Brent Alpha Jacket DP
Brent Alpha Jacket DP
Brent Alpha Jacket DP
Limited
CONTENTS
Table of Contents
1 Executive Summary ....................................................................................................... 9
2 Decommissioning Programme ........................................................................................ 17
2.1 Introduction ............................................................................................................... 17
2.2 Overview of Installation being Decommissioned ............................................................... 17
2.3 Partner Letter of Support ............................................................................................... 18
2.4 Summary of Proposed Programme of Work ..................................................................... 18
2.5 Implications for Decommissioning other Infrastructure and Materials ...................................... 19
2.6 Field Location including Field Layout and Adjacent Facilities ............................................... 19
2.7 Public Consultation ..................................................................................................... 19
2.8 Industrial Implications .................................................................................................. 19
3 Background Information ............................................................................................... 21
3.1 The Brent Field .......................................................................................................... 21
3.2 Managing Declining Production .................................................................................... 21
3.3 Planning for Decommissioning ...................................................................................... 21
3.4 Brent Decommissioning Programmes .............................................................................. 22
4 Description of the Brent Alpha Jacket ............................................................................... 25
4.1 General Description ................................................................................................... 25
4.2 Present and Planned Condition ..................................................................................... 28
4.3 Seabed Drill Cuttings Pile ............................................................................................ 29
5 Decommissioning Options and the Comparative Assessment Method ...................................... 31
5.1 Regulatory Framework................................................................................................. 31
5.2 Method Used to Complete Comparative Assessments ....................................................... 31
5.2.1 Introduction ........................................................................................................ 31
5.2.2 Comparative Assessment Criteria ............................................................................ 31
5.2.3 Comparative Assessment Data ............................................................................... 33
5.3 Assessing the Performance of each Option ...................................................................... 36
5.4 Examining the Sensitivity of the CA-recommended Option .................................................. 36
5.5 Identifying the Recommended Option ............................................................................. 38
6 Feasible Decommissioning Options for Brent Alpha Jacket .................................................... 39
6.1 Reuse of Brent Alpha Topside ....................................................................................... 39
6.2 Reuse of the Brent Alpha Jacket ..................................................................................... 39
6.3 Refloating the Whole Jacket in One Piece ....................................................................... 39
6.4 Lifting the Whole Jacket in One Piece with the SLV ............................................................ 41
6.5 Brent Alpha Footings .................................................................................................. 41
6.6 Options for the Brent Alpha Footings .............................................................................. 43
6.6.1 Introduction ........................................................................................................ 43
6.6.2 Removing the footings using the SLV ........................................................................ 44
6.7 Issues and Concerns Raised by Stakeholders ................................................................... 46
6.8 Interaction with the Seabed Cuttings Pile ......................................................................... 46
6.9 Technical Issues for Removing the Footings ...................................................................... 47
7 Specific Studies to Inform the CA for Brent Alpha Jacket Footings ............................................ 51
7.1 Introduction ............................................................................................................... 51
7.2 Assessment of Safety Risks to Other Users of the Sea ......................................................... 51
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CONTENTS
Tables
Table 1 Overview of Installation being Decommissioned. .............................................................. 12
Table 2 Installation being Decommissioned. ............................................................................... 17
Table 3 Details of the Section 29 Notice Holders. ....................................................................... 17
Table 4 Summary of Proposed Decommissioning Programme. ........................................................ 18
Table 5 History of Brent Alpha. ................................................................................................ 21
Table 6 Data on the Brent Alpha Jacket. .................................................................................... 25
Table 7 Inventory for Brent Alpha Jacket after Removal of Topside. .................................................. 27
Table 8 The BEIS 5 Main Criteria and the Selected Sub-criteria used in all Brent CAs. ........................ 32
Table 9 The Source and Type of Data used to Assess the Performance in each Sub-criterion. ................ 35
Table 10 Global Scales for each Sub-criterion used in Brent Decommissioning CAs. ............................ 35
Table 11 ’Standard Weights’ for the BEIS Main Criteria and Sub-criteria. .......................................... 36
Table 12 The Five Weighting Scenarios used to Assess the Sensitivity of the CA-recommended
Decommissioning Option............................................................................................. 37
Table 13 Weighting Applied to Sub-criteria in Selected Weighting Scenarios. .................................... 37
Table 14 Inventory of Materials on Brent Alpha Footings. ................................................................ 42
Table 15 Summary of Options for the Brent Alpha Footings. ............................................................ 45
