Update on Hydraulic Fracturing:Preparing for Gasland 2

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Update on Hydraulic Fracturing: Preparing for “Gasland 2” Presentation to Canadian Bar Association In-House Counsel Sub-section November 22, 2012 Presented by: Alex MacWilliam 403 268 2090 [email protected]

description

In this presentation, FMC Law's Alex MacWilliam discusses hydraulic fracturing. The presentation covers the hydraulic fracturing process; the legislative and regulatory management of key issues related to hydraulic fracturing; liability issues in fracturing litigation; finally, lessons and trends related to hydraulic fracturing.

Transcript of Update on Hydraulic Fracturing:Preparing for Gasland 2

Page 1: Update on Hydraulic Fracturing:Preparing for Gasland 2

Update on Hydraulic Fracturing:Preparing for “Gasland 2”

Presentation to Canadian Bar Association In-House Counsel Sub-sectionNovember 22, 2012

Presented by:Alex MacWilliam403 268 [email protected]

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Overview

• The Context

• The Process

• Legislative and Regulatory Management of Key Issues– Fracture Fluid Disclosure

– Well Integrity

– Water Usage

– Waste Disposal by Injection

• Fracturing Litigation – Liability Issues

• Lessons/Trends

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Don’t Worry

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Why are we here?

• Huge potential– 1,000 trillion cubic feet of shale

gas in Canada

• Public concern - perceived risks– Water use and contamination

– Earthquakes

– Climate change

• But don’t take our word for it…

Sources: NEB Energy Brief – Understanding Canadian Shale Gas, CBC: This Hour has 22 Minutes

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Public Perception

• Industry not out in front of the issue– Gasland

– Gasland 2 to be released soon

– Hollywood is also getting on the anti-fracking bandwagon

• Promised Land

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The Context

• Huge deposits of oil and natural gas in low porosity/low permeabilityformations

• Combination of two existing technologies – horizontal drilling and hydraulicfracturing – allows for economic production of these resources

• Vertical wells vs. Horizontal wells – horizontal drilling allows for far greaterexposure to the productive formation

• Multi-stage hydraulic fracturing creates multiple artificial pathways to thewellbore and thus vastly increases recovery rates of the resource

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Multi-Stage

HydraulicFracturing

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The Process

• Hydraulic fracturing operations generally involve four steps:– Injecting fluids into the formation to pressurize the rock

– Initiating and increasing fractures or fissures in the reservoir rock to createpathways from the wellbore into the formation to allow hydrocarbons to flow

– Pumping sand or other “proppant” into the newly created fissures to propopen these pathways

– Recovering back the fracturing fluid to surface and allowing hydrocarbons toflow to the wellbore

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Cement

Cement

Cement

Conductor Pipe

Surface Casing

Production Casing

Fresh Water Aquifer Zone

Shallow Producing Zone

Intermediate Producing Zone

Target Producing Zone

Well Construction

Source: Southwestern

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Vertical Conventional

HorizontalUnconventional

HorizontalConventional

Fracturing Layouts

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Legislative and Regulatory Management of Key Issues

• Increase in horizontal multi-stage fracturing operations has led toenhanced scrutiny of issues including:

– fracture fluid constituents (i.e.disclosure)

– well integrity

– water usage

– waste disposal by injection

• Issues have been recently considered by numerous U.S. and Canadianjurisdictions

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Fracture Fluid Disclosure

• Method of Disclosure– Pre-2010 - minimal public access to information

– 2010-2012 - many jurisdictions start to mandate disclosure

– competing models: direct public disclosure vs regulatory disclosure

– clear U.S. trend to direct public disclosure

• http://fracfocus.org

• numerous states (16) and Federal Bureau of Land Management now requiredisclosure - others are considering it

• DOE Secretary of Energy Advisory Board Shale Gas Subcommittee has expressedsupport for public disclosure

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Fracture Fluid Disclosure (con't)

• Method of Disclosure (con't)– 2011 BC Regulations - direct public disclosure

• http://fracfocus.ca/

– Alberta intends to require direct public disclosure by 2013

• Currently has non-detailed, regulatory reporting to ERCB

– CAPP supports direct public disclosure model

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Fracture Fluid Disclosure (con't)

• Degree of Required Disclosure– disclosure details vary among jurisdictions

– U.S. trend – increased detail and rigour in disclosure

• public interest rationale

– volumes, compositions, concentrations of additives usually disclosed• any ingredients vs “hazardous” ingredients only?

