United States       Office of Ground Water       EPA/816-R-99-014m
Environmental      and Drinking Water (4601)     September 1999
Protection Agency
The Class V Underground Injection
Control Study
Volume 13

In-Situ Fossil Fuel Recovery Wells

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                                 Table of Contents
                                                                                    Page

1.      Summary	1

2.      Introduction	2
              2.1     Underground Coal Gasification	3
              2.2     In-Situ Oil Shale Retorting	3

3.      Prevalence of Wells 	7

4.      Injectate Characteristics and Injection Practices  	7
       4.1     Injectate Characteristics	7
       4.2     Well Characteristics	7
              4.2.1   Underground Coal Gasification	7
              4.2.2   In-Situ Oil Shale Retorting	8
       4.3     Operational Practices	8

5.      Potential And Documented Damages to USDWs	8
       5.1     Injectate Constituent Properties 	8
       5.2     Impacts on USDWs	9
              5.2.1   Hoe Creek	10
              5.2.2   Rio Blanco	11
              5.2.3   Carbon County 	11

6.      Alternative and Best Management Practices	13
       6.1     Well Design and Construction	13
       6.2     Well Operation	14
       6.3     Burn Front Monitoring and Control	14
       6.4     Closure and Abandonment	14

7.      Current Regulatory Requirements	15
       7.1     Federal Programs	15
       7.2     State and Local Programs  	16

Attachment A:  State and Local Program Descriptions  	17

References	24
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	IN-SITU FOSSIL FUEL RECOVERY WELLS	

       The U.S. Environmental Protection Agency (USEPA) conducted a study of Class V underground
injection wells to develop background information the Agency can use to evaluate the risk that these wells
pose to underground sources of drinking water (USDWS) and to determine whether additional federal
regulation is warranted.  The final report for this study which is called the Class V Underground Injection
Control (UIC) Study consists of 23 volumes and five supporting appendices, \blume 1 provides an
overview of the  study methods, the USEPA UIC Program, and general findings, \blumes 2 through 23
present information summaries for each of the 23 categories of wells that were studied (Volume 21 covers
two well categories). This volume, which is Volume 13, covers Class V in-situ fossil fuel recovery wells.

1.     SUMMARY

       In-situ fossil fuel recovery wells are used to facilitate in-situ conversion of a hydrocarbon resource
into a gaseous or liquid form that can be extracted through production wells.  Specifically, in-situ fossil fuel
recovery wells are used to initiate and then to maintain and control combustion through injection of air,
oxygen, steam, carbon dioxide, or ignition agents.  There are three types of processes that may use in-situ
fossil fuel recovery wells: in-situ combustion of tar sand deposits, underground coal gasification (UCG),
and in-situ oil shale retorting.  In-situ combustion of tar sand deposits has not been employed in the U.S.

       Most of the injected materials are gases (e.g., air, oxygen) that are not likely to show exceedances
of maximum contaminant levels (MCL) or health advisory levels (HAL). When ignition agents such as
ammonium nitrate are injected, exceedances of MCLs or HALs would be expected, but has not been
documented.

       In-situ fossil fuel recovery wells inject into a hydrocarbon-containing unit, which is often  a steeply
inclined coal seam or oil shale deposit that is not practical to mine with conventional methods.  Although
injected gases generally do not introduce contaminants into the subsurface, injection may alter the
characteristics of a USDW, if the gases are allowed to contact a USDW, by changing the USDW's
temperature or increasing the level of gas saturation.

       Contamination of ground water resulting from in-situ fossil fuel recovery operations is well
documented, to the extent that most, if not all, in-situ fossil fuel recovery operations initiated in the last 20
years appear to have caused some ground water contamination.  The ground water is not contaminated
with the injected materials, however. Rather, it is contaminated with combustion byproducts, such as
benzene.  At some sites, water containing benzene and other combustion byproducts, such as phenols, has
migrated via fractures or other means from the reaction zone into nearby ground water.

       The in-situ fossil fuel operations conducted in the U.S. have all operated on a trial, rather than full
scale basis. The scale of the reaction zone  in these cases led to lower temperatures than would be
expected in full  scale operation. At these lower temperatures, pyrolysis can dominate the process,
resulting in greater generation of products of incomplete combustion than would be expected in a full scale
September 30, 1999

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operation. In addition, full scale operation would create a larger combustion cavity, resulting in a stronger
and more extensive ground water depression zone. Such a depression zone would be expected to cause
ground water to flow to, rather than away from, the combustion zone, thus reducing the migration of
contaminants outside the combustion zone.

       The observed contamination problems are associated with in-situ fossil fuel recovery operations,
rather than rare spills or accidents. Overall, in-situ fossil fuel recovery wells are not likely to receive spills
or illicit discharges.

       According to the state and USEPA Regional survey conducted for this study, there are neither
documented nor estimated active in-situ fossil fuel recovery wells  in the U.S. The Agency is not aware of
plans to construct any new wells.

       State UIC regulations in Wyoming and state mining regulations in both Wyoming and Colorado
establish permitting and operating requirements for in-situ fossil fuel recovery wells. In both states, mining
plans are required that must address siting, construction, operation, monitoring, and closure of production
and injection wells.  Colorado's  mining regulations do not include  specific requirements for mechanical
integrity testing, plugging and abandonment, or financial assurance. Requirements in Wyoming are both
extensive and more specific.

2.     INTRODUCTION

       The existing UIC regulations at 40 CFR 146.5 define in-situ fossil fuel recovery wells as "injection
wells used for in-situ recovery of lignite, coal, tar sands, and oil shale."  These wells are used to facilitate
conversion of the hydrocarbon resource into a gaseous or liquid form that can be extracted through
production wells.1  When used in conjunction with coal and oil shale formations, these injection wells are
used to initiate and then maintain combustion in the coal or oil shale formation through injection of water,
air, oxygen, steam, or ignition agents.2  Injection wells used in the  recovery of heavy oils from tar sands are
part of "enhanced oil recovery operations" and, thus, are considered Class n injection wells.

       Two types of facilities have used Class V in-situ fossil fuel recovery wells: underground coal
gasification (UCG) and in-situ oil shale retorting (USEPA, 1987).  Development of both types of facilities
generally require:

•      Formation preparation (e.g., fracturing, dewatering) before or after well drilling, depending on the
       technique;
    1 Injection wells used in conjunction with enhanced recovery of oil and gas or production of methane
from coal formations are considered Class II injection wells and, thus, are outside the scope of this
document.

    2 Wells used for injection as part of in-situ fossil fuel recovery operations may also be used for
production at different times during facility operations.

