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1 | OPERATOR | INSPECTION_ID | INSPECTION_DATE | INSPECTION_TYPE | API_PERMIT | FARM_NAME | UNCONVENTIONAL | SITE_ID | SITE_NAME | FACILITY_TYPE | INSPECTION_CATEGORY | REGION | COUNTY | MUNICIPALITY | INSPECTOR | INSPECTION_SOURCE | INSPECTION_RESULT_DESCRIPTION | INSPECTION_COMMENT | VIOLATION_ID | VIOLATION_DATE | VIOLATION_CODE | VIOLATION_TYPE | VIOLATION_COMMENT | RESOLVED_DATE | RESOLUTION_REASON_CODE_DESC | CONTINUING_VIOLATION | ENFORCEMENT_ID | ENFORCEMENT_CODE_DESCRIPTION | DATE_EXECUTED | ENFORCEMENT_FINAL_DATE | ENFORCEMENT_FINAL_STATUS | PENALTY_FINAL_DATE | PENALTY_FINAL_STATUS_CODE_DESC | PENALTY_AMOUNT | TOTAL_AMOUNT_COLLECTED |
2 | CNX GAS CO LLC | 3053005 | 44019 | Incident- Response to Accident or Event | 815239 | MOR40 WELL SITE ESGP-2 | Site | EP DOGO SWDO Dstr Off | MILLER, BRYON | SAIR | Violation(s) Noted | CNX reported a slide on the MOR 40 well pad on 2/13/20. When I arrived I observed a slide on the side the access roads high wall approximately 20'x30' in size .The slide did not choke the collection channel along side of the access road. No waterways or structures were in jeopardy. CNX has already submitted geotechnical study and repair plans to the PGH office and they are currently being reviewed. The permit for the site expires on 4/15/21. CNX seeded and mulched the area for temporary stabilization. | 892169 | 44019 | 102.4(b)1 - EROSION AND SEDIMENT CONTROL REQUIREMENTS - Person conducting earth disturbance activity failed to implement and maintain E & S BMPs to minimize the potential for accelerated erosion and sedimentation. | Environmental Health & Safety | 44531 | CRCTD - Corrected/Abated | N | 387976 | Notice of Violation | 44066 | 44651 | ||||||||||||
3 | CNX GAS CO LLC | 3053005 | 44019 | Incident- Response to Accident or Event | 815239 | MOR40 WELL SITE ESGP-2 | Site | EP DOGO SWDO Dstr Off | MILLER, BRYON | SAIR | Violation(s) Noted | CNX reported a slide on the MOR 40 well pad on 2/13/20. When I arrived I observed a slide on the side the access roads high wall approximately 20'x30' in size .The slide did not choke the collection channel along side of the access road. No waterways or structures were in jeopardy. CNX has already submitted geotechnical study and repair plans to the PGH office and they are currently being reviewed. The permit for the site expires on 4/15/21. CNX seeded and mulched the area for temporary stabilization. | 892171 | 44019 | 102.5(m)4 - PERMIT REQUIREMENTS – GENERAL PERMITS – Person failed to comply with the terms and conditions of the E & S Control General Permit. | Environmental Health & Safety | 44531 | CRCTD - Corrected/Abated | N | 387976 | Notice of Violation | 44066 | 44651 | ||||||||||||
4 | CNX GAS CO LLC | 3053005 | 44019 | Incident- Response to Accident or Event | 815239 | MOR40 WELL SITE ESGP-2 | Site | EP DOGO SWDO Dstr Off | MILLER, BRYON | SAIR | Violation(s) Noted | CNX reported a slide on the MOR 40 well pad on 2/13/20. When I arrived I observed a slide on the side the access roads high wall approximately 20'x30' in size .The slide did not choke the collection channel along side of the access road. No waterways or structures were in jeopardy. CNX has already submitted geotechnical study and repair plans to the PGH office and they are currently being reviewed. The permit for the site expires on 4/15/21. CNX seeded and mulched the area for temporary stabilization. | 892172 | 44019 | 102.22(a) - SITE STABILIZATION – PERMANENT STABILIZATION – Permitee failed to have site permanently stabilized and protected from accelerated erosion and sedimentation upon final completion of earth disturbance activity. | Environmental Health & Safety | 44531 | CRCTD - Corrected/Abated | N | 387976 | Notice of Violation | 44066 | 44651 | ||||||||||||
5 | CNX GAS CO LLC | 3053005 | 44019 | Incident- Response to Accident or Event | 815239 | MOR40 WELL SITE ESGP-2 | Site | EP DOGO SWDO Dstr Off | MILLER, BRYON | SAIR | Violation(s) Noted | CNX reported a slide on the MOR 40 well pad on 2/13/20. When I arrived I observed a slide on the side the access roads high wall approximately 20'x30' in size .The slide did not choke the collection channel along side of the access road. No waterways or structures were in jeopardy. CNX has already submitted geotechnical study and repair plans to the PGH office and they are currently being reviewed. The permit for the site expires on 4/15/21. CNX seeded and mulched the area for temporary stabilization. | 892168 | 44019 | 102.11(a)1 - GENERAL REQUIREMENTS – BMP AND DESIGN STANDARDS - Person failed to design, implement and maintain E & S BMPs to minimize the potential for accelerated erosion and sedimentation to protect, maintain, reclaim and restore water quality and existing and designated uses. | Environmental Health & Safety | 44531 | CRCTD - Corrected/Abated | N | 402510 | Consent Assessment of Civil Penalty | 44651 | 44651 | Completed | 44651 | COMP - Completed | 11730 | 11730 | |||||||
6 | CNX GAS CO LLC | 3053005 | 44019 | Incident- Response to Accident or Event | 815239 | MOR40 WELL SITE ESGP-2 | Site | EP DOGO SWDO Dstr Off | MILLER, BRYON | SAIR | Violation(s) Noted | CNX reported a slide on the MOR 40 well pad on 2/13/20. When I arrived I observed a slide on the side the access roads high wall approximately 20'x30' in size .The slide did not choke the collection channel along side of the access road. No waterways or structures were in jeopardy. CNX has already submitted geotechnical study and repair plans to the PGH office and they are currently being reviewed. The permit for the site expires on 4/15/21. CNX seeded and mulched the area for temporary stabilization. | 892170 | 44019 | 78a53 - EROSION AND SEDIMENT CONTROL AND STORMWATER MANAGEMENT - Person proposing or conducting earth disturbance activities associated with oil and gas operations failed to comply with 25 Pa. Code § 102. | Environmental Health & Safety | 44531 | CRCTD - Corrected/Abated | N | 387976 | Notice of Violation | 44066 | 44651 | ||||||||||||
7 | CNX GAS CO LLC | 3053005 | 44019 | Incident- Response to Accident or Event | 815239 | MOR40 WELL SITE ESGP-2 | Site | EP DOGO SWDO Dstr Off | MILLER, BRYON | SAIR | Violation(s) Noted | CNX reported a slide on the MOR 40 well pad on 2/13/20. When I arrived I observed a slide on the side the access roads high wall approximately 20'x30' in size .The slide did not choke the collection channel along side of the access road. No waterways or structures were in jeopardy. CNX has already submitted geotechnical study and repair plans to the PGH office and they are currently being reviewed. The permit for the site expires on 4/15/21. CNX seeded and mulched the area for temporary stabilization. | 892171 | 44019 | 102.5(m)4 - PERMIT REQUIREMENTS – GENERAL PERMITS – Person failed to comply with the terms and conditions of the E & S Control General Permit. | Environmental Health & Safety | 44531 | CRCTD - Corrected/Abated | N | 402510 | Consent Assessment of Civil Penalty | 44651 | 44651 | Completed | 44651 | COMP - Completed | 11730 | 11730 | |||||||
8 | CNX GAS CO LLC | 3053005 | 44019 | Incident- Response to Accident or Event | 815239 | MOR40 WELL SITE ESGP-2 | Site | EP DOGO SWDO Dstr Off | MILLER, BRYON | SAIR | Violation(s) Noted | CNX reported a slide on the MOR 40 well pad on 2/13/20. When I arrived I observed a slide on the side the access roads high wall approximately 20'x30' in size .The slide did not choke the collection channel along side of the access road. No waterways or structures were in jeopardy. CNX has already submitted geotechnical study and repair plans to the PGH office and they are currently being reviewed. The permit for the site expires on 4/15/21. CNX seeded and mulched the area for temporary stabilization. | 892170 | 44019 | 78a53 - EROSION AND SEDIMENT CONTROL AND STORMWATER MANAGEMENT - Person proposing or conducting earth disturbance activities associated with oil and gas operations failed to comply with 25 Pa. Code § 102. | Environmental Health & Safety | 44531 | CRCTD - Corrected/Abated | N | 402510 | Consent Assessment of Civil Penalty | 44651 | 44651 | Completed | 44651 | COMP - Completed | 11730 | 11730 | |||||||
9 | CNX GAS CO LLC | 3053005 | 44019 | Incident- Response to Accident or Event | 815239 | MOR40 WELL SITE ESGP-2 | Site | EP DOGO SWDO Dstr Off | MILLER, BRYON | SAIR | Violation(s) Noted | CNX reported a slide on the MOR 40 well pad on 2/13/20. When I arrived I observed a slide on the side the access roads high wall approximately 20'x30' in size .The slide did not choke the collection channel along side of the access road. No waterways or structures were in jeopardy. CNX has already submitted geotechnical study and repair plans to the PGH office and they are currently being reviewed. The permit for the site expires on 4/15/21. CNX seeded and mulched the area for temporary stabilization. | 892168 | 44019 | 102.11(a)1 - GENERAL REQUIREMENTS – BMP AND DESIGN STANDARDS - Person failed to design, implement and maintain E & S BMPs to minimize the potential for accelerated erosion and sedimentation to protect, maintain, reclaim and restore water quality and existing and designated uses. | Environmental Health & Safety | 44531 | CRCTD - Corrected/Abated | N | 387976 | Notice of Violation | 44066 | 44651 | ||||||||||||
10 | CNX GAS CO LLC | 3053005 | 44019 | Incident- Response to Accident or Event | 815239 | MOR40 WELL SITE ESGP-2 | Site | EP DOGO SWDO Dstr Off | MILLER, BRYON | SAIR | Violation(s) Noted | CNX reported a slide on the MOR 40 well pad on 2/13/20. When I arrived I observed a slide on the side the access roads high wall approximately 20'x30' in size .The slide did not choke the collection channel along side of the access road. No waterways or structures were in jeopardy. CNX has already submitted geotechnical study and repair plans to the PGH office and they are currently being reviewed. The permit for the site expires on 4/15/21. CNX seeded and mulched the area for temporary stabilization. | 892169 | 44019 | 102.4(b)1 - EROSION AND SEDIMENT CONTROL REQUIREMENTS - Person conducting earth disturbance activity failed to implement and maintain E & S BMPs to minimize the potential for accelerated erosion and sedimentation. | Environmental Health & Safety | 44531 | CRCTD - Corrected/Abated | N | 402510 | Consent Assessment of Civil Penalty | 44651 | 44651 | Completed | 44651 | COMP - Completed | 11730 | 11730 | |||||||
11 | CNX GAS CO LLC | 3053005 | 44019 | Incident- Response to Accident or Event | 815239 | MOR40 WELL SITE ESGP-2 | Site | EP DOGO SWDO Dstr Off | MILLER, BRYON | SAIR | Violation(s) Noted | CNX reported a slide on the MOR 40 well pad on 2/13/20. When I arrived I observed a slide on the side the access roads high wall approximately 20'x30' in size .The slide did not choke the collection channel along side of the access road. No waterways or structures were in jeopardy. CNX has already submitted geotechnical study and repair plans to the PGH office and they are currently being reviewed. The permit for the site expires on 4/15/21. CNX seeded and mulched the area for temporary stabilization. | 892172 | 44019 | 102.22(a) - SITE STABILIZATION – PERMANENT STABILIZATION – Permitee failed to have site permanently stabilized and protected from accelerated erosion and sedimentation upon final completion of earth disturbance activity. | Environmental Health & Safety | 44531 | CRCTD - Corrected/Abated | N | 402510 | Consent Assessment of Civil Penalty | 44651 | 44651 | Completed | 44651 | COMP - Completed | 11730 | 11730 | |||||||
12 | CNX MIDSTREAM OPR CO LLC | 3055945 | 44022 | Incident- Response to Accident or Event | 830386 | GH TO HOPEWELL PIPELINE ESCGP GP 5 & GP 8 | Site | EP DOGO SWDO Dstr Off | KULHA, JAMES | SAIR | Violation(s) Noted | 07/10/2020: An incident inspection was conducted in response to a reported slope failure that occurred on 03/19/2020 at the GH to Hopewell pipeline located in Greene County, Center Township. Due to the COVID-19 outbreak, a site visit was not conducted by the Department at the time of notification. Findings: - Pipe placed in stream below the slip remains in place and appears to operating as planned. Photos 2-5. - Sandbags remain in place to help contain the slide and appear to be functioning properly. - Accelerated erosion observed at the bottom of the slope to the west of the pipeline. Water appears to enter a roadside ditch and then enter the stream. Photos 6-9. - CFS appears to be undercut on the slope to the west of the pipeline. Appears to be leading to accelerated erosion. Photos 10-13. - A potential small slip was observed outside the LOD on the slope to the west of the pipeline. Photo 14. - CFS located on the slope west of the pipeline appears to be beyond 50% capacity. Leading to potential breaching of CFS. Photo 16. - Infiltration berms on the western slope appear to be functioning properly. Photo 19. - Large slip observed east of the pipeline. Estimated that the slip is 70+ feet in length. Photos 20-28. - Additional cracking and accelerated erosion observed below the large slip. Photos 25-26. Violations: 105.46(b), 105.51, 102.4(b)1, 102.11(a)1, 78a53, 102.5(m)4, 102.22(b)1: Have been issued for improperly maintained E&S BMPs that potentially led to multiple slides and areas of accelerated erosion. 78a68(c)2, CSL 401, CSL 301, & CSL 307(a): Have been issued for discharged substances entering WOC due to improperly maintained E&S BMPs that potentially resulted in multiple slides and accelerated erosion. Recommendations: - The Department recommends continuing to repair the observed slips and cracking. - The Department recommends performing routine maintenance on E&S controls located below the slips. - The Department recommends performing maintenance on the CFS located on the slope to the west of the pipeline. - The Department recommends regrading and adding temporary stabilization to areas where accelerated erosion is occurring on the slope to the west of the pipeline. | 890068 | 44022 | 102.11(a)1 - GENERAL REQUIREMENTS – BMP AND DESIGN STANDARDS - Person failed to design, implement and maintain E & S BMPs to minimize the potential for accelerated erosion and sedimentation to protect, maintain, reclaim and restore water quality and existing and designated uses. | Environmental Health & Safety | 44547 | CRCTD - Corrected/Abated | N | 387318 | Notice of Violation | 44042 | 45404 | ||||||||||||
13 | CNX MIDSTREAM OPR CO LLC | 3055945 | 44022 | Incident- Response to Accident or Event | 830386 | GH TO HOPEWELL PIPELINE ESCGP GP 5 & GP 8 | Site | EP DOGO SWDO Dstr Off | KULHA, JAMES | SAIR | Violation(s) Noted | 07/10/2020: An incident inspection was conducted in response to a reported slope failure that occurred on 03/19/2020 at the GH to Hopewell pipeline located in Greene County, Center Township. Due to the COVID-19 outbreak, a site visit was not conducted by the Department at the time of notification. Findings: - Pipe placed in stream below the slip remains in place and appears to operating as planned. Photos 2-5. - Sandbags remain in place to help contain the slide and appear to be functioning properly. - Accelerated erosion observed at the bottom of the slope to the west of the pipeline. Water appears to enter a roadside ditch and then enter the stream. Photos 6-9. - CFS appears to be undercut on the slope to the west of the pipeline. Appears to be leading to accelerated erosion. Photos 10-13. - A potential small slip was observed outside the LOD on the slope to the west of the pipeline. Photo 14. - CFS located on the slope west of the pipeline appears to be beyond 50% capacity. Leading to potential breaching of CFS. Photo 16. - Infiltration berms on the western slope appear to be functioning properly. Photo 19. - Large slip observed east of the pipeline. Estimated that the slip is 70+ feet in length. Photos 20-28. - Additional cracking and accelerated erosion observed below the large slip. Photos 25-26. Violations: 105.46(b), 105.51, 102.4(b)1, 102.11(a)1, 78a53, 102.5(m)4, 102.22(b)1: Have been issued for improperly maintained E&S BMPs that potentially led to multiple slides and areas of accelerated erosion. 78a68(c)2, CSL 401, CSL 301, & CSL 307(a): Have been issued for discharged substances entering WOC due to improperly maintained E&S BMPs that potentially resulted in multiple slides and accelerated erosion. Recommendations: - The Department recommends continuing to repair the observed slips and cracking. - The Department recommends performing routine maintenance on E&S controls located below the slips. - The Department recommends performing maintenance on the CFS located on the slope to the west of the pipeline. - The Department recommends regrading and adding temporary stabilization to areas where accelerated erosion is occurring on the slope to the west of the pipeline. | 890069 | 44022 | 78a53 - EROSION AND SEDIMENT CONTROL AND STORMWATER MANAGEMENT - Person proposing or conducting earth disturbance activities associated with oil and gas operations failed to comply with 25 Pa. Code § 102. | Environmental Health & Safety | 44547 | CRCTD - Corrected/Abated | N | 387318 | Notice of Violation | 44042 | 45404 | ||||||||||||
14 | CNX MIDSTREAM OPR CO LLC | 3055945 | 44022 | Incident- Response to Accident or Event | 830386 | GH TO HOPEWELL PIPELINE ESCGP GP 5 & GP 8 | Site | EP DOGO SWDO Dstr Off | KULHA, JAMES | SAIR | Violation(s) Noted | 07/10/2020: An incident inspection was conducted in response to a reported slope failure that occurred on 03/19/2020 at the GH to Hopewell pipeline located in Greene County, Center Township. Due to the COVID-19 outbreak, a site visit was not conducted by the Department at the time of notification. Findings: - Pipe placed in stream below the slip remains in place and appears to operating as planned. Photos 2-5. - Sandbags remain in place to help contain the slide and appear to be functioning properly. - Accelerated erosion observed at the bottom of the slope to the west of the pipeline. Water appears to enter a roadside ditch and then enter the stream. Photos 6-9. - CFS appears to be undercut on the slope to the west of the pipeline. Appears to be leading to accelerated erosion. Photos 10-13. - A potential small slip was observed outside the LOD on the slope to the west of the pipeline. Photo 14. - CFS located on the slope west of the pipeline appears to be beyond 50% capacity. Leading to potential breaching of CFS. Photo 16. - Infiltration berms on the western slope appear to be functioning properly. Photo 19. - Large slip observed east of the pipeline. Estimated that the slip is 70+ feet in length. Photos 20-28. - Additional cracking and accelerated erosion observed below the large slip. Photos 25-26. Violations: 105.46(b), 105.51, 102.4(b)1, 102.11(a)1, 78a53, 102.5(m)4, 102.22(b)1: Have been issued for improperly maintained E&S BMPs that potentially led to multiple slides and areas of accelerated erosion. 78a68(c)2, CSL 401, CSL 301, & CSL 307(a): Have been issued for discharged substances entering WOC due to improperly maintained E&S BMPs that potentially resulted in multiple slides and accelerated erosion. Recommendations: - The Department recommends continuing to repair the observed slips and cracking. - The Department recommends performing routine maintenance on E&S controls located below the slips. - The Department recommends performing maintenance on the CFS located on the slope to the west of the pipeline. - The Department recommends regrading and adding temporary stabilization to areas where accelerated erosion is occurring on the slope to the west of the pipeline. | 890069 | 44022 | 78a53 - EROSION AND SEDIMENT CONTROL AND STORMWATER MANAGEMENT - Person proposing or conducting earth disturbance activities associated with oil and gas operations failed to comply with 25 Pa. Code § 102. | Environmental Health & Safety | 44547 | CRCTD - Corrected/Abated | N | 428083 | Civil Penalty Assessment | 45404 | 134450 | 134450 | |||||||||||
15 | CNX MIDSTREAM OPR CO LLC | 3055945 | 44022 | Incident- Response to Accident or Event | 830386 | GH TO HOPEWELL PIPELINE ESCGP GP 5 & GP 8 | Site | EP DOGO SWDO Dstr Off | KULHA, JAMES | SAIR | Violation(s) Noted | 07/10/2020: An incident inspection was conducted in response to a reported slope failure that occurred on 03/19/2020 at the GH to Hopewell pipeline located in Greene County, Center Township. Due to the COVID-19 outbreak, a site visit was not conducted by the Department at the time of notification. Findings: - Pipe placed in stream below the slip remains in place and appears to operating as planned. Photos 2-5. - Sandbags remain in place to help contain the slide and appear to be functioning properly. - Accelerated erosion observed at the bottom of the slope to the west of the pipeline. Water appears to enter a roadside ditch and then enter the stream. Photos 6-9. - CFS appears to be undercut on the slope to the west of the pipeline. Appears to be leading to accelerated erosion. Photos 10-13. - A potential small slip was observed outside the LOD on the slope to the west of the pipeline. Photo 14. - CFS located on the slope west of the pipeline appears to be beyond 50% capacity. Leading to potential breaching of CFS. Photo 16. - Infiltration berms on the western slope appear to be functioning properly. Photo 19. - Large slip observed east of the pipeline. Estimated that the slip is 70+ feet in length. Photos 20-28. - Additional cracking and accelerated erosion observed below the large slip. Photos 25-26. Violations: 105.46(b), 105.51, 102.4(b)1, 102.11(a)1, 78a53, 102.5(m)4, 102.22(b)1: Have been issued for improperly maintained E&S BMPs that potentially led to multiple slides and areas of accelerated erosion. 78a68(c)2, CSL 401, CSL 301, & CSL 307(a): Have been issued for discharged substances entering WOC due to improperly maintained E&S BMPs that potentially resulted in multiple slides and accelerated erosion. Recommendations: - The Department recommends continuing to repair the observed slips and cracking. - The Department recommends performing routine maintenance on E&S controls located below the slips. - The Department recommends performing maintenance on the CFS located on the slope to the west of the pipeline. - The Department recommends regrading and adding temporary stabilization to areas where accelerated erosion is occurring on the slope to the west of the pipeline. | 890070 | 44022 | 102.5(m)4 - PERMIT REQUIREMENTS – GENERAL PERMITS – Person failed to comply with the terms and conditions of the E & S Control General Permit. | Environmental Health & Safety | 44547 | CRCTD - Corrected/Abated | N | 387318 | Notice of Violation | 44042 | 45404 | ||||||||||||