• formulary disclosure of chemical compounds used in fluid

– 2011 BC Regulation – detailed disclosure required

– Alberta – very general disclosure only• may change with direct public disclosure requirements

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Fracture Fluid Disclosure (con't)

• Trade Secrets– protections recognize legitimacy of competitive advantage concerns of

industry

• may also be reflected in required disclosure details

– process for claiming trade secret protection varies

– challenges may be limited (e.g. Texas)

– common exemptions for emergency, medical response

– 2011 BC Regulations incorporate trade secret protections

• Defers determination to federal hazardous chemical regulator

– Alberta may follow same path

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Fracture Fluid Disclosure (con't)

• Timing of Disclosure– generally post-operation

• for “tracking” purposes rather than direct control through permitting

• allows fluid design flexibility in field

– Wyoming and New York Proposed Regs are exceptions

• pre-operation disclosure and approval requirements

– New York Proposed Regs specifically prohibit deviation

• field flexibility concern

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• Large volumes of fluid are used in fracturing operations, magnifyingpollution risk

• Well integrity thus critical, closely scrutinized

• Two basic concerns for all wells– isolate the internal conduit of the well from the surface and sub-surface

environment (particularly freshwater aquifers)

– isolate produced fluid to a production conduit within the well

• All jurisdictions seek to establish minimum standards for casing, cementing,ongoing testing/monitoring, and reporting

– specifics vary among jurisdictions

– standards and enforcement being reconsidered in fracturing context

Well Integrity

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Well Integrity (con’t)

• Different approaches to regulating well integrity exist along spectrum– general/purposive approach (reliance on regulator discretion) vs. detailed

code

• Trend is toward more prescriptive detail in regulations, increased safetyrequirements

– DOE “SEAB” Sub-Committee recommendation

• Some U.S. jurisdictions require heightened integrity assurances forfractured wells

– Pennsylvania, New York Proposed Regs.

• BC and Alberta have special rules for shallow fracturing– ERCB Directive 059: Well Data and Completion Data Filing Requirements

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• Fracturing operations may require significant volumes of water

• Permits generally required for withdrawal of ground/surface water– Permitting process and degree of oversight/control varies widely by

jurisdiction

– In some, applicants required to provide operational details and specificjustification for use request

• Trend toward more rigorous oversight, monitoring and disclosure

• Metering and reporting of water withdrawal becoming more common

• Recent suggestions to require public disclosure of fracturing water use– CAPP

– DOE “SEAB” Sub-Committee

Water Usage

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• Operators seek to minimize need for fluid disposal by recycling – but somefluid will remain in need of disposal

• Means of disposal should not risk contamination of surface/ground water,subsurface reservoirs/other wells

• Deep well injection is often preferred method

• Regulation of waste disposal by injection varies by jurisdiction– US federal/state regulations: EPA Rules or State “Primacy”

– Alberta

– British Columbia

Waste Disposal by Injection

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Waste Disposal by Injection (con't)

• Usual features of injection regulations/standards– Depth requirements

– Confined formations

– Well construction/integrity standards

– Monitoring, reporting requirements

• disposal well and “area of review” wells

• Nature of regulatory requirements similar across jurisdictions

• U.S. EPA undertaking detailed review and reassessment (2014 reporting)– increased standards expected

– “area of review”, other standards may change

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Fracturing Litigation

• Producers face litigation risks from:– landowners

– other producers

• Risks magnified where fracturing taking place:– on freehold lands

– near urban areas

– in jurisdictions with no history of oil and gas development (e.g. Quebec)

– in jurisdictions without highly developed regulatory regimes

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Fracturing Litigation (con't)