Table 16 The Technically Feasible Decommissioning Options for the Brent Alpha Footings and the
Brent Alpha Cuttings Pile, which were Subjected to CA. .................................................... 46
Table 17 Recommended Combination of Options for Brent Alpha Jacket Footings and Seabed Drill
Cuttings Pile. ............................................................................................................. 47
Table 18 PLL for Types of Fishing Gear during Different Phases of the Degradation of the Brent Alpha
Jacket Footings. ......................................................................................................... 52
Table 19 Transformed and Weighted Sub-criteria Scores for the Brent Alpha Footings Alone. ................. 57
Table 20 Transformed and Weighted Sub-criteria Scores for the Brent Alpha Footings in Combination
with the Drill Cuttings Pile. ........................................................................................... 58
Table 21 Estimated Amounts of Brent Alpha Jacket Material Retrieved and Left in Place following
Partial Removal. ......................................................................................................... 67
Table 22 Summary of the Physical, Biological and Socio-economic Environments in the Brent Field. ......... 70
Table 23 Environmental Sensitivities in the Brent Field. .................................................................... 71
Table 24 Energy and Emissions Associated with Partial Removal and Onshore Dismantling of Brent
Alpha Jacket. ............................................................................................................ 77
Table 25 Summary of Methods for Managing Waste Streams. ........................................................ 89
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Figures
Figure 1 Location of the Brent Field ............................................................................................ 10
Figure 2 Layout of Installations in the Brent Field ........................................................................... 10
Figure 3 Location of Adjacent Facilities ...................................................................................... 11
Figure 4 Brent Field Decommissioning Programmes and their Supporting Documentation ...................... 23
Figure 5 The Brent Alpha Installation in 2006 .............................................................................. 26
Figure 6 The Main Components of the Brent Alpha Jacket .............................................................. 26
Figure 7 Condition of the Brent Alpha Jacket after the Removal of the Topside .................................... 27
Figure 8 Brent Alpha Leg Pre-Cut for Topside Removal ................................................................... 29
Figure 9 Multi-beam Echo Sounder Image of the Brent Alpha Cuttings Pile and Outer Jacket Legs ........... 29
Figure 10 Plan View of the Mapped Extent of Brent Alpha Drill Cuttings Pile in Relation to the Footings ..... 30
Figure 11 Example of a Bar Chart Showing the Total Weighted Scores of Three Options....................... 38
Figure 12 Example of a Difference Chart Showing the Difference between Two Options in each of
the Sub-criteria........................................................................................................... 38
Figure 13 Possible Configuration for Refloating the Brent Alpha Jacket ................................................ 40
Figure 14 Condition of the Brent Alpha Footings after Removal of the Upper Jacket ............................... 43
Figure 15 Typical Arrangement of a Pile Bore Grout Plug in the Brent Alpha Footings ............................ 43
Figure 16 Cross-section through a Typical Pit Excavated Around each Leg .......................................... 48
Figure 17 Pile-Top Drill Rig for Battered Piles.................................................................................. 49
Figure 18 The Total Weighted Scores for Combined Options for Brent Alpha Jacket Footings in
Combination with the Drill Cuttings Pile, and the Contributions of the Sub-criteria .................... 58
Figure 19 Difference Graph Comparing the Weighted Scores of each Sub-criterion in the Better
‘Removal’ Option for the Brent Alpha Jacket Footings Alone, with the ‘Leave in Place’
Option, Under the Standard Weighting ......................................................................... 59
Figure 20 Difference Graph Comparing the Weighted Scores of each Sub-criterion in the Better
Combined ‘Removal’ Option for the Brent Alpha Jacket Footings and Seabed Cuttings Pile,
with the Combined ‘Leave in Place’ Option, Under the Standard Weighting .......................... 61
Figure 21 Artist’s Impression of HLV Lifting Brent Alpha Upper Jacket and Conductors ............................ 66
Figure 22 State of the Brent Alpha Footings after Removal of the Upper Jacket ..................................... 67
Figure 23 An Example of the Diagrams Used to Portray the Severity of an Impact ................................. 73
Figure 24 Environmental Impacts from Partial Removal and Onshore Dismantling of the Brent Alpha
Jacket ...................................................................................................................... 75
Figure 25 Environmental Impacts from Leaving the Brent Alpha Footings in Place .................................. 75
Figure 26 Indicative Timing and Duration of the Proposed Brent Alpha installation Decommissioning
Programme of Work ................................................................................................... 89
Figure 27 Relative Timescales of Impacts from Offshore Operations and Some of the Long-term
Consequences of Leaving Material on the Seabed at Brent Alpha ....................................... 90
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BRENT ALPHA JACKET DECOMMISSIONING PROGRAMME
EXECUTIVE SUMMARY
1 EXECUTIVE SUMMARY
Introduction
This document presents the Decommissioning Programme (DP) for the steel support structure (the “jacket”) of
the Brent Alpha installation. The owners of the installation are Shell U.K. Limited (registered
number 0140141) (Shell, the operator) 50% and Esso Exploration and Production UK Limited (registered
number 207426) (Esso) 50%. Shell has prepared this Programme in accordance with Section 29 of the
Petroleum Act 1998 [1], and Esso confirms that it supports the proposals described in it. A letter of support
from Esso is presented at the end of this DP. Throughout this document therefore, the terms ‘owners’, ‘we’,
‘us’, and ‘our’ refer to ‘Shell and Esso’.
Decommissioning in the UK sector of the North Sea takes place under a mature regulatory process that is
stipulated in the UK’s Petroleum Act 1998 and regulated by the Offshore Petroleum Regulator for Environment
and Decommissioning (OPRED), which is a department within the Department for Business, Energy and
Industrial Strategy (BEIS)1. The BEIS Guidance Notes: Decommissioning of Offshore Oil and Gas Installations
and Pipelines under the Petroleum Act 1998 2 [2] provide guidance and advice in the preparation of DPs.
