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Things You Need to Know about Fugitive Emission Services

The Commission's primary functions include assessing and analyzing proposals for industrial activity, working with First Nations, ensuring that industry is consistent with provincial regulations and cooperating with partner agencies. Through ensuring public safety, the public interest is protected.

Environmental security, the management of petroleum resources, and fair involvement in development are assured. This manual, as in all Commission manuals, should not take the place of relevant laws. Readers became readers encouraged to become acquainted with the acts and regulations and request advice for confirmation from Commission employees. Some can require exceptional standards and permits by other regulators or, under other legislation, establish responsibilities.

It has been shown that methane is a potent greenhouse gas (GHG) that is 25 times more potent than CO2 and accounts for about 15% of Canada's total GHG emissions. In 2018, by 2025, the Government of Canada committed to reducing methane emissions from the oil and gas industry by 40-45% from 2012 levels and consequently defined federal regulations relating to the release of methane from oil and gas installations. In 2019, provincial laws were released by the provinces of British Columbia and Alberta, both requiring comprehensive Pipeline surveys Alberta to be conducted at set frequencies on oil and gas infrastructure.

Resolve Energy Solutions, headquartered in Fort St John, BC, is a local supplier of Fugitive emission surveys. We have delivered services instrumental in the creation and adoption of fugitive emission control plans for various NEBC and NWAB producers. This Fugitive Pollution Control Guideline presents fugitive regulatory criteria and recommendations in British Columbia, emissions management. The guideline refers to fugitive pollution at wells and installations. Under the Oil and Gas Activities Act (OGAA), it was regulated. It does not refer to facilities running on liquefied natural gas (LNG).

Requirements from the Commission and recommended practices are included in each section and subsection throughout the guideline. "Must" refers to a need for which compliance is anticipated and may be expected. Subject to compliance by the Commission, while "recommends" or "can" suggests the best practice that should be followed

The appropriate party must be used. The Commission would like to recognize the Alberta Energy Regulator (AER) to this Guideline by enabling the Commission to use, in the Guideline, materials from Manual 16. Often gratefully remembered are donations from industry, environmental non-governmental groups, academia, service providers, and government.

Fugitive Pollution Management Plans (FEMP) describe how a permit holder's fugitive pollution can be tracked, handled, and recorded routinely. Permit Holders should develop a written FEMP. FEMPs and associated data should be reviewed annually, and, where appropriate, continuous improvements should be made to the plan.

 


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