MONTARA DEVELOPMENT PROJECT The Montara development project is located in the Timor Sea approx 650 km west of Darwin. PTTEP owns and operates 100 per

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MONTARA DEVELOPMENT PROJECT The Montara development project is located in the Timor Sea approx 650 km west of Darwin. PTTEP owns and operates 100 per cent of the Montara Development Project, which comprises the Montara (AC/L7), Skua and Swift/Swallow (AC/L8) oil fields. The development plan for the Montara Development Project involves nine producing wells, four in the Montara field; two in the Skua field and three in the Swift/Swallow field. First production from the Montara project was targeted for the fourth quarter of 2009. Oil reserves from the four fields that comprise the Montara Development Project are approximately 37 million barrels. (PTTEP Fact Sheet) 3

The field is located in about 77m of water. The initial phase was to be production from an unmanned wellhead platform (WHP) from oilproducing wells, to a FPSO facility. There will also be a gas reinjection well from the WHP. 4

OHS of the facilities OPGGSA 2006 P(SL)(MoSOF) Regs 1996 Safety Case NOPSA Well Integrity OPGGSA 2006 P(SL)(MoWO) Regulations 2004 WOMP NT DA 5

November 2008: NT DA approved PTTEPAA batch drilling of three development wells (further two wells later approved) 6

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Java Constructor Java Constructor (JC) was located 25 metres from Montara WHP and West Atlas Drill Rig with a POB of 174 Operating under a Hot Work Permit from West Atlas. 0727 Dead Man Anchor disconnected. 0740 Java Constructor relocated 500m from West Atlas on anchors, out with exclusion zone. 0806 West Atlas abandoned, life boats launched. 0850 Life boats recovered to anchor handlers 0950 Transfer of crew to JC. POB becomes 236 1250 JC surrounded by hydrocarbons, change of surface currents 1516 JC clear of hazardous area. NOPSA issued the operator with five Improvement Notices and requested a revision to the facility safety case due to a number of issues including: Java Constructor Safety Case did not anticipate operating in the vicinity of an uncontrolled hydrocarbon release. Emergency documentation and training were therefore inadequate. Muster stations were outside only should have had inside alternative. Poor and irregular briefing of crew. Training of supervisors in communications. No cold cutting alternative for anchor wires. No permanently mounted gas detection equipment. 8

Source upstream on line 9

Well control boarding team making checks (www.offshoretechnology.com) 22 November 2009 Personnel board West Atlas 23 Personnel board WHP 27 November: 320 bbl cement pumped via relief well into H1 well 30 November: Packer set in H1 well, pressure test not completed 13 January 2010: plugging activities completed Sep-Oct 2010: Salvage commenced with Jascon 25 10

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This is an import series of pictures, the one on the left is taken from the Java Constructor which was anchored alongside the Montara WHP when the blowout first occurred. The safety case and the day to day planning of construction and other activities on the Java did not contemplate the vessel being located alongside live hydrocarbon activities. The You can see a hardhat in the foreground of that picture and the gas / condensate release from the platform. We are extremely fortunate that there were not fatalities or serious injuries. 13

The blowout was the result of systemic failures by the operator to properly manage the integrity of the well as a whole. 14

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As for Montara, We await the public release of the COI report in the near future. NOPSA lodged a brief of evidence with the Commonwealth Director of Public Prosecutions in June. CDPP are working through their processes to determine how best to approach any potential prosecution. There is a lot of information available on the public record, from this we can conclude that The immediate cause was a poor cement job and failure of the float valves The root cause was a systemic failure of management systems and noncompliance with operating procedures. The standards processes and procedures seem to have been in place but not adhered to for some reason. 19

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Minimum standards vs best practice What is good oilfield practice anyway? Who determines what is good? Where does ALARP fit in? Is the focus on the right things? deepwater drilling vs drilling vs high hazard activities well depth / pressure vs water depth containment vs prevention - US$1billion buys a lot of stop & think Me too if a containment system is needed for the GoM 21

Independence of safety regulator Performance based vs prescriptive requirements or both? Quality of staff / challenge / inspection / training Threshold requirements for license holders? Financial Technical capability Track Record 22

Cursory assessment and approvals practices with no compliance monitoring Insufficient resources (+ critical mass issue) Lacking competence Too comfortable relationship with operator (regulatory capture) Tension between safety and environmental objectives Legislate a requirement for some level of contingency relief well planning. 23

Jurisdictional demarcation obstructs integrated regulation of wells safety and integrity Inconsistent regulatory approach arising from disparate State Agency regulations and practices Current framework encompasses potential conflicts of interest arising between well integrity, resource management, industry development and safety regulation 24

NOPSA s currently legislated functions do not provide for collaborative decision-making of any sort with an operator, or any means to direct an operator to follow any particular course of action Relevant Minister has powers to direct an operator to act under Petroleum Act (OPGGSA) Revisions to safety case used to assure safety of recovery activities not ideal Potential for more effective co-ordination of government agencies and operator-government interaction 25

Creation of single national regulator of well integrity & safety Within objective-based regime, introduction of regulatory amendments to ensure operator and regulator focus on well integrity critical elements, esp. barriers Review of legislated well control / well integrity related competency requirements regarding operators personnel 26

Regulatory mechanism for regulator or emergency combative agency (rather than Minister) to direct operator Mechanisms for regulator to advise / engage operator without compromise of regulatory objectivity and independence and ensure necessary expertise applied to the situation Regulatory mechanism to provide for a defined permissioning document detailing an operator s immediate action plan to recover control in an emergency ensuring that all necessary expertise is brought to bear Creation of ad-hoc central co-ordinating emergency combative agency/role incorporating central communications 27

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And most importantly 29