• U.S. has significant volume of fracturing litigation in both landowner andproducer contexts

– approx. 40 active private landowner lawsuits commenced

– none has proceeded to judgment

– also numerous lawsuits between producers

– significant body of law re rights and liabilities as between producers,particularly regarding subsurface trespass and “Rule of Capture”

• Canada has seen little fracturing litigation to date, all in Alberta– Ernst v. EnCana et al alleges contamination of a landowner’s water well from

hydraulic fracturing operations

– Zimmerman v. Quicksilver contains similar allegations regarding CBM wells

– CrossAlta v. Bonavista Energy alleges breach of a gas storage reservoir

– all lawsuits at early stages

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Fracturing Litigation (con't)

• Litigation commenced by private landowners– typical causes of action: trespass, nuisance, strict liability (Rylands v. Fletcher),

negligence, breach of contract

• Potential emerging tort: strict liability for ultra-hazardous activities

– typical relief sought: compensatory/remediation damages, damages fordiminution of property value/stigma claims, injury damages (environmentalillness claims), future medical monitoring costs, injunctive relief, punitivedamages

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Fracturing Litigation (con't)

• Litigation commenced by neighbouring producers– impacts alleged by other producers include

• Impacts on adjacent wellbores

• Reservoir damage

• Subsurface trespass/drainage issues

– potential impacts on adjacent wellbores: increase in pressure, fracturing fluidin production; fluid-to-surface events including well “kick” and blow-out

– risk of reservoir damage remote, but theoretically possible

– Canadian law regarding subsurface trespass/drainage issues is undeveloped

• “Rule of Capture” recognized but not yet considered in relevant context

• No definitive principles have emerged from U.S. cases

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Fracturing Litigation (con’t)

• Issues of Proof and Damages– Issues of proof may be challenging

• multiple producers operating in a relatively small area, subsurface “facts”, lack ofbaseline info, multiple exposures over many years

• fracturing fluid disclosure and baseline environmental assessments may simplifythese issues

• effective record keeping and monitoring by producers may be critical to both sides

– Damages issues also problematic

• required level of reclamation

• future monitoring requirements

• predicting future impacts

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Recent Canadian Developments

• January 2012 – CAPP releases Hydraulic Fracturing OperatingPractices guidelines

• August 2012 – BC OGC releases report linking 2009-2011fracturing operations in Horn River Basin to seismic events

– authors also note that more than 8000 high-volume fracturing jobshave been done in NE BC with no associated anomalous seismicity

• September 2012 – new PQ Natural Resources Minister saysQuebec will never allow fracking – despite an ongoing inquiry

• November 20, 2012 – Ontario Government announces itrequires scientific proof that fracking is safe before it will allowit – So what?

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Lessons and Future Trends

• Hydraulic fracturing has been safely conducted in thousands of wells inWestern Canada, suggesting there are no systemic or inherent risksassociated with the process

• Proliferation of horizontal multi-stage fracturing operations andheightened public scrutiny have resulted in regulatory re-evaluation andincreased litigation risks for producers

• Fracturing operations will likely be carefully scrutinized going forward, andsubjected to increasingly rigorous regulation and government oversight

• Guiding principles for legislative/regulatory reforms– elevation of best practices

– enforcement of best practices

– transparency in operations

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Lessons and Future Trends

• Producers will be well-served by establishing sound operational practices,adhering to or exceeding all regulatory requirements, and undertakingeffective and detailed monitoring and record keeping

• Producers and industry associations need to increase efforts to “set therecord straight” about fracturing

– “Gasland 2” due to air on HBO in 2012 - http://www.gaslandthemovie.com/

– “FrackNation” now in production - http://fracknation.com/

• International Energy Agency suggests operators follow “golden rule”:

– measure, disclose, engage

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QUESTIONS?

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Presented by:Alex MacWilliam403 268 [email protected]

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The preceding presentation containsexamples of the kinds of issues companiesconcerned with Hydraulic Fracturing couldface. If you are faced with one of theseissues, please retain professional assistanceas each situation is unique.