16 | CNX MIDSTREAM OPR CO LLC | 3055945 | 44022 | Incident- Response to Accident or Event | 830386 | GH TO HOPEWELL PIPELINE ESCGP GP 5 & GP 8 | Site | EP DOGO SWDO Dstr Off | KULHA, JAMES | SAIR | Violation(s) Noted | 07/10/2020: An incident inspection was conducted in response to a reported slope failure that occurred on 03/19/2020 at the GH to Hopewell pipeline located in Greene County, Center Township. Due to the COVID-19 outbreak, a site visit was not conducted by the Department at the time of notification. Findings: - Pipe placed in stream below the slip remains in place and appears to operating as planned. Photos 2-5. - Sandbags remain in place to help contain the slide and appear to be functioning properly. - Accelerated erosion observed at the bottom of the slope to the west of the pipeline. Water appears to enter a roadside ditch and then enter the stream. Photos 6-9. - CFS appears to be undercut on the slope to the west of the pipeline. Appears to be leading to accelerated erosion. Photos 10-13. - A potential small slip was observed outside the LOD on the slope to the west of the pipeline. Photo 14. - CFS located on the slope west of the pipeline appears to be beyond 50% capacity. Leading to potential breaching of CFS. Photo 16. - Infiltration berms on the western slope appear to be functioning properly. Photo 19. - Large slip observed east of the pipeline. Estimated that the slip is 70+ feet in length. Photos 20-28. - Additional cracking and accelerated erosion observed below the large slip. Photos 25-26. Violations: 105.46(b), 105.51, 102.4(b)1, 102.11(a)1, 78a53, 102.5(m)4, 102.22(b)1: Have been issued for improperly maintained E&S BMPs that potentially led to multiple slides and areas of accelerated erosion. 78a68(c)2, CSL 401, CSL 301, & CSL 307(a): Have been issued for discharged substances entering WOC due to improperly maintained E&S BMPs that potentially resulted in multiple slides and accelerated erosion. Recommendations: - The Department recommends continuing to repair the observed slips and cracking. - The Department recommends performing routine maintenance on E&S controls located below the slips. - The Department recommends performing maintenance on the CFS located on the slope to the west of the pipeline. - The Department recommends regrading and adding temporary stabilization to areas where accelerated erosion is occurring on the slope to the west of the pipeline. | 890065 | 44022 | 105.46(b) - IMPLEMENTATION OF EROSION AND SEDIMENTATION CONTROL PLANS – Permittee failed to conduct construction in a manner to minimize erosion of banks and bed of the stream and disturbance of the regimen of the stream. | Environmental Health & Safety | 44547 | CRCTD - Corrected/Abated | N | 387318 | Notice of Violation | 44042 | 45404 | ||||||||||||
17 | CNX MIDSTREAM OPR CO LLC | 3055945 | 44022 | Incident- Response to Accident or Event | 830386 | GH TO HOPEWELL PIPELINE ESCGP GP 5 & GP 8 | Site | EP DOGO SWDO Dstr Off | KULHA, JAMES | SAIR | Violation(s) Noted | 07/10/2020: An incident inspection was conducted in response to a reported slope failure that occurred on 03/19/2020 at the GH to Hopewell pipeline located in Greene County, Center Township. Due to the COVID-19 outbreak, a site visit was not conducted by the Department at the time of notification. Findings: - Pipe placed in stream below the slip remains in place and appears to operating as planned. Photos 2-5. - Sandbags remain in place to help contain the slide and appear to be functioning properly. - Accelerated erosion observed at the bottom of the slope to the west of the pipeline. Water appears to enter a roadside ditch and then enter the stream. Photos 6-9. - CFS appears to be undercut on the slope to the west of the pipeline. Appears to be leading to accelerated erosion. Photos 10-13. - A potential small slip was observed outside the LOD on the slope to the west of the pipeline. Photo 14. - CFS located on the slope west of the pipeline appears to be beyond 50% capacity. Leading to potential breaching of CFS. Photo 16. - Infiltration berms on the western slope appear to be functioning properly. Photo 19. - Large slip observed east of the pipeline. Estimated that the slip is 70+ feet in length. Photos 20-28. - Additional cracking and accelerated erosion observed below the large slip. Photos 25-26. Violations: 105.46(b), 105.51, 102.4(b)1, 102.11(a)1, 78a53, 102.5(m)4, 102.22(b)1: Have been issued for improperly maintained E&S BMPs that potentially led to multiple slides and areas of accelerated erosion. 78a68(c)2, CSL 401, CSL 301, & CSL 307(a): Have been issued for discharged substances entering WOC due to improperly maintained E&S BMPs that potentially resulted in multiple slides and accelerated erosion. Recommendations: - The Department recommends continuing to repair the observed slips and cracking. - The Department recommends performing routine maintenance on E&S controls located below the slips. - The Department recommends performing maintenance on the CFS located on the slope to the west of the pipeline. - The Department recommends regrading and adding temporary stabilization to areas where accelerated erosion is occurring on the slope to the west of the pipeline. | 890066 | 44022 | 105.51 - OPERATION AND MAINTENANCE - Permittee or owner of a water obstruction or encroachment failed to operate and maintain the facility and appurtenant structures in a safe condition in accordance with permit terms and conditions. | Environmental Health & Safety | 44547 | CRCTD - Corrected/Abated | N | 428083 | Civil Penalty Assessment | 45404 | 134450 | 134450 | |||||||||||
18 | CNX MIDSTREAM OPR CO LLC | 3055945 | 44022 | Incident- Response to Accident or Event | 830386 | GH TO HOPEWELL PIPELINE ESCGP GP 5 & GP 8 | Site | EP DOGO SWDO Dstr Off | KULHA, JAMES | SAIR | Violation(s) Noted | 07/10/2020: An incident inspection was conducted in response to a reported slope failure that occurred on 03/19/2020 at the GH to Hopewell pipeline located in Greene County, Center Township. Due to the COVID-19 outbreak, a site visit was not conducted by the Department at the time of notification. Findings: - Pipe placed in stream below the slip remains in place and appears to operating as planned. Photos 2-5. - Sandbags remain in place to help contain the slide and appear to be functioning properly. - Accelerated erosion observed at the bottom of the slope to the west of the pipeline. Water appears to enter a roadside ditch and then enter the stream. Photos 6-9. - CFS appears to be undercut on the slope to the west of the pipeline. Appears to be leading to accelerated erosion. Photos 10-13. - A potential small slip was observed outside the LOD on the slope to the west of the pipeline. Photo 14. - CFS located on the slope west of the pipeline appears to be beyond 50% capacity. Leading to potential breaching of CFS. Photo 16. - Infiltration berms on the western slope appear to be functioning properly. Photo 19. - Large slip observed east of the pipeline. Estimated that the slip is 70+ feet in length. Photos 20-28. - Additional cracking and accelerated erosion observed below the large slip. Photos 25-26. Violations: 105.46(b), 105.51, 102.4(b)1, 102.11(a)1, 78a53, 102.5(m)4, 102.22(b)1: Have been issued for improperly maintained E&S BMPs that potentially led to multiple slides and areas of accelerated erosion. 78a68(c)2, CSL 401, CSL 301, & CSL 307(a): Have been issued for discharged substances entering WOC due to improperly maintained E&S BMPs that potentially resulted in multiple slides and accelerated erosion. Recommendations: - The Department recommends continuing to repair the observed slips and cracking. - The Department recommends performing routine maintenance on E&S controls located below the slips. - The Department recommends performing maintenance on the CFS located on the slope to the west of the pipeline. - The Department recommends regrading and adding temporary stabilization to areas where accelerated erosion is occurring on the slope to the west of the pipeline. | 890068 | 44022 | 102.11(a)1 - GENERAL REQUIREMENTS – BMP AND DESIGN STANDARDS - Person failed to design, implement and maintain E & S BMPs to minimize the potential for accelerated erosion and sedimentation to protect, maintain, reclaim and restore water quality and existing and designated uses. | Environmental Health & Safety | 44547 | CRCTD - Corrected/Abated | N | 428083 | Civil Penalty Assessment | 45404 | 134450 | 134450 | |||||||||||
19 | CNX MIDSTREAM OPR CO LLC | 3055945 | 44022 | Incident- Response to Accident or Event | 830386 | GH TO HOPEWELL PIPELINE ESCGP GP 5 & GP 8 | Site | EP DOGO SWDO Dstr Off | KULHA, JAMES | SAIR | Violation(s) Noted | 07/10/2020: An incident inspection was conducted in response to a reported slope failure that occurred on 03/19/2020 at the GH to Hopewell pipeline located in Greene County, Center Township. Due to the COVID-19 outbreak, a site visit was not conducted by the Department at the time of notification. Findings: - Pipe placed in stream below the slip remains in place and appears to operating as planned. Photos 2-5. - Sandbags remain in place to help contain the slide and appear to be functioning properly. - Accelerated erosion observed at the bottom of the slope to the west of the pipeline. Water appears to enter a roadside ditch and then enter the stream. Photos 6-9. - CFS appears to be undercut on the slope to the west of the pipeline. Appears to be leading to accelerated erosion. Photos 10-13. - A potential small slip was observed outside the LOD on the slope to the west of the pipeline. Photo 14. - CFS located on the slope west of the pipeline appears to be beyond 50% capacity. Leading to potential breaching of CFS. Photo 16. - Infiltration berms on the western slope appear to be functioning properly. Photo 19. - Large slip observed east of the pipeline. Estimated that the slip is 70+ feet in length. Photos 20-28. - Additional cracking and accelerated erosion observed below the large slip. Photos 25-26. Violations: 105.46(b), 105.51, 102.4(b)1, 102.11(a)1, 78a53, 102.5(m)4, 102.22(b)1: Have been issued for improperly maintained E&S BMPs that potentially led to multiple slides and areas of accelerated erosion. 78a68(c)2, CSL 401, CSL 301, & CSL 307(a): Have been issued for discharged substances entering WOC due to improperly maintained E&S BMPs that potentially resulted in multiple slides and accelerated erosion. Recommendations: - The Department recommends continuing to repair the observed slips and cracking. - The Department recommends performing routine maintenance on E&S controls located below the slips. - The Department recommends performing maintenance on the CFS located on the slope to the west of the pipeline. - The Department recommends regrading and adding temporary stabilization to areas where accelerated erosion is occurring on the slope to the west of the pipeline. | 890075 | 44022 | CSL 307(a) - INDUSTRIAL WASTE DISCHARGES - Industrial waste discharged, directly or indirectly, into Waters of the Commonwealth, without a permit, authorization, or contrary to rules and regulations of the Department. | Environmental Health & Safety | 44547 | CRCTD - Corrected/Abated | N | 387318 | Notice of Violation | 44042 | 45404 | ||||||||||||
20 | CNX MIDSTREAM OPR CO LLC | 3055945 | 44022 | Incident- Response to Accident or Event | 830386 | GH TO HOPEWELL PIPELINE ESCGP GP 5 & GP 8 | Site | EP DOGO SWDO Dstr Off | KULHA, JAMES | SAIR | Violation(s) Noted | 07/10/2020: An incident inspection was conducted in response to a reported slope failure that occurred on 03/19/2020 at the GH to Hopewell pipeline located in Greene County, Center Township. Due to the COVID-19 outbreak, a site visit was not conducted by the Department at the time of notification. Findings: - Pipe placed in stream below the slip remains in place and appears to operating as planned. Photos 2-5. - Sandbags remain in place to help contain the slide and appear to be functioning properly. - Accelerated erosion observed at the bottom of the slope to the west of the pipeline. Water appears to enter a roadside ditch and then enter the stream. Photos 6-9. - CFS appears to be undercut on the slope to the west of the pipeline. Appears to be leading to accelerated erosion. Photos 10-13. - A potential small slip was observed outside the LOD on the slope to the west of the pipeline. Photo 14. - CFS located on the slope west of the pipeline appears to be beyond 50% capacity. Leading to potential breaching of CFS. Photo 16. - Infiltration berms on the western slope appear to be functioning properly. Photo 19. - Large slip observed east of the pipeline. Estimated that the slip is 70+ feet in length. Photos 20-28. - Additional cracking and accelerated erosion observed below the large slip. Photos 25-26. Violations: 105.46(b), 105.51, 102.4(b)1, 102.11(a)1, 78a53, 102.5(m)4, 102.22(b)1: Have been issued for improperly maintained E&S BMPs that potentially led to multiple slides and areas of accelerated erosion. 78a68(c)2, CSL 401, CSL 301, & CSL 307(a): Have been issued for discharged substances entering WOC due to improperly maintained E&S BMPs that potentially resulted in multiple slides and accelerated erosion. Recommendations: - The Department recommends continuing to repair the observed slips and cracking. - The Department recommends performing routine maintenance on E&S controls located below the slips. - The Department recommends performing maintenance on the CFS located on the slope to the west of the pipeline. - The Department recommends regrading and adding temporary stabilization to areas where accelerated erosion is occurring on the slope to the west of the pipeline. | 890072 | 44022 | 78a68(c)2 - OIL AND GAS GATHERING PIPELINES – Operator failed to prevent topsoil and subsoil from entering watercourses and bodies of water. | Environmental Health & Safety | 44547 | CRCTD - Corrected/Abated | N | 428083 | Civil Penalty Assessment | 45404 | 134450 | 134450 | |||||||||||
21 | CNX MIDSTREAM OPR CO LLC | 3055945 | 44022 | Incident- Response to Accident or Event | 830386 | GH TO HOPEWELL PIPELINE ESCGP GP 5 & GP 8 | Site | EP DOGO SWDO Dstr Off | KULHA, JAMES | SAIR | Violation(s) Noted | 07/10/2020: An incident inspection was conducted in response to a reported slope failure that occurred on 03/19/2020 at the GH to Hopewell pipeline located in Greene County, Center Township. Due to the COVID-19 outbreak, a site visit was not conducted by the Department at the time of notification. Findings: - Pipe placed in stream below the slip remains in place and appears to operating as planned. Photos 2-5. - Sandbags remain in place to help contain the slide and appear to be functioning properly. - Accelerated erosion observed at the bottom of the slope to the west of the pipeline. Water appears to enter a roadside ditch and then enter the stream. Photos 6-9. - CFS appears to be undercut on the slope to the west of the pipeline. Appears to be leading to accelerated erosion. Photos 10-13. - A potential small slip was observed outside the LOD on the slope to the west of the pipeline. Photo 14. - CFS located on the slope west of the pipeline appears to be beyond 50% capacity. Leading to potential breaching of CFS. Photo 16. - Infiltration berms on the western slope appear to be functioning properly. Photo 19. - Large slip observed east of the pipeline. Estimated that the slip is 70+ feet in length. Photos 20-28. - Additional cracking and accelerated erosion observed below the large slip. Photos 25-26. Violations: 105.46(b), 105.51, 102.4(b)1, 102.11(a)1, 78a53, 102.5(m)4, 102.22(b)1: Have been issued for improperly maintained E&S BMPs that potentially led to multiple slides and areas of accelerated erosion. 78a68(c)2, CSL 401, CSL 301, & CSL 307(a): Have been issued for discharged substances entering WOC due to improperly maintained E&S BMPs that potentially resulted in multiple slides and accelerated erosion. Recommendations: - The Department recommends continuing to repair the observed slips and cracking. - The Department recommends performing routine maintenance on E&S controls located below the slips. - The Department recommends performing maintenance on the CFS located on the slope to the west of the pipeline. - The Department recommends regrading and adding temporary stabilization to areas where accelerated erosion is occurring on the slope to the west of the pipeline. | 890074 | 44022 | CSL 301 - PROHIBITION AGAINST DISCHARGE OF INDUSTRIAL WASTES - Industrial waste discharged into Waters of the Commonwealth. | Environmental Health & Safety | 44547 | CRCTD - Corrected/Abated | N | 387318 | Notice of Violation | 44042 | 45404 | ||||||||||||
22 | CNX MIDSTREAM OPR CO LLC | 3055945 | 44022 | Incident- Response to Accident or Event | 830386 | GH TO HOPEWELL PIPELINE ESCGP GP 5 & GP 8 | Site | EP DOGO SWDO Dstr Off | KULHA, JAMES | SAIR | Violation(s) Noted | 07/10/2020: An incident inspection was conducted in response to a reported slope failure that occurred on 03/19/2020 at the GH to Hopewell pipeline located in Greene County, Center Township. Due to the COVID-19 outbreak, a site visit was not conducted by the Department at the time of notification. Findings: - Pipe placed in stream below the slip remains in place and appears to operating as planned. Photos 2-5. - Sandbags remain in place to help contain the slide and appear to be functioning properly. - Accelerated erosion observed at the bottom of the slope to the west of the pipeline. Water appears to enter a roadside ditch and then enter the stream. Photos 6-9. - CFS appears to be undercut on the slope to the west of the pipeline. Appears to be leading to accelerated erosion. Photos 10-13. - A potential small slip was observed outside the LOD on the slope to the west of the pipeline. Photo 14. - CFS located on the slope west of the pipeline appears to be beyond 50% capacity. Leading to potential breaching of CFS. Photo 16. - Infiltration berms on the western slope appear to be functioning properly. Photo 19. - Large slip observed east of the pipeline. Estimated that the slip is 70+ feet in length. Photos 20-28. - Additional cracking and accelerated erosion observed below the large slip. Photos 25-26. Violations: 105.46(b), 105.51, 102.4(b)1, 102.11(a)1, 78a53, 102.5(m)4, 102.22(b)1: Have been issued for improperly maintained E&S BMPs that potentially led to multiple slides and areas of accelerated erosion. 78a68(c)2, CSL 401, CSL 301, & CSL 307(a): Have been issued for discharged substances entering WOC due to improperly maintained E&S BMPs that potentially resulted in multiple slides and accelerated erosion. Recommendations: - The Department recommends continuing to repair the observed slips and cracking. - The Department recommends performing routine maintenance on E&S controls located below the slips. - The Department recommends performing maintenance on the CFS located on the slope to the west of the pipeline. - The Department recommends regrading and adding temporary stabilization to areas where accelerated erosion is occurring on the slope to the west of the pipeline. | 890066 | 44022 | 105.51 - OPERATION AND MAINTENANCE - Permittee or owner of a water obstruction or encroachment failed to operate and maintain the facility and appurtenant structures in a safe condition in accordance with permit terms and conditions. | Environmental Health & Safety | 44547 | CRCTD - Corrected/Abated | N | 387318 | Notice of Violation | 44042 | 45404 | ||||||||||||
23 | CNX MIDSTREAM OPR CO LLC | 3055945 | 44022 | Incident- Response to Accident or Event | 830386 | GH TO HOPEWELL PIPELINE ESCGP GP 5 & GP 8 | Site | EP DOGO SWDO Dstr Off | KULHA, JAMES | SAIR | Violation(s) Noted | 07/10/2020: An incident inspection was conducted in response to a reported slope failure that occurred on 03/19/2020 at the GH to Hopewell pipeline located in Greene County, Center Township. Due to the COVID-19 outbreak, a site visit was not conducted by the Department at the time of notification. Findings: - Pipe placed in stream below the slip remains in place and appears to operating as planned. Photos 2-5. - Sandbags remain in place to help contain the slide and appear to be functioning properly. - Accelerated erosion observed at the bottom of the slope to the west of the pipeline. Water appears to enter a roadside ditch and then enter the stream. Photos 6-9. - CFS appears to be undercut on the slope to the west of the pipeline. Appears to be leading to accelerated erosion. Photos 10-13. - A potential small slip was observed outside the LOD on the slope to the west of the pipeline. Photo 14. - CFS located on the slope west of the pipeline appears to be beyond 50% capacity. Leading to potential breaching of CFS. Photo 16. - Infiltration berms on the western slope appear to be functioning properly. Photo 19. - Large slip observed east of the pipeline. Estimated that the slip is 70+ feet in length. Photos 20-28. - Additional cracking and accelerated erosion observed below the large slip. Photos 25-26. Violations: 105.46(b), 105.51, 102.4(b)1, 102.11(a)1, 78a53, 102.5(m)4, 102.22(b)1: Have been issued for improperly maintained E&S BMPs that potentially led to multiple slides and areas of accelerated erosion. 78a68(c)2, CSL 401, CSL 301, & CSL 307(a): Have been issued for discharged substances entering WOC due to improperly maintained E&S BMPs that potentially resulted in multiple slides and accelerated erosion. Recommendations: - The Department recommends continuing to repair the observed slips and cracking. - The Department recommends performing routine maintenance on E&S controls located below the slips. - The Department recommends performing maintenance on the CFS located on the slope to the west of the pipeline. - The Department recommends regrading and adding temporary stabilization to areas where accelerated erosion is occurring on the slope to the west of the pipeline. | 890072 | 44022 | 78a68(c)2 - OIL AND GAS GATHERING PIPELINES – Operator failed to prevent topsoil and subsoil from entering watercourses and bodies of water. | Environmental Health & Safety | 44547 | CRCTD - Corrected/Abated | N | 387318 | Notice of Violation | 44042 | 45404 | ||||||||||||
24 | CNX MIDSTREAM OPR CO LLC | 3055945 | 44022 | Incident- Response to Accident or Event | 830386 | GH TO HOPEWELL PIPELINE ESCGP GP 5 & GP 8 | Site | EP DOGO SWDO Dstr Off | KULHA, JAMES | SAIR | Violation(s) Noted | 07/10/2020: An incident inspection was conducted in response to a reported slope failure that occurred on 03/19/2020 at the GH to Hopewell pipeline located in Greene County, Center Township. Due to the COVID-19 outbreak, a site visit was not conducted by the Department at the time of notification. Findings: - Pipe placed in stream below the slip remains in place and appears to operating as planned. Photos 2-5. - Sandbags remain in place to help contain the slide and appear to be functioning properly. - Accelerated erosion observed at the bottom of the slope to the west of the pipeline. Water appears to enter a roadside ditch and then enter the stream. Photos 6-9. - CFS appears to be undercut on the slope to the west of the pipeline. Appears to be leading to accelerated erosion. Photos 10-13. - A potential small slip was observed outside the LOD on the slope to the west of the pipeline. Photo 14. - CFS located on the slope west of the pipeline appears to be beyond 50% capacity. Leading to potential breaching of CFS. Photo 16. - Infiltration berms on the western slope appear to be functioning properly. Photo 19. - Large slip observed east of the pipeline. Estimated that the slip is 70+ feet in length. Photos 20-28. - Additional cracking and accelerated erosion observed below the large slip. Photos 25-26. Violations: 105.46(b), 105.51, 102.4(b)1, 102.11(a)1, 78a53, 102.5(m)4, 102.22(b)1: Have been issued for improperly maintained E&S BMPs that potentially led to multiple slides and areas of accelerated erosion. 78a68(c)2, CSL 401, CSL 301, & CSL 307(a): Have been issued for discharged substances entering WOC due to improperly maintained E&S BMPs that potentially resulted in multiple slides and accelerated erosion. Recommendations: - The Department recommends continuing to repair the observed slips and cracking. - The Department recommends performing routine maintenance on E&S controls located below the slips. - The Department recommends performing maintenance on the CFS located on the slope to the west of the pipeline. - The Department recommends regrading and adding temporary stabilization to areas where accelerated erosion is occurring on the slope to the west of the pipeline. | 890075 | 44022 | CSL 307(a) - INDUSTRIAL WASTE DISCHARGES - Industrial waste discharged, directly or indirectly, into Waters of the Commonwealth, without a permit, authorization, or contrary to rules and regulations of the Department. | Environmental Health & Safety | 44547 | CRCTD - Corrected/Abated | N | 428083 | Civil Penalty Assessment | 45404 | 134450 | 134450 | |||||||||||
