areas of exploration – deep water West of Shetland
The Future
Secretary of State for Energy and Climate Change has initiated a review on challenges facing UKCS
• Licensing regime
• Optimising use of and extending life of infrastructure
• Production efficiency
• Better collaboration across industry
• Increasing the exploration effort
• Maximising the use of enhanced oil recovery techniques
• Effectiveness of Government Stewardship regime in line with the increased technical and commercial complexity of mature market
Emerging conclusions from the review to be published in the autumn with the final report and recommendations to be published in early 2014.
THANK YOU