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       Well drilling and construction;

•      Initiation and maintenance of combustion;

       Controlled movement of the reaction zone throughout the fossil fuel deposit;

•      Shutdown and reaction zone cooling; and

       Closure and abandonment.

       2.1    Underground Coal Gasification

       UCG is a process used to produce gas, primarily hydrogen, carbon monoxide, carbon dioxide,
and methane by partially combusting underground coal in the presence of water and a controlled oxygen
supply. At the initiation of a UCG operation, injection wells are used to provide ignition agents (e.g.,
propane or ammonium nitrate-fuel oil (ANFO)), air, steam and/or oxygen, to initiate combustion. Once
combustion is established in the coal seam, the injection wells inject air, steam, and/or carbon dioxide to
sustain and control the combustion rate.

       Gas produced by in-situ combustion is recovered through production wells. Between the
combustion zone and the production wells, the gas flows through the coal seam and is enriched by
products of the reactions and pyrolysis.3 To facilitate flow of the gas through the coal seam from the
combustion zone to the production well(s), a "link" is created by using hydraulic fracturing, directional
drilling, electrical linking, reverse combustion, or explosive fracturing.  Figure 1  illustrates one potential
configuration for injection and production wells.  In this example, injection is into the upper portion of the
reaction zone and gas production is from a lower portion of the reaction zone. The opposite configuration
has also been used, with injection into the lower portion and gas production from the upper portion of the
reaction zone. Figure 2 illustrates the "reverse combustion" approach to linking the production and
extraction wells.  As shown, wells are alternately used for injection and gas production in order to "guide"
the combustion process between the wells and thereby create the desired link between the reaction zone
and the production well (Krantz, 1983; Hill, 1983).

       2.2    In-Situ Oil Shale Retorting

       In-situ oil shale retorting (burning) is used to thermally decompose Kerogen and bitumen (tar) in
shale to produce gaseous and liquid products that can be refined to produce synthetic
    3 Additional wells may also be drilled into the coal seam for use in dewatering or monitoring the
combustion zone.
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                  Figure 1.  Example In-Situ Coal Gasification Schematic
            Pipeline Gas
Gas
Purification
Plant
  Coal and Shale
                                                               Oxygen Plant
                                                                     Water Plant
Gas
Purification
Wells

                                                            Fractured Reaction Zone
Source: Penner, 1984
September 30, 1999

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September 30,  1999
                               Figure 2. Reverse Combustion Linking
                            Wdll    Wdl2
   Qas        High Pressure
Production     Air Injection
                                                                  {
                                                                    Down Hole
                                                                    Electric Hester
                          (A) Virgn Coal
   (B) Ignition of Coal
                             Pressure     Gas       Lew Pressure     Gas
                        Ar Injection    Production    Air Infection    Production
                                       f
                          (C) Combustion Linking
                          Front Frocenfc to
                          Source of Air
   (D) Linkage Complete When
   Combustion Zone Reaches
   InjectunWell (System
   Ready for G
                         High Volume      Gas       Hltfi Volume      Gas
                         At-Injection    Production    Air Injection    Production
                                       r
                          (E) Combustion Front
                          Proceeds In tha Sama
                          Direction as Injected Air
   (F) Combusthn Front Eventually
   Roacrios Production Well
                         Source: Krantz, 1983

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crude oil.  Generally, the in-situ oil shale retorting process involves rubblizing a portion of the oil shale zone
using explosives or hydraulic fracturing, and then retorting the rubblized shale in place (see Figure 3). In
some cases, a portion of the oil shale zone is initially mined prior to rubblizing of the adjacent zone to
create a cavity to enhance movement of heated air into the formation and migration of the resulting oil to
the production wells. Injection wells are used to initiate the retorting process through injection of heat and
air. Once the retorting process is established, the addition of heat from an external source is discontinued
and air injection is continued to maintain and control the retort process (Slawson, 1980; Wyoming,
1998a).

                Figure 3.  Example In-Situ Oil Shale Recovery Process Schematic
         Shale Oil
         Storage
Processing
   Tank
Air Compressor
    Bulling
               \
                                                            \
                                                               Rubblized Retort Zone
         Source: Wyoming, 1998a
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3.     PREVALENCE OF WELLS

       For this study, data on the number of Class V in-situ fossil fuel recovery wells were collected
through a survey of state and USEPA Regional UIC Programs. The survey methods are summarized in
Section 4 of Volume 1 of the Class V Study. Based on the information collected, there are no active in-
situ fossil fuel recovery injection wells in the United States. In the past, in-situ fossil fuel recovery wells
have operated primarily in Wyoming and Colorado. The Agency is not aware of plans to construct any
new wells.

4.     INJECTATE  CHARACTERISTICS AND INJECTION
       PRACTICES

       4.1    Injectate Characteristics

       Injection wells used in in-situ fossil fuel recovery operations may inject air, oxygen, steam, carbon
dioxide, or igniting agents to initiate or sustain combustion.  Although air, oxygen, steam, and carbon
dioxide are not generally considered potential contaminants, these injectates may alter the characteristics of
a USDW, if they are allowed to enter the USDW, by changing its temperature or increasing the level of
gas saturation.  If released to ground water, explosives and ignition agents (used to rubblize or fracture an
oil shale or coal formation and then initiate combustion) could cause contamination (USEPA, 1987).

       4.2    Well Characteristics

       4.2.1   Underground Coal Gasification

       UCG wells generally have been less than 600 feet deep, although they have been tested at depths
of approximately 2,500 feet (e.g., Thunder Basin in Wyoming).  UCG operating conditions require that
injection wells be constructed to withstand exposure to extreme thermal and mechanical stresses
associated with high pressures, extremely high temperatures (up to 1,500* C for several hours), sulfidation
and oxidation, and  potential subsidence of the cavity roof4  As a result, horizontal wells or directionally
drilled wells may be used with the intention of avoiding the extreme temperatures of the combustion zone
and the strata deformation caused by cavity collapse and subsidence (Stephens, 1984).  The wells are
designed to withstand the corrosive conditions created by injection of steam and oxygen or air, and
temperatures of 200 to 400* C (Blinderman, 1999).  Wells are usually cased with carbon or high strength
stainless steel. Cementing of these wells above the reaction zone facilitates controlled introduction of air
into the reaction zone and prevents loss of gases to the surface or into other strata such as USDWS
through the well bore (Bell, 1983).
    4 For small-scale tests, the cavities generally collapse to a depth of one-half to one coal-seam
thickness above the coal seam, but some tests have caused collapse up to five coal-seam thicknesses and
the collapse at Hoe Creek 3 (Wyoming) was to the surface (Stephens, 1984).