Background
After more than 40 years of production, the Brent Field is reaching the end of its economically-viable life and
the next step is to decommission the Alpha installation. Before considering decommissioning options, and as
part of our Final Field Development Plan (FFPD), we examined possible re-use options for the installation,
particularly for further oil and gas production offshore, and carbon capture and storage. In addition, as part
of our Comparative Assessment process, we reviewed a range of possible re-use options such as wind-farms,
marine research stations, energy hubs, and artificial reefs. After a thorough review, we were not able to
identify any further oil and gas uses for the installation, and concluded that all the alternative non-oil and gas
uses were either not feasible, or not economically viable because of the age of the infrastructure, its distance
from shore, the lack of demand for reuse and the cost of converting the facilities. We have therefore
concluded that the Alpha installation must be decommissioned.
1
In July 2016 the Department of Energy and Climate Change (DECC) was replaced by BEIS. At this time, a
number of DECC regulatory responsibilities also transferred to the new Oil and Gas Authority (OGA). Any
further references to DECC should be taken as BEIS.
2
The Brent Decommissioning Programmes were prepared in accordance with the Guidance Notes available
at the time, the Decommissioning of Offshore Oil and Gas Installations and Pipelines under the Petroleum Act
1998. Version V6, DECC, March 2011 [3]. The Guidance Notes have since been superseded by the BEIS
Guidance Notes November 2018. This does not change any of the decommissioning outcomes, as they are
in-line with the updated Guidance Notes.
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EXECUTIVE SUMMARY
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BRENT ALPHA JACKET DECOMMISSIONING PROGRAMME
EXECUTIVE SUMMARY
Pre-decommissioning 2015: Full baseline benthic survey; physical, chemical and biological data.
environmental survey Included sampling/coring of seabed cuttings pile.
Previous surveys 2007: Full baseline benthic survey; physical, chemical and biological data;
MBES3. Included sampling/coring of seabed cuttings pile.
Cuttings pile screening As reported in 2007, the Alpha screening results were below both of the
thresholds in OSPAR Recommendation 2006/5.
Nearest SAC Braemar Pockmark, 225 km
Nearest platform Statfjord B, 20.7 km NE
ICES rectangle 45F1 Fishing intensity ‘Low’ Fishing value ‘Low’
Shipping activity ‘Low’ MOD activity None Wrecks None
Stakeholder Engagement
Since 2007 we have been working on the long-term planning necessary to stop production and
decommission the Brent Field. This has involved in-depth work with third-party experts, academics and other
interested stakeholders.
Stakeholder engagement has played a significant role in the development of the Brent Decommissioning
Programmes. For more than ten years we have carried out a thorough and transparent process of stakeholder
engagement with interested parties. This has involved discussing and informing stakeholders of the different
risks, challenges and benefits associated with decommissioning. More than 180 organisations across Europe
have been engaged including non-governmental organisations such as environmental groups, government
representatives and bodies, academics and professional institutes, fisheries organisations, oil and gas
industry bodies, and media and community groups. Our stakeholder engagement activities have included
individual visits to stakeholders, hosting larger stakeholder events (facilitated by independent third-party
facilitators The Environment Council and then latterly Resources for Change), two Public Events, publishing an
online newsletter and maintaining a dedicated Brent Decommissioning website.
3
Multi-Beam Echo Sounder
4
Estimated total mass to 3m below the seabed, including conductors, piles and grout
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EXECUTIVE SUMMARY
Comparative Assessments
OSPAR Decision 98/3 on the Disposal of Offshore Installations [4] states that the dumping, and the leaving
wholly or partly in place, of disused offshore installations is prohibited. An exemption (derogation) may be
granted by the Competent Party if it is satisfied that a Comparative Evaluation shows that there are significant
reasons why an alternative disposal method is preferable to re-use or recycling or final disposal on land. For
steel substructures weighing more than 10,000 tonnes in air (excluding the topside) this means that the
‘footings’ may be left in place. The footings are that part of the jacket, and associated closely connected
parts, that are below the tops of the steel piles that pin the jacket to the seabed.
The Brent Alpha substructure is a steel jacket which weighs more than 10,000 tonnes in air, being a weight
of 28,719 tonnes. The point closest to the top of the piles at which it is practically feasible to cut the jacket is
at a depth of 84.5 m, expressed as -84.5 m LAT (Lowest Astronomical Tide).
As such, feasible options for its decommissioning were subjected to a Comparative Assessment (CA),
complying with the principles of comparative evaluation in Annex 2 of OSPAR Decision 98/3. We
performed two CAs, one for the jacket on its own and one for the jacket in combination with options for the
management of the historic drill cuttings pile which lies largely within the present footprint of the base of the
jacket footings.
Consultation
As is to be expected when decommissioning involves large installations that are candidates for derogation,
OPRED’s consideration of decommissioning proposals for the Brent Field structures occurs over an extended
timeframe. In these particular circumstances, OPRED recognised that the completion of topsides removals
could allow decommissioning to be executed cost-effectively, and without prejudice or compromise to the
feasible decommissioning options for the four substructures in the Field, including the Brent Alpha jacket.
To this end, we submitted the first DP, the Brent Delta Topside Decommissioning Programme [5] in
February 2015, which was subject to a thirty day period of public consultation and subsequently approved
in July 2015. The Brent Delta topside was successfully removed as a single lift in April 2017.
