1 / 10

Regulatory: Coast Guard Introduction

Regulatory: Coast Guard Introduction. CAPT David Nichols US Coast Eighth District Outer Continental Shelf Division. Environmental Conventions and Regulations: Coast Guard. Introduction: New OCS Division on the Eighth District Staff Collaborative Relationship with BSEE.

kevina
Télécharger la présentation

Regulatory: Coast Guard Introduction

An Image/Link below is provided (as is) to download presentation Download Policy: Content on the Website is provided to you AS IS for your information and personal use and may not be sold / licensed / shared on other websites without getting consent from its author. Content is provided to you AS IS for your information and personal use only. Download presentation by click this link. While downloading, if for some reason you are not able to download a presentation, the publisher may have deleted the file from their server. During download, if you can't get a presentation, the file might be deleted by the publisher.

E N D

Presentation Transcript


  1. Regulatory: Coast GuardIntroduction CAPT David Nichols US Coast Eighth District Outer Continental Shelf Division

  2. Environmental Conventions and Regulations: Coast Guard • Introduction: • New OCS Division on the Eighth District Staff • Collaborative Relationship with BSEE

  3. Environmental Conventions and Regulations: Coast Guard • DEEPWATER HORIZON lessons learned: • Commandant’s Final Action Memo • Prevention is key to environmental protection • “One Gulf, One Standard” • Regulatory and policy changes

  4. Regulations: Coast GuardActive Pre-Rule: OCS Training • DWH Investigation CG Final Action: 1B, 1C, 3E , 3F • BSEE/USCG MOA OCS-08 on (MODUs) signed 4 June 2013 • Key Points: • Marine Crew training could prevent or mitigate environmental incidents • Marine crew should be capable of mitigating/responding to blowouts/fires should safety systems or procedures fail • Coast Guard checks compliance during exams

  5. Regulations: Coast GuardVoluntary Guidance: Fixed Firefighting • DWH Investigation CG Final Action: 2D • Notice of Interim Voluntary Guidance (77 FR 70172) • Key Points: • Consideration should be given to automatic operation of a fixed deluge system on drill floor and adjacent areas upon gas detection • Could prevent ignition and potential loss of well control

  6. Regulations: Coast GuardGuidance & Proposed Rule: Electrical Equipment • DWH Investigation CG Final Action: 1A • Notice of Policy (77 FR 71607) • Notice of Proposed Rulemaking (78 FR 37760) • Key Points: • Would provide uniformity for all MODU’s operating on the U.S. OCS • Would require that certification of electrical equipment intended for use in hazardous areas be test by a competent independent lab IAW 2009 IMO MODU Code

  7. Regulatory Policy Needs: Coast GuardGuidance: Dynamic Positioning • DWH Investigation CG Final Action: 1B, 1C, 3E , 3F • NOSAC Task Statements (2010, 2013) • Notice of Interim Voluntary Guidance (77 FR 62247) • Key Points: • Position Loss on DP Vessel is environmental concern • During “Critical OCS Activity;” environmental concern greater • Recommends use of Marine Technology Guidelines

  8. Regulatory Policy Needs: Coast GuardProposed Rule: Casualty Reporting • 33 CFR Subchapter N – OCS Activities • 46 CFR Part 4 – Navigable U.S. waters • Notice of Proposed Rulemaking (79 FR 1780) • Voluntary Reporting policy (CG-5PC letter of June 19, 2013) • Key Points: • Harmonizes casualty reporting requirements for U.S. and foreign operators on the OCS • Enhances knowledge of potential problem areas so that a proactive approach can be taken • Voluntary reporting for dynamically positioned MODU’s not currently required to report

  9. Regulatory Policy Needs: Coast Guard Active Pre-Rule: SMS On OCS vessels • Attention to safety procedures/systems prevents environmental incidents • DWH Investigation CG Final Action: 1A, 5D, 5I, 5K, 5L • BSEE/USCG MOA OCS-07 on SEMS and SMS signed 30 April 2013 • Advanced Notice of Proposed Rulemaking (78 FR 55230) • Key points: • How should a vessel SMS interface with an Operators SEMS plan? • How should authority over vessel interface with authority over OCS activity?

  10. Regulatory Policy Needs: Coast GuardWrap up Questions?

More Related