September 30, 1999                                                                      ',

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       4.2.2  In-Situ Oil Shale Retorting

       Typically, injection wells used in in-situ oil shale retort applications have ranged from 100 to 1,000
feet in depth, although the wells may be technically feasible at depths of up to 3,000 feet.  These facilities
can inject into, above, or below a USDW.  The injection well casing is cemented to seal the top of the
combustion zone, which is required to achieve a consistent shale burn rate. Cementing also prevents water
from entering the well bore and loss of gas or fluids that are produced by retorting. As seen with the wells
associated with UCG, injection wells involved in the oil shale retorting process are exposed to extremely
high temperatures as combustion proceeds within the injection cavity. Therefore, injection wells used to
facilitate the retorting of oil shale are cased with carbon or a higher strength stainless steel casing (USEPA,
1987).

       4.3    Operational Practices

       Injection of air, steam, carbon dioxide, and other fluids (gases) into coal seams and oil shale
deposits is an integral and essential part of in-situ fossil fuel recovery operations. In particular, injection
rates and  the composition of the injection stream affect both the  combustion rate and the direction in which
combustion proceeds in the coal seam or oil shale deposit. Accordingly, injection operations can be
expected  to receive on-going oversight as part of operations to monitor and control the in-situ combustion
operations.

       Available information does not indicate what type of maintenance and mechanical integrity testing
(MIT) was performed on in-situ fossil fuel recovery wells in the U.S. while they were operational, perhaps
because in-situ burn  projects have not lasted more than a few months. At the Carbon County Wyoming
UCG site, which is one of the most recent UCG projects, MIT was required before injection began and
subsequently at 5 year intervals. It is important to note, however, that at commercial scale operations in
the former USSR, injection wells are expected to have a life of two to four years. At these facilities, MIT
is required before injection and in the event that material balance indicates  that injectate is being lost in-situ
(Blinderman, 1999).

5.    POTENTIAL AND  DOCUMENTED DAMAGES TO USDWS

       5.1    Injectate Constituent Properties

       The primary constituent properties of concern when assessing the potential for Class V in-situ
fossil fuel recovery wells to adversely affect USDWS are toxicity persistence, and mobility.  The toxicity
of a constituent is the potential of that contaminant to cause adverse health effects if consumed by humans.
Appendix D to the Class  V Study provides information on the health effects associated with contaminants
found above drinking water standards or health advisory limits in the injectate of in-situ fossil fuel recovery
wells and other Class V wells.

       Persistence is the ability of a chemical to remain unchanged in composition, chemical  state, and
physical state over time.  Appendix E to the Class V Study presents published half-lives of common

September 30, 1999                                                                        8

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constituents in fluids released in in-situ fossil fuel recovery wells and other Class V wells. All of the values
reported in Appendix E are for ground water. Caution is advised in interpreting these values because
ambient conditions have a significant impact on the persistence of both inorganic and organic compounds.
Appendix E also provides a discussion of mobility of certain constituents found in the injectate of in-situ
fossil fuel recovery wells and other Class V wells.

        Constituents that were found to exceed health-based standards in ground water at one or more in-
situ fossil fuel recovery sites include ammonia, nitrate, and benzene.5'6 Benzene is moderately persistent in
ground water. Estimates of the half-life in ground water range from 240 to 17,000 hours.  Based on this
information alone, benzene would receive a persistence rating of high based on the criteria used in
Appendix E.  Nitrate is persistent in aerobic environments but may break down rapidly to nitrogen gas in
anaerobic environments. Ammonia is persistent in ground water if dissolved oxygen levels are low (e.g., <
1 ppm) but will generally convert to nitrate when dissolved oxygen levels are higher.

        The point of injection for in-situ fossil  fuel  recovery wells is typically within a fractured or rubblized
area of a coal or shale seam that is often water bearing. In addition, the natural fractures, joints, and cleats
of coal seams also provide pathways for water and gas migration.  These conditions combine along with
the water solubility of the constituents to provide an environment that enables relatively high contaminant
mobility. This is indicated in part by the results of the pilot scale operations that have been conducted in
the U.  S.  In a full scale application of the UCG process, which has not occurred in the U. S., a larger
combustion cavity would be created, resulting in a stronger and more extensive ground water depression
zone.  Such a zone of depression would be expected to cause ground water to flow to, rather than away
from, the combustion zone, thus reducing the mobility of contaminants in ground water outside of the
combustion zone (Blinderman,  1999).

        5.2     Impacts on USDWS

        As noted in Section  3.1 above, most of the materials injected into in-situ fossil fuel recovery wells
have little potential for degrading the quality of USDWS. One exception is an explosive/ignition agent
used at the initiation of the combustion process. Such materials could potentially degrade  ground water
quality if they were released to ground water (if any is present) as a result of a well casing leak.  In
addition, they could potentially degrade ground water quality in the event of incomplete combustion or
failure to ignite at a site where the combustion zone is also an aquifer.  Consistent with the  discussion
above concerning contaminant mobility, such problems are expected to be less likely during full scale
operations than in the pilot tests conducted to date.
    5 These constituents are thought to be products of the combustion process and not present to any
significant extent in the injected fluids, with the possible exception that ammonia and nitrate if they are
injected to aid in initiating combustion.

    6 Other compounds such as phenols and pyridine may be present as a result of combustion, but the
concentration of these compounds, if present, is not clear based on the available data.

September 30,  1999

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       In addition to producing gas or oil, in-situ combustion of fossil fuels also produces combustion
byproducts and residuals, including ash and hydrocarbons that remain in the formation. Combustion ash
typically contains trace metals, such as arsenic, lead, mercury, selenium, and chromium (USEPA, 1990).
Hydrocarbons may include phenols, tars, polynuclear aromatic and heterocyclic compounds (USEPA,
1987).

       Contamination of ground water has been attributed to several in-situ fossil fuel recovery
operations, including those at Hoe Creek and Rock Springs, Wyoming and Rio Blanco, Colorado.  As
discussed in more detail below, it appears that the primary contaminants (e.g., phenols, benzene) are
products of incomplete combustion rather than components of the injected gases and fluids.

       Although data on the composition of injected water are not available, the site-specific factors that
are the basis for this generalized assessment are discussed below  It should be noted that in all of the
examples discussed, UCG was conducted on a trial, rather than full scale basis.  The scale of the reaction
zone in these cases led to lower temperatures than would be expected in full scale operation.  This caused
pyrolysis to dominate, resulting in greater generation of products of incomplete combustion than would be
expected in a full scale operation.