25 | CNX MIDSTREAM OPR CO LLC | 3055945 | 44022 | Incident- Response to Accident or Event | 830386 | GH TO HOPEWELL PIPELINE ESCGP GP 5 & GP 8 | Site | EP DOGO SWDO Dstr Off | KULHA, JAMES | SAIR | Violation(s) Noted | 07/10/2020: An incident inspection was conducted in response to a reported slope failure that occurred on 03/19/2020 at the GH to Hopewell pipeline located in Greene County, Center Township. Due to the COVID-19 outbreak, a site visit was not conducted by the Department at the time of notification. Findings: - Pipe placed in stream below the slip remains in place and appears to operating as planned. Photos 2-5. - Sandbags remain in place to help contain the slide and appear to be functioning properly. - Accelerated erosion observed at the bottom of the slope to the west of the pipeline. Water appears to enter a roadside ditch and then enter the stream. Photos 6-9. - CFS appears to be undercut on the slope to the west of the pipeline. Appears to be leading to accelerated erosion. Photos 10-13. - A potential small slip was observed outside the LOD on the slope to the west of the pipeline. Photo 14. - CFS located on the slope west of the pipeline appears to be beyond 50% capacity. Leading to potential breaching of CFS. Photo 16. - Infiltration berms on the western slope appear to be functioning properly. Photo 19. - Large slip observed east of the pipeline. Estimated that the slip is 70+ feet in length. Photos 20-28. - Additional cracking and accelerated erosion observed below the large slip. Photos 25-26. Violations: 105.46(b), 105.51, 102.4(b)1, 102.11(a)1, 78a53, 102.5(m)4, 102.22(b)1: Have been issued for improperly maintained E&S BMPs that potentially led to multiple slides and areas of accelerated erosion. 78a68(c)2, CSL 401, CSL 301, & CSL 307(a): Have been issued for discharged substances entering WOC due to improperly maintained E&S BMPs that potentially resulted in multiple slides and accelerated erosion. Recommendations: - The Department recommends continuing to repair the observed slips and cracking. - The Department recommends performing routine maintenance on E&S controls located below the slips. - The Department recommends performing maintenance on the CFS located on the slope to the west of the pipeline. - The Department recommends regrading and adding temporary stabilization to areas where accelerated erosion is occurring on the slope to the west of the pipeline. | 890070 | 44022 | 102.5(m)4 - PERMIT REQUIREMENTS – GENERAL PERMITS – Person failed to comply with the terms and conditions of the E & S Control General Permit. | Environmental Health & Safety | 44547 | CRCTD - Corrected/Abated | N | 428083 | Civil Penalty Assessment | 45404 | 134450 | 134450 | |||||||||||
26 | CNX MIDSTREAM OPR CO LLC | 3055945 | 44022 | Incident- Response to Accident or Event | 830386 | GH TO HOPEWELL PIPELINE ESCGP GP 5 & GP 8 | Site | EP DOGO SWDO Dstr Off | KULHA, JAMES | SAIR | Violation(s) Noted | 07/10/2020: An incident inspection was conducted in response to a reported slope failure that occurred on 03/19/2020 at the GH to Hopewell pipeline located in Greene County, Center Township. Due to the COVID-19 outbreak, a site visit was not conducted by the Department at the time of notification. Findings: - Pipe placed in stream below the slip remains in place and appears to operating as planned. Photos 2-5. - Sandbags remain in place to help contain the slide and appear to be functioning properly. - Accelerated erosion observed at the bottom of the slope to the west of the pipeline. Water appears to enter a roadside ditch and then enter the stream. Photos 6-9. - CFS appears to be undercut on the slope to the west of the pipeline. Appears to be leading to accelerated erosion. Photos 10-13. - A potential small slip was observed outside the LOD on the slope to the west of the pipeline. Photo 14. - CFS located on the slope west of the pipeline appears to be beyond 50% capacity. Leading to potential breaching of CFS. Photo 16. - Infiltration berms on the western slope appear to be functioning properly. Photo 19. - Large slip observed east of the pipeline. Estimated that the slip is 70+ feet in length. Photos 20-28. - Additional cracking and accelerated erosion observed below the large slip. Photos 25-26. Violations: 105.46(b), 105.51, 102.4(b)1, 102.11(a)1, 78a53, 102.5(m)4, 102.22(b)1: Have been issued for improperly maintained E&S BMPs that potentially led to multiple slides and areas of accelerated erosion. 78a68(c)2, CSL 401, CSL 301, & CSL 307(a): Have been issued for discharged substances entering WOC due to improperly maintained E&S BMPs that potentially resulted in multiple slides and accelerated erosion. Recommendations: - The Department recommends continuing to repair the observed slips and cracking. - The Department recommends performing routine maintenance on E&S controls located below the slips. - The Department recommends performing maintenance on the CFS located on the slope to the west of the pipeline. - The Department recommends regrading and adding temporary stabilization to areas where accelerated erosion is occurring on the slope to the west of the pipeline. | 890071 | 44022 | 102.22(b)1 - SITE STABILIZATION – TEMPORARY STABILIZATION – Permitee failed to temporarily stabilize the site to protect it from accelerated erosion and sedimentation where cessation of earth disturbance activities exceeded 4 days. | Environmental Health & Safety | 44547 | CRCTD - Corrected/Abated | N | 428083 | Civil Penalty Assessment | 45404 | 134450 | 134450 | |||||||||||
27 | CNX MIDSTREAM OPR CO LLC | 3055945 | 44022 | Incident- Response to Accident or Event | 830386 | GH TO HOPEWELL PIPELINE ESCGP GP 5 & GP 8 | Site | EP DOGO SWDO Dstr Off | KULHA, JAMES | SAIR | Violation(s) Noted | 07/10/2020: An incident inspection was conducted in response to a reported slope failure that occurred on 03/19/2020 at the GH to Hopewell pipeline located in Greene County, Center Township. Due to the COVID-19 outbreak, a site visit was not conducted by the Department at the time of notification. Findings: - Pipe placed in stream below the slip remains in place and appears to operating as planned. Photos 2-5. - Sandbags remain in place to help contain the slide and appear to be functioning properly. - Accelerated erosion observed at the bottom of the slope to the west of the pipeline. Water appears to enter a roadside ditch and then enter the stream. Photos 6-9. - CFS appears to be undercut on the slope to the west of the pipeline. Appears to be leading to accelerated erosion. Photos 10-13. - A potential small slip was observed outside the LOD on the slope to the west of the pipeline. Photo 14. - CFS located on the slope west of the pipeline appears to be beyond 50% capacity. Leading to potential breaching of CFS. Photo 16. - Infiltration berms on the western slope appear to be functioning properly. Photo 19. - Large slip observed east of the pipeline. Estimated that the slip is 70+ feet in length. Photos 20-28. - Additional cracking and accelerated erosion observed below the large slip. Photos 25-26. Violations: 105.46(b), 105.51, 102.4(b)1, 102.11(a)1, 78a53, 102.5(m)4, 102.22(b)1: Have been issued for improperly maintained E&S BMPs that potentially led to multiple slides and areas of accelerated erosion. 78a68(c)2, CSL 401, CSL 301, & CSL 307(a): Have been issued for discharged substances entering WOC due to improperly maintained E&S BMPs that potentially resulted in multiple slides and accelerated erosion. Recommendations: - The Department recommends continuing to repair the observed slips and cracking. - The Department recommends performing routine maintenance on E&S controls located below the slips. - The Department recommends performing maintenance on the CFS located on the slope to the west of the pipeline. - The Department recommends regrading and adding temporary stabilization to areas where accelerated erosion is occurring on the slope to the west of the pipeline. | 890073 | 44022 | CSL 401 - PROHIBITION AGAINST OTHER POLLUTIONS - Discharged substance of any kind or character resulting in pollution of Waters of the Commonwealth. | Environmental Health & Safety | 44547 | CRCTD - Corrected/Abated | N | 387318 | Notice of Violation | 44042 | 45404 | ||||||||||||
28 | CNX MIDSTREAM OPR CO LLC | 3055945 | 44022 | Incident- Response to Accident or Event | 830386 | GH TO HOPEWELL PIPELINE ESCGP GP 5 & GP 8 | Site | EP DOGO SWDO Dstr Off | KULHA, JAMES | SAIR | Violation(s) Noted | 07/10/2020: An incident inspection was conducted in response to a reported slope failure that occurred on 03/19/2020 at the GH to Hopewell pipeline located in Greene County, Center Township. Due to the COVID-19 outbreak, a site visit was not conducted by the Department at the time of notification. Findings: - Pipe placed in stream below the slip remains in place and appears to operating as planned. Photos 2-5. - Sandbags remain in place to help contain the slide and appear to be functioning properly. - Accelerated erosion observed at the bottom of the slope to the west of the pipeline. Water appears to enter a roadside ditch and then enter the stream. Photos 6-9. - CFS appears to be undercut on the slope to the west of the pipeline. Appears to be leading to accelerated erosion. Photos 10-13. - A potential small slip was observed outside the LOD on the slope to the west of the pipeline. Photo 14. - CFS located on the slope west of the pipeline appears to be beyond 50% capacity. Leading to potential breaching of CFS. Photo 16. - Infiltration berms on the western slope appear to be functioning properly. Photo 19. - Large slip observed east of the pipeline. Estimated that the slip is 70+ feet in length. Photos 20-28. - Additional cracking and accelerated erosion observed below the large slip. Photos 25-26. Violations: 105.46(b), 105.51, 102.4(b)1, 102.11(a)1, 78a53, 102.5(m)4, 102.22(b)1: Have been issued for improperly maintained E&S BMPs that potentially led to multiple slides and areas of accelerated erosion. 78a68(c)2, CSL 401, CSL 301, & CSL 307(a): Have been issued for discharged substances entering WOC due to improperly maintained E&S BMPs that potentially resulted in multiple slides and accelerated erosion. Recommendations: - The Department recommends continuing to repair the observed slips and cracking. - The Department recommends performing routine maintenance on E&S controls located below the slips. - The Department recommends performing maintenance on the CFS located on the slope to the west of the pipeline. - The Department recommends regrading and adding temporary stabilization to areas where accelerated erosion is occurring on the slope to the west of the pipeline. | 890073 | 44022 | CSL 401 - PROHIBITION AGAINST OTHER POLLUTIONS - Discharged substance of any kind or character resulting in pollution of Waters of the Commonwealth. | Environmental Health & Safety | 44547 | CRCTD - Corrected/Abated | N | 428083 | Civil Penalty Assessment | 45404 | 134450 | 134450 | |||||||||||
29 | CNX MIDSTREAM OPR CO LLC | 3055945 | 44022 | Incident- Response to Accident or Event | 830386 | GH TO HOPEWELL PIPELINE ESCGP GP 5 & GP 8 | Site | EP DOGO SWDO Dstr Off | KULHA, JAMES | SAIR | Violation(s) Noted | 07/10/2020: An incident inspection was conducted in response to a reported slope failure that occurred on 03/19/2020 at the GH to Hopewell pipeline located in Greene County, Center Township. Due to the COVID-19 outbreak, a site visit was not conducted by the Department at the time of notification. Findings: - Pipe placed in stream below the slip remains in place and appears to operating as planned. Photos 2-5. - Sandbags remain in place to help contain the slide and appear to be functioning properly. - Accelerated erosion observed at the bottom of the slope to the west of the pipeline. Water appears to enter a roadside ditch and then enter the stream. Photos 6-9. - CFS appears to be undercut on the slope to the west of the pipeline. Appears to be leading to accelerated erosion. Photos 10-13. - A potential small slip was observed outside the LOD on the slope to the west of the pipeline. Photo 14. - CFS located on the slope west of the pipeline appears to be beyond 50% capacity. Leading to potential breaching of CFS. Photo 16. - Infiltration berms on the western slope appear to be functioning properly. Photo 19. - Large slip observed east of the pipeline. Estimated that the slip is 70+ feet in length. Photos 20-28. - Additional cracking and accelerated erosion observed below the large slip. Photos 25-26. Violations: 105.46(b), 105.51, 102.4(b)1, 102.11(a)1, 78a53, 102.5(m)4, 102.22(b)1: Have been issued for improperly maintained E&S BMPs that potentially led to multiple slides and areas of accelerated erosion. 78a68(c)2, CSL 401, CSL 301, & CSL 307(a): Have been issued for discharged substances entering WOC due to improperly maintained E&S BMPs that potentially resulted in multiple slides and accelerated erosion. Recommendations: - The Department recommends continuing to repair the observed slips and cracking. - The Department recommends performing routine maintenance on E&S controls located below the slips. - The Department recommends performing maintenance on the CFS located on the slope to the west of the pipeline. - The Department recommends regrading and adding temporary stabilization to areas where accelerated erosion is occurring on the slope to the west of the pipeline. | 890065 | 44022 | 105.46(b) - IMPLEMENTATION OF EROSION AND SEDIMENTATION CONTROL PLANS – Permittee failed to conduct construction in a manner to minimize erosion of banks and bed of the stream and disturbance of the regimen of the stream. | Environmental Health & Safety | 44547 | CRCTD - Corrected/Abated | N | 428083 | Civil Penalty Assessment | 45404 | 134450 | 134450 | |||||||||||
30 | CNX MIDSTREAM OPR CO LLC | 3055945 | 44022 | Incident- Response to Accident or Event | 830386 | GH TO HOPEWELL PIPELINE ESCGP GP 5 & GP 8 | Site | EP DOGO SWDO Dstr Off | KULHA, JAMES | SAIR | Violation(s) Noted | 07/10/2020: An incident inspection was conducted in response to a reported slope failure that occurred on 03/19/2020 at the GH to Hopewell pipeline located in Greene County, Center Township. Due to the COVID-19 outbreak, a site visit was not conducted by the Department at the time of notification. Findings: - Pipe placed in stream below the slip remains in place and appears to operating as planned. Photos 2-5. - Sandbags remain in place to help contain the slide and appear to be functioning properly. - Accelerated erosion observed at the bottom of the slope to the west of the pipeline. Water appears to enter a roadside ditch and then enter the stream. Photos 6-9. - CFS appears to be undercut on the slope to the west of the pipeline. Appears to be leading to accelerated erosion. Photos 10-13. - A potential small slip was observed outside the LOD on the slope to the west of the pipeline. Photo 14. - CFS located on the slope west of the pipeline appears to be beyond 50% capacity. Leading to potential breaching of CFS. Photo 16. - Infiltration berms on the western slope appear to be functioning properly. Photo 19. - Large slip observed east of the pipeline. Estimated that the slip is 70+ feet in length. Photos 20-28. - Additional cracking and accelerated erosion observed below the large slip. Photos 25-26. Violations: 105.46(b), 105.51, 102.4(b)1, 102.11(a)1, 78a53, 102.5(m)4, 102.22(b)1: Have been issued for improperly maintained E&S BMPs that potentially led to multiple slides and areas of accelerated erosion. 78a68(c)2, CSL 401, CSL 301, & CSL 307(a): Have been issued for discharged substances entering WOC due to improperly maintained E&S BMPs that potentially resulted in multiple slides and accelerated erosion. Recommendations: - The Department recommends continuing to repair the observed slips and cracking. - The Department recommends performing routine maintenance on E&S controls located below the slips. - The Department recommends performing maintenance on the CFS located on the slope to the west of the pipeline. - The Department recommends regrading and adding temporary stabilization to areas where accelerated erosion is occurring on the slope to the west of the pipeline. | 890067 | 44022 | 102.4(b)1 - EROSION AND SEDIMENT CONTROL REQUIREMENTS - Person conducting earth disturbance activity failed to implement and maintain E & S BMPs to minimize the potential for accelerated erosion and sedimentation. | Environmental Health & Safety | 44547 | CRCTD - Corrected/Abated | N | 387318 | Notice of Violation | 44042 | 45404 | ||||||||||||
31 | CNX MIDSTREAM OPR CO LLC | 3055945 | 44022 | Incident- Response to Accident or Event | 830386 | GH TO HOPEWELL PIPELINE ESCGP GP 5 & GP 8 | Site | EP DOGO SWDO Dstr Off | KULHA, JAMES | SAIR | Violation(s) Noted | 07/10/2020: An incident inspection was conducted in response to a reported slope failure that occurred on 03/19/2020 at the GH to Hopewell pipeline located in Greene County, Center Township. Due to the COVID-19 outbreak, a site visit was not conducted by the Department at the time of notification. Findings: - Pipe placed in stream below the slip remains in place and appears to operating as planned. Photos 2-5. - Sandbags remain in place to help contain the slide and appear to be functioning properly. - Accelerated erosion observed at the bottom of the slope to the west of the pipeline. Water appears to enter a roadside ditch and then enter the stream. Photos 6-9. - CFS appears to be undercut on the slope to the west of the pipeline. Appears to be leading to accelerated erosion. Photos 10-13. - A potential small slip was observed outside the LOD on the slope to the west of the pipeline. Photo 14. - CFS located on the slope west of the pipeline appears to be beyond 50% capacity. Leading to potential breaching of CFS. Photo 16. - Infiltration berms on the western slope appear to be functioning properly. Photo 19. - Large slip observed east of the pipeline. Estimated that the slip is 70+ feet in length. Photos 20-28. - Additional cracking and accelerated erosion observed below the large slip. Photos 25-26. Violations: 105.46(b), 105.51, 102.4(b)1, 102.11(a)1, 78a53, 102.5(m)4, 102.22(b)1: Have been issued for improperly maintained E&S BMPs that potentially led to multiple slides and areas of accelerated erosion. 78a68(c)2, CSL 401, CSL 301, & CSL 307(a): Have been issued for discharged substances entering WOC due to improperly maintained E&S BMPs that potentially resulted in multiple slides and accelerated erosion. Recommendations: - The Department recommends continuing to repair the observed slips and cracking. - The Department recommends performing routine maintenance on E&S controls located below the slips. - The Department recommends performing maintenance on the CFS located on the slope to the west of the pipeline. - The Department recommends regrading and adding temporary stabilization to areas where accelerated erosion is occurring on the slope to the west of the pipeline. | 890067 | 44022 | 102.4(b)1 - EROSION AND SEDIMENT CONTROL REQUIREMENTS - Person conducting earth disturbance activity failed to implement and maintain E & S BMPs to minimize the potential for accelerated erosion and sedimentation. | Environmental Health & Safety | 44547 | CRCTD - Corrected/Abated | N | 428083 | Civil Penalty Assessment | 45404 | 134450 | 134450 | |||||||||||
32 | CNX MIDSTREAM OPR CO LLC | 3055945 | 44022 | Incident- Response to Accident or Event | 830386 | GH TO HOPEWELL PIPELINE ESCGP GP 5 & GP 8 | Site | EP DOGO SWDO Dstr Off | KULHA, JAMES | SAIR | Violation(s) Noted | 07/10/2020: An incident inspection was conducted in response to a reported slope failure that occurred on 03/19/2020 at the GH to Hopewell pipeline located in Greene County, Center Township. Due to the COVID-19 outbreak, a site visit was not conducted by the Department at the time of notification. Findings: - Pipe placed in stream below the slip remains in place and appears to operating as planned. Photos 2-5. - Sandbags remain in place to help contain the slide and appear to be functioning properly. - Accelerated erosion observed at the bottom of the slope to the west of the pipeline. Water appears to enter a roadside ditch and then enter the stream. Photos 6-9. - CFS appears to be undercut on the slope to the west of the pipeline. Appears to be leading to accelerated erosion. Photos 10-13. - A potential small slip was observed outside the LOD on the slope to the west of the pipeline. Photo 14. - CFS located on the slope west of the pipeline appears to be beyond 50% capacity. Leading to potential breaching of CFS. Photo 16. - Infiltration berms on the western slope appear to be functioning properly. Photo 19. - Large slip observed east of the pipeline. Estimated that the slip is 70+ feet in length. Photos 20-28. - Additional cracking and accelerated erosion observed below the large slip. Photos 25-26. Violations: 105.46(b), 105.51, 102.4(b)1, 102.11(a)1, 78a53, 102.5(m)4, 102.22(b)1: Have been issued for improperly maintained E&S BMPs that potentially led to multiple slides and areas of accelerated erosion. 78a68(c)2, CSL 401, CSL 301, & CSL 307(a): Have been issued for discharged substances entering WOC due to improperly maintained E&S BMPs that potentially resulted in multiple slides and accelerated erosion. Recommendations: - The Department recommends continuing to repair the observed slips and cracking. - The Department recommends performing routine maintenance on E&S controls located below the slips. - The Department recommends performing maintenance on the CFS located on the slope to the west of the pipeline. - The Department recommends regrading and adding temporary stabilization to areas where accelerated erosion is occurring on the slope to the west of the pipeline. | 890071 | 44022 | 102.22(b)1 - SITE STABILIZATION – TEMPORARY STABILIZATION – Permitee failed to temporarily stabilize the site to protect it from accelerated erosion and sedimentation where cessation of earth disturbance activities exceeded 4 days. | Environmental Health & Safety | 44547 | CRCTD - Corrected/Abated | N | 387318 | Notice of Violation | 44042 | 45404 | ||||||||||||
