Difference between revisions of "AAPG statement on hydraulic fracturing"
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* Permit procedures for fracturing within fresh-water aquifer zones (mostly undertaken in support of methane production from [[coal]] beds) should be designed on a basin-by-basin and state-by-state basis. | * Permit procedures for fracturing within fresh-water aquifer zones (mostly undertaken in support of methane production from [[coal]] beds) should be designed on a basin-by-basin and state-by-state basis. | ||
* Permitting agencies should bear in mind in each instance the wide variety of possible designs of [[fracture]] treatments, and the geologic relationships of reservoir beds and aquifers unique to each area. | * Permitting agencies should bear in mind in each instance the wide variety of possible designs of [[fracture]] treatments, and the geologic relationships of reservoir beds and aquifers unique to each area. | ||
+ | |||
+ | ==See also== | ||
+ | * [[White paper: Hydraulic fracturing]], which includes an annotated bibliography |
Latest revision as of 16:47, 18 July 2016
Issue
Regulatory oversight of hydraulic fracturing treatments for shale gas, coalbed methane, and other hydrocarbon wells that may occur near zones of potable water are currently regulated at the state level. Federal legislative efforts to regulate hydraulic fracturing are not necessary because the States have been successfully regulating this process for at least 50 years.
Background
Modern fracturing practices work to safeguard the environment and present minimal potential damage to fresh-water zones. Most hydraulic fracturing takes place in zones removed from drinking-water supplies. Although fracturing fluids vary widely, the commonly used ingredients are limited in toxicity and/or mobility in water.
Statement
- AAPG opposes federally mandated regulation of hydraulic fracturing treatments, preferring regional regulatory expertise at the state level.
- Permit procedures for fracturing within fresh-water aquifer zones (mostly undertaken in support of methane production from coal beds) should be designed on a basin-by-basin and state-by-state basis.
- Permitting agencies should bear in mind in each instance the wide variety of possible designs of fracture treatments, and the geologic relationships of reservoir beds and aquifers unique to each area.
See also
- White paper: Hydraulic fracturing, which includes an annotated bibliography