| Authors |
J. Koplos, SPE, The Cadmus Group; J. Nogi, Bruce Kobelski, US Environmental
Protection Agency
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| Source |
SPE International Conference on CO2 Capture, Storage, and Utilization,
10-12 November 2010,
New Orleans, Louisiana, USA
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| Preview |
Abstract
In July 2008, the U.S. Environmental Protection Agency (EPA) issued a
proposed rule under the authority of the Safe Drinking Water Act (SDWA)
regarding the geologic sequestration (GS) of carbon dioxide. The proposed rule
recommends the addition of a new class of injection well, Class VI, to EPA’s
existing Underground Injection Control (UIC) Program to address the unique
nature of carbon dioxide injection and to ensure the protection of underground
sources of drinking water (USDWs) from carbon dioxide injection-related
activities.
The proposed GS Rule builds upon the existing UIC regulatory framework
established under the SDWA. The final rule, anticipated in late 2010 or early
2011, will apply to owners and operators of permitted Class VI injection wells
for the subsurface injection of carbon dioxide for long-term underground
storage.
States interested in obtaining approval for primary enforcement responsibility
(“primacy”) for the new Class VI program will apply for primacy to EPA with
either a new UIC program application or a UIC program revision (depending on a
particular state’s existing UIC primacy status). Any state that chooses not to
apply for primacy, or that has not yet received approval for their proposed
Class VI program, will have the UIC Class VI program administered by EPA until
such time as the state has an approved Class VI program.
EPA is developing multiple technical and programmatic guidance documents for
UIC Directors and proposed Class VI injection well owners and operators to
assist in meeting the new GS rule requirements. In addition, EPA will be
conducting nationwide training workshops for UIC Directors on primacy
application and on the technical and programmatic elements of GS Rule and its
implementation. EPA is also planning for a series of webcasts focused on
technical aspects of the GS rule for interested owners, operators, field
service providers, UIC permit reviewers, and others to be involved in GS
activities. EPA anticipates that these guidance documents, implementation
tools, trainings, and other outreach efforts will assist Class VI injection
well owners and operators, as well as state UIC Directors, in meeting the new
GS Rule requirements.
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