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Subpart O What’s Working & What’s Not. Deepwater Operations Conference and Exhibition November 10-12, 2009. Subpart O History. Proposed rule published in 1999 Final rule published 2000 Rule in effect since 10/15/2002 Performance based regulation
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Subpart OWhat’s Working & What’s Not Deepwater Operations Conference and ExhibitionNovember 10-12, 2009
Subpart O History • Proposed rule published in 1999 • Final rule published 2000 • Rule in effect since 10/15/2002 • Performance based regulation • Audits, interviews, and testing used to gauge industry compliance • 146 Audits (GOM OCS) • 150 INCs
Subpart O Statistics * Includes 2002-2004 data
Repeat Subpart O INCs • G842 – Can the lessee explain its overall program and produce evidence to support its explanation? • G846 – Does the plan include procedures for evaluating the contractors programs and is there evidence indicating the evaluations are being conducted? • G847 – Does the plan include procedures for internal audits and is there evidence indicating that the audits are being conducted?
Repeat Subpart O INCs • G851 – Does the lessee ensure that the contractor’s program provides for periodic training and verification of knowledge and skills? • G852 – Does the plan include procedures for verifying that all contractor personnel can perform their assigned duties and is there evidence indicating that all contractor personnel have been verified?
Other Subpart O INCs • G844 – Does the plan specify the type, length, method, frequency, and content of the training? • G850 – Are procedures established to verify adequate retention of knowledge and skills and is there evidence to support this? • G862 – Does the lessee provide copies of training documentation for personnel for the past five years?
NTL 2008-N03 • Clarifies – • Definitions • Internal audits • Production safety • Periodic • Contractor • Lessee responsibilities w/r/t contractors • Lessee evaluations of contractor training programs and verification of contractor employees • Lessee responsibilities w/r/t direct employees • Testing
NTL 2008-N03 • Lessee Responsibilities w/r/t Contractors • 1501 requires you to ensure that your contract personnel engaged in well control or production safety operations understand and can perform their assigned duties. • 1503(b)(2) requires that you evaluate the training program of your contractor(s). • 1503(b)(3) requires that you verify that all contractor personnel can perform their assigned duties. • 1506(c) requires you to ensure that your contractor’s training program provides for periodic training and verification of knowledge and skill. (This step can be/should be part of your procedures required by 1503(b)(2))
NTL 2008-N03 • Lessee Verification of Contractor Personnel Training as required by 1503(b)(3) • Administer a written, oral, or hands-on test. • Review a contractor’s certificate of completion-of-training, provided you understand the criteria used by the contractor for determining if the training was successfully completed. • Review an electronic or hardcopy spreadsheet of contractor personnel training information, provided you are confident that the spreadsheet is accurate and up-to-date.
NTL 2008-N03 • Lessee Responsibilities w/r/t direct employees • Procedures for training your employees. Include the type, length, frequency, method, and content of the training. • Procedures for verifying that your employees can perform their assigned duties. • Verify adequate retention of knowledge • Assess the training needs of your employees.
Contractor Responsibilities • The contractor is responsible for training its employees to perform their well control or production safety operations responsibilities. • Include plan/process for periodic training. • Verify knowledge and skill of their employees
Problem Areas • Operators with both company personnel and contractor personnel. • Had very good program w/r/t company personnel • Did poorly with respect to contractor by imposition of certain “requirements/restrictions” on the contractor. • Operators with contractor personnel only • Relied on contractors’ programs to satisfy Sub O requirements. • Relied too heavily on consultants to educate them in the rule requirements (included in the written plan). • Failed to implement their plan as stated.
Problem Areas • Operators and contractors continue to focus training efforts on the standard PSST. • Little to no effort is exhibited in the area of training in production operations. • Operators, contractors, and service companies do not fully understand the application of the rule to their operations. • Wireline operators • Coiled tubing/snubbing operators • Fire/Gas Detection technicians • Compressor mechanics/technicians
2010 Forward • MMS will continue to audit companies • Triggers • Poor performance • Incident root causes • Bad inspection • Random selection • Will be looking more and more at the operations on the facilities.
2010 Forward • Audit Tools • Plan review • Records review • Contractor evaluations • Contractor verifications • Employee verifications • Internal audits • Testing • PSST • Well control • Production operations
Thank You david.dykes@mms.gov504-736-3249