all 4 one four areas of rig inspection

HSE & RIG MANAGEMENT SYSTEMS AUDITS

Authorities around the world require operators to demonstrate due diligence when planning and conducting well operations. At the very heart of these requirements is HSE and the need to show that effective Safety and Environmental Management Systems (SEMS) are in place and that employees are not only competent in their area of expertise but have and have an active knowledge of the HSE requirements on board the rig.

ADC’s HSE & Rig Management Systems Audits are conducted by a specialist team of experienced professionals who inspect and report on all aspects of Health, Safety and Environmental Management Systems as well as health and safety arrangements. Uniquely equipped with ECCAT (Environmental Compliance and Containment Assessment Tool), a bespoke piece of software developed by ADC, the team is able to inspect the rig’s environmental policies, its planning and implementation procedures along with identifying the management protocols of corrective actions, to ensure the rig is equipped to stop and manage the threat of environmental spills.

ADC’s HSE & Rig Management Systems Team are experts in gathering the material required to support your well planning and well drilling submissions where you are required to present material for a review by the Authorities, Department for Business, Energy & Industrial Strategy (BEIS} which may also include their Offshore Safety Directive Regulator (OSDR) partner, the Health and Safety Executive (HSE).

Below is an outline of current requirements which our specialist team can help you with:



1. Proposed Well Overview
Provide details of the proposed well including the proposed timeframe for the operations, well location, design and characteristics with any maps and diagrams. Also provide details of the owner of the Non-Production Installation (NPI), as defined in the Offshore Installations (Offshore  Safety Directive) (Safety case etc.) Regulations 2015 (SCR_2015) and the specific NPI that will be used for the proposed operation.

2. Safety and Environmental Management System
Provide details of how OPERATOR and the NPI owner will co-ordinate their Safety and Environmental Management Systems (SEMS) and provide a copy of any interface or bridging documents. Describe how identified differences between the management systems will be harmonised for the proposed operations and what actions you intend to take to ensure conformance with the SEMS.

3. Training and Competency
OPERATORS are required to demonstrate the method by which they can assure the Department of the competency of both their own employees and those contracted to conduct operations on its behalf e.g. NPI owner and service providers. OPERATOR is required to demonstrate that there are standards set for competency at all levels which are job specific, that there is appropriate assessment of the training and competency, and that training is proportionate to the hazards and risks concerned.

Provide evidence that OPERATOR and the contracted NPI owner have:
a) An effective competency management system;
b) Competent staff based on appropriate knowledge, skills and experience;
c) Maintenance of staff training and competence assessment records; and
d) Additional measures for new employees and unusual operations.

Provide details of specific training that OPERATOR and their contractors has received or will receive in relation to their responsibilities under the regulations controlled by the Department, awareness of permit, consent, license requirements and emergency response functions in relation to releases to sea. Furthermore, describe the scope and outcomes of any preparatory events /meetings already completed or proposed with your contractors for this specific well operation.

4. Operating Procedures
OPERATOR must demonstrate that they and their main contractors have a process to:
a) Determine where procedures are required for the proposed operations;
b) Ensure procedures are part of a document control system;
c) Ensure procedures are relevant to the equipment and activities on-board the NPI;
d) Confirm procedures are subject to review and approval by personnel with appropriate expertise to ensure accuracy and clarity; and
e) Ensure compliance with the procedures when they are used.

CLIENTS:

AGR

APACHE CORPORATION

BUREAU VERITAS

BP

CAIRN ENERGY

CHEVRON

CLYDE & CO

CNR INTERNATIONAL

CONOCOPHILLIPS

DANA PETROLEUM

DNV GL

ECOPETROL

ENQUEST

EQT

EXCEED

GAZPROM

GLENCORE

HESS

HURRICANE

INCE & CO

INEOS GROUP

JX NIPPON

MURPHY OIL

NEXEN

PETROFAC

PREMIER OIL

REPSOL

SEADRILL

TOTAL

TRANSOCEAN

TULLOW OIL

TURKISH PETROLEUM

WINTERSHALL

target 4 HSE & Dropped Objects surveys

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