       5.2.1   Hoe Creek

       Three UCG pilot-scale test burns were performed between 1976 and 1979 at the Hoe Creek site
near Gillette, Wyoming. Ground water samples collected from the two gasified coal seam aquifers (Felix I
and n) and an overlying channel sand aquifer following completion of the tests indicated that: (1) collapse
of the roof of the cavity created by gasification had interconnected the three aquifers; (2) ground water
was recharging the reaction zone;  and (3) a broad range of organic combustion products (especially
phenols) had been introduced into the ground water system (Wang, 1983; Nordin, 1987).  Samples from
more than 12 wells in the vicinity of the UCG site showed a greatly increased concentration of organic
materials, particularly phenols, just outside the burn boundary and a variety of inorganic species released
from within the residual ash bed (Campbell, 1979).  In 1993, the U.S. Department of Energy (DOE)
prepared a Preliminary Assessment and concluded that ground water contamination at the site posed
potential future risk to humans and livestock ingesting water from nearby wells, as well as risk to wetlands
habitat down gradient of the site (Dames & Moore, 1996).

       Ground water remediation, including a "pump and treat" system with activated carbon for removal
of organic compounds, has been implemented. As a result of these treatment operations, as well as natural
attenuation, ground water quality has improved. However, some organic contaminants, especially benzene
and phenols, remain.  The Felix I coal seam contained the highest concentration of both benzene and total
phenols, with benzene concentrations ranging up to 1 ppm. Benzene and phenols were also detected in
the channel sand aquifer and the Felix 2 coal seam (Dames & Moore, 1996).
September 30, 1999                                                                        10

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       5.2.2  Rio Blanco

       The Rio Blanco in-situ fossil fuel recovery project was an oil shale retorting operation located in
Rio Blanco County, Colorado that conducted two retort trials in 1980 and 1981.  As shown in Figure 4,
the target oil shale formation coincides with an "upper aquifer." The upper aquifer is made up of two
permeable zones with highly permeable sections (the A-Groove and B-Groove) immediately above and
slightly below the fractured Mahogany Zone (Abel, 1994).

       As shown in Figure 4, dewatering wells and shafts were installed to prevent water from the
Mahogany zone and the B-Groove from entering the retort zone.  Collapse of the retort zone ceiling,
which provided connection to the A-Groove, and failure of a dewatering pump, however, allowed flooding
of the lower 300 feet of the retort zone. As a result, ground water in and down gradient from the retort
zone became contaminated with benzene (and other soluble combustion byproducts), based on sampling
at depths ranging from 400 to 840 feet below ground surface (Rio Blanco Oil Shale Company, 1995 and
1997).

       Ground water monitoring conducted since the mid-1980s documented the concentration of both
organic and inorganic constituents. The data indicate that benzene concentrations in the ground water
reached a maximum of 0.29 mg/1 in 1988. By 1997, the benzene levels declined to less than 0.001 mg/1
due to naturally occurring bioremediation, decreased rate of release from the source rock, and attenuation.
Data also indicate that the concentrations of inorganic water quality parameters, which were initially
elevated following the flooding of the reaction zone, have essentially returned to pre-retorting values.
Minor amounts of organic substances still exist in the lower part of the retort rubble, but are not highly
mobile due to the impermeable nature of the surrounding oil shale formation at that depth (Abel 1994; Rio
Blanco Oil Shale Company, 1995 and 1997).

       5.2.3  Carbon County

       Field tests of UCG in a steeply dipping coal seam in the Indian Springs Coal Resource area near
Rawlins, Wyoming (in Carbon County) were conducted in April and August, 1995.7 Monitoring before
and after the test burns showed that the concentration of some organic constituents increased following the
test burns. In particular, the concentration of benzene in water samples collected from the injection wells
following the test burns ranged from <0.005 mg/1 to approximately 1.6 mg/1, with most values in the range
of 0.1 to 0.3 mg/1. In most wells, concentrations have decreased over time, but generally remain above
the Primary Drinking Water Standard of 0.005 mg/1 (Carbon County UCG, 1998).
    7 Earlier testing was also conducted in 1979 and 1981. Ground water monitoring prior to, during, and
after the tests indicated that changes in water quality were slight, but included increases in total organics,
phenols, and some dissolved salts (Carbon County UCG, Inc., 1994).

September 30, 1999                                                                         11

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                     Figure 4.  Hydrogeologic Cross Section at Rio Blanco
     West
   0000-
I
                                                           Mahogany
                                                              B-Groove-
                                                                           T
                                                                             f
                                                                             B
                                                                             "5
                                                                            TJ
                                                                             5
                                                                            <9
                                                                            •§.

£
   saoo-
                                                                     800
Source: Abel, 1994
September 30, 1999
        12

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       Monitoring of ground water outside the reaction zone was also conducted in the target coal
horizon (designated "G") and in overlying sandstone (designated "U") and underlying sandstone
(designated "L"). Increases in benzene concentrations following the test burns were observed in all three
horizons. Increases to levels above the MCL (0.005 mg/1) occurred most frequently in wells installed in
the G horizon.  Benzene concentrations as high as 20 mg/1 were observed in the U horizon.  The highest
concentration observed in the L horizon was 0.028 mg/1. Both of these maximum concentration values
were observed in the monitoring well cluster installed closest to the reaction zone and shortly after the test
burn was conducted  1995. By 1998, benzene concentrations in this L horizon well had declined to about
0.005 mg/1, while concentrations in the U horizon well had declined by approximately a factor of 10
(Carbon County UCG, 1998).

       Benzene was also observed at monitoring wells 600 feet from the reaction zone. Concentrations in
the U horizon were 0.0068 to 0.015 mg/1. In the G horizon,  monitoring well concentrations were generally
between 0.005  and 0.01 mg/1, but were reported to be as high as 49 mg/1 in one well (Carbon County
UCG, 1998). One of these wells is located more than 600 feet north of the reaction zone while another is
approximately the same distance to the south.

6.    ALTERNATIVE AND BEST MANAGEMENT PRACTICES

       A number of best management practices (BMPs) can be implemented to provide increased
protection of USDWS from in-situ fossil fuel recovery operations. The BMPs listed below are most
effective when  selected and implemented in combinations that are based on site-specific factors, which are
highly variable.  Individually, each practice addresses specific challenges and  problems that may occur.

       The following discussion notes BMPs for both injection wells and in-situ fossil fuel recovery
operations that  are closely related to the protection of ground water quality.  The discussion is neither
exhaustive nor represents an USEPA preference for the stated BMPs. Each state, USEPA Region, and
federal agency may require certain BMPs to be installed and maintained based on that organization's
priorities and site-specific considerations.

