UGS PG&E 122023-002

Summary

SCH Number
2024030488
Public Agency
California Department of Conservation (DOC)
Document Title
UGS PG&E 122023-002
Document Type
NOE - Notice of Exemption
Received
Posted
3/14/2024
Document Description
Pacific Gas and Electric Company (PG&E) submitted one Notice of Intention (NOI) to rework an existing underground gas storage (UGS) well at the McDonald Island Natural Gas Storage Facility (McDonald Island Facility) in San Joaquin County (Project). The well that will be reworked is part of the McDonald Island Facility, an existing facility of an investor-owned utility that is used to provide natural gas services. The McDonald Island Facility is on the man-made McDonald Island, in the Sacramento-San Joaquin Delta, in San Joaquin County; approximately 40 miles south of Sacramento and 10 miles west of Stockton. McDonald Island is 5,900 acres in size and bounded on the north by San Joaquin River, on the west by Middle River and Latham Slough, and on the south by Empire Cut. The McDonald Island Facility on the island is approximately 2,760 acres. The remaining acreage is actively farmed. The McDonald Island Facility is currently comprised of 88 wells: 69 active gas storage wells, 2 idle gas storage wells, 5 abandoned gas storage well, 4 out of service gas storage wells, 7 active observation wells, and 1 idle observation well. The purpose of the proposed Project is to rework a well, Turner Cut 16-S. The rework involves assessing the mechanical integrity of casing and installing a new cemented inner string or production liner as necessary. The tubing and packer will be removed and, new CalGEM compliant, tubing and packer equipment will be installed, after which the well will be returned to service. The rework activities will bring the well into compliance with revised regulations (14 CCR § 1726 et seq.) that enhance the safety of UGS projects. In 2018, CalGEM promulgated regulations that establish standards for the design, construction, and maintenance of all gas storage wells. The regulations include stringent well construction standards that are required to ensure that gas storage wells are safe and will maintain their integrity over time. The well construction standards promote environmental safety by focusing on leak prevention. The proposed project consists of CalGEM approving one permit for PG&E to preform rework on the gas well listed below, in the McDonald Island Gas Field. API # Well Name 0407720243 Turner Cut 16-S

Contact Information

Name
Jan Perez
Agency Name
Department of Conservation, CA Geological Energy Management Division
Job Title
Senior Environmental Scientist
Contact Types
Lead/Public Agency

Location

Counties
San Joaquin
Regions
Northern California
Township
02N
Range
05E
Section
30
Base
SB B&M

Notice of Exemption

Exempt Status
Categorical Exemption
Type, Section or Code
14 CCR § 15301
Reasons for Exemption
Class 1, Existing Facilities (14 CCR §§ 15301, 1684.1): Class 1 exemption applies as CalGEM’s regulations state: “Class 1 consists of the operation, repair, maintenance, or minor alteration of existing public or private structures, facilities, mechanical equipment, or topographical features involving negligible or no expansion of use beyond that existing previously. The Class includes, but is not limited to: remedial, maintenance, conversion, and abandonment work on oil, gas, injection, and geothermal wells…”. This rework involves removing the tubing string and addressing any features discovered in the production casing. New CalGEM compliant tubing and packer equipment will be installed, and the well will be returned to service. This required well construction upgrade will maintain or diminish the throughput capacity of the reworked gas storage well resulting in negligible or no expansion of the existing use. This rework is considered remedial because it is attendant to compliance with CalGEM’s heightened well construction standards, safety regulations, and involves associated maintenance of the well in order to ensure continued operation. Further, the tubing and packer will maintain or diminish the throughput capacity of the reworked gas storage well resulting in negligible or no expansion of the existing use.

Exempt Status
Categorical Exemption
Type, Section or Code
14 CCR §§ 15304
Reasons for Exemption
Class 4, Minor Alterations to Land (14 CCR §§ 15304, 1684.2): Class 4 exemption applies. The proposed project would be conducted entirely on an existing pad with enough space to contain all equipment. The project would not disturb any undisturbed areas. The project is located within an industrial area. Therefore, the project “consists of drilling operations that result in only minor alterations with negligible or no permanent effects to the existing condition of the land, water, air, and/or vegetation.” The rework would not expand the facility and is conducted in order to comply with CalGEM safety regulations (remedial) and maintain level of service.

Exempt Status
Categorical Exemption
Type, Section or Code
14 CCR §§ 15307, 15308
Reasons for Exemption
Classes 7 and 8, Protection of Natural Resources and the Environment (14 CCR §§ 15307, 15308): Class 7 and Class 8 exemptions apply. The exemptions are for actions taken by regulatory agencies as authorized by law to assure the maintenance, restoration, enhancement, or protection of a natural resource or the environment where the regulatory process involves procedures for the protection of the environment.” As demonstrated in the record, the rework involves the installation of new CalGEM compliant tubing and packer equipment and is attendant to compliance with the regulations CalGEM promulgated in 2018, that establish standards for the design, construction, and maintenance of all gas storage wells. The regulations include stringent well construction standards that decrease the risk for adverse impacts to natural resources in the area. CalGEM has statutory and regulatory authority to protect natural resources and the environment. Rework of this well would ensure that potential impacts to natural resources and the environment from compliance issues associated with the wall are minimized, and the approval for the rework will also include conditions that protect natural resources and the environment. Therefore, as demonstrated in the proposed Project file description of the well rework operations, including the installation of a subsurface safety valve, the rework would assure the maintenance, restoration, enhancement, and/or protection of a natural resource and the environment.

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