33 | CNX MIDSTREAM OPR CO LLC | 3055945 | 44022 | Incident- Response to Accident or Event | 830386 | GH TO HOPEWELL PIPELINE ESCGP GP 5 & GP 8 | Site | EP DOGO SWDO Dstr Off | KULHA, JAMES | SAIR | Violation(s) Noted | 07/10/2020: An incident inspection was conducted in response to a reported slope failure that occurred on 03/19/2020 at the GH to Hopewell pipeline located in Greene County, Center Township. Due to the COVID-19 outbreak, a site visit was not conducted by the Department at the time of notification. Findings: - Pipe placed in stream below the slip remains in place and appears to operating as planned. Photos 2-5. - Sandbags remain in place to help contain the slide and appear to be functioning properly. - Accelerated erosion observed at the bottom of the slope to the west of the pipeline. Water appears to enter a roadside ditch and then enter the stream. Photos 6-9. - CFS appears to be undercut on the slope to the west of the pipeline. Appears to be leading to accelerated erosion. Photos 10-13. - A potential small slip was observed outside the LOD on the slope to the west of the pipeline. Photo 14. - CFS located on the slope west of the pipeline appears to be beyond 50% capacity. Leading to potential breaching of CFS. Photo 16. - Infiltration berms on the western slope appear to be functioning properly. Photo 19. - Large slip observed east of the pipeline. Estimated that the slip is 70+ feet in length. Photos 20-28. - Additional cracking and accelerated erosion observed below the large slip. Photos 25-26. Violations: 105.46(b), 105.51, 102.4(b)1, 102.11(a)1, 78a53, 102.5(m)4, 102.22(b)1: Have been issued for improperly maintained E&S BMPs that potentially led to multiple slides and areas of accelerated erosion. 78a68(c)2, CSL 401, CSL 301, & CSL 307(a): Have been issued for discharged substances entering WOC due to improperly maintained E&S BMPs that potentially resulted in multiple slides and accelerated erosion. Recommendations: - The Department recommends continuing to repair the observed slips and cracking. - The Department recommends performing routine maintenance on E&S controls located below the slips. - The Department recommends performing maintenance on the CFS located on the slope to the west of the pipeline. - The Department recommends regrading and adding temporary stabilization to areas where accelerated erosion is occurring on the slope to the west of the pipeline. | 890074 | 44022 | CSL 301 - PROHIBITION AGAINST DISCHARGE OF INDUSTRIAL WASTES - Industrial waste discharged into Waters of the Commonwealth. | Environmental Health & Safety | 44547 | CRCTD - Corrected/Abated | N | 428083 | Civil Penalty Assessment | 45404 | 134450 | 134450 | |||||||||||
34 | CNX MIDSTREAM OPR CO LLC | 3057846 | 44029 | Follow-up Inspection | 832461 | DRY RIDGE COMP(WV) TO BUCKLAND COMP PIPELINE ESCGP ESX18-059-0033 | Site | EP DOGO SWDO Dstr Off | MILLER, BRYON | SAIR | Outstanding Violations - Viols Req'd | Today I conducted a follow inspection for violations cited in eFACTs inspection # 2973972, enforcement # 382103. The slide has not been repaired. The sediment was cleared from the channel and the area was mulched. The slide appeared to be stable as it did not increase in size. | 893568 | 44029 | 78a53 - EROSION AND SEDIMENT CONTROL AND STORMWATER MANAGEMENT - Person proposing or conducting earth disturbance activities associated with oil and gas operations failed to comply with 25 Pa. Code § 102. | Environmental Health & Safety | 44433 | CRCTD - Corrected/Abated | Y | 382103 | Notice of Violation | 43822 | 44433 | ||||||||||||
35 | CNX MIDSTREAM OPR CO LLC | 3056649 | 44029 | Follow-up Inspection | 778619 | ACAA PIPELINE 4 ESCGP-2 EXPEDITED | Site | EP DOGO SWDO Dstr Off | GRAY, BENJAMIN | SAIR | Violation(s) Noted | This inspection is taking place in response to IR 3055534 and a NOT that was denied by the Department on 7/14/2020. CNX representatives Stephanie Snedden and Andrew Kinter are accompanying. The Department showed the operator the stakes and adjacent holes as described in Inspection Report 3055534. Mr. Kinter stated that he believed the holes might be Geotech related but were not done by the operator. The operator also mentioned that they were still determining who and why the holes may have been dug. The Department recommends, that if these holes are on the project ROW, that they be filled in and restored. Concerning the ROW with the waterbars, the operator stated that Airport Security had essentially cut a travel lane through the middle of the waterbars for access. The Department requests documents verifying that the Airport Authority was utilizing the ROW for this purpose. The Department requests the inspection reports that first identify the impacts to these waterbars be submitted within 24 hours of receipt of this inspection. The operator stated that the portion of the ROW with waterbars on it, had been constructed due to concerns with an adjacent project that had not materialized. The Department recommends that the operator return the waterbars to detail specifications or contact Tech Services for a modification. Based on this inspection, the denial of the NOT from IR 3055534 stands. The as-built does not accurately reflect the current on-site conditions as such, the NOT checklist is not administratively correct. Violations are being issued for failure to maintain the waterbars. Pending the operator’s response, more violations may be issued. | 889456 | 44029 | 102.4(b)1 - EROSION AND SEDIMENT CONTROL REQUIREMENTS - Person conducting earth disturbance activity failed to implement and maintain E & S BMPs to minimize the potential for accelerated erosion and sedimentation. | Environmental Health & Safety | 44271 | CRCTD - Corrected/Abated | N | 387607 | Notice of Violation | 44029 | |||||||||||||
36 | CNX MIDSTREAM OPR CO LLC | 3057846 | 44029 | Follow-up Inspection | 832461 | DRY RIDGE COMP(WV) TO BUCKLAND COMP PIPELINE ESCGP ESX18-059-0033 | Site | EP DOGO SWDO Dstr Off | MILLER, BRYON | SAIR | Outstanding Violations - Viols Req'd | Today I conducted a follow inspection for violations cited in eFACTs inspection # 2973972, enforcement # 382103. The slide has not been repaired. The sediment was cleared from the channel and the area was mulched. The slide appeared to be stable as it did not increase in size. | 893567 | 44029 | 102.4(b)1 - EROSION AND SEDIMENT CONTROL REQUIREMENTS - Person conducting earth disturbance activity failed to implement and maintain E & S BMPs to minimize the potential for accelerated erosion and sedimentation. | Environmental Health & Safety | 44433 | CRCTD - Corrected/Abated | Y | 382103 | Notice of Violation | 43822 | 44433 | ||||||||||||
37 | CNX MIDSTREAM OPR CO LLC | 3057846 | 44029 | Follow-up Inspection | 832461 | DRY RIDGE COMP(WV) TO BUCKLAND COMP PIPELINE ESCGP ESX18-059-0033 | Site | EP DOGO SWDO Dstr Off | MILLER, BRYON | SAIR | Outstanding Violations - Viols Req'd | Today I conducted a follow inspection for violations cited in eFACTs inspection # 2973972, enforcement # 382103. The slide has not been repaired. The sediment was cleared from the channel and the area was mulched. The slide appeared to be stable as it did not increase in size. | 893566 | 44029 | 102.11(A)2 - GENERAL REQUIREMENTS – BMP AND DESIGN STANDARDS - Person failed to design, implement and maintain PCSM BMPs to mimic preconstruction stormwater runoff conditions to protect, maintain, reclaim and restore water quality and existing and designated uses. | Environmental Health & Safety | 44433 | CRCTD - Corrected/Abated | Y | 382103 | Notice of Violation | 43822 | 44433 | ||||||||||||
38 | CNX MIDSTREAM OPR CO LLC | 3057846 | 44029 | Follow-up Inspection | 832461 | DRY RIDGE COMP(WV) TO BUCKLAND COMP PIPELINE ESCGP ESX18-059-0033 | Site | EP DOGO SWDO Dstr Off | MILLER, BRYON | SAIR | Outstanding Violations - Viols Req'd | Today I conducted a follow inspection for violations cited in eFACTs inspection # 2973972, enforcement # 382103. The slide has not been repaired. The sediment was cleared from the channel and the area was mulched. The slide appeared to be stable as it did not increase in size. | 893569 | 44029 | 102.5(m)4 - PERMIT REQUIREMENTS – GENERAL PERMITS – Person failed to comply with the terms and conditions of the E & S Control General Permit. | Environmental Health & Safety | 44433 | CRCTD - Corrected/Abated | Y | 382103 | Notice of Violation | 43822 | 44433 | ||||||||||||
39 | CNX MIDSTREAM OPR CO LLC | 3057846 | 44029 | Follow-up Inspection | 832461 | DRY RIDGE COMP(WV) TO BUCKLAND COMP PIPELINE ESCGP ESX18-059-0033 | Site | EP DOGO SWDO Dstr Off | MILLER, BRYON | SAIR | Outstanding Violations - Viols Req'd | Today I conducted a follow inspection for violations cited in eFACTs inspection # 2973972, enforcement # 382103. The slide has not been repaired. The sediment was cleared from the channel and the area was mulched. The slide appeared to be stable as it did not increase in size. | 893570 | 44029 | 102.22(a) - SITE STABILIZATION – PERMANENT STABILIZATION – Permitee failed to have site permanently stabilized and protected from accelerated erosion and sedimentation upon final completion of earth disturbance activity. | Environmental Health & Safety | 44433 | CRCTD - Corrected/Abated | Y | 382103 | Notice of Violation | 43822 | 44433 | ||||||||||||
40 | CNX MIDSTREAM OPR CO LLC | 3056649 | 44029 | Follow-up Inspection | 778619 | ACAA PIPELINE 4 ESCGP-2 EXPEDITED | Site | EP DOGO SWDO Dstr Off | GRAY, BENJAMIN | SAIR | Violation(s) Noted | This inspection is taking place in response to IR 3055534 and a NOT that was denied by the Department on 7/14/2020. CNX representatives Stephanie Snedden and Andrew Kinter are accompanying. The Department showed the operator the stakes and adjacent holes as described in Inspection Report 3055534. Mr. Kinter stated that he believed the holes might be Geotech related but were not done by the operator. The operator also mentioned that they were still determining who and why the holes may have been dug. The Department recommends, that if these holes are on the project ROW, that they be filled in and restored. Concerning the ROW with the waterbars, the operator stated that Airport Security had essentially cut a travel lane through the middle of the waterbars for access. The Department requests documents verifying that the Airport Authority was utilizing the ROW for this purpose. The Department requests the inspection reports that first identify the impacts to these waterbars be submitted within 24 hours of receipt of this inspection. The operator stated that the portion of the ROW with waterbars on it, had been constructed due to concerns with an adjacent project that had not materialized. The Department recommends that the operator return the waterbars to detail specifications or contact Tech Services for a modification. Based on this inspection, the denial of the NOT from IR 3055534 stands. The as-built does not accurately reflect the current on-site conditions as such, the NOT checklist is not administratively correct. Violations are being issued for failure to maintain the waterbars. Pending the operator’s response, more violations may be issued. | 889457 | 44029 | 102.5(m)4 - PERMIT REQUIREMENTS – GENERAL PERMITS – Person failed to comply with the terms and conditions of the E & S Control General Permit. | Environmental Health & Safety | 44271 | CRCTD - Corrected/Abated | N | 387607 | Notice of Violation | 44029 | |||||||||||||
41 | CNX MIDSTREAM OPR CO LLC | 3056649 | 44029 | Follow-up Inspection | 778619 | ACAA PIPELINE 4 ESCGP-2 EXPEDITED | Site | EP DOGO SWDO Dstr Off | GRAY, BENJAMIN | SAIR | Violation(s) Noted | This inspection is taking place in response to IR 3055534 and a NOT that was denied by the Department on 7/14/2020. CNX representatives Stephanie Snedden and Andrew Kinter are accompanying. The Department showed the operator the stakes and adjacent holes as described in Inspection Report 3055534. Mr. Kinter stated that he believed the holes might be Geotech related but were not done by the operator. The operator also mentioned that they were still determining who and why the holes may have been dug. The Department recommends, that if these holes are on the project ROW, that they be filled in and restored. Concerning the ROW with the waterbars, the operator stated that Airport Security had essentially cut a travel lane through the middle of the waterbars for access. The Department requests documents verifying that the Airport Authority was utilizing the ROW for this purpose. The Department requests the inspection reports that first identify the impacts to these waterbars be submitted within 24 hours of receipt of this inspection. The operator stated that the portion of the ROW with waterbars on it, had been constructed due to concerns with an adjacent project that had not materialized. The Department recommends that the operator return the waterbars to detail specifications or contact Tech Services for a modification. Based on this inspection, the denial of the NOT from IR 3055534 stands. The as-built does not accurately reflect the current on-site conditions as such, the NOT checklist is not administratively correct. Violations are being issued for failure to maintain the waterbars. Pending the operator’s response, more violations may be issued. | 889458 | 44029 | 102.11(A)2 - GENERAL REQUIREMENTS – BMP AND DESIGN STANDARDS - Person failed to design, implement and maintain PCSM BMPs to mimic preconstruction stormwater runoff conditions to protect, maintain, reclaim and restore water quality and existing and designated uses. | Environmental Health & Safety | 44271 | CRCTD - Corrected/Abated | N | 387607 | Notice of Violation | 44029 | |||||||||||||
42 | CNX MIDSTREAM PARTNERS LP | 3057841 | 44029 | Follow-up Inspection | 822135 | RHL22 WELL CONNECT ESCGP ESX17-059-0010 GP05 & GP08 | Site | EP DOGO SWDO Dstr Off | MILLER, BRYON | SAIR | Outstanding Violations - Viols Req'd | Today I conducted a follow up inspection for the violations cited in eFACTs inspection # 2991401, enforcement # 383561. The slide has not been repaired. The slide was mulched and has some vegetative growth. The slide appeared stable due thick vegetative growth and did not increase. | 889320 | 44029 | 102.22(a) - SITE STABILIZATION – PERMANENT STABILIZATION – Permitee failed to have site permanently stabilized and protected from accelerated erosion and sedimentation upon final completion of earth disturbance activity. | Environmental Health & Safety | 44533 | CRCTD - Corrected/Abated | N | 383561 | Notice of Violation | 43865 | 44533 | ||||||||||||
43 | CNX MIDSTREAM PARTNERS LP | 3057841 | 44029 | Follow-up Inspection | 822135 | RHL22 WELL CONNECT ESCGP ESX17-059-0010 GP05 & GP08 | Site | EP DOGO SWDO Dstr Off | MILLER, BRYON | SAIR | Outstanding Violations - Viols Req'd | Today I conducted a follow up inspection for the violations cited in eFACTs inspection # 2991401, enforcement # 383561. The slide has not been repaired. The slide was mulched and has some vegetative growth. The slide appeared stable due thick vegetative growth and did not increase. | 889317 | 44029 | 78a53 - EROSION AND SEDIMENT CONTROL AND STORMWATER MANAGEMENT - Person proposing or conducting earth disturbance activities associated with oil and gas operations failed to comply with 25 Pa. Code § 102. | Environmental Health & Safety | 44533 | CRCTD - Corrected/Abated | N | 383561 | Notice of Violation | 43865 | 44533 | ||||||||||||
44 | CNX MIDSTREAM PARTNERS LP | 3057841 | 44029 | Follow-up Inspection | 822135 | RHL22 WELL CONNECT ESCGP ESX17-059-0010 GP05 & GP08 | Site | EP DOGO SWDO Dstr Off | MILLER, BRYON | SAIR | Outstanding Violations - Viols Req'd | Today I conducted a follow up inspection for the violations cited in eFACTs inspection # 2991401, enforcement # 383561. The slide has not been repaired. The slide was mulched and has some vegetative growth. The slide appeared stable due thick vegetative growth and did not increase. | 889319 | 44029 | 102.5(m)4 - PERMIT REQUIREMENTS – GENERAL PERMITS – Person failed to comply with the terms and conditions of the E & S Control General Permit. | Environmental Health & Safety | 44533 | CRCTD - Corrected/Abated | N | 383561 | Notice of Violation | 43865 | 44533 | ||||||||||||
45 | CNX MIDSTREAM PARTNERS LP | 3057841 | 44029 | Follow-up Inspection | 822135 | RHL22 WELL CONNECT ESCGP ESX17-059-0010 GP05 & GP08 | Site | EP DOGO SWDO Dstr Off | MILLER, BRYON | SAIR | Outstanding Violations - Viols Req'd | Today I conducted a follow up inspection for the violations cited in eFACTs inspection # 2991401, enforcement # 383561. The slide has not been repaired. The slide was mulched and has some vegetative growth. The slide appeared stable due thick vegetative growth and did not increase. | 889316 | 44029 | 102.11(a)1 - GENERAL REQUIREMENTS – BMP AND DESIGN STANDARDS - Person failed to design, implement and maintain E & S BMPs to minimize the potential for accelerated erosion and sedimentation to protect, maintain, reclaim and restore water quality and existing and designated uses. | Environmental Health & Safety | 44533 | CRCTD - Corrected/Abated | N | 383561 | Notice of Violation | 43865 | 44533 | ||||||||||||
46 | CNX MIDSTREAM PARTNERS LP | 3057841 | 44029 | Follow-up Inspection | 822135 | RHL22 WELL CONNECT ESCGP ESX17-059-0010 GP05 & GP08 | Site | EP DOGO SWDO Dstr Off | MILLER, BRYON | SAIR | Outstanding Violations - Viols Req'd | Today I conducted a follow up inspection for the violations cited in eFACTs inspection # 2991401, enforcement # 383561. The slide has not been repaired. The slide was mulched and has some vegetative growth. The slide appeared stable due thick vegetative growth and did not increase. | 889318 | 44029 | 102.4(b)1 - EROSION AND SEDIMENT CONTROL REQUIREMENTS - Person conducting earth disturbance activity failed to implement and maintain E & S BMPs to minimize the potential for accelerated erosion and sedimentation. | Environmental Health & Safety | 44533 | CRCTD - Corrected/Abated | N | 383561 | Notice of Violation | 43865 | 44533 | ||||||||||||
47 | CNX GAS CO LLC | 3061208 | 44041 | Incident- Response to Accident or Event | 059-27833 | BILSKI RHL28KHSM | Yes | 822232 | CNX GAS CO LLC RHL28 WELL SITE ESCGP ESX17-059-0011 | Oil & Gas Location | Primary Facility | EP DOGO SWDO Dstr Off | Greene | Richhill Township | KELLER, JOEL | SUBSAIR | Violation(s) Noted | The Department was made aware on Tuesday, July 21, 2020 by an offset adjacent unconventional well operator of a communication incident impacting the operators well. The adjacent operator reported to the Department that unconventional well, permit number 125-27326, received a measurable transfer of fluid and pressure from the RHL28-KHSM (API 059-27833), an offset unconventional well operated by CNX Gas LLC, currently undergoing hydraulic fracturing. According to the adjacent offset operator, observations of fluid and pressure were observed at the 125-27326 well beginning on or around on July 15, 2020. According to the adjacent offset operator, unconventional well permit number 125-27326, is within the zone of influence of the CNX Gas LLC, RHL28-KHSM (API 059-27833) unconventional well currently undergoing hydraulic fracturing. The adjacent operator reported to the Department that CNX Gas LLC, was notified on July 20, 2020 of the communication incident by the adjacent operator. The Department had previously received an electronic notification from CNX Gas LLC, that stimulation activities would begin on the RHL28-KHSM on Thursday, July 9, 2020 at 6:00 pm. The Department contacted CNX Gas LLC, on Tuesday July 21, 2020 regarding the communication incident. The Department informed CNX Gas LLC, of the notification and reporting requirements required by 78a.73(c). CNX Gas LLC, personnel indicated they are aware of the communication incident and are coordinating with the adjacent operator. To date, the Department has not received an electronic notification of the well communication incident in accordance with 78a.73(c). The Department reviewed the Area of Review (AOR) report deliverables as required by 78a.52a(c), and the as-drilled well plats and well records for the RHL28-KHSM (API 059-27833). According to the as-drilled plats, unconventional well permit number 125-27326 is within the AOR zone of influence of the RHL28-KHSM (API 059-27833). The AOR Summary Report information submitted to the Department on August 9, 2019 for the RHL28-KHSM (API 059-27833) failed to identify 125-27326 as an offset unconventional wells located within the AOR zone of influence. After review of all available information, the Department issuing the following violations. See Notice of Violations section below. | 890139 | 44041 | 78a73(c) - GENERAL PROVISION FOR WELL CONSTRUCTION AND OPERATION – Operator conducting hydraulic fracturing failed to follow notification procedures relating to operators of active, inactive, abandoned, and plugged and abandoned wells identified within the area of review conducted under 25 Pa. Code § 78a.52a that likely penetrate the zone of hydraulic fracturing influence. | Administrative | N | 387335 | Notice of Violation | 44043 | |||||||||
48 | CNX GAS CO LLC | 3061208 | 44041 | Incident- Response to Accident or Event | 059-27833 | BILSKI RHL28KHSM | Yes | 822232 | CNX GAS CO LLC RHL28 WELL SITE ESCGP ESX17-059-0011 | Oil & Gas Location | Primary Facility | EP DOGO SWDO Dstr Off | Greene | Richhill Township | KELLER, JOEL | SUBSAIR | Violation(s) Noted | The Department was made aware on Tuesday, July 21, 2020 by an offset adjacent unconventional well operator of a communication incident impacting the operators well. The adjacent operator reported to the Department that unconventional well, permit number 125-27326, received a measurable transfer of fluid and pressure from the RHL28-KHSM (API 059-27833), an offset unconventional well operated by CNX Gas LLC, currently undergoing hydraulic fracturing. According to the adjacent offset operator, observations of fluid and pressure were observed at the 125-27326 well beginning on or around on July 15, 2020. According to the adjacent offset operator, unconventional well permit number 125-27326, is within the zone of influence of the CNX Gas LLC, RHL28-KHSM (API 059-27833) unconventional well currently undergoing hydraulic fracturing. The adjacent operator reported to the Department that CNX Gas LLC, was notified on July 20, 2020 of the communication incident by the adjacent operator. The Department had previously received an electronic notification from CNX Gas LLC, that stimulation activities would begin on the RHL28-KHSM on Thursday, July 9, 2020 at 6:00 pm. The Department contacted CNX Gas LLC, on Tuesday July 21, 2020 regarding the communication incident. The Department informed CNX Gas LLC, of the notification and reporting requirements required by 78a.73(c). CNX Gas LLC, personnel indicated they are aware of the communication incident and are coordinating with the adjacent operator. To date, the Department has not received an electronic notification of the well communication incident in accordance with 78a.73(c). The Department reviewed the Area of Review (AOR) report deliverables as required by 78a.52a(c), and the as-drilled well plats and well records for the RHL28-KHSM (API 059-27833). According to the as-drilled plats, unconventional well permit number 125-27326 is within the AOR zone of influence of the RHL28-KHSM (API 059-27833). The AOR Summary Report information submitted to the Department on August 9, 2019 for the RHL28-KHSM (API 059-27833) failed to identify 125-27326 as an offset unconventional wells located within the AOR zone of influence. After review of all available information, the Department issuing the following violations. See Notice of Violations section below. | 890138 | 44041 | 78a52a(a)1 - AREA OF REVIEW - Operator failed to identify the surface and bottom hole locations of active well bore paths within 1,000 feet measured horizontally from the vertical well bore and 1,000 feet measured from the surface above the entire length of a horizontal well bore. | Administrative | N | 387335 | Notice of Violation | 44043 | |||||||||