       6.1    Well Design and Construction

       Well integrity is important both for protecting USDWS (where present) and controlling the
combustion process.  When siting the injection well, it is important to avoid locating the well in areas  of
rock deformation and subsidence that could affect its integrity.  In some cases, appropriate siting may need
to be achieved through  use of directional drilling. In addition, well construction materials (pipe and
cement) need to be capable of withstanding elevated temperatures and corrosion caused by the injected
fluids.  To ensure that construction achieves the desired well  integrity, initial mechanical integrity testing is
needed.
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       6.2     Well Operation

       The pressure at which air, steam, or other gases/fluids are injected is important both for controlling
the in-situ combustion process and for preventing loss of produced gases and migration of contaminants
from the reaction zone. As indicated by the experience with the second test burn at the Hoe Creek site,
too high an injection pressure contributed to ground water contamination. Thus, the appropriate limits on
injection pressure need to be determined in advance and injection pressure  needs to be monitored and
controlled so that it is maintained at appropriate levels.

       Maintaining an appropriate injection flow rate is also important to the overall operation of the
UCG process.  If a sufficiently high gas flow rate is maintained in both the injection and production wells,
then the gas flow will serve to air-lift ground water and contaminants to the  surface.  In addition, an
appropriate flow rate is important to maintaining the desired combustion temperature and ensuring
combustion of contaminants (Blinderman, 1999).

       6.3     Burn Front Monitoring and Control

       As noted in  Section 4, the cavities created by in-situ combustion may result in formation collapses
that risk compromising the integrity of injection and production wells and may otherwise allow ground
water to migrate through the reaction zone.  Thus, monitoring and controlling the burn front is important to
preventing ground water contamination.8 One technique that has been used is the high frequency
electromagnetic burn front location technique (HFEM). HFEM provides a way to measure cavity size and
position around the injection well that avoids the use of additional nearby monitoring wells. Knowledge of
cavity size and position reduces the associated risk  of creating an unintended path  for the burn front and
inducing fractures in the coal seam (Wyoming 1998b).

       6.4     Closure and Abandonment

       When coal seams used for in-situ fossil fuel recovery have hydraulic communication with a
USDW, combustion by-products, especially water-soluble contaminants such as benzene, that remain in
the reaction zone after combustion must be removed to avoid ground water contamination. At the test
sites operated in the past, this has typically been accomplished by repeated flushing (e.g., controlled
flooding and pumping) of the reaction zone. In addition, plugging the entire length  of the well  and
abandoning injection production, and monitoring wells is important for protecting ground water from
contamination.  Plugging may be achieved with cement and/or other materials such as bentonite or drilling
mud to prevent contaminant migration in the well bore.  Depending on the type of bottom hole completion
and the position of the well in relation to the reaction zone cavity, this may require  setting a packer at the
bottom of the casing and filling the well.
    8 Both control of the burn zone geometry and complete combustion, which minimizes the presence of
ground water contaminants in the reaction zone, are facilitated by uniform rubblization or other means of
providing a reliable and uniform link between the injection and production wells.

September 30, 1999                                                                         14

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7.     CURRENT REGULATORY REQUIREMENTS

       Several federal, state, and local programs exist that would either directly manage or regulate Class
V in-situ fossil fuel recovery wells. On the federal level, management and regulation of these wells fall
primarily under the UIC program authorized by the Safe Drinking Water Act (SDWA).  Some states and
localities have used these authorities, as well as their own authorities, to extend the controls in their areas
to address concerns associated with in-situ fossil fuel recovery wells.

       7.1    Federal Programs

       Class V wells are regulated under the authority of Part C of SDWA.  Congress enacted the
SDWA to ensure protection of the quality of drinking water in the United States, and Part C specifically
mandates the regulation of underground injection of fluids through wells. USEPA has promulgated a series
of UIC regulations under this authority. USEPA directly implements these regulations for Class V wells in
19 states or territories (Alaska, American Samoa, Arizona, California, Colorado, Hawaii, Indiana, Iowa,
Kentucky, Michigan, Minnesota, Montana, New %rk, Pennsylvania, South Dakota,  Tennessee, Virginia,
Virgin Islands, and Washington, DC). USEPA also directly implements all Class V UIC programs on
Tribal lands. In all other states, which are called Primacy States, state agencies implement the Class V
UIC program, with primary enforcement responsibility.

       In-situ fossil fuel recovery wells currently are not subject to any specific regulations tailored just for
them, but rather are subject to the UIC regulations that exist for all Class V wells. Under 40 CFR
144.12(a), owners or operators of all injection wells, including in-situ fossil fuel recovery wells, are
prohibited from engaging in any injection activity that allows the movement of fluids containing any
contaminant into USDWS, "if the presence of that contaminant may cause a violation of any primary
drinking water regulation ... or may otherwise adversely affect the health of persons."

       Owners or operators of Class V wells are required to submit basic inventory information under 40
CFR 144.26.  When the owner or operator submits inventory information and is operating the well such
that a USDW is not endangered, the operation of the Class V well is authorized by rule.  Moreover,  under
section 144.27, USEPA may require owners or operators of any Class V well, in USEPA-administered
programs, to submit additional information deemed necessary to protect USDWS. Owners or operators
who fail to submit the information required under sections 144.26 and 144.27 are prohibited from using
their wells.

       Sections 144.12(c) and (d) prescribe mandatory and discretionary actions to be taken by the UIC
Program Director if a Class V well is not in compliance with section 144.12(a).  Specifically, the Director
must choose between requiring the injector to apply for an individual permit, ordering such action as
closure of the well to prevent endangerment, or taking an enforcement action. Because in-situ fossil fuel
recovery wells (like other kinds of Class V wells) are authorized by rule, they do not have to obtain a
permit unless required to do so by the UIC Program Director under 40 CFR 144.25. Authorization by
rule terminates upon the effective date of a permit issued or upon proper closure of the well.
September 30, 1999                                                                       15

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        Separate from the UIC program, the SDWA Amendments of 1996 establish a requirement for
source water assessments. USEPA published guidance describing how the states should carry out a
source water assessment program within the state's boundaries. The final guidance, entitled Source
Water Assessment and Programs Guidance (USEPA 816-R-97-009), was released in August 1997.