A consultation draft of the Brent Field Decommissioning Programmes Document [6], which described our
proposals for decommissioning all the remaining facilities in the Brent Field, was submitted to OPRED in
January 2017. The Programmes were subject to a sixty day period of public consultation between
8 February 2017 and 10 April 2017, and OPRED carried out a simultaneous consultation with other
government departments. The consultations provided the opportunity for consultees to raise comments on our
proposals, including those for the decommissioning of the Brent Alpha installation. In accordance with UK
decommissioning procedures OPRED has had sight of our responses to the comments raised by consultees in
relation to the Brent Alpha installation, and have informed us that they are satisfied that the comments have
been addressed appropriately and that no further consideration of proposals for the installation is required.
OPRED also agreed that our proposals for decommissioning the remaining topsides in the Field could be
removed from the Brent Field DP and form a separate, topsides-only, DP covering the Alpha, Bravo and
Charlie topsides. Accordingly, we submitted the Brent Field Topsides Decommissioning Programme [7] in
July 2018 and this was approved in August 2018. Subsequently, the Brent Bravo topside was successfully
removed as a single lift in June 2019.
As a derogation candidate under OSPAR Decision 98/3, the Brent Alpha jacket was also included in the
Brent Decommissioning Derogation Assessment [8], which was submitted for consultation to OSPAR in
January 2019. This concluded with a Special Consultative Meeting in October 2019, and a Chairman’s
report issued in November 2019.
The Brent Alpha installation was demanned in October 2019, and the topside was successfully removed in
June 2020. This has left the Brent Alpha jacket protruding just 6.7 m above sea level. The remaining
installations in the full derogation assessment are still under consideration.
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Conclusion
Detailed engineering and technical studies showed that after removal of the Brent Alpha topside:
• It is not technically feasible to lift the whole jacket in one piece by any type of heavy lift vessel (HLV),
including the Single Lift Vessel (SLV) Pioneering Spirit, because of the weight and strength of the
jacket, and the ‘lifting height’ required.
• It is not technically feasible to re-float the whole jacket in one piece, because re-floating would
require the attachment of large external buoyancy tanks to supplement the buoyancy that could,
in theory, be gained by dewatering the pontoon legs. The weakness of the relatively thin walls
of the pontoon legs would make it very difficult to attach clamps to such a large, thin-walled part
of the jacket.
• It is not considered feasible to strengthen the thin steel walls of the pontoon legs
so that sufficiently large buoyancy tanks could be attached.
• Studies also showed that it was not practically possible to reinstate the buoyancy in the pontoon legs
– because the buoyancy chambers had to be ruptured during installation of the steel piles – and that
the relatively thin walls of the pontoon legs were not strong enough to withstand the high pressure of
gas that would have to be injected to force out the water.
In the course of the CA process, therefore, it was concluded that for all feasible options the upper jacket and
conductors would have to be removed in one or more pieces by an HLV and returned to shore for
dismantling and recycling. In all cases, the upper jacket would be cut at -84.5 m LAT. This is as close as
practically-possible to the top of the ‘pile stick-up’, which in OSPAR Decision 98/3 defines the extent of the
‘footings’ of steel jackets.
If the jacket were cut at 84.5 m below sea level as proposed, this would leave footings extending 55.7 m
above the seabed. They are pinned to the seabed by 32 hollow steel piles 1.83 m in diameter, which are
held in place and fixed to the jacket by grout; the piles have been filled with grout to increase the on-bottom
stability of the jacket. The footings, excluding marine growth, weigh 20,207 tonnes, including the lower
parts of the conductors and the steel piles and their cement grout down to a depth of 3 m below the seabed.
There is a large (6,300 m3) historic drill cuttings pile lying on the seabed below the footings, the majority of
which is contained within the perimeter of the footings.
All options for the removal of the footings would require the steel piles to be cut. The footings could be
released from the seabed either by cutting the piles externally, using Diamond Wire Cutting (DWC)
equipment, or by cutting the piles internally after first removing the grout by drilling or water-jetting.
There are three practically-available options for the decommissioning of the Brent Alpha footings:
• Leave in place.
The footings would be left in place in the condition attained after the removal of the upper jacket,
and no further operations would take place. The footings would corrode and eventually collapse
completely over a period of about 500 years. The seabed drill cuttings pile would be left in place.
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BRENT ALPHA JACKET DECOMMISSIONING PROGRAMME
EXECUTIVE SUMMARY
Two CAs were performed for the purposes of assessing options for the footings. The first examined options
for the footings alone, without consideration of the presence of the seabed drill cuttings pile, i.e. for the
structure only. The second examined options for the footings in combination with the most appropriate option
for the management of the drill cuttings pile.
The recommended option for the Brent Alpha Jacket Footings is ‘Leave in Place’.
Through this Brent Alpha Jacket Decommissioning Programme, the owners seek approval to decommission the
Brent Alpha jacket. If approved, the offshore programme of work is planned to take place in Q3 of 2020.
The conductors have already been cut at 84.5 m below sea level, and they will be lifted away within the
upper jacket by an HLV. The upper jacket and the cut sections of the conductors will be carried by the HLV to
the AF Gruppen site at Vats in Norway, where it will be dismantled. All of the recovered metallic material of
the upper jacket (an estimated 8,512 tonnes) will be recycled.
In the proposed option for the Alpha jacket there would be no further activities at the site after the removal of
the topside and upper jacket.
