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A Resource For You! NTG Environmental’s ESG Dictionary

A Resource For You! NTG Environmental’s ESG Dictionary

Are you a company that is committed to environmental sustainability? Are you in the process of evaluating your environmental, social, and governance (ESG) performance? If so, you're in the right place. NTG Environmental is here to help you navigate the complex world...

Why is Baseline Water Supply Sampling Important?

Why is Baseline Water Supply Sampling Important?

Why is Baseline Water Supply Sampling Important in Oil & Gas Operations?   Environmental due diligence and audits play a critical role in ensuring compliance with regulations and minimizing ecological impacts. NTG Environmental, a subsidiary of New Tech...

Need An H2S Contingency Plan?  We Can Help.

Need An H2S Contingency Plan? We Can Help.

We Can Help You Develop an H2S Contingency Plan In the oil and gas sector, health and safety hazards can pose significant threats to personnel working onsite and surrounding communities.  Hydrogen Sulfide (H2S) naturally occurs in many oil and gas reservoirs...

Fugitive Emissions: What They Are & Why They Matter

Fugitive Emissions: What They Are & Why They Matter

What Are Fugitive Emissions? Fugitive emissions refer to accidental leakages of gases and vapors into the atmosphere.  These are typically known as a byproduct of the oil and gas industry.  In the past several decades, the rise of climate awareness and protection...

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EPA’s Mandatory Greenhouse Gas Reporting Rule

EPA’s Mandatory Greenhouse Gas Reporting Rule, 40 CFR Part 98, requires reporting of greenhouse gas (GHG) emissions from certain industries in the U. S. The rule does not require control of GHG emissions. Under the rule, Subpart W applies to the petroleum and natural gas industry segment.

Notice C-141 Process Updates

The New Mexico Oil Conservation Division (OCD) released a notice as to updates to Form C-141. Attached to this email is that notice, including additional attachments and figures totaling 111 pages. According to the notice, the Form C-141 is being updated to include the addition of 16 new incident statuses and a completely digitized version of the C-141. This release is the first phase of several, but is claimed by OCD to likely include the biggest change to current operations. Additional phases will focus on refinement and include new submission pipelines for C-141 applications.

This is a replacement of the document previously posted on the Energy, Minerals and Natural Resources Department (EMNRD) website titled “Procedures for Implementation of the Spill Rule” released September 6, 2019. The 2019 document is no longer valid.