        State staff must conduct source water assessments that are comprised of three steps. First, state
staff must delineate the boundaries of the assessment areas in the state from which one or more public
drinking water systems receive supplies of drinking water.  In delineating these areas, state staff must use
"all reasonably available hydrogeologic information on the sources of the supply of drinking water in the
state and the water flow, recharge, and discharge and any other reliable information as the state deems
necessary to adequately determine such areas."  Second, the state staff must identify contaminants of
concern, and for those contaminants, they must inventory significant potential sources of contamination in
delineated source water protection areas. Class V wells, including in-situ fossil fuel recovery wells, should
be considered as part of this source inventory, if present in a given area. Third, the state staff must
"determine the susceptibility of the public water systems in the delineated area to such contaminants."
State staff should complete all of these steps by May 2003 according to the final guidance.9

        7.2     State and Local Programs

        As discussed in Section 3 above, no states have active in-situ fossil fuel recovery wells.10  Most
wells that have operated in the past appear to have occurred in Wyoming and Colorado. Attachment A of
this volume describes how these two states address in-situ fossil fuel recovery wells (although no such
wells currently exist).

        In brief, Wyoming is a UIC Primacy State for Class V wells and requires individual permits for in-
situ fossil fuel recovery wells issued by the Water Quality Division of the Department of Environmental
Quality (DEQ). The state requires the  submission  of detailed information, and incorporates specific
operating requirements as permit conditions.  In-situ fossil fuel recovery wells also are required to satisfy
the state's rules pertaining to coal mining (or, when appropriate non-coal mining) administered by the Land
Quality Division of DEQ.. In Colorado, the wells  are authorized by rule under the Class V UIC program,
which is implemented directly by USEPA Region 8. In addition, the State of Colorado requires permits
for in-situ fossil fuel recovery wells under the state's mining regulations. These permitting requirements
include mandatory submission of detailed information about the operation; site hydrology; specifications of
the proposed drill holes and casings; and preparation of an operations plan, including a separate
monitoring plan and a remediation plan. The rules for in-situ operations also include specific operating
requirements.
    9 May 2003 is the deadline including an 18-month extension.

    10 At some sites, wells previously used for injection as part of in-situ fossil fuel recovery operations
may now be used as part of ground water remediation activities.

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                                       ATTACHMENT A
                      STATE AND LOCAL PROGRAM DESCRIPTIONS

       This attachment focuses on the two states that most recently had in-situ fossil fuel recovery wells,
although neither has active injection wells of this type.

Colorado

       USEPA Region 8 directly implements the Class V UIC program in Colorado.  The state has not
enacted requirements directly addressing in-situ fossil fuel recovery wells as part of an injection well
program.  However, the state has enacted extensive requirements pertaining to mining under the authority
of the Colorado Surface Coal Mining Reclamation Act (SCMRA) Title 34, Article 33  of the Colorado
Revised Statutes.  Regulations of the Colorado Mined Land Reclamation Board for coal mining enacted
by the Colorado Division of Minerals and Geology (DMG) address in-situ processing.  The regulations
define "in-situ processes" as "activities conducted on the surface or underground in connection with in
place distillation, retorting, leaching or other chemical or physical processing of coal. The term includes,
but is not limited to, in-situ gasification, in-situ leaching,  slurry mining, solution mining, borehole mining and
fluid recovery mining" (Rule 1.04 (68)).  Underground mining activities include underground operations
such as construction, operation, and reclamation of shafts,  adits (horizontal mine passages), underground
support facilities,  and in-situ processing (Rule 1.04 (144)). The Colorado Mined Lands Reclamation Act
(CMLRA) also provides authority for rules pertaining to surface disposal of wastes from in-situ operations
(34-32-103 (8) CMLRA).

       Permitting

       The coal mining regulations establish permitting requirements for special categories of mining,
including in-situ processing activities (Rule 2.06.11).  An application for a permit must satisfy all the
requirements  in Rule 2 applicable to underground mining activities.  They include a detailed description of
the site, including hydrology and geology, an operation plan, and a reclamation plan (Rule 2.04 and 2.05).
In addition, an application for an in-situ processing operation also must provide the following:

•      Delineation of proposed holes and wells and production zone for approval by the DMG.
       Specifications of drill holes and casings proposed  to be used.
       A plan for treatment, confinement, or disposal of all acid forming, toxic forming, or radioactive
       gases, solids, or liquids constituting a fire, health, safety, or environmental hazard caused by the
       mining and recovery process.
       Plans for monitoring surface and ground water and air quality, as required by DMG (Rule
       2.06.11(2)).

       No permit may be issued unless the DMG finds that the performance standards of Rule 4,  and
particularly 4.29 pertaining to in-situ operations, are met.
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       Operating Requirements

       The performance standards applicable to in-situ processing specify that the operation must comply
with the subsidence control standards of Rule 4 (Rule 4.20) and with the special requirements for in-situ
operations in Rule 4.29.  It requires operators to:

•      Plan and conduct activities to minimize disturbance to the prevailing hydrologic balance by (a)
       avoiding discharge of fluids into holes or wells, other than as approved by the DMG; (b) injecting
       process recovery fluids only into geologic zones or intervals approved as production zones by
       DMG; (c) avoiding annular injection between the wall of the drill hole and the casing; and  (d)
       preventing discharge of process fluid into surface waters.
•      Adhere to the plans submitted as part of the permit application under Rule 2.06.11.
       Prevent flow of the process recovery fluid (a) horizontally beyond the affected area identified in the
       permit; and (b) vertically into overlying or underlying aquifers.
•      Restore the quality of affected ground water in the permit and adj acent area, including ground
       water above and below the production zone, to the approximate pre-mining levels or better, to
       ensure that the potential for use of the ground water is not diminished (Rule 4.29.2).

       Monitoring is required of the quality and quantity of surface and ground water and subsurface flow
and storage  characteristics, in a manner approved by DMG in accordance with Rule 4.05.13, to measure
changes in the quantity  and quality of water in surface and ground water systems in the permit and adjacent
areas (Rule  4.29.3).

       Mechanical Integrity Testing

       No requirements.

       Financial Assurance

       Rule 3 provides performance bond requirements for completion of the reclamation plan, but those
requirements specify only surface coal mining and reclamation activities and thus do not apply to in-situ
fossil fuel recovery wells (Rule 3.02).