The significant reasons why leaving the jacket footings in place is preferable to returning them to shore for
re-use or recycling or final disposal on land are as follows:
• There are significant technical difficulties and safety risks associated with any programme of work to
cut the 32 grouted steel piles using DWC equipment and remove the 20,207 tonne footings from
the seabed. No operations on such a scale have ever been undertaken before. The main risks are:
• Gaining access to the piles to cut them internally by deploying novel equipment from the surface
into the piles, including the internal piles in the pontoon legs, and successfully clearing the pile
bore grout by drilling or milling and then cutting the piles by abrasive water jet; or
• Excavating very large pits in the seabed to cut the piles externally, by removing all the
6,300 m3 drill cuttings pile and approximately 25,000 m3 of natural seabed sediments.
• Maintaining the stability of the footings as the piles are being cut, and as sections of the
footings are being lifted away, given the fact that the footings would be prone to warping
because there is only one horizontal bracing, at a height of 30 m above the seabed; and
• Lifting the footings away from the lower parts of the conductors, given the fact that talon
connections and repairs prevent the conductors from being pulled through the last conductor
guide frame, or the guide frame from being pulled away from the conductors.
• The potential safety risk to project personnel from the programme of work needed to remove the
footings to shore is high, with an estimated Potential Loss of Life (PLL) of approximately 30 x 10-3
(a 1 in 34 likelihood of a fatality). This is much higher than the upper limit of the UK Health and
Safety Executive’s (HSE) As Low As Reasonably Practicable (ALARP) ‘tolerable range’, which is a PLL
of 1 x 10-3, and it is not ALARP. As such it is unacceptable.
The Brent Field Decommissioning Environmental Statement (ES) [9], prepared on behalf of the owners by
DNV GL, has assessed that there would be no significant adverse effects on the environment from the
proposal to leave the footings in place. The long-term legacy effects of the presence, deterioration and
eventual collapse of the footings were assessed as being ‘small negative’.
The main impacts identified were;
• Impacts to the seabed and benthos in the immediate area of the footings caused by the creation of
steel debris on the seafloor, and;
• The effects of falling steel debris disturbing the drill cuttings pile, which would lead to the
resuspension of cuttings and the recontamination of areas of seabed that were recovering from the
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BRENT ALPHA JACKET DECOMMISSIONING PROGRAMME
EXECUTIVE SUMMARY
effects of historic discharges. Modelling of such disturbance events suggests that any impacts will be
localised and relatively short-lived.
Potential low-level safety risks to commercial fishing vessels using demersal (bottom-towed) fishing gear would
be mitigated by marking the footings on FishSAFE and updating the status of the installation through ‘Notices
to Mariners’. The position of the Alpha footings would be clearly marked on navigational charts through the
UK Hydrographic Office.
Leaving the Alpha jacket footings in place will also leave the drill cuttings pile undisturbed to degrade
naturally.
In accordance with the Petroleum Act 1998, the responsibility for managing and reporting the results of the
agreed post-decommissioning monitoring and evaluation, and any remedial programme, will remain with the
present owners. The Alpha jacket footings which are proposed to be left in place remain the property of the
Brent Field licensees.
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BRENT ALPHA JACKET DECOMMISSIONING PROGRAMME
DECOMMISSIONING PROGRAMME
2 DECOMMISSIONING PROGRAMME
2.1 Introduction
In accordance with the Petroleum Act 1998 [1], the BEIS Guidance Notes on Decommissioning [2], and the
requirements of OSPAR Decision 98/3 [4], the owners as Section 29 Notice Holders seek approval from
OPRED to decommission the Brent Alpha substructure by cutting the jacket at 84.5 m below Lowest
Astronomical Tide (LAT) and removing this part (the ‘upper jacket’) to shore for recycling and disposal, and
leaving the lower part of the jacket (the ‘footings’) in place.
In conjunction with public, stakeholder and regulatory consultation completed on 10 April 2017, and the
OSPAR consultation completed in October 2019, this DP is submitted for approval in compliance with
regulatory requirements and BEIS guidelines. It describes the options that were examined for the jacket, the
Comparative Assessment (CA) process completed to assess the feasible options, the results of the CA, the
removal programme that would be undertaken, and the materials that would be left in the sea. It summarises
the schedule of offshore and onshore work which is expected to be completed by the end of 2021, and
presents an assessment of the environmental impacts of the proposed programme.
5
Estimated total mass to 3m below the seabed, including the conductors and casings, and the piles and
their grout, but excluding the estimated weight of marine growth on the structure.
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BRENT ALPHA JACKET DECOMMISSIONING PROGRAMME
DECOMMISSIONING PROGRAMME
Proposed Decommissioning
Selected Option Reason for Selection
Solution
1. Brent Alpha Jacket
Complete removal of the upper Complies with requirements of The upper part of the Brent Alpha
jacket down to -84.5 m LAT, OSPAR Decision 98/3. jacket will be removed in one
onshore dismantling, recycling piece by an HLV and transported
and disposal. to the AF Gruppen site at Vats in
Norway, where it will be back-
loaded and dismantled onshore.
Some equipment may be re-used
but it is estimated that about 87%
by wet weight of the retrieved
mass of jacket material will be
recycled. The remaining 13%,
which comprises mainly organic
marine growth, will be disposed
of to a licensed landfill site.
