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COMPLETION
Completion: The permit is justified by UIC stipulations, a tank diking variance, and Commission Order 35741, all directly conditioning the approval.
Updated 2026-07-15 · was Jun 4, 2026 · +2 pages · Full diff →

🛢️ SPACKLER 1 SWD

Phoenix Operating LLC · Divide County, ND · File #42915 · Generated 2026-07-15 06:25

API
3302301800
Target Formation
Dakota Group
Permit Explained
Yes

📋 Permit Cycle Assessment

The permit is justified by UIC stipulations, a tank diking variance, and Commission Order 35741, all directly conditioning the approval.

🔍 Permit Cycle Signals (3)

UIC Stipulation requiring immediate notification upon spudding and submission of a Sundry Notice within 3 business days of spudding.
Direct
📄 PERMIT INFORMATION
📅 2026-05-08 (Exact confidence)
Direct regulatory requirement conditioning permit approval.
Tank diking variance request approved contingent on submission of an as-built site schematic after facility construction.
Direct
📄 PERMIT INFORMATION
📅 2026-05-08 (Exact confidence)
Non-routine waiver affecting permit conditions.
Order No. 35741 authorizing injection into the Dakota Group, conditioned on compliance with NDAC Chapter 43-02-05.
Direct
📄 ORDER OF THE COMMISSION
📅 2026-05-08 (Exact confidence)
Regulatory order directly justifying permit approval.

📖 Historical Context (2)

Permit expiration if well is not completed as a Saltwater Disposal well by May 8, 2027.
📄 PERMIT INFORMATION · 📅 2027-05-08
Imposes a deadline for well completion affecting future operational timelines.
Anti-collision obligations for future drilling due to proximity of multiple permitted wells on the same pad.
📄 Anticollision Report · 📅 Unknown
Persistent operational constraint requiring ongoing wellbore separation monitoring.
Confidence: High
Direct regulatory orders and stipulations explicitly justify the permit approval. Historical signals are clearly documented.