       Plugging and Abandonment

       Rule 4.30 provides general requirements for cessation of operations, but contains no specific
requirements pertaining to plugging and abandonment.
September 30, 1999                                                                          18

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Wyoming

       Wyoming is a UIC Primacy State for Class V wells and the Wyoming Department of
Environmental Quality (DEQ) Water Quality Division (WQD) has promulgated regulations pertaining to its
Class V UIC program in Chapter 16, Water Quality Rules and Regulations (WQRR). In-situ fossil fuel
recovery wells are not named as a specifically defined Class V well type under Chapter 16, and therefore
fall into category 5F2, which includes all other Class V facilities that inject fluids into or above a USDW
that do not fall into Class I, n, m, or IV injection facilities.  All type 5F2 Class V wells are required to
obtain an individual permit (16 WQRR Appendix B). In addition, in-situ fossil fuel recovery wells are
regulated by the Land Quality Division (LQD) of the Wyoming DEQ under the Surface Mining
Reclamation and Control Act (SMRCA) and are required to satisfy the state's rules pertaining to coal
mining (or, when appropriate, the  equivalent rules pertaining to non-coal mining).

       UIC Requirements

       Permitting.  In-situ fossil fuel recovery facilities (category 5F2) are covered by the Individual
Permit provisions of the state's Class V rules (Chapter 16 Section 6 WQRR). A separate permit to
construct under Chapter 3 WQRR (the state's regulations for permits to construct, install, or modify public
water supplies, wastewater facilities, disposal systems, biosolids management facilities, treated wastewater
reuse systems, and other facilities capable of causing or contributing to pollution) is not required, but
requirements of the Chapter 3 permit are included in the UIC permit (Chapter 16, Section 5 (v) WQRR).
A UIC permit must be obtained prior to the construction, installation, modification, or operation of a
facility. The application must include the following (Chapter 16 Section 6 WQRR):

       Description of the business and the activities to be conducted;
       Name, address, telephone number, and ownership status of the operator;
•      Name, address, telephone number, and location of the facility;
•      Calculation of the maximum area affected by the injected material (the area of review) and legal
       description by township,  range, and section to the nearest 10 acres of the area of review;
       Facility information,  including description of the substances to be discharged by type; source;
       chemical, physical, radiological, and toxic characteristics; and construction and engineering details
       satisfying Chapter 16 Section 10 and Chapter 11 WQRR (the  state's regulations on design and
       construction standards for sewerage systems, treatment works, disposal systems, or other facilities
       capable of causing or contributing to pollution);
•      Information, including name, description, depth, geologic structure, faulting, fracturing, lithology,
       hydrology, and fluid pressure of the receiving formation and any relevant confining zones;
       Water quality information, including background water quality  data sufficient to enable the WQD
       to classify the receiver and any secondarily affected aquifers under Chapter 8 WQRR;
•      Topographic and other pertinent maps, extending at least 1 mile beyond the property boundaries
       of the facility but never less than the area of review, depicting the facility and each intake and
       discharge structure, each well, drywell, or subsurface fluid distribution system where fluids from
       the facility are injected underground; other wells, springs, and surface water bodies and drinking
September 30, 1999                                                                          19

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       water wells within the area of review; bedrock and surface geology, geologic structure, and
       hydrogeology in the area;
•      Other relevant federal or state permits, including construction permits, and a statement whether the
       facility is within a water quality management area, wellhead protection area, or source water
       protection area; and
       Plans for monitoring the volume and chemistry of the discharge and water quality of selected water
       wells within the area of review.

       Siting and Construction. Class V facilities may not be located within 500 feet of any active public
water supply well, regardless of whether or not the well is completed in the same aquifer. This minimum
distance may increase or the existence of a Class V well may be prohibited within a wellhead protection
area, source water protection area, or water quality management area (Chapter 16 Section 10(n)
WQRR).

       The facility must submit notice of completion of construction to the DEQ, and allow for inspection
upon completion of construction prior to commencing any injection activity (Chapter 16 Section 5
(c)(i)(U)WQRR).

       Operating Requirements.  The permit conditions specified for individual permits include a
requirement that the permittee properly operate and maintain all facilities and systems, furnish information
to the DEQ upon request, allow inspections, establish a monitoring program pursuant to Chapter 16
Section 11 WQRR and report monitoring results, give prior notice of physical alterations or additions, and
orally report confirmed noncompliance resulting in the migration of injected fluid into any zone outside of
the permitted receiver within 24 hours and follow-up with a written report within 5  days. Detailed
informational requirements are also included in the individual permit, including requirements established on
a case-by-case basis for monitoring, schedules of compliance, and additional conditions necessary to
prevent the migration of fluids into USDWS (Chapter 16 Section 5  (c)(ii) WQRR).  Monitoring program
requirements are also specified in any circumstances where ground waters of the state could be affected
by a Class V facility (Chapter 16 Section 11 WQRR).

       Mechanical Integrity. Permittees are required to adopt measures to insure the mechanical integrity
of any well designed to remain in service for more than 60 days. No specific regulatory requirements on
mechanical integrity testing have been enacted; the specific tests to be used depend on the specific well
conditions.

       Financial Responsibility. No requirements.

       Plugging and Abandonment.  Wells may be abandoned if it is demonstrated to DEQ that no
hazardous waste or radioactive waste has ever been  discharged through the facility, all piping allowed for
the discharge has either been removed or the ends of the piping have been plugged in such a way that the
plug is permanent and will not allow for a discharge, and all accumulated sludges are removed from
holding tanks, lift stations, or other waste handling structures prior to abandonment (Chapter 16 Section
12 (a) WQRR).


September  30,  1999                                                                          20

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       Mining Requirements

       The Wyoming Environmental Quality Act (WEQA), Article 4 "Land Quality," establishes
requirements for in-situ mineral mining permits and duties (Sections 35-11-426 to 35-11-430 WEQA).
The law specifies that all provisions of the act applicable to surface coal mining operations (defined at 35-
ll-103(e)(xx) to include in-situ distillation and retorting) shall apply to coal in-situ operations (35-11-
426(a) WEQA).  Therefore, a mining permit is required from the LQD in addition to the UIC permit
required from WQD (35-11-427 WEQA).

       Permitting. Requirements for applications for coal in-situ mining permits are established by statute
(35-11-428 WEQA), by the coal mining regulations (CMR) (Chapter 3 Section 3 CMR and Chapters 5,
7, and 18 CMR), and by a detailed guideline prepared by the LQD (Guideline No. 6A: "Format and
General Content Guideline for Permit Applications, Amendments, and Revisions for Coal Mining
Operations," 8/94 (revised), pp. 1-18). In addition, Land Quality guideline No. 4, "In-Situ Mining," has
also been issued by the LQD. (The guidelines state that "contents are not to be interpreted by applicants
or DEQ staff as mandatory" but are intended to serve as checklists for the assistance of applicants.)