Leaving the footings of the jacket Assessed as the recommended The footings will be left in place
in place. option after completion of a on the seabed, and the cuttings
Comparative Assessment in pile will be left in place
accordance with the requirements undisturbed to degrade naturally.
of OSPAR Decision 98/3.
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DECOMMISSIONING PROGRAMME
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DECOMMISSIONING PROGRAMME
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BACKGROUND INFORMATION
3 BACKGROUND INFORMATION
Event Date
Jacket installed 1976
Production begins 1978
Cessation of Production 1st November 2014
Completion of Wells P & A 2019
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BACKGROUND INFORMATION
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BACKGROUND INFORMATION
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BRENT ALPHA JACKET DECOMMISSIONING PROGRAMME
BACKGROUND INFORMATION
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BRENT ALPHA JACKET DECOMMISSIONING PROGRAMME
Topic Information
Type of facility Steel piled platform
6
Position, decimal (WGS84) 61.034384N, 1.703685E
Position, decimal minute (WGS84) 61°02.063′N, 01°42.221′E
Shortest distance to nearest coast 136 km, Shetland Islands, UK
Shortest distance to median line 12 km to UK/Norway
Jacket height from seabed to underside 161.9 m Jacket height 21.7 m (to
of Plate Girder Support Structure (PGDS) above LAT underside of PGDS)
‘Footprint’ areas Seabed footprint 5,775 m2 Truss Deck 2,280 m2
Total estimated weight of jacket in place, to 3 m below seabed7 28,719 tonnes
Total weight of piles, including grout (included in the total weight 8,645 tonnes
above)
Pontoon Legs
3, full height, on Frame ‘A’ Diameter 7.32 m Thicknesses 16-25 mm
Other Legs
3, full height, 2 partial height Diameters 1.83 m to 2.74 m Thicknesses 38-48 mm
Steel Piles
32, maximum stick-up ~10 m Diameter 1.83 m Thickness 48 mm
Risers
9, full height of jacket Diameters 0.2 m to 0.7 m Thicknesses 10-25 mm
Conductors
28, full height of jacket Diameter 0.66 m to 0.76 m Thickness 25.4 mm
6
WGS84, World Geodetic System 1984
7
Including conductors, casings, piles and grout
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BRENT ALPHA JACKET DECOMMISSIONING PROGRAMME
Figure 7 Condition of the Brent Alpha Jacket after the Removal of the Topside.
8
Our inventory records do not indicate that any NORM or other hazardous materials will be present on or in
the Brent Alpha jacket. Once the upper jacket has been received at the onshore dismantling site, one of the
pre-dismantling tasks will be a survey of the structure to check for the presence of NORM.
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BRENT ALPHA JACKET DECOMMISSIONING PROGRAMME
9
The Brent Bypass Project (BBY) was undertaken to allow the continuing export of gas through the WLGP and
FLAGS export routes once the Brent Alpha installation had been decommissioned, and was executed in two
phases. In Phase 1, the Northern Leg Gas Pipeline (NLGP) (from the Magnus platform and WLGP (from the
Ninian Central platform) were disconnected from the Brent Alpha platform. The gas from the NLGP and WLGP
is now commingled at a new subsea NL-WL PLEM (Pipeline End Manifold) structure. In Phase 2, the FLAGS
pipeline was disconnected from the Brent Alpha platform and existing VASP structure, with the fluids and
associated gas routed to a new FLAGS PLEM before onward transmission to shore via the remaining length of
the FLAGS pipeline (PL002/N0201).
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The 2007 survey indicated that the accumulation of drill cuttings on the seabed covered a roughly elliptical
area of 8,880 m², its mapped volume was approximately 6,300 m³ and its maximum height was 4 m. The
Brent Alpha footings cover an area of 5,775 m², so approximately 3,000 m² of the cuttings pile
(approximately 35% of the total pile area) lies outside the perimeter of the footings (Figure 10). Cross-sections
through the pile show that on the longer, north-south faces of the footings (77 m long) measurable thicknesses
of cuttings were found to extend approximately 10 m in both directions beyond the perimeter of the footings.
On the east-west faces (75 m long), the drill cuttings were mapped along a transect that extended
approximately 15 m in both directions beyond the perimeter of the footings. There has been no drilling at
Brent Alpha since 2001.
Figure 10 Plan View of the Mapped Extent of Brent Alpha Drill Cuttings Pile in Relation to the Footings.
As the drill cuttings pile is largely contained within the footprint of the jacket structure (Figure 8), the
decommissioning of the jacket footings will inevitably affect the drill cuttings pile. For one of the jacket
decommissioning options, the seabed drill cuttings pile would have to be disturbed or displaced to gain
access to the steel piles and for cutting the legs. Should both the footings and the drill cuttings pile be left in
situ, then the long-term degradation of the jacket structure will impact the drill cuttings (by falling debris
disturbing the drill cuttings). Accordingly, we completed separate CAs for the jacket footings and for the
seabed drill cuttings pile and then a combined CA in which (i) the preferred management option for the
displacement of the drill cuttings pile (‘remove the whole drill cuttings pile and treat onshore’) was combined
with the full removal option for the footings and (ii) the long-term effects of the seabed drill cuttings pile were
considered in combination with the long-term degradation of the jacket footings if they were left in place.