49 | CNX GAS CO LLC | 3061211 | 44041 | Incident- Response to Accident or Event | 059-27830 | BILSKI RHL28GHSM | Yes | 822232 | CNX GAS CO LLC RHL28 WELL SITE ESCGP ESX17-059-0011 | Oil & Gas Location | Primary Facility | EP DOGO SWDO Dstr Off | Greene | Richhill Township | KELLER, JOEL | SUBSAIR | Violation(s) Noted | The Department was made aware on Tuesday, July 21, 2020 by an adjacent unconventional well operator of a communication incident impacting two offset unconventional wells operated by the adjacent operator. The adjacent operator reported two active producing wells, permit numbers 125-26943 and 125-26945, received a measurable transfer of fluid and pressure from the CNX Gas LLC, RHL28-GHSM (API 059-27830), an offset unconventional well currently undergoing hydraulic fracturing. According to the adjacent offset operator, observations of fluid and pressure were observed at the two wells beginning on or around on July 15, 2020. According to the adjacent offset operator, unconventional wells 125-26943 and 125-26945, are within the zone of influence of the RHL28-GHSM (API 059-27830) unconventional well currently undergoing hydraulic fracturing. The adjacent operator reported to the Department that CNX Gas LLC, was notified on July 20, 2020 of the communication incident by the adjacent operator. The Department previously received an electronic notification from CNX Gas LLC, that stimulation activities would begin on the RHL28-GHSM on Thursday, July 9, 2020 at 6:00 pm. The Department contacted CNX Gas LLC, on Tuesday July 21, 2020 regarding the communication incident. The Department informed CNX Gas LLC, of the notification and reporting requirements required by 78a.73(c). CNX Gas LLC, personnel indicated they are aware of the communication incident and are coordinating with the adjacent operator. To date, the Department has not received an electronic notification of the well communication incident in accordance with 78a.73(c). The Department reviewed the Area of Review (AOR) report deliverables as required by 78a.52a(c) and the as-drilled well plats and well records for the RHL28-GHSM (API 059-27830). According to the as drilled plats, 125-26943 and 125-26945 are within the AOR zone of influence of the RHL28-GHSM (API 059-27830). The AOR Summary Report information submitted to the Department on August 9, 2019 for the RHL28-GHSM (API 059-27830) failed to identify 125-26943 and 125-26945 as offset unconventional wells located within the zone of influence. After review of all available information, the Department issuing the following violations. See Notice of Violations section below. | 890144 | 44041 | 78a52a(a)1 - AREA OF REVIEW - Operator failed to identify the surface and bottom hole locations of active well bore paths within 1,000 feet measured horizontally from the vertical well bore and 1,000 feet measured from the surface above the entire length of a horizontal well bore. | Administrative | N | 387337 | Notice of Violation | 44043 | |||||||||
50 | CNX GAS CO LLC | 3061211 | 44041 | Incident- Response to Accident or Event | 059-27830 | BILSKI RHL28GHSM | Yes | 822232 | CNX GAS CO LLC RHL28 WELL SITE ESCGP ESX17-059-0011 | Oil & Gas Location | Primary Facility | EP DOGO SWDO Dstr Off | Greene | Richhill Township | KELLER, JOEL | SUBSAIR | Violation(s) Noted | The Department was made aware on Tuesday, July 21, 2020 by an adjacent unconventional well operator of a communication incident impacting two offset unconventional wells operated by the adjacent operator. The adjacent operator reported two active producing wells, permit numbers 125-26943 and 125-26945, received a measurable transfer of fluid and pressure from the CNX Gas LLC, RHL28-GHSM (API 059-27830), an offset unconventional well currently undergoing hydraulic fracturing. According to the adjacent offset operator, observations of fluid and pressure were observed at the two wells beginning on or around on July 15, 2020. According to the adjacent offset operator, unconventional wells 125-26943 and 125-26945, are within the zone of influence of the RHL28-GHSM (API 059-27830) unconventional well currently undergoing hydraulic fracturing. The adjacent operator reported to the Department that CNX Gas LLC, was notified on July 20, 2020 of the communication incident by the adjacent operator. The Department previously received an electronic notification from CNX Gas LLC, that stimulation activities would begin on the RHL28-GHSM on Thursday, July 9, 2020 at 6:00 pm. The Department contacted CNX Gas LLC, on Tuesday July 21, 2020 regarding the communication incident. The Department informed CNX Gas LLC, of the notification and reporting requirements required by 78a.73(c). CNX Gas LLC, personnel indicated they are aware of the communication incident and are coordinating with the adjacent operator. To date, the Department has not received an electronic notification of the well communication incident in accordance with 78a.73(c). The Department reviewed the Area of Review (AOR) report deliverables as required by 78a.52a(c) and the as-drilled well plats and well records for the RHL28-GHSM (API 059-27830). According to the as drilled plats, 125-26943 and 125-26945 are within the AOR zone of influence of the RHL28-GHSM (API 059-27830). The AOR Summary Report information submitted to the Department on August 9, 2019 for the RHL28-GHSM (API 059-27830) failed to identify 125-26943 and 125-26945 as offset unconventional wells located within the zone of influence. After review of all available information, the Department issuing the following violations. See Notice of Violations section below. | 890143 | 44041 | 78A73(C)___ - GENERAL PROVISION FOR WELL CONSTRUCTION AND OPERATION – The operator failed to immediately electronically notify the Department of any change to a well being monitored, of any treatment pressure or volume changes indicative of abnormal fracture propagation at the well being stimulated or if otherwise made aware of a confirmed well communication incident associated with their stimulation activities. | Environmental Health & Safety | N | 387337 | Notice of Violation | 44043 | |||||||||
51 | CNX GAS CO LLC | 3061211 | 44041 | Incident- Response to Accident or Event | 059-27830 | BILSKI RHL28GHSM | Yes | 822232 | CNX GAS CO LLC RHL28 WELL SITE ESCGP ESX17-059-0011 | Oil & Gas Location | Primary Facility | EP DOGO SWDO Dstr Off | Greene | Richhill Township | KELLER, JOEL | SUBSAIR | Violation(s) Noted | The Department was made aware on Tuesday, July 21, 2020 by an adjacent unconventional well operator of a communication incident impacting two offset unconventional wells operated by the adjacent operator. The adjacent operator reported two active producing wells, permit numbers 125-26943 and 125-26945, received a measurable transfer of fluid and pressure from the CNX Gas LLC, RHL28-GHSM (API 059-27830), an offset unconventional well currently undergoing hydraulic fracturing. According to the adjacent offset operator, observations of fluid and pressure were observed at the two wells beginning on or around on July 15, 2020. According to the adjacent offset operator, unconventional wells 125-26943 and 125-26945, are within the zone of influence of the RHL28-GHSM (API 059-27830) unconventional well currently undergoing hydraulic fracturing. The adjacent operator reported to the Department that CNX Gas LLC, was notified on July 20, 2020 of the communication incident by the adjacent operator. The Department previously received an electronic notification from CNX Gas LLC, that stimulation activities would begin on the RHL28-GHSM on Thursday, July 9, 2020 at 6:00 pm. The Department contacted CNX Gas LLC, on Tuesday July 21, 2020 regarding the communication incident. The Department informed CNX Gas LLC, of the notification and reporting requirements required by 78a.73(c). CNX Gas LLC, personnel indicated they are aware of the communication incident and are coordinating with the adjacent operator. To date, the Department has not received an electronic notification of the well communication incident in accordance with 78a.73(c). The Department reviewed the Area of Review (AOR) report deliverables as required by 78a.52a(c) and the as-drilled well plats and well records for the RHL28-GHSM (API 059-27830). According to the as drilled plats, 125-26943 and 125-26945 are within the AOR zone of influence of the RHL28-GHSM (API 059-27830). The AOR Summary Report information submitted to the Department on August 9, 2019 for the RHL28-GHSM (API 059-27830) failed to identify 125-26943 and 125-26945 as offset unconventional wells located within the zone of influence. After review of all available information, the Department issuing the following violations. See Notice of Violations section below. | 890145 | 44041 | 78a73(c) - GENERAL PROVISION FOR WELL CONSTRUCTION AND OPERATION – Operator conducting hydraulic fracturing failed to follow notification procedures relating to operators of active, inactive, abandoned, and plugged and abandoned wells identified within the area of review conducted under 25 Pa. Code § 78a.52a that likely penetrate the zone of hydraulic fracturing influence. | Administrative | N | 387337 | Notice of Violation | 44043 | |||||||||
52 | CNX GAS CO LLC | 3061208 | 44041 | Incident- Response to Accident or Event | 059-27833 | BILSKI RHL28KHSM | Yes | 822232 | CNX GAS CO LLC RHL28 WELL SITE ESCGP ESX17-059-0011 | Oil & Gas Location | Primary Facility | EP DOGO SWDO Dstr Off | Greene | Richhill Township | KELLER, JOEL | SUBSAIR | Violation(s) Noted | The Department was made aware on Tuesday, July 21, 2020 by an offset adjacent unconventional well operator of a communication incident impacting the operators well. The adjacent operator reported to the Department that unconventional well, permit number 125-27326, received a measurable transfer of fluid and pressure from the RHL28-KHSM (API 059-27833), an offset unconventional well operated by CNX Gas LLC, currently undergoing hydraulic fracturing. According to the adjacent offset operator, observations of fluid and pressure were observed at the 125-27326 well beginning on or around on July 15, 2020. According to the adjacent offset operator, unconventional well permit number 125-27326, is within the zone of influence of the CNX Gas LLC, RHL28-KHSM (API 059-27833) unconventional well currently undergoing hydraulic fracturing. The adjacent operator reported to the Department that CNX Gas LLC, was notified on July 20, 2020 of the communication incident by the adjacent operator. The Department had previously received an electronic notification from CNX Gas LLC, that stimulation activities would begin on the RHL28-KHSM on Thursday, July 9, 2020 at 6:00 pm. The Department contacted CNX Gas LLC, on Tuesday July 21, 2020 regarding the communication incident. The Department informed CNX Gas LLC, of the notification and reporting requirements required by 78a.73(c). CNX Gas LLC, personnel indicated they are aware of the communication incident and are coordinating with the adjacent operator. To date, the Department has not received an electronic notification of the well communication incident in accordance with 78a.73(c). The Department reviewed the Area of Review (AOR) report deliverables as required by 78a.52a(c), and the as-drilled well plats and well records for the RHL28-KHSM (API 059-27833). According to the as-drilled plats, unconventional well permit number 125-27326 is within the AOR zone of influence of the RHL28-KHSM (API 059-27833). The AOR Summary Report information submitted to the Department on August 9, 2019 for the RHL28-KHSM (API 059-27833) failed to identify 125-27326 as an offset unconventional wells located within the AOR zone of influence. After review of all available information, the Department issuing the following violations. See Notice of Violations section below. | 890137 | 44041 | 78A73(C)___ - GENERAL PROVISION FOR WELL CONSTRUCTION AND OPERATION – The operator failed to immediately electronically notify the Department of any change to a well being monitored, of any treatment pressure or volume changes indicative of abnormal fracture propagation at the well being stimulated or if otherwise made aware of a confirmed well communication incident associated with their stimulation activities. | Environmental Health & Safety | N | 387335 | Notice of Violation | 44043 | |||||||||
53 | CNX GAS CO LLC | 3062261 | 44042 | Follow-up Inspection | 744692 | NV13CV PROJECT PHASE 1 & WELL SITE & PHASE 2:NV13 PLINE | Site | EP DOGO SWDO Dstr Off | MILLER, BRYON | SAIR | Outstanding Violations - Viols Req'd | The second slide reported on 2/12/2020 (Inspection ID: 2997080) has not been repaired and has worsened. The PCSM was clear from the sediment at the time of the inspection and was functioning properly. The violations from Inspection ID 2997080 remain outstanding. | 891820 | 44042 | 102.22(a) - SITE STABILIZATION – PERMANENT STABILIZATION – Permitee failed to have site permanently stabilized and protected from accelerated erosion and sedimentation upon final completion of earth disturbance activity. | Environmental Health & Safety | Slide | 45048 | CRCTD - Corrected/Abated | Y | 383917 | Notice of Violation | 43877 | ||||||||||||
54 | CNX GAS CO LLC | 3062261 | 44042 | Follow-up Inspection | 744692 | NV13CV PROJECT PHASE 1 & WELL SITE & PHASE 2:NV13 PLINE | Site | EP DOGO SWDO Dstr Off | MILLER, BRYON | SAIR | Outstanding Violations - Viols Req'd | The second slide reported on 2/12/2020 (Inspection ID: 2997080) has not been repaired and has worsened. The PCSM was clear from the sediment at the time of the inspection and was functioning properly. The violations from Inspection ID 2997080 remain outstanding. | 891817 | 44042 | 102.4(b)1 - EROSION AND SEDIMENT CONTROL REQUIREMENTS - Person conducting earth disturbance activity failed to implement and maintain E & S BMPs to minimize the potential for accelerated erosion and sedimentation. | Environmental Health & Safety | Slide | 45048 | CRCTD - Corrected/Abated | Y | 383917 | Notice of Violation | 43877 | ||||||||||||
55 | CNX GAS CO LLC | 3062261 | 44042 | Follow-up Inspection | 744692 | NV13CV PROJECT PHASE 1 & WELL SITE & PHASE 2:NV13 PLINE | Site | EP DOGO SWDO Dstr Off | MILLER, BRYON | SAIR | Outstanding Violations - Viols Req'd | The second slide reported on 2/12/2020 (Inspection ID: 2997080) has not been repaired and has worsened. The PCSM was clear from the sediment at the time of the inspection and was functioning properly. The violations from Inspection ID 2997080 remain outstanding. | 891818 | 44042 | 78.53 - EROSION AND SEDIMENT CONTROL - Operator failed to design, implement and maintain best management practices and an erosion and sediment control plan in accordance with 25 Pa. Code Chapter 102, during and after earthmoving or soil disturbing activities, including the activities related to siting, drilling, completing, producing, servicing and plugging, constructing, utilizing and restoring the site and access road. | Environmental Health & Safety | Slide | 45048 | CRCTD - Corrected/Abated | Y | 383917 | Notice of Violation | 43877 | ||||||||||||
56 | CNX GAS CO LLC | 3062261 | 44042 | Follow-up Inspection | 744692 | NV13CV PROJECT PHASE 1 & WELL SITE & PHASE 2:NV13 PLINE | Site | EP DOGO SWDO Dstr Off | MILLER, BRYON | SAIR | Outstanding Violations - Viols Req'd | The second slide reported on 2/12/2020 (Inspection ID: 2997080) has not been repaired and has worsened. The PCSM was clear from the sediment at the time of the inspection and was functioning properly. The violations from Inspection ID 2997080 remain outstanding. | 891816 | 44042 | 102.11(a)1 - GENERAL REQUIREMENTS – BMP AND DESIGN STANDARDS - Person failed to design, implement and maintain E & S BMPs to minimize the potential for accelerated erosion and sedimentation to protect, maintain, reclaim and restore water quality and existing and designated uses. | Environmental Health & Safety | Y | 383917 | Notice of Violation | 43877 | |||||||||||||||
57 | CNX GAS CO LLC | 3062261 | 44042 | Follow-up Inspection | 744692 | NV13CV PROJECT PHASE 1 & WELL SITE & PHASE 2:NV13 PLINE | Site | EP DOGO SWDO Dstr Off | MILLER, BRYON | SAIR | Outstanding Violations - Viols Req'd | The second slide reported on 2/12/2020 (Inspection ID: 2997080) has not been repaired and has worsened. The PCSM was clear from the sediment at the time of the inspection and was functioning properly. The violations from Inspection ID 2997080 remain outstanding. | 891819 | 44042 | 102.5(m)4 - PERMIT REQUIREMENTS – GENERAL PERMITS – Person failed to comply with the terms and conditions of the E & S Control General Permit. | Environmental Health & Safety | Slide | 45048 | CRCTD - Corrected/Abated | Y | 383917 | Notice of Violation | 43877 | ||||||||||||
58 | CNX MIDSTREAM OPR CO LLC | 3064787 | 44049 | Administrative/File Review | 727405 | NINEVEH PIPELINE ESCGP-EXPEDITED & GP05 GP08 | Site | EP DOGO SWDO Dstr Off | HIRSCH, JESSICA | SAIR | Outstanding Violations - Viols Req'd | This administrative inspection is being conducted in response to a complaint received by the Department regarding the remediation of a slope failure on the pipeline ROW. It appears the remediation work is being conducted only on the pipeline ROW although the slope failure extends off of the LOD. Per the 02/27/2020 Operator Response, CNX notes that their investigation has shown the root cause of the slope failure to be the local geology and lack of trees. The Department requests additional justification that the slope failure was not caused by pipeline construction. If the location in question exhibits "conditions ripe for naturally occurring erosion," as stated in the Operator Response, the Department further questions the Operator's decision to construct the pipeline there. Additionally, the Department requests confirmation of integrity testing on the pipe due to the impact of erosion on the pipeline ROW. On 07/20/2020, the Department received notification via email that remediation would begin at the site. Per CNX Stephanie Snedden, "CNXM will repair the erosion within our ROW under an E&S Plan since the repair is less than 5-acres and our ESCGP has already been terminated for the site. The repair will begin this week and should take abbut 7-days (weather permitting)." The Department requests an update and photographs of the remediation work, as well as a copy of the prepared E&S Plan. Violations remain outstanding for the slope failure. | 890981 | 44049 | 102.22(a) - SITE STABILIZATION – PERMANENT STABILIZATION – Permitee failed to have site permanently stabilized and protected from accelerated erosion and sedimentation upon final completion of earth disturbance activity. | Environmental Health & Safety | 44883 | CRCTD - Corrected/Abated | Y | 382924 | Notice of Violation | 43847 | 44319 | ||||||||||||
59 | CNX MIDSTREAM OPR CO LLC | 3064787 | 44049 | Administrative/File Review | 727405 | NINEVEH PIPELINE ESCGP-EXPEDITED & GP05 GP08 | Site | EP DOGO SWDO Dstr Off | HIRSCH, JESSICA | SAIR | Outstanding Violations - Viols Req'd | This administrative inspection is being conducted in response to a complaint received by the Department regarding the remediation of a slope failure on the pipeline ROW. It appears the remediation work is being conducted only on the pipeline ROW although the slope failure extends off of the LOD. Per the 02/27/2020 Operator Response, CNX notes that their investigation has shown the root cause of the slope failure to be the local geology and lack of trees. The Department requests additional justification that the slope failure was not caused by pipeline construction. If the location in question exhibits "conditions ripe for naturally occurring erosion," as stated in the Operator Response, the Department further questions the Operator's decision to construct the pipeline there. Additionally, the Department requests confirmation of integrity testing on the pipe due to the impact of erosion on the pipeline ROW. On 07/20/2020, the Department received notification via email that remediation would begin at the site. Per CNX Stephanie Snedden, "CNXM will repair the erosion within our ROW under an E&S Plan since the repair is less than 5-acres and our ESCGP has already been terminated for the site. The repair will begin this week and should take abbut 7-days (weather permitting)." The Department requests an update and photographs of the remediation work, as well as a copy of the prepared E&S Plan. Violations remain outstanding for the slope failure. | 890980 | 44049 | 78a53 - EROSION AND SEDIMENT CONTROL AND STORMWATER MANAGEMENT - Person proposing or conducting earth disturbance activities associated with oil and gas operations failed to comply with 25 Pa. Code § 102. | Environmental Health & Safety | 44883 | CRCTD - Corrected/Abated | Y | 382924 | Notice of Violation | 43847 | 44319 | ||||||||||||
60 | CNX MIDSTREAM OPR CO LLC | 3064787 | 44049 | Administrative/File Review | 727405 | NINEVEH PIPELINE ESCGP-EXPEDITED & GP05 GP08 | Site | EP DOGO SWDO Dstr Off | HIRSCH, JESSICA | SAIR | Outstanding Violations - Viols Req'd | This administrative inspection is being conducted in response to a complaint received by the Department regarding the remediation of a slope failure on the pipeline ROW. It appears the remediation work is being conducted only on the pipeline ROW although the slope failure extends off of the LOD. Per the 02/27/2020 Operator Response, CNX notes that their investigation has shown the root cause of the slope failure to be the local geology and lack of trees. The Department requests additional justification that the slope failure was not caused by pipeline construction. If the location in question exhibits "conditions ripe for naturally occurring erosion," as stated in the Operator Response, the Department further questions the Operator's decision to construct the pipeline there. Additionally, the Department requests confirmation of integrity testing on the pipe due to the impact of erosion on the pipeline ROW. On 07/20/2020, the Department received notification via email that remediation would begin at the site. Per CNX Stephanie Snedden, "CNXM will repair the erosion within our ROW under an E&S Plan since the repair is less than 5-acres and our ESCGP has already been terminated for the site. The repair will begin this week and should take abbut 7-days (weather permitting)." The Department requests an update and photographs of the remediation work, as well as a copy of the prepared E&S Plan. Violations remain outstanding for the slope failure. | 890981 | 44049 | 102.22(a) - SITE STABILIZATION – PERMANENT STABILIZATION – Permitee failed to have site permanently stabilized and protected from accelerated erosion and sedimentation upon final completion of earth disturbance activity. | Environmental Health & Safety | 44883 | CRCTD - Corrected/Abated | Y | 394084 | Compliance Order | 44319 | 44922 | ||||||||||||