       The WEQA provides that no in-situ mining operation may be initiated or conducted unless a valid
mining permit has been issued to  the operator.  Construction and completion of drill holes or wells (for
mineral exploration) may be authorized prior to issuance of a mining permit (35-11-427 and 35-ll-404(a)
WEQA), but the administrative procedures of the WEQA, with respect to aquifers, may not be waived for
drilling in conjunction with coal mining or exploration (35-ll-404(g) WEQA).

       The statutory requirements for a mining permit application include the following:

       Satisfaction of the general permit application requirements pertaining to the mining and reclamation
       plan in § 35-ll-406(b)(i),(iv), (viii) to (xiv) WEQA;
•      Surface information, including surface water; and
       Geologic and ground water hydrologic information, including a description of the general geology,
       including geochemistry and lithology, characterization of the production zone and aquifers that may
       be affected, including  hydrologic and water chemistry data; a mine plan and reclamation plan, a
       description of mining techniques, a statement of past, present, and proposed post-reclamation use
       of the land, ground water, and surface water; site facility description, contour map, assessment of
       impact on water resources on adjacent lands, plans and procedures for environmental surveillance
       and excursion detection, prevention, and control programs, procedures for land reclamation,
       procedures for ground water restoration, and estimated costs of reclamation (35-11-428
       WEQA).  Additional details concerning these requirements are provided in Guideline No. 6A.

       The regulatory requirements for permitting coal in-situ processing activities specify that the
applicant must demonstrate how it will comply with:  (1) the WEQA; (2) Chapter 18 of the coal mining
regulations on "In-Situ Mining;" (3) Chapter 5  Section 4 of the coal mining regulations on performance
standards for coal in-situ processing; and (4) Chapter 7 on underground coal mining permit application
requirements and environmental protection performance standards (Chapter 3 Section 3 WCR).


September 30, 1999                                                                         21

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       Chapter 18 provides that both the LQD and the WQD will review the in-situ mining application.
The permit application requirements specify in detail a broad range of information that must be supplied,
including the following information pertaining to ground water and drinking water:

       A description of the geology, including maps, cross-sections and supporting geologists, drillers,
       and geophysical logs which identify: formations and aquifers, geologic features that could influence
       aquifer properties, and the areal and stratigraphic position of the production zone in relation to
       other geologic features;11
       Tabulated water quality  analyses for samples collected from all ground waters that may be affected
       by the proposed operation.  Sampling to characterize the pre-mining ground water quality and its
       variability must be conducted in accordance with DEQ guidelines;
•      A ground water potentiometric surface contour map for each aquifer that may be affected by the
       mining process;
       Name, description, and  map of all surface waters within the permit area and on adjacent lands,
       and a list and mapping of all adjudicated and permitted water surface and ground water rights
       within and adjacent to the permit area;
       Aquifer characteristics for the water saturated portions of the receiving strata and aquifers that may
       be affected by the mining process, including detailed specifications concerning the data that must
       be submitted, such as aquifer thickness, velocity and direction of ground water movement, storage
       coefficients or specific yields, transmissivity or hydraulic conductivity and the directions of
       preferred flow under hydraulic stress in the saturated zones of the receiving strata, extent of
       hydraulic connection between the receiving strata and overlying and underlying aquifers, and the
       hydraulic characteristics of any influencing boundaries in or near the proposed well  field areas;
•      Geochemical description of the receiving strata and any aquifers that may be affected by  the
       injection of recovery fluid;
       Locations of water wells within the permit area, including well completion data, producing
       intervals, and variations  in water level.  Mapping of all wells within and adjacent to the permit area;
       and
       Tabulation of all abandoned wells and drill holes.

       Chapter 18 also requires a mining plan, including all information required by the WEQA, and also
information on injection pressures,  injection rate,  and type of recovery fluid to be used; description of
chemical reactions that may occur during mining as a result of recovery fluid injection; procedures to verify
that the injection and recovery wells are in communication with monitoring wells in the receiving strata;
procedures to ensure that the installation of recovery, injection, and monitor wells will not result in
hydraulic communication between the production zone and overlying stratigraphic horizons; and a schedule
and procedures for checking mechanical integrity.
    11 Wyoming defines groundwater as "subsurface water that fills available openings in rock or soil
materials such that they may be considered water saturated under hydrostatic pressure" (VIII WQRR
2(f); IX WQRR 2(1); XVI WQRR 2(m)). Aquifer is defined as "a zone, stratus or group of strata that
can store and transmit water in sufficient quantities for a specific use" (VIII WQRR 2(a); IX WQRR
2(a); XVI WQRR 2(a)).

September 30, 1999                                                                          22

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       Furthermore, Chapter 18 requires a reclamation plan, including all information required by the
WEQA, and also information necessary to demonstrate:

               "... that the operation will return all affected ground water, including affected ground
               water within the production zone, receiving strata, and any other areas, to a condition such
               that its quality of use is equal to or better than, and consistent with, the uses for which the
               water was suitable prior to the operation by employing the best practicable technology."

       Operating Requirements. Chapter 5 Section 7 of the coal mining regulations provide that in-situ
activities shall be planned and conducted to minimize disturbance to the prevailing hydrologic balance;
prevent discharge of process fluid into surface waters; conduct air and water quality monitoring programs;
and conduct all activities in accordance with the performance standards in Chapter 18 (in-situ mining
standards), Chapter 7 (underground mining performance standards), and Chapter 4 (surface mining
performance  standards).

       Chapter 18 requires annual reports, including all information required by statute under 35-11-411
WEQA as well as reports of the total  quantity of recovery fluid injected and the total quantity extracted,
monitoring results (including descriptions of all excursions), updated potentiometric surface maps of all
aquifers that are or may be affected by the mining operation, and supporting data concerning ground water
restoration.

       Mechanical Integrity.  The mining plan prepared by the owner or operator and approved by LQD
and WQD must include a schedule and procedures for checking mechanical integrity.

       Financial Responsibility. Bonding requirements in the WEQA (§§ 35-11-417 to 35-11-424 ) are
also applicable to in-situ well operations (35-11-426 WEQA).  The bond is required to equal the
estimated cost of reclaiming affected land and restoring any ground water disturbed by in-situ mining
during the first year of the permit.  The bond will generally not be less than $10,000.
September 30, 1999                                                                          23

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Borehole Closure Plan." Pincock Allen & Holt. 25 May 1994.

Bell, GJ. and D.W. Bailey. 1983.  "Arco's Research and Development Efforts in Underground Coal
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Blinderman, M.  1999.  Ergo Energy Technologies, Inc.  Peer review comments. June 16, 1999.

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Site: Review and Preliminary Conclusions." Underground Coal Gasification: The State of the Art, Vol.
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