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5.2.1 Introduction
This section describes the method that we used to perform the numerical stage of CAs on the practically-
available options for those facilities that were subject to CA. A description and discussion of the full
procedure, with some discussion of sensitivity to changes in weightings, is presented in the Brent
Decommissioning Project’s (BDP) document Brent Field Decommissioning Comparative Assessment
Procedure [18].
Throughout this description and the subsequent narratives on CA, the term ‘performance’ is used for simplicity
to describe the ability of an option to result in desirable effects, either when expressed in terms of the raw
data or weighted score for a particular sub-criterion, or the total weighted score of the option.
• Safety
• Environmental
• Technical
• Societal
• Economic
We used the advice provided in the BEIS Guidance Notes which lists those matters which are to be
considered during a CA of feasible management options. These include but are not restricted to:
• Timing
• Safety
• Economic aspects
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In line with this guidance, therefore, we assessed each option’s performance by dividing that criterion into
more specific sub-criteria. For example, the main criterion ‘Environmental’ encompasses both the potential
environmental impacts arising during the work programme (which is likely to be on a timescale of a few
months) and the potential environmental impact arising from the long-term presence and degradation of
jacket material left on the seabed. By evaluating these different risks as separate sub-criteria, we were able
properly to record the performance of options in these two measures and examine how environmental
impacts changed with different options. We decided that ‘Safety’ should be assessed using three sub-criteria,
‘Environmental’ using four sub-criteria and ‘Societal’ using three sub-criteria. The criteria ‘Technical’ and
‘Economic’ were each assessed by one sub-criterion (Table 8).
Table 8 The BEIS 5 Main Criteria and the Selected Sub-criteria used in all Brent CAs.
BEIS Main
Sub-criterion Description
Criterion
Safety risk to offshore An estimate of the safety risk to offshore personnel as a result
project personnel of completing the proposed offshore programme of work.
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For the sub-criterion ‘Technical Feasibility’ (TF), the owners’ technical experts attended a series of facility-
based workshops to discuss and score each of the options under consideration. An aid to scoring was
developed, which listed factors which would affect the likelihood of successfully executing the option and
included considerations such as the novelty of the equipment required and the susceptibility of the workscope
to unplanned events. This resulted in a score on a ‘local scale’ (which was out of 45) and an understanding
of the reasons behind this score. The engineers then assessed whether the initial scores gave a realistic and
justifiable measure of the relative technical feasibility of the options, and ranked the options from best to
worst. The engineers then examined the differences between each of the scores to satisfy themselves that the
relative position of each option was consistent and justifiable. For example, if Option A scored 30, Option B
scored 15 and Option C scored 45, then the technical feasibility of Option B was half that of Option A and
the difference in technical feasibility between Option B and Option C was twice that of the difference
between Option A and Option B. The engineers discussed and agreed any adjustments to the scores that
they deemed necessary to ensure that the scores of the options on the local scale were correct relative to
each other, and the reasons for any adjustments were recorded.
A plenary TF workshop was then held at which the technical feasibilities of the options across the facilities
were discussed and compared, with the objective of agreeing an assessment for each option which was
relative to and consistent with all options across all facilities. This plenary workshop was facilitated by
Catalyze and observed by the Independent Review Group (IRG). In summary, using the judgement of the
Plenary TF Team, the best option with respect to of technical feasibility across all of the BDP facilities was
defined as ‘1’ on the global scale. Similarly, the worst option for TF across all facilities was defined as ‘0’ on
the global scale. The best and worst options for each facility were then placed on the global scale, referring
to the record of the facility-based workshops as necessary. The intermediate options (those between ‘best’
and ‘worst’) were placed onto the global scale by simple arithmetic mapping from the local scale position for
each facility onto the global scale, using the ‘best’ and ‘worst’ options for each facility as reference
points. The resulting option placements on the global scale were then reviewed and any further changes
documented.
DNV GL assessed the potential environmental impacts that could arise from each of the options under
consideration in the CA as part of their work to complete the environmental impact assessment (EIA), which is
reported in the Brent Field Decommissioning Environmental Statement [9]. We therefore asked DNV GL to
provide their expert judgement for the scoring of the two environmental impact sub-criteria and the ‘impact on
communities’ sub-criterion. As an initial step, DNV GL reviewed the type and degree of impact for each of
the options under consideration. They then discounted any impact which duplicated any other sub-criterion
that had been separately assessed for the purpose of the CAs; for example, the impact under the EIA
category ‘Fisheries’ was removed because the commercial effect on fisheries was the subject of a separate
sub-criterion in the CA. This resulted in a judgement of the overall impacts arising from the execution of the
different options and the reasons for each judgement, similar to the process used in the facility-based
workshops held by Shell to generate scores for TF. The DNV GL scores for the environmental impacts of each
option were therefore informed by the EIA, but do not necessarily directly correspond to the impact
assessments presented in the ES because the EIA assessments consider each facility in turn and do not assess
the magnitude of impacts across the different facilities. DNV GL then attended a plenary workshop, again
facilitated by the MCDA experts and observed by both the IRG and Shell representatives. The same process
as described for TF was followed for operational environmental impacts, legacy environmental impacts and
impacts on communities, producing scores on a global scale for each of the three sub-criteria which reflected
each option’s relative position.