61 | CNX MIDSTREAM OPR CO LLC | 3064787 | 44049 | Administrative/File Review | 727405 | NINEVEH PIPELINE ESCGP-EXPEDITED & GP05 GP08 | Site | EP DOGO SWDO Dstr Off | HIRSCH, JESSICA | SAIR | Outstanding Violations - Viols Req'd | This administrative inspection is being conducted in response to a complaint received by the Department regarding the remediation of a slope failure on the pipeline ROW. It appears the remediation work is being conducted only on the pipeline ROW although the slope failure extends off of the LOD. Per the 02/27/2020 Operator Response, CNX notes that their investigation has shown the root cause of the slope failure to be the local geology and lack of trees. The Department requests additional justification that the slope failure was not caused by pipeline construction. If the location in question exhibits "conditions ripe for naturally occurring erosion," as stated in the Operator Response, the Department further questions the Operator's decision to construct the pipeline there. Additionally, the Department requests confirmation of integrity testing on the pipe due to the impact of erosion on the pipeline ROW. On 07/20/2020, the Department received notification via email that remediation would begin at the site. Per CNX Stephanie Snedden, "CNXM will repair the erosion within our ROW under an E&S Plan since the repair is less than 5-acres and our ESCGP has already been terminated for the site. The repair will begin this week and should take abbut 7-days (weather permitting)." The Department requests an update and photographs of the remediation work, as well as a copy of the prepared E&S Plan. Violations remain outstanding for the slope failure. | 890980 | 44049 | 78a53 - EROSION AND SEDIMENT CONTROL AND STORMWATER MANAGEMENT - Person proposing or conducting earth disturbance activities associated with oil and gas operations failed to comply with 25 Pa. Code § 102. | Environmental Health & Safety | 44883 | CRCTD - Corrected/Abated | Y | 394084 | Compliance Order | 44319 | 44922 | ||||||||||||
62 | CNX GAS CO LLC | 3070848 | 44063 | Routine/Partial Inspection | 758601 | CNX SHAW PAD ESCGP-1 EXPEDITED | Site | EP DOGO SWDO Dstr Off | NORMAN, ERIC | SAIR | Violation(s) Noted | The inspection is in regards to a well development pipeline that spans from a Pump Pad near Beaver Run Reservoir to an AST on the Shaw Well Pad. Only Stations (STA) 0+00 to 5+00 are being inspected. An E&S Plan is on location near STA 4+00. Per the plans, there appear to be five temporary stream crossings along the line. Also per the plans, all five steams qualify for the §105.12 waiver due to drainage area. Therefore there are no GPs on location. There does not appear to be an active ESCGP on location either. As a result, any resulting violations and/or recommendations are being issued to the Shaw Well Site ID. During the inspection, a hose from the Pump Pad to a nearby Roll-Off Box is present within the bed and banks of the stream at Crossing #1. The Department recommends removing the hose from the stream to ensure no portions of the bed and banks are damaged. Additionally, CFS is being installed in the stream at Crossing #1. When asked, a worker stated the CFS is being installed to plan; according to the shapes on Sheet C131 of the plans this statement may be accurate which suggests the stream location is incorrect. There does not appear to be crossing-specific information in the E&S Plan or information regarding line elevation at crossings, flood elevations, or cribbing details. Additionally, the Cross Section Detail on Sheet C138 appear to depict structural support installation for a timber mat crossing as being located within the stream. A shut off valve is present between the Pump Pad and Stream Crossing #1 (Photo #1). However, there does not appear to be a shot off valve between Stream Crossings #1 and #2 (Photo #2). The Department requests the location of any and all shut off valves along the line. Due to issues with shut off valves and CFS placement and potentially inadequate design, while also taking into account the nearby drinking water reservoir and HQ watershed, the inspector is requiring the operator to contact Technical Services to determine if any permit application(s) must be submitted. The line does not appear to be marked with highly visible flagging or signs at regular intervals (Photo #2). The Department requests records of pressure tests pursuant to §78a.68b.(g). The Department requests the required inspections pursuant to §78a.68b.(i). The Department requests the location where records pursuant to §78a.68b.(m) will be kept. Please provide the requested records and location by COB August 24, 2020. | 892242 | 44063 | 78A68B(D)__ - WELL DEVELOPMENT PIPELINES – Well development pipeline crossing over a watercourse, body of water or wetland failed to have shut off valves installed on both sides of the temporary crossing. | Environmental Health & Safety | 44082 | CRCTD - Corrected/Abated | N | 396611 | Notice of Violation | 44371 | |||||||||||||
63 | CNX GAS CO LLC | 3070848 | 44063 | Routine/Partial Inspection | 758601 | CNX SHAW PAD ESCGP-1 EXPEDITED | Site | EP DOGO SWDO Dstr Off | NORMAN, ERIC | SAIR | Violation(s) Noted | The inspection is in regards to a well development pipeline that spans from a Pump Pad near Beaver Run Reservoir to an AST on the Shaw Well Pad. Only Stations (STA) 0+00 to 5+00 are being inspected. An E&S Plan is on location near STA 4+00. Per the plans, there appear to be five temporary stream crossings along the line. Also per the plans, all five steams qualify for the §105.12 waiver due to drainage area. Therefore there are no GPs on location. There does not appear to be an active ESCGP on location either. As a result, any resulting violations and/or recommendations are being issued to the Shaw Well Site ID. During the inspection, a hose from the Pump Pad to a nearby Roll-Off Box is present within the bed and banks of the stream at Crossing #1. The Department recommends removing the hose from the stream to ensure no portions of the bed and banks are damaged. Additionally, CFS is being installed in the stream at Crossing #1. When asked, a worker stated the CFS is being installed to plan; according to the shapes on Sheet C131 of the plans this statement may be accurate which suggests the stream location is incorrect. There does not appear to be crossing-specific information in the E&S Plan or information regarding line elevation at crossings, flood elevations, or cribbing details. Additionally, the Cross Section Detail on Sheet C138 appear to depict structural support installation for a timber mat crossing as being located within the stream. A shut off valve is present between the Pump Pad and Stream Crossing #1 (Photo #1). However, there does not appear to be a shot off valve between Stream Crossings #1 and #2 (Photo #2). The Department requests the location of any and all shut off valves along the line. Due to issues with shut off valves and CFS placement and potentially inadequate design, while also taking into account the nearby drinking water reservoir and HQ watershed, the inspector is requiring the operator to contact Technical Services to determine if any permit application(s) must be submitted. The line does not appear to be marked with highly visible flagging or signs at regular intervals (Photo #2). The Department requests records of pressure tests pursuant to §78a.68b.(g). The Department requests the required inspections pursuant to §78a.68b.(i). The Department requests the location where records pursuant to §78a.68b.(m) will be kept. Please provide the requested records and location by COB August 24, 2020. | 892243 | 44063 | 78a68b(f) - WELL DEVELOPMENT PIPELINES – Highly visible flagging, markers or signs failed to be placed at regular intervals, no greater than 75 feet, along the entire length of the well development pipeline. | Environmental Health & Safety | 44082 | CRCTD - Corrected/Abated | N | 396611 | Notice of Violation | 44371 | |||||||||||||
64 | CNX MIDSTREAM OPR CO LLC | 3084459 | 44099 | Follow-up Inspection | 830386 | GH TO HOPEWELL PIPELINE ESCGP GP 5 & GP 8 | Site | EP DOGO SWDO Dstr Off | KULHA, JAMES | SAIR | Outstanding Violations - Viols Req'd | 09/25/2020: - This admin inspection is being conducted in response to errors made in inspection #3076060. - The previous violations issued in inspection #3055945, enforcement #387318, pertaining to the slip remain outstanding. - Violations CSL 301, 307a, and 401 have been remediated. - The Department was notified by Stephanie Snedden of CNX on 09/22/2020, informing the Department that repairs to slip are expected to begin on 09/30/2020. | 896255 | 44099 | 105.46(b) - IMPLEMENTATION OF EROSION AND SEDIMENTATION CONTROL PLANS – Permittee failed to conduct construction in a manner to minimize erosion of banks and bed of the stream and disturbance of the regimen of the stream. | Environmental Health & Safety | 44547 | CRCTD - Corrected/Abated | N | 428083 | Civil Penalty Assessment | 45404 | 134450 | 134450 | |||||||||||
65 | CNX MIDSTREAM OPR CO LLC | 3084459 | 44099 | Follow-up Inspection | 830386 | GH TO HOPEWELL PIPELINE ESCGP GP 5 & GP 8 | Site | EP DOGO SWDO Dstr Off | KULHA, JAMES | SAIR | Outstanding Violations - Viols Req'd | 09/25/2020: - This admin inspection is being conducted in response to errors made in inspection #3076060. - The previous violations issued in inspection #3055945, enforcement #387318, pertaining to the slip remain outstanding. - Violations CSL 301, 307a, and 401 have been remediated. - The Department was notified by Stephanie Snedden of CNX on 09/22/2020, informing the Department that repairs to slip are expected to begin on 09/30/2020. | 896262 | 44099 | 78a68(c)2 - OIL AND GAS GATHERING PIPELINES – Operator failed to prevent topsoil and subsoil from entering watercourses and bodies of water. | Environmental Health & Safety | 44547 | CRCTD - Corrected/Abated | N | 387318 | Notice of Violation | 44042 | 45404 | ||||||||||||
66 | CNX MIDSTREAM OPR CO LLC | 3084459 | 44099 | Follow-up Inspection | 830386 | GH TO HOPEWELL PIPELINE ESCGP GP 5 & GP 8 | Site | EP DOGO SWDO Dstr Off | KULHA, JAMES | SAIR | Outstanding Violations - Viols Req'd | 09/25/2020: - This admin inspection is being conducted in response to errors made in inspection #3076060. - The previous violations issued in inspection #3055945, enforcement #387318, pertaining to the slip remain outstanding. - Violations CSL 301, 307a, and 401 have been remediated. - The Department was notified by Stephanie Snedden of CNX on 09/22/2020, informing the Department that repairs to slip are expected to begin on 09/30/2020. | 896262 | 44099 | 78a68(c)2 - OIL AND GAS GATHERING PIPELINES – Operator failed to prevent topsoil and subsoil from entering watercourses and bodies of water. | Environmental Health & Safety | 44547 | CRCTD - Corrected/Abated | N | 428083 | Civil Penalty Assessment | 45404 | 134450 | 134450 | |||||||||||
67 | CNX MIDSTREAM OPR CO LLC | 3084459 | 44099 | Follow-up Inspection | 830386 | GH TO HOPEWELL PIPELINE ESCGP GP 5 & GP 8 | Site | EP DOGO SWDO Dstr Off | KULHA, JAMES | SAIR | Outstanding Violations - Viols Req'd | 09/25/2020: - This admin inspection is being conducted in response to errors made in inspection #3076060. - The previous violations issued in inspection #3055945, enforcement #387318, pertaining to the slip remain outstanding. - Violations CSL 301, 307a, and 401 have been remediated. - The Department was notified by Stephanie Snedden of CNX on 09/22/2020, informing the Department that repairs to slip are expected to begin on 09/30/2020. | 896255 | 44099 | 105.46(b) - IMPLEMENTATION OF EROSION AND SEDIMENTATION CONTROL PLANS – Permittee failed to conduct construction in a manner to minimize erosion of banks and bed of the stream and disturbance of the regimen of the stream. | Environmental Health & Safety | 44547 | CRCTD - Corrected/Abated | N | 387318 | Notice of Violation | 44042 | 45404 | ||||||||||||
68 | CNX MIDSTREAM OPR CO LLC | 3084459 | 44099 | Follow-up Inspection | 830386 | GH TO HOPEWELL PIPELINE ESCGP GP 5 & GP 8 | Site | EP DOGO SWDO Dstr Off | KULHA, JAMES | SAIR | Outstanding Violations - Viols Req'd | 09/25/2020: - This admin inspection is being conducted in response to errors made in inspection #3076060. - The previous violations issued in inspection #3055945, enforcement #387318, pertaining to the slip remain outstanding. - Violations CSL 301, 307a, and 401 have been remediated. - The Department was notified by Stephanie Snedden of CNX on 09/22/2020, informing the Department that repairs to slip are expected to begin on 09/30/2020. | 896261 | 44099 | 102.22(b)1 - SITE STABILIZATION – TEMPORARY STABILIZATION – Permitee failed to temporarily stabilize the site to protect it from accelerated erosion and sedimentation where cessation of earth disturbance activities exceeded 4 days. | Environmental Health & Safety | 44547 | CRCTD - Corrected/Abated | N | 428083 | Civil Penalty Assessment | 45404 | 134450 | 134450 | |||||||||||
69 | CNX MIDSTREAM OPR CO LLC | 3084459 | 44099 | Follow-up Inspection | 830386 | GH TO HOPEWELL PIPELINE ESCGP GP 5 & GP 8 | Site | EP DOGO SWDO Dstr Off | KULHA, JAMES | SAIR | Outstanding Violations - Viols Req'd | 09/25/2020: - This admin inspection is being conducted in response to errors made in inspection #3076060. - The previous violations issued in inspection #3055945, enforcement #387318, pertaining to the slip remain outstanding. - Violations CSL 301, 307a, and 401 have been remediated. - The Department was notified by Stephanie Snedden of CNX on 09/22/2020, informing the Department that repairs to slip are expected to begin on 09/30/2020. | 896256 | 44099 | 105.51 - OPERATION AND MAINTENANCE - Permittee or owner of a water obstruction or encroachment failed to operate and maintain the facility and appurtenant structures in a safe condition in accordance with permit terms and conditions. | Environmental Health & Safety | 44547 | CRCTD - Corrected/Abated | N | 387318 | Notice of Violation | 44042 | 45404 | ||||||||||||
70 | CNX MIDSTREAM OPR CO LLC | 3084459 | 44099 | Follow-up Inspection | 830386 | GH TO HOPEWELL PIPELINE ESCGP GP 5 & GP 8 | Site | EP DOGO SWDO Dstr Off | KULHA, JAMES | SAIR | Outstanding Violations - Viols Req'd | 09/25/2020: - This admin inspection is being conducted in response to errors made in inspection #3076060. - The previous violations issued in inspection #3055945, enforcement #387318, pertaining to the slip remain outstanding. - Violations CSL 301, 307a, and 401 have been remediated. - The Department was notified by Stephanie Snedden of CNX on 09/22/2020, informing the Department that repairs to slip are expected to begin on 09/30/2020. | 896258 | 44099 | 78a53 - EROSION AND SEDIMENT CONTROL AND STORMWATER MANAGEMENT - Person proposing or conducting earth disturbance activities associated with oil and gas operations failed to comply with 25 Pa. Code § 102. | Environmental Health & Safety | 44547 | CRCTD - Corrected/Abated | N | 387318 | Notice of Violation | 44042 | 45404 | ||||||||||||
71 | CNX MIDSTREAM OPR CO LLC | 3084459 | 44099 | Follow-up Inspection | 830386 | GH TO HOPEWELL PIPELINE ESCGP GP 5 & GP 8 | Site | EP DOGO SWDO Dstr Off | KULHA, JAMES | SAIR | Outstanding Violations - Viols Req'd | 09/25/2020: - This admin inspection is being conducted in response to errors made in inspection #3076060. - The previous violations issued in inspection #3055945, enforcement #387318, pertaining to the slip remain outstanding. - Violations CSL 301, 307a, and 401 have been remediated. - The Department was notified by Stephanie Snedden of CNX on 09/22/2020, informing the Department that repairs to slip are expected to begin on 09/30/2020. | 896258 | 44099 | 78a53 - EROSION AND SEDIMENT CONTROL AND STORMWATER MANAGEMENT - Person proposing or conducting earth disturbance activities associated with oil and gas operations failed to comply with 25 Pa. Code § 102. | Environmental Health & Safety | 44547 | CRCTD - Corrected/Abated | N | 428083 | Civil Penalty Assessment | 45404 | 134450 | 134450 | |||||||||||
72 | CNX MIDSTREAM OPR CO LLC | 3084459 | 44099 | Follow-up Inspection | 830386 | GH TO HOPEWELL PIPELINE ESCGP GP 5 & GP 8 | Site | EP DOGO SWDO Dstr Off | KULHA, JAMES | SAIR | Outstanding Violations - Viols Req'd | 09/25/2020: - This admin inspection is being conducted in response to errors made in inspection #3076060. - The previous violations issued in inspection #3055945, enforcement #387318, pertaining to the slip remain outstanding. - Violations CSL 301, 307a, and 401 have been remediated. - The Department was notified by Stephanie Snedden of CNX on 09/22/2020, informing the Department that repairs to slip are expected to begin on 09/30/2020. | 896256 | 44099 | 105.51 - OPERATION AND MAINTENANCE - Permittee or owner of a water obstruction or encroachment failed to operate and maintain the facility and appurtenant structures in a safe condition in accordance with permit terms and conditions. | Environmental Health & Safety | 44547 | CRCTD - Corrected/Abated | N | 428083 | Civil Penalty Assessment | 45404 | 134450 | 134450 | |||||||||||
73 | CNX MIDSTREAM OPR CO LLC | 3084459 | 44099 | Follow-up Inspection | 830386 | GH TO HOPEWELL PIPELINE ESCGP GP 5 & GP 8 | Site | EP DOGO SWDO Dstr Off | KULHA, JAMES | SAIR | Outstanding Violations - Viols Req'd | 09/25/2020: - This admin inspection is being conducted in response to errors made in inspection #3076060. - The previous violations issued in inspection #3055945, enforcement #387318, pertaining to the slip remain outstanding. - Violations CSL 301, 307a, and 401 have been remediated. - The Department was notified by Stephanie Snedden of CNX on 09/22/2020, informing the Department that repairs to slip are expected to begin on 09/30/2020. | 896260 | 44099 | 102.5(m)4 - PERMIT REQUIREMENTS – GENERAL PERMITS – Person failed to comply with the terms and conditions of the E & S Control General Permit. | Environmental Health & Safety | 44547 | CRCTD - Corrected/Abated | N | 387318 | Notice of Violation | 44042 | 45404 | ||||||||||||
74 | CNX MIDSTREAM OPR CO LLC | 3084459 | 44099 | Follow-up Inspection | 830386 | GH TO HOPEWELL PIPELINE ESCGP GP 5 & GP 8 | Site | EP DOGO SWDO Dstr Off | KULHA, JAMES | SAIR | Outstanding Violations - Viols Req'd | 09/25/2020: - This admin inspection is being conducted in response to errors made in inspection #3076060. - The previous violations issued in inspection #3055945, enforcement #387318, pertaining to the slip remain outstanding. - Violations CSL 301, 307a, and 401 have been remediated. - The Department was notified by Stephanie Snedden of CNX on 09/22/2020, informing the Department that repairs to slip are expected to begin on 09/30/2020. | 896257 | 44099 | 102.11(a)1 - GENERAL REQUIREMENTS – BMP AND DESIGN STANDARDS - Person failed to design, implement and maintain E & S BMPs to minimize the potential for accelerated erosion and sedimentation to protect, maintain, reclaim and restore water quality and existing and designated uses. | Environmental Health & Safety | 44547 | CRCTD - Corrected/Abated | N | 387318 | Notice of Violation | 44042 | 45404 | ||||||||||||
75 | CNX MIDSTREAM OPR CO LLC | 3084459 | 44099 | Follow-up Inspection | 830386 | GH TO HOPEWELL PIPELINE ESCGP GP 5 & GP 8 | Site | EP DOGO SWDO Dstr Off | KULHA, JAMES | SAIR | Outstanding Violations - Viols Req'd | 09/25/2020: - This admin inspection is being conducted in response to errors made in inspection #3076060. - The previous violations issued in inspection #3055945, enforcement #387318, pertaining to the slip remain outstanding. - Violations CSL 301, 307a, and 401 have been remediated. - The Department was notified by Stephanie Snedden of CNX on 09/22/2020, informing the Department that repairs to slip are expected to begin on 09/30/2020. | 896257 | 44099 | 102.11(a)1 - GENERAL REQUIREMENTS – BMP AND DESIGN STANDARDS - Person failed to design, implement and maintain E & S BMPs to minimize the potential for accelerated erosion and sedimentation to protect, maintain, reclaim and restore water quality and existing and designated uses. | Environmental Health & Safety | 44547 | CRCTD - Corrected/Abated | N | 428083 | Civil Penalty Assessment | 45404 | 134450 | 134450 | |||||||||||
76 | CNX MIDSTREAM OPR CO LLC | 3084459 | 44099 | Follow-up Inspection | 830386 | GH TO HOPEWELL PIPELINE ESCGP GP 5 & GP 8 | Site | EP DOGO SWDO Dstr Off | KULHA, JAMES | SAIR | Outstanding Violations - Viols Req'd | 09/25/2020: - This admin inspection is being conducted in response to errors made in inspection #3076060. - The previous violations issued in inspection #3055945, enforcement #387318, pertaining to the slip remain outstanding. - Violations CSL 301, 307a, and 401 have been remediated. - The Department was notified by Stephanie Snedden of CNX on 09/22/2020, informing the Department that repairs to slip are expected to begin on 09/30/2020. | 896260 | 44099 | 102.5(m)4 - PERMIT REQUIREMENTS – GENERAL PERMITS – Person failed to comply with the terms and conditions of the E & S Control General Permit. | Environmental Health & Safety | 44547 | CRCTD - Corrected/Abated | N | 428083 | Civil Penalty Assessment | 45404 | 134450 | 134450 | |||||||||||
77 | CNX MIDSTREAM OPR CO LLC | 3084459 | 44099 | Follow-up Inspection | 830386 | GH TO HOPEWELL PIPELINE ESCGP GP 5 & GP 8 | Site | EP DOGO SWDO Dstr Off | KULHA, JAMES | SAIR | Outstanding Violations - Viols Req'd | 09/25/2020: - This admin inspection is being conducted in response to errors made in inspection #3076060. - The previous violations issued in inspection #3055945, enforcement #387318, pertaining to the slip remain outstanding. - Violations CSL 301, 307a, and 401 have been remediated. - The Department was notified by Stephanie Snedden of CNX on 09/22/2020, informing the Department that repairs to slip are expected to begin on 09/30/2020. | 896259 | 44099 | 102.4(b)1 - EROSION AND SEDIMENT CONTROL REQUIREMENTS - Person conducting earth disturbance activity failed to implement and maintain E & S BMPs to minimize the potential for accelerated erosion and sedimentation. | Environmental Health & Safety | 44547 | CRCTD - Corrected/Abated | N | 387318 | Notice of Violation | 44042 | 45404 | ||||||||||||
78 | CNX MIDSTREAM OPR CO LLC | 3084459 | 44099 | Follow-up Inspection | 830386 | GH TO HOPEWELL PIPELINE ESCGP GP 5 & GP 8 | Site | EP DOGO SWDO Dstr Off | KULHA, JAMES | SAIR | Outstanding Violations - Viols Req'd | 09/25/2020: - This admin inspection is being conducted in response to errors made in inspection #3076060. - The previous violations issued in inspection #3055945, enforcement #387318, pertaining to the slip remain outstanding. - Violations CSL 301, 307a, and 401 have been remediated. - The Department was notified by Stephanie Snedden of CNX on 09/22/2020, informing the Department that repairs to slip are expected to begin on 09/30/2020. | 896259 | 44099 | 102.4(b)1 - EROSION AND SEDIMENT CONTROL REQUIREMENTS - Person conducting earth disturbance activity failed to implement and maintain E & S BMPs to minimize the potential for accelerated erosion and sedimentation. | Environmental Health & Safety | 44547 | CRCTD - Corrected/Abated | N | 428083 | Civil Penalty Assessment | 45404 | 134450 | 134450 | |||||||||||
