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I have mineral rights in Wilkinson county. Sec. 25, and Sec. 28 T2n, R 1e, is there any activity going on in the area. Have a lease signed to Petroleum Partners, but unaware of any activity. Believe EnCana may be the actual holders of the lease.
Thanks, Rodney
Posted on September 20, 2013 at 3:39 — 1 Comment
Shale drilling and lithium extraction are seemingly distinct activities, but there is a growing connection between the two as the world moves towards cleaner energy solutions. While shale drilling primarily targets…
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AboutAs exciting as this is, we know that we have a responsibility to do this thing correctly. After all, we want the farm to remain a place where the family can gather for another 80 years and beyond. This site was born out of these desires. Before we started this site, googling "shale' brought up little information. Certainly nothing that was useful as we negotiated a lease. Read More |
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http://www.ogb.state.ms.us/docket.htm
September 2013 Docket
334-2013-D WILKINSON COUNTY.
Petition of EnCana Oil and Gas (USA), Inc., requesting the Board to integrate all interests
in an exceptional sized and configured 1,966.34-acre oil unit, situated in Sections 25, 28
and 37, Township 2 North, Range 1 East and Section 4, Township 1 North, Range 1 East,
to horizontally drill the Pintard 28H No. 1 Well from an exception surface location due to
engineering, geological and topographical reasons 372' FNL and 660’ FWL of Section 28,
to a depth of 12,200’ to test the Tuscaloosa Marine Shale Formation at an exception
bottomhole location 2,429’ FSL and 660’ FWL of Section 25. Petitioner also requests
authority to drill the Pintard 28H No. 2 Well as an increased density well from an
exception surface location 377’ FSL and 660’ FWL of Section 28, to a depth of 12,200’ to
test the Tuscaloosa Marine Shale Formation at an exception bottomhole location 2,914’
FSL and 660’ FWL of Section 4, with the right to horizontally drill up to six additional wells
on the unit, with an unrestricted eighteen month test period for each well to establish a
maximum efficiency rate (MER) of production for said pool, to produce said wells without
tubing as an exception to Statewide Rule 18 and to not run logs as an exception to
Statewide Rule 24. Alternatively, Petitioner requests the Board to integrate all interes