Ultimately the work described here resulted in a suite of data appropriate for use in the BDP CA (Table 9),
and a set of global scales for each sub-criterion (Table 10).
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Table 9 The Source and Type of Data used to Assess the Performance in each Sub-criterion.
Table 10 Global Scales for each Sub-criterion used in Brent Decommissioning CAs.
10
Anatec, 2011. Assessment of the safety risk to fishermen from derogated footings of the Brent Alpha
steel jacket [20].
11
Anatec, 2017. Assessment of safety risks to mariners from Brent GBS [21].
12
Anatec, 2014. Assessment of safety risk to fishermen from decommissioned pipelines in the
Brent Field [22].
13
Mackay Consultants, 2014. Brent Decommissioning: Assessment of socio-economic effects on
commercial fisheries [23].
14
Mackay Consultants, 2014. Brent Decommissioning: Likely economic and employment impacts [24].
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The scores from the global scales for each sub-criterion were multiplied by the standard weights and then
summed to derive a total weighted score for each option. The option with the highest total weighted score
was identified as the ‘CA-recommended option’.
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Table 12 The Five Weighting Scenarios used to Assess the Sensitivity of the CA-recommended
Decommissioning Option.
Scenario Description
2 Weighted to Safety: Safety criterion weighted 40%.
3 Weighted to Environment: Environmental criterion weighted 40%.
4 Weighted to Technical: Technical Feasibility criterion weighted 40%
5 Weighted to Societal: Societal criterion weighted 40%.
6 Standard weighting without Economic.
Weighting Scenario
Sub-criteria
1 2 3 4 5 6
Safety risk to offshore project personnel 6.7% 13.3% 5.0% 5.0% 5.0% 6.7%
Safety risk to fishermen 6.7% 13.3% 5.0% 5.0% 5.0% 6.7%
Safety risk to onshore project personnel 6.7% 13.3% 5.0% 5.0% 5.0% 6.7%
Operational environmental impacts 5.0% 3.8% 10.0% 3.8% 3.8% 5.0%
Legacy environmental impacts 5.0% 3.8% 10.0% 3.8% 3.8% 5.0%
Energy use 5.0% 3.8% 10.0% 3.8% 3.8% 5.0%
Emissions (CO2) 5.0% 3.8% 10.0% 3.8% 3.8% 5.0%
Technical feasibility 20% 15.0% 15.0% 40.0% 15.0% 20.0%
Effects on commercial fisheries 6.7% 5.0% 5.0% 5.0% 13.3% 6.7%
Employment 6.7% 5.0% 5.0% 5.0% 13.3% 6.7%
Impact on communities 6.7% 5.0% 5.0% 5.0% 13.3% 6.7%
Cost 20% 15.0% 15.0% 15.0% 15.0% 20.0%1
Note 1. In this weighting scenario, to preserve the spread of the weightings across the other sub-criteria,
the sub-criterion ‘cost’ retains a weighting of 20% but all the options are accorded a cost of ‘nil’;
this means that cost does not contribute to the overall weighted score of an option.
Key to Weighting Scenarios
Scenario Description
1 Standard weighting; equal weighting to the BEIS 5 Main Criteria
2 Weighted to Safety
3 Weighted to Environmental
4 Weighted to Technical
5 Weighted to Societal
6 Standard weighting without Economic
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Figure 12 Example of a Difference Chart Showing the Difference between Two Options in each of
the Sub-criteria.
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In addition to the need to release the jacket from the seabed by severing the piles, described in more detail
in Section 6.9, the following technical issues would have to be overcome in any option to refloat the jacket:
▪ Strengthening the jacket legs so that BTAs could be attached.
▪ Installing strong lifting points for the attachment of the BTAs.
▪ Re-establishing some of the water-tight compartments in the pontoon legs to give essential extra
buoyancy.
▪ Ensuring that legs could withstand and sustain the gas pressure required to displace internal water
to permit the jacket to be floated even with BTAs.
▪ Controlling ascent and trim with the remains of piles and their grout in place.
▪ Developing a safe and cost-effective way of dismantling the jacket at a deep water site nearshore.
The original buoyancy chambers in the pontoon legs were ruptured during pile-driving, and our studies have
shown that it is very unlikely that they could be repaired to re-establish their integrity. However, some
buoyancy would be needed in the original buoyancy chambers, even with the addition of external BTAs.
Because the original buoyancy chambers cannot be re-instated, we have concluded that it is not technically
feasible to refloat the whole Brent Alpha jacket.
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6.4 Lifting the Whole Jacket in One Piece with the SLV
Having made the decision to remove the topside as single lifts using the SLV Pioneering Spirit, we examined
if the whole jacket could be removed in one piece by this vessel. As described in the Brent Alpha Jacket
TD [12], we concluded that because of the size and weight of the jacket with its piles, the strength and
integrity of the structure, and the complexity of attaching suitably strong and secure lifting points, it was not
technically feasible to remove the whole of the Brent Alpha jacket in one piece using the SLV or any other
type of HLV.
There is no technically feasible method for removing the whole of the Brent Alpha jacket in one piece. All
options, including the use of the SLV Pioneering Spirit, would require the jacket to be removed in two or more
pieces, beginning with the removal of the upper jacket down to -84.5 m LAT. The recently-commissioned
semi-submersible crane