79 | CNX MIDSTREAM OPR CO LLC | 3084459 | 44099 | Follow-up Inspection | 830386 | GH TO HOPEWELL PIPELINE ESCGP GP 5 & GP 8 | Site | EP DOGO SWDO Dstr Off | KULHA, JAMES | SAIR | Outstanding Violations - Viols Req'd | 09/25/2020: - This admin inspection is being conducted in response to errors made in inspection #3076060. - The previous violations issued in inspection #3055945, enforcement #387318, pertaining to the slip remain outstanding. - Violations CSL 301, 307a, and 401 have been remediated. - The Department was notified by Stephanie Snedden of CNX on 09/22/2020, informing the Department that repairs to slip are expected to begin on 09/30/2020. | 896261 | 44099 | 102.22(b)1 - SITE STABILIZATION – TEMPORARY STABILIZATION – Permitee failed to temporarily stabilize the site to protect it from accelerated erosion and sedimentation where cessation of earth disturbance activities exceeded 4 days. | Environmental Health & Safety | 44547 | CRCTD - Corrected/Abated | N | 387318 | Notice of Violation | 44042 | 45404 | ||||||||||||
80 | CNX GAS CO LLC | 3089421 | 44109 | Administrative/File Review | 125-28845 | MUSOLINO NV62NHSM | Yes | 781800 | NV62 WELL SITE ESGP-2 | Oil & Gas Location | Primary Facility | EP DOGO SWDO Dstr Off | Washington | East Finley Township | DILLIE, BENJAMIN | SUBSAIR | Violation(s) Noted | Based on a phone call with the operator on October 5, 2020, the Department determined that the operator is not in conformance with notification requirements in the 2012 Oil and Gas Act (58 Pa. C.S. §§ 3201-3274). The operator began stimulation operations on September 25, 2020, without prior notification to the Department through the electronic greenport notification system. A violation of OGA3211(f)(2) has been issued for failing to notify the Department prior to starting Frac operations. | 896212 | 44109 | OGA3211(F2) - WELL PERMITS - DRILLING - Failure to notify DEP 24 hours prior to cementing casing strings, pressure testing of production casing, stimulation of well or plugging of an unconventional well. | Administrative | N | 389164 | Notice of Violation | 44110 | |||||||||
81 | CNX GAS CO LLC | 3089425 | 44109 | Administrative/File Review | 125-28706 | MUSOLINO NV62DHSM | Yes | 781800 | NV62 WELL SITE ESGP-2 | Oil & Gas Location | Primary Facility | EP DOGO SWDO Dstr Off | Washington | East Finley Township | DILLIE, BENJAMIN | SUBSAIR | Violation(s) Noted | Based on a phone call with the operator on October 5, 2020, the Department determined that the operator is not in conformance with notification requirements in the 2012 Oil and Gas Act (58 Pa. C.S. §§ 3201-3274). The operator began stimulation operations on September 25, 2020, without prior notification to the Department through the electronic greenport notification system. A violation of OGA3211(f)(2) has been issued for failing to notify the Department prior to starting Frac operations. | 896267 | 44109 | OGA3211(F2) - WELL PERMITS - DRILLING - Failure to notify DEP 24 hours prior to cementing casing strings, pressure testing of production casing, stimulation of well or plugging of an unconventional well. | Administrative | N | 389174 | Notice of Violation | 44110 | |||||||||
82 | CNX GAS CO LLC | 3089422 | 44109 | Administrative/File Review | 125-28733 | MUSOLINO NV62BHSM | Yes | 781800 | NV62 WELL SITE ESGP-2 | Oil & Gas Location | Primary Facility | EP DOGO SWDO Dstr Off | Washington | East Finley Township | DILLIE, BENJAMIN | SUBSAIR | Violation(s) Noted | Based on a phone call with the operator on October 5, 2020, the Department determined that the operator is not in conformance with notification requirements in the 2012 Oil and Gas Act (58 Pa. C.S. §§ 3201-3274). The operator began stimulation operations on September 25, 2020, without prior notification to the Department through the electronic greenport notification system. A violation of OGA3211(f)(2) has been issued for failing to notify the Department prior to starting Frac operations. | 896214 | 44109 | OGA3211(F2) - WELL PERMITS - DRILLING - Failure to notify DEP 24 hours prior to cementing casing strings, pressure testing of production casing, stimulation of well or plugging of an unconventional well. | Administrative | 44124 | VACTD - Vacated | N | 389165 | Notice of Violation | 44110 | 44270 | ||||||
83 | CNX GAS CO LLC | 3089424 | 44109 | Administrative/File Review | 125-28705 | MUSOLINO NV62CHSM | Yes | 781800 | NV62 WELL SITE ESGP-2 | Oil & Gas Location | Primary Facility | EP DOGO SWDO Dstr Off | Washington | East Finley Township | DILLIE, BENJAMIN | SUBSAIR | Violation(s) Noted | Based on a phone call with the operator on October 5, 2020, the Department determined that the operator is not in conformance with notification requirements in the 2012 Oil and Gas Act (58 Pa. C.S. §§ 3201-3274). The operator began stimulation operations on September 25, 2020, without prior notification to the Department through the electronic greenport notification system. A violation of OGA3211(f)(2) has been issued for failing to notify the Department prior to starting Frac operations. | 896217 | 44109 | OGA3211(F2) - WELL PERMITS - DRILLING - Failure to notify DEP 24 hours prior to cementing casing strings, pressure testing of production casing, stimulation of well or plugging of an unconventional well. | Administrative | 44124 | VACTD - Vacated | N | 389167 | Notice of Violation | 44110 | 44270 | ||||||
84 | CNX GAS CO LLC | 3089426 | 44109 | Administrative/File Review | 125-28732 | MUSOLINO NV62AHSM | Yes | 781800 | NV62 WELL SITE ESGP-2 | Oil & Gas Location | Primary Facility | EP DOGO SWDO Dstr Off | Washington | East Finley Township | DILLIE, BENJAMIN | SUBSAIR | Violation(s) Noted | Based on a phone call with the operator on October 5, 2020, the Department determined that the operator is not in conformance with notification requirements in the 2012 Oil and Gas Act (58 Pa. C.S. §§ 3201-3274). The operator began stimulation operations on September 25, 2020, without prior notification to the Department through the electronic greenport notification system. A violation of OGA3211(f)(2) has been issued for failing to notify the Department prior to starting Frac operations. | 896269 | 44109 | OGA3211(F2) - WELL PERMITS - DRILLING - Failure to notify DEP 24 hours prior to cementing casing strings, pressure testing of production casing, stimulation of well or plugging of an unconventional well. | Administrative | 44124 | VACTD - Vacated | N | 389175 | Notice of Violation | 44110 | 44270 | ||||||
85 | CNX GAS CO LLC | 3089423 | 44109 | Administrative/File Review | 125-28844 | MUSOLINO NV62MHSM | Yes | 781800 | NV62 WELL SITE ESGP-2 | Oil & Gas Location | Primary Facility | EP DOGO SWDO Dstr Off | Washington | East Finley Township | DILLIE, BENJAMIN | SUBSAIR | Violation(s) Noted | Based on a phone call with the operator on October 5, 2020, the Department determined that the operator is not in conformance with notification requirements in the 2012 Oil and Gas Act (58 Pa. C.S. §§ 3201-3274). The operator began stimulation operations on September 25, 2020, without prior notification to the Department through the electronic greenport notification system. A violation of OGA3211(f)(2) has been issued for failing to notify the Department prior to starting Frac operations. | 896216 | 44109 | OGA3211(F2) - WELL PERMITS - DRILLING - Failure to notify DEP 24 hours prior to cementing casing strings, pressure testing of production casing, stimulation of well or plugging of an unconventional well. | Administrative | N | 389166 | Notice of Violation | 44110 | |||||||||
86 | CNX GAS CO LLC | 3092245 | 44117 | Administrative/File Review | 059-25290 | CONRHEIN NV15ECV | Yes | 783020 | NINEVEH PROJ PH6 NV15CV WELL SITE OG ESCGP | Oil & Gas Location | Primary Facility | EP DOGO SWDO Dstr Off | Greene | Morris Township | KELLER, JOEL | SUBSAIR | Viol(s) Noted & Immediately Corrected | CNX Gas Company LLC, notified the Department on October 12, 2020 that plugging operations had commenced on the Cornhein NV15ECV well, permit number 059-25290 without proper notifications to the Department and coal owners. According to the operator, incorrect site diagrams led to operations personnel rigging up and beginning plugging operations on the Cornhein NV15ECV instead of the Cornhein NV15DCV well. CNX Gas Company LLC, previously submitted a notice and relevant information to begin plugging the Cornhein NV15DCV well. On October 13, 2020 the operator submitted a Notice of Intent to plug, a well location plat, and the previously approved alternate method of plugging for the Cornhein NV15ECV well. The Notice of Intent form included the signatures of the coal owners. The operator submitted an electronic plugging notification to the Department on October 13, 2020. The violations listed below have been immediately corrected by the operator. Due to the COVID-19 Pandemic an administrative inspection is being completed to document the violations. | 897478 | 44117 | OGA3220(B) - PLUGGING REQUIREMENTS - Failure to notify DEP, the coal operator, lessee and owner prior to plugging a well underlain by coal and submit a plat. | Administrative | N | ||||||||||||
87 | CNX GAS CO LLC | 3092245 | 44117 | Administrative/File Review | 059-25290 | CONRHEIN NV15ECV | Yes | 783020 | NINEVEH PROJ PH6 NV15CV WELL SITE OG ESCGP | Oil & Gas Location | Primary Facility | EP DOGO SWDO Dstr Off | Greene | Morris Township | KELLER, JOEL | SUBSAIR | Viol(s) Noted & Immediately Corrected | CNX Gas Company LLC, notified the Department on October 12, 2020 that plugging operations had commenced on the Cornhein NV15ECV well, permit number 059-25290 without proper notifications to the Department and coal owners. According to the operator, incorrect site diagrams led to operations personnel rigging up and beginning plugging operations on the Cornhein NV15ECV instead of the Cornhein NV15DCV well. CNX Gas Company LLC, previously submitted a notice and relevant information to begin plugging the Cornhein NV15DCV well. On October 13, 2020 the operator submitted a Notice of Intent to plug, a well location plat, and the previously approved alternate method of plugging for the Cornhein NV15ECV well. The Notice of Intent form included the signatures of the coal owners. The operator submitted an electronic plugging notification to the Department on October 13, 2020. The violations listed below have been immediately corrected by the operator. Due to the COVID-19 Pandemic an administrative inspection is being completed to document the violations. | 897479 | 44117 | OGA3211(F2) - WELL PERMITS - DRILLING - Failure to notify DEP 24 hours prior to cementing casing strings, pressure testing of production casing, stimulation of well or plugging of an unconventional well. | Administrative | N | ||||||||||||
88 | CNX GAS CO LLC | 3093736 | 44119 | Routine/Complete Inspection | 778333 | ACAA WELL PAD 1 ESCGP-2 EXPEDITED | Site | EP DOGO SWDO Dstr Off | GRAY, BENJAMIN | SAIR | Viol(s) Noted & Immediately Corrected | This inspection is taking place in response to a NOT submitted by the operator on September 3, 2020. The permit for this site originally expired on 1/9/2019. Operator representative Stephanie Snedden arrived during the course of the inspection of the pad. She did not accompany this Inspector during the inspection of the access road. The site appears to be constructed and equipped for production (Photo 3). An Act 9 Sign is present at the public road as well as at the entrance to the well pad itself (Photo 1 & 2). The on-site plans did not match the as-built drawings provided by the Operator. This was corrected immediately by the operator. While there are two mailboxes associated with the site, the most up to date plan drawings are in a pelican case adjacent to the Act 9 sign nearest the well pad (Photo 2). The well site appears to be stabilized with sufficient vegetative cover. No accelerated erosion or inoperable PCSM features are observed associated with the well pad. This includes Infiltration Berms 2.1, 1.1, 1.2, & 3.1 (Photo 9 & 13). What appears to be two aquatic features are observed, one on the northeast corner of the pad and one on the south corner (Photo 5, 11, & 12). The Department requests that these be delineated and identified on the plans. There does appear to be some disturbance above Infiltration Berm 1.2 (Photo 8 & 10). This was reported to the Department via email on 10/7/2020. The operator appears to have remediated the disturbance; the Department recommends that the operator monitor this area until it is stabilized. The access road appears to be in good condition with no accelerated erosion observed on its surface. Riprap Apron and Culvert 3 appears to have developed an accelerated erosion channel off its left side (Photo 19). The Department notified operator representative Stephanie Snedden by phone of this observation and was told that this would be remediated as soon as possible. Pictures provided by the operator appear to show the remediation of that deficiency. Additionally, cross culvert 2 appears to be inundated with debris on both the inlet and outlet portions of the pipe (Photo 17 & 18). The Department recommends that maintenance be conducted on this pipe to keep it clear and functioning as designed. Based on this inspection, the violations associated with the NOT will be closed as corrected/abated. Violations for the accelerated erosion will be noted as immediately corrected. The NOT is being approved. | 897187 | 44119 | 102.22(a) - SITE STABILIZATION – PERMANENT STABILIZATION – Permitee failed to have site permanently stabilized and protected from accelerated erosion and sedimentation upon final completion of earth disturbance activity. | Environmental Health & Safety | 44119 | CRCTD - Corrected/Abated | N | 399939 | Consent Assessment of Civil Penalty | 44544 | 44544 | Completed | 44544 | COMP - Completed | 53760 | 53760 | |||||||
89 | CNX GAS CO LLC | 3093736 | 44119 | Routine/Complete Inspection | 778333 | ACAA WELL PAD 1 ESCGP-2 EXPEDITED | Site | EP DOGO SWDO Dstr Off | GRAY, BENJAMIN | SAIR | Viol(s) Noted & Immediately Corrected | This inspection is taking place in response to a NOT submitted by the operator on September 3, 2020. The permit for this site originally expired on 1/9/2019. Operator representative Stephanie Snedden arrived during the course of the inspection of the pad. She did not accompany this Inspector during the inspection of the access road. The site appears to be constructed and equipped for production (Photo 3). An Act 9 Sign is present at the public road as well as at the entrance to the well pad itself (Photo 1 & 2). The on-site plans did not match the as-built drawings provided by the Operator. This was corrected immediately by the operator. While there are two mailboxes associated with the site, the most up to date plan drawings are in a pelican case adjacent to the Act 9 sign nearest the well pad (Photo 2). The well site appears to be stabilized with sufficient vegetative cover. No accelerated erosion or inoperable PCSM features are observed associated with the well pad. This includes Infiltration Berms 2.1, 1.1, 1.2, & 3.1 (Photo 9 & 13). What appears to be two aquatic features are observed, one on the northeast corner of the pad and one on the south corner (Photo 5, 11, & 12). The Department requests that these be delineated and identified on the plans. There does appear to be some disturbance above Infiltration Berm 1.2 (Photo 8 & 10). This was reported to the Department via email on 10/7/2020. The operator appears to have remediated the disturbance; the Department recommends that the operator monitor this area until it is stabilized. The access road appears to be in good condition with no accelerated erosion observed on its surface. Riprap Apron and Culvert 3 appears to have developed an accelerated erosion channel off its left side (Photo 19). The Department notified operator representative Stephanie Snedden by phone of this observation and was told that this would be remediated as soon as possible. Pictures provided by the operator appear to show the remediation of that deficiency. Additionally, cross culvert 2 appears to be inundated with debris on both the inlet and outlet portions of the pipe (Photo 17 & 18). The Department recommends that maintenance be conducted on this pipe to keep it clear and functioning as designed. Based on this inspection, the violations associated with the NOT will be closed as corrected/abated. Violations for the accelerated erosion will be noted as immediately corrected. The NOT is being approved. | 897184 | 44119 | 102.11(a)1 - GENERAL REQUIREMENTS – BMP AND DESIGN STANDARDS - Person failed to design, implement and maintain E & S BMPs to minimize the potential for accelerated erosion and sedimentation to protect, maintain, reclaim and restore water quality and existing and designated uses. | Environmental Health & Safety | 44119 | CRCTD - Corrected/Abated | N | 377084 | Notice of Violation | 43655 | 44544 | ||||||||||||
90 | CNX GAS CO LLC | 3093736 | 44119 | Routine/Complete Inspection | 778333 | ACAA WELL PAD 1 ESCGP-2 EXPEDITED | Site | EP DOGO SWDO Dstr Off | GRAY, BENJAMIN | SAIR | Viol(s) Noted & Immediately Corrected | This inspection is taking place in response to a NOT submitted by the operator on September 3, 2020. The permit for this site originally expired on 1/9/2019. Operator representative Stephanie Snedden arrived during the course of the inspection of the pad. She did not accompany this Inspector during the inspection of the access road. The site appears to be constructed and equipped for production (Photo 3). An Act 9 Sign is present at the public road as well as at the entrance to the well pad itself (Photo 1 & 2). The on-site plans did not match the as-built drawings provided by the Operator. This was corrected immediately by the operator. While there are two mailboxes associated with the site, the most up to date plan drawings are in a pelican case adjacent to the Act 9 sign nearest the well pad (Photo 2). The well site appears to be stabilized with sufficient vegetative cover. No accelerated erosion or inoperable PCSM features are observed associated with the well pad. This includes Infiltration Berms 2.1, 1.1, 1.2, & 3.1 (Photo 9 & 13). What appears to be two aquatic features are observed, one on the northeast corner of the pad and one on the south corner (Photo 5, 11, & 12). The Department requests that these be delineated and identified on the plans. There does appear to be some disturbance above Infiltration Berm 1.2 (Photo 8 & 10). This was reported to the Department via email on 10/7/2020. The operator appears to have remediated the disturbance; the Department recommends that the operator monitor this area until it is stabilized. The access road appears to be in good condition with no accelerated erosion observed on its surface. Riprap Apron and Culvert 3 appears to have developed an accelerated erosion channel off its left side (Photo 19). The Department notified operator representative Stephanie Snedden by phone of this observation and was told that this would be remediated as soon as possible. Pictures provided by the operator appear to show the remediation of that deficiency. Additionally, cross culvert 2 appears to be inundated with debris on both the inlet and outlet portions of the pipe (Photo 17 & 18). The Department recommends that maintenance be conducted on this pipe to keep it clear and functioning as designed. Based on this inspection, the violations associated with the NOT will be closed as corrected/abated. Violations for the accelerated erosion will be noted as immediately corrected. The NOT is being approved. | 897186 | 44119 | 78a53 - EROSION AND SEDIMENT CONTROL AND STORMWATER MANAGEMENT - Person proposing or conducting earth disturbance activities associated with oil and gas operations failed to comply with 25 Pa. Code § 102. | Environmental Health & Safety | 44119 | CRCTD - Corrected/Abated | N | 377084 | Notice of Violation | 43655 | 44544 | ||||||||||||
91 | CNX GAS CO LLC | 3093736 | 44119 | Routine/Complete Inspection | 778333 | ACAA WELL PAD 1 ESCGP-2 EXPEDITED | Site | EP DOGO SWDO Dstr Off | GRAY, BENJAMIN | SAIR | Viol(s) Noted & Immediately Corrected | This inspection is taking place in response to a NOT submitted by the operator on September 3, 2020. The permit for this site originally expired on 1/9/2019. Operator representative Stephanie Snedden arrived during the course of the inspection of the pad. She did not accompany this Inspector during the inspection of the access road. The site appears to be constructed and equipped for production (Photo 3). An Act 9 Sign is present at the public road as well as at the entrance to the well pad itself (Photo 1 & 2). The on-site plans did not match the as-built drawings provided by the Operator. This was corrected immediately by the operator. While there are two mailboxes associated with the site, the most up to date plan drawings are in a pelican case adjacent to the Act 9 sign nearest the well pad (Photo 2). The well site appears to be stabilized with sufficient vegetative cover. No accelerated erosion or inoperable PCSM features are observed associated with the well pad. This includes Infiltration Berms 2.1, 1.1, 1.2, & 3.1 (Photo 9 & 13). What appears to be two aquatic features are observed, one on the northeast corner of the pad and one on the south corner (Photo 5, 11, & 12). The Department requests that these be delineated and identified on the plans. There does appear to be some disturbance above Infiltration Berm 1.2 (Photo 8 & 10). This was reported to the Department via email on 10/7/2020. The operator appears to have remediated the disturbance; the Department recommends that the operator monitor this area until it is stabilized. The access road appears to be in good condition with no accelerated erosion observed on its surface. Riprap Apron and Culvert 3 appears to have developed an accelerated erosion channel off its left side (Photo 19). The Department notified operator representative Stephanie Snedden by phone of this observation and was told that this would be remediated as soon as possible. Pictures provided by the operator appear to show the remediation of that deficiency. Additionally, cross culvert 2 appears to be inundated with debris on both the inlet and outlet portions of the pipe (Photo 17 & 18). The Department recommends that maintenance be conducted on this pipe to keep it clear and functioning as designed. Based on this inspection, the violations associated with the NOT will be closed as corrected/abated. Violations for the accelerated erosion will be noted as immediately corrected. The NOT is being approved. | 897186 | 44119 | 78a53 - EROSION AND SEDIMENT CONTROL AND STORMWATER MANAGEMENT - Person proposing or conducting earth disturbance activities associated with oil and gas operations failed to comply with 25 Pa. Code § 102. | Environmental Health & Safety | 44119 | CRCTD - Corrected/Abated | N | 399939 | Consent Assessment of Civil Penalty | 44544 | 44544 | Completed | 44544 | COMP - Completed | 53760 | 53760 | |||||||
92 | CNX GAS CO LLC | 3093736 | 44119 | Routine/Complete Inspection | 778333 | ACAA WELL PAD 1 ESCGP-2 EXPEDITED | Site | EP DOGO SWDO Dstr Off | GRAY, BENJAMIN | SAIR | Viol(s) Noted & Immediately Corrected | This inspection is taking place in response to a NOT submitted by the operator on September 3, 2020. The permit for this site originally expired on 1/9/2019. Operator representative Stephanie Snedden arrived during the course of the inspection of the pad. She did not accompany this Inspector during the inspection of the access road. The site appears to be constructed and equipped for production (Photo 3). An Act 9 Sign is present at the public road as well as at the entrance to the well pad itself (Photo 1 & 2). The on-site plans did not match the as-built drawings provided by the Operator. This was corrected immediately by the operator. While there are two mailboxes associated with the site, the most up to date plan drawings are in a pelican case adjacent to the Act 9 sign nearest the well pad (Photo 2). The well site appears to be stabilized with sufficient vegetative cover. No accelerated erosion or inoperable PCSM features are observed associated with the well pad. This includes Infiltration Berms 2.1, 1.1, 1.2, & 3.1 (Photo 9 & 13). What appears to be two aquatic features are observed, one on the northeast corner of the pad and one on the south corner (Photo 5, 11, & 12). The Department requests that these be delineated and identified on the plans. There does appear to be some disturbance above Infiltration Berm 1.2 (Photo 8 & 10). This was reported to the Department via email on 10/7/2020. The operator appears to have remediated the disturbance; the Department recommends that the operator monitor this area until it is stabilized. The access road appears to be in good condition with no accelerated erosion observed on its surface. Riprap Apron and Culvert 3 appears to have developed an accelerated erosion channel off its left side (Photo 19). The Department notified operator representative Stephanie Snedden by phone of this observation and was told that this would be remediated as soon as possible. Pictures provided by the operator appear to show the remediation of that deficiency. Additionally, cross culvert 2 appears to be inundated with debris on both the inlet and outlet portions of the pipe (Photo 17 & 18). The Department recommends that maintenance be conducted on this pipe to keep it clear and functioning as designed. Based on this inspection, the violations associated with the NOT will be closed as corrected/abated. Violations for the accelerated erosion will be noted as immediately corrected. The NOT is being approved. | 897184 | 44119 | 102.11(a)1 - GENERAL REQUIREMENTS – BMP AND DESIGN STANDARDS - Person failed to design, implement and maintain E & S BMPs to minimize the potential for accelerated erosion and sedimentation to protect, maintain, reclaim and restore water quality and existing and designated uses. | Environmental Health & Safety | 44119 | CRCTD - Corrected/Abated | N | 399939 | Consent Assessment of Civil Penalty | 44544 | 44544 | Completed | 44544 | COMP - Completed | 53760 | 53760 | |||||||
93 | CNX GAS CO LLC | 3093736 | 44119 | Routine/Complete Inspection | 778333 | ACAA WELL PAD 1 ESCGP-2 EXPEDITED | Site | EP DOGO SWDO Dstr Off | GRAY, BENJAMIN | SAIR | Viol(s) Noted & Immediately Corrected | This inspection is taking place in response to a NOT submitted by the operator on September 3, 2020. The permit for this site originally expired on 1/9/2019. Operator representative Stephanie Snedden arrived during the course of the inspection of the pad. She did not accompany this Inspector during the inspection of the access road. The site appears to be constructed and equipped for production (Photo 3). An Act 9 Sign is present at the public road as well as at the entrance to the well pad itself (Photo 1 & 2). The on-site plans did not match the as-built drawings provided by the Operator. This was corrected immediately by the operator. While there are two mailboxes associated with the site, the most up to date plan drawings are in a pelican case adjacent to the Act 9 sign nearest the well pad (Photo 2). The well site appears to be stabilized with sufficient vegetative cover. No accelerated erosion or inoperable PCSM features are observed associated with the well pad. This includes Infiltration Berms 2.1, 1.1, 1.2, & 3.1 (Photo 9 & 13). What appears to be two aquatic features are observed, one on the northeast corner of the pad and one on the south corner (Photo 5, 11, & 12). The Department requests that these be delineated and identified on the plans. There does appear to be some disturbance above Infiltration Berm 1.2 (Photo 8 & 10). This was reported to the Department via email on 10/7/2020. The operator appears to have remediated the disturbance; the Department recommends that the operator monitor this area until it is stabilized. The access road appears to be in good condition with no accelerated erosion observed on its surface. Riprap Apron and Culvert 3 appears to have developed an accelerated erosion channel off its left side (Photo 19). The Department notified operator representative Stephanie Snedden by phone of this observation and was told that this would be remediated as soon as possible. Pictures provided by the operator appear to show the remediation of that deficiency. Additionally, cross culvert 2 appears to be inundated with debris on both the inlet and outlet portions of the pipe (Photo 17 & 18). The Department recommends that maintenance be conducted on this pipe to keep it clear and functioning as designed. Based on this inspection, the violations associated with the NOT will be closed as corrected/abated. Violations for the accelerated erosion will be noted as immediately corrected. The NOT is being approved. | 897185 | 44119 | 102.4(b)1 - EROSION AND SEDIMENT CONTROL REQUIREMENTS - Person conducting earth disturbance activity failed to implement and maintain E & S BMPs to minimize the potential for accelerated erosion and sedimentation. | Environmental Health & Safety | 44119 | CRCTD - Corrected/Abated | N | 399939 | Consent Assessment of Civil Penalty | 44544 | 44544 | Completed | 44544 | COMP - Completed | 53760 | 53760 | |||||||
94 | CNX GAS CO LLC | 3093736 | 44119 | Routine/Complete Inspection | 778333 | ACAA WELL PAD 1 ESCGP-2 EXPEDITED | Site | EP DOGO SWDO Dstr Off | GRAY, BENJAMIN | SAIR | Viol(s) Noted & Immediately Corrected | This inspection is taking place in response to a NOT submitted by the operator on September 3, 2020. The permit for this site originally expired on 1/9/2019. Operator representative Stephanie Snedden arrived during the course of the inspection of the pad. She did not accompany this Inspector during the inspection of the access road. The site appears to be constructed and equipped for production (Photo 3). An Act 9 Sign is present at the public road as well as at the entrance to the well pad itself (Photo 1 & 2). The on-site plans did not match the as-built drawings provided by the Operator. This was corrected immediately by the operator. While there are two mailboxes associated with the site, the most up to date plan drawings are in a pelican case adjacent to the Act 9 sign nearest the well pad (Photo 2). The well site appears to be stabilized with sufficient vegetative cover. No accelerated erosion or inoperable PCSM features are observed associated with the well pad. This includes Infiltration Berms 2.1, 1.1, 1.2, & 3.1 (Photo 9 & 13). What appears to be two aquatic features are observed, one on the northeast corner of the pad and one on the south corner (Photo 5, 11, & 12). The Department requests that these be delineated and identified on the plans. There does appear to be some disturbance above Infiltration Berm 1.2 (Photo 8 & 10). This was reported to the Department via email on 10/7/2020. The operator appears to have remediated the disturbance; the Department recommends that the operator monitor this area until it is stabilized. The access road appears to be in good condition with no accelerated erosion observed on its surface. Riprap Apron and Culvert 3 appears to have developed an accelerated erosion channel off its left side (Photo 19). The Department notified operator representative Stephanie Snedden by phone of this observation and was told that this would be remediated as soon as possible. Pictures provided by the operator appear to show the remediation of that deficiency. Additionally, cross culvert 2 appears to be inundated with debris on both the inlet and outlet portions of the pipe (Photo 17 & 18). The Department recommends that maintenance be conducted on this pipe to keep it clear and functioning as designed. Based on this inspection, the violations associated with the NOT will be closed as corrected/abated. Violations for the accelerated erosion will be noted as immediately corrected. The NOT is being approved. | 897185 | 44119 | 102.4(b)1 - EROSION AND SEDIMENT CONTROL REQUIREMENTS - Person conducting earth disturbance activity failed to implement and maintain E & S BMPs to minimize the potential for accelerated erosion and sedimentation. | Environmental Health & Safety | 44119 | CRCTD - Corrected/Abated | N | 377084 | Notice of Violation | 43655 | 44544 | ||||||||||||
95 | CNX GAS CO LLC | 3093736 | 44119 | Routine/Complete Inspection | 778333 | ACAA WELL PAD 1 ESCGP-2 EXPEDITED | Site | EP DOGO SWDO Dstr Off | GRAY, BENJAMIN | SAIR | Viol(s) Noted & Immediately Corrected | This inspection is taking place in response to a NOT submitted by the operator on September 3, 2020. The permit for this site originally expired on 1/9/2019. Operator representative Stephanie Snedden arrived during the course of the inspection of the pad. She did not accompany this Inspector during the inspection of the access road. The site appears to be constructed and equipped for production (Photo 3). An Act 9 Sign is present at the public road as well as at the entrance to the well pad itself (Photo 1 & 2). The on-site plans did not match the as-built drawings provided by the Operator. This was corrected immediately by the operator. While there are two mailboxes associated with the site, the most up to date plan drawings are in a pelican case adjacent to the Act 9 sign nearest the well pad (Photo 2). The well site appears to be stabilized with sufficient vegetative cover. No accelerated erosion or inoperable PCSM features are observed associated with the well pad. This includes Infiltration Berms 2.1, 1.1, 1.2, & 3.1 (Photo 9 & 13). What appears to be two aquatic features are observed, one on the northeast corner of the pad and one on the south corner (Photo 5, 11, & 12). The Department requests that these be delineated and identified on the plans. There does appear to be some disturbance above Infiltration Berm 1.2 (Photo 8 & 10). This was reported to the Department via email on 10/7/2020. The operator appears to have remediated the disturbance; the Department recommends that the operator monitor this area until it is stabilized. The access road appears to be in good condition with no accelerated erosion observed on its surface. Riprap Apron and Culvert 3 appears to have developed an accelerated erosion channel off its left side (Photo 19). The Department notified operator representative Stephanie Snedden by phone of this observation and was told that this would be remediated as soon as possible. Pictures provided by the operator appear to show the remediation of that deficiency. Additionally, cross culvert 2 appears to be inundated with debris on both the inlet and outlet portions of the pipe (Photo 17 & 18). The Department recommends that maintenance be conducted on this pipe to keep it clear and functioning as designed. Based on this inspection, the violations associated with the NOT will be closed as corrected/abated. Violations for the accelerated erosion will be noted as immediately corrected. The NOT is being approved. | 897187 | 44119 | 102.22(a) - SITE STABILIZATION – PERMANENT STABILIZATION – Permitee failed to have site permanently stabilized and protected from accelerated erosion and sedimentation upon final completion of earth disturbance activity. | Environmental Health & Safety | 44119 | CRCTD - Corrected/Abated | N | 377084 | Notice of Violation | 43655 | 44544 | ||||||||||||
96 | CNX GAS CO LLC | 3098933 | 44124 | Follow-up Inspection | 779484 | ACAA WELL PAD 4 ESCGP-2 EXPEDITED | Site | EP DOGO SWDO Dstr Off | GRAY, BENJAMIN | SAIR | Violation(s) Noted | This inspection is documenting the second half of IR 3098774 and is covering from the stockpile on the tank pad to the south of the well pad. The following is observed: There is an accelerated erosion channel forming in front of the stockpile, along the access road (Photo 3 & 4). The top of the stockpile appears to be in need of a reapplication of temp stabilization (Photo 5). The operator appears to be storing equipment on the well pad (Photo 6, 7, & 8). The Department requests the landowners written authorization to store this equipment at this location, be provided within 5-days of receipt of this inspection. The outlet for Bioretention area 2 (BA2) does not appear to be functioning as designed (Photo 11, 12, & 13). It appears that the apron is discharging water to one side, which appears to be forming an accelerated erosion channel. The outlet for Bioretention area 3 (BA3) also does not appear to be functioning as designed (Photo 16 & 17). It appears that water is not flowing away from the apron, but instead is just ponding at the outlet. The Department recommends that the operator evaluate this feature. An accelerated erosion channel is observed on the cut slope adjacent to the pad (Photo 18 & 19). The Department recommends that this erosion channel be remediated. Operator representative Stephanie Snedden was notified of these observations via phone. Based on this inspection and IR 3098774, violations are being noted for failure to have the approved plans, associated with the modification on site, additionally, violations for improperly installed CFS, and accelerated erosion along the access road, and at the BA2 outlet are also being noted. Pending the operators response and further investigation, more violations may be forthcoming. | 898312 | 44124 | 102.22(a) - SITE STABILIZATION – PERMANENT STABILIZATION – Permitee failed to have site permanently stabilized and protected from accelerated erosion and sedimentation upon final completion of earth disturbance activity. | Environmental Health & Safety | 44544 | CRCTD - Corrected/Abated | N | 385054 | Notice of Violation | 43917 | 44544 | ||||||||||||
97 | CNX GAS CO LLC | 3098933 | 44124 | Follow-up Inspection | 779484 | ACAA WELL PAD 4 ESCGP-2 EXPEDITED | Site | EP DOGO SWDO Dstr Off | GRAY, BENJAMIN | SAIR | Violation(s) Noted | This inspection is documenting the second half of IR 3098774 and is covering from the stockpile on the tank pad to the south of the well pad. The following is observed: There is an accelerated erosion channel forming in front of the stockpile, along the access road (Photo 3 & 4). The top of the stockpile appears to be in need of a reapplication of temp stabilization (Photo 5). The operator appears to be storing equipment on the well pad (Photo 6, 7, & 8). The Department requests the landowners written authorization to store this equipment at this location, be provided within 5-days of receipt of this inspection. The outlet for Bioretention area 2 (BA2) does not appear to be functioning as designed (Photo 11, 12, & 13). It appears that the apron is discharging water to one side, which appears to be forming an accelerated erosion channel. The outlet for Bioretention area 3 (BA3) also does not appear to be functioning as designed (Photo 16 & 17). It appears that water is not flowing away from the apron, but instead is just ponding at the outlet. The Department recommends that the operator evaluate this feature. An accelerated erosion channel is observed on the cut slope adjacent to the pad (Photo 18 & 19). The Department recommends that this erosion channel be remediated. Operator representative Stephanie Snedden was notified of these observations via phone. Based on this inspection and IR 3098774, violations are being noted for failure to have the approved plans, associated with the modification on site, additionally, violations for improperly installed CFS, and accelerated erosion along the access road, and at the BA2 outlet are also being noted. Pending the operators response and further investigation, more violations may be forthcoming. | 898307 | 44124 | 102.11(a)1 - GENERAL REQUIREMENTS – BMP AND DESIGN STANDARDS - Person failed to design, implement and maintain E & S BMPs to minimize the potential for accelerated erosion and sedimentation to protect, maintain, reclaim and restore water quality and existing and designated uses. | Environmental Health & Safety | 44544 | CRCTD - Corrected/Abated | N | 399939 | Consent Assessment of Civil Penalty | 44544 | 44544 | Completed | 44544 | COMP - Completed | 53760 | 53760 | |||||||
98 | CNX GAS CO LLC | 3098933 | 44124 | Follow-up Inspection | 779484 | ACAA WELL PAD 4 ESCGP-2 EXPEDITED | Site | EP DOGO SWDO Dstr Off | GRAY, BENJAMIN | SAIR | Violation(s) Noted | This inspection is documenting the second half of IR 3098774 and is covering from the stockpile on the tank pad to the south of the well pad. The following is observed: There is an accelerated erosion channel forming in front of the stockpile, along the access road (Photo 3 & 4). The top of the stockpile appears to be in need of a reapplication of temp stabilization (Photo 5). The operator appears to be storing equipment on the well pad (Photo 6, 7, & 8). The Department requests the landowners written authorization to store this equipment at this location, be provided within 5-days of receipt of this inspection. The outlet for Bioretention area 2 (BA2) does not appear to be functioning as designed (Photo 11, 12, & 13). It appears that the apron is discharging water to one side, which appears to be forming an accelerated erosion channel. The outlet for Bioretention area 3 (BA3) also does not appear to be functioning as designed (Photo 16 & 17). It appears that water is not flowing away from the apron, but instead is just ponding at the outlet. The Department recommends that the operator evaluate this feature. An accelerated erosion channel is observed on the cut slope adjacent to the pad (Photo 18 & 19). The Department recommends that this erosion channel be remediated. Operator representative Stephanie Snedden was notified of these observations via phone. Based on this inspection and IR 3098774, violations are being noted for failure to have the approved plans, associated with the modification on site, additionally, violations for improperly installed CFS, and accelerated erosion along the access road, and at the BA2 outlet are also being noted. Pending the operators response and further investigation, more violations may be forthcoming. | 898307 | 44124 | 102.11(a)1 - GENERAL REQUIREMENTS – BMP AND DESIGN STANDARDS - Person failed to design, implement and maintain E & S BMPs to minimize the potential for accelerated erosion and sedimentation to protect, maintain, reclaim and restore water quality and existing and designated uses. | Environmental Health & Safety | 44544 | CRCTD - Corrected/Abated | N | 385054 | Notice of Violation | 43917 | 44544 | ||||||||||||
99 | CNX GAS CO LLC | 3098933 | 44124 | Follow-up Inspection | 779484 | ACAA WELL PAD 4 ESCGP-2 EXPEDITED | Site | EP DOGO SWDO Dstr Off | GRAY, BENJAMIN | SAIR | Violation(s) Noted | This inspection is documenting the second half of IR 3098774 and is covering from the stockpile on the tank pad to the south of the well pad. The following is observed: There is an accelerated erosion channel forming in front of the stockpile, along the access road (Photo 3 & 4). The top of the stockpile appears to be in need of a reapplication of temp stabilization (Photo 5). The operator appears to be storing equipment on the well pad (Photo 6, 7, & 8). The Department requests the landowners written authorization to store this equipment at this location, be provided within 5-days of receipt of this inspection. The outlet for Bioretention area 2 (BA2) does not appear to be functioning as designed (Photo 11, 12, & 13). It appears that the apron is discharging water to one side, which appears to be forming an accelerated erosion channel. The outlet for Bioretention area 3 (BA3) also does not appear to be functioning as designed (Photo 16 & 17). It appears that water is not flowing away from the apron, but instead is just ponding at the outlet. The Department recommends that the operator evaluate this feature. An accelerated erosion channel is observed on the cut slope adjacent to the pad (Photo 18 & 19). The Department recommends that this erosion channel be remediated. Operator representative Stephanie Snedden was notified of these observations via phone. Based on this inspection and IR 3098774, violations are being noted for failure to have the approved plans, associated with the modification on site, additionally, violations for improperly installed CFS, and accelerated erosion along the access road, and at the BA2 outlet are also being noted. Pending the operators response and further investigation, more violations may be forthcoming. | 898310 | 44124 | 78a53 - EROSION AND SEDIMENT CONTROL AND STORMWATER MANAGEMENT - Person proposing or conducting earth disturbance activities associated with oil and gas operations failed to comply with 25 Pa. Code § 102. | Environmental Health & Safety | 44544 | CRCTD - Corrected/Abated | N | 385054 | Notice of Violation | 43917 | 44544 | ||||||||||||
100 | CNX GAS CO LLC | 3098933 | 44124 | Follow-up Inspection | 779484 | ACAA WELL PAD 4 ESCGP-2 EXPEDITED | Site | EP DOGO SWDO Dstr Off | GRAY, BENJAMIN | SAIR | Violation(s) Noted | This inspection is documenting the second half of IR 3098774 and is covering from the stockpile on the tank pad to the south of the well pad. The following is observed: There is an accelerated erosion channel forming in front of the stockpile, along the access road (Photo 3 & 4). The top of the stockpile appears to be in need of a reapplication of temp stabilization (Photo 5). The operator appears to be storing equipment on the well pad (Photo 6, 7, & 8). The Department requests the landowners written authorization to store this equipment at this location, be provided within 5-days of receipt of this inspection. The outlet for Bioretention area 2 (BA2) does not appear to be functioning as designed (Photo 11, 12, & 13). It appears that the apron is discharging water to one side, which appears to be forming an accelerated erosion channel. The outlet for Bioretention area 3 (BA3) also does not appear to be functioning as designed (Photo 16 & 17). It appears that water is not flowing away from the apron, but instead is just ponding at the outlet. The Department recommends that the operator evaluate this feature. An accelerated erosion channel is observed on the cut slope adjacent to the pad (Photo 18 & 19). The Department recommends that this erosion channel be remediated. Operator representative Stephanie Snedden was notified of these observations via phone. Based on this inspection and IR 3098774, violations are being noted for failure to have the approved plans, associated with the modification on site, additionally, violations for improperly installed CFS, and accelerated erosion along the access road, and at the BA2 outlet are also being noted. Pending the operators response and further investigation, more violations may be forthcoming. | 898311 | 44124 | 102.5(m)4 - PERMIT REQUIREMENTS – GENERAL PERMITS – Person failed to comply with the terms and conditions of the E & S Control General Permit. | Environmental Health & Safety | 44544 | CRCTD - Corrected/Abated | N | 385054 | Notice of Violation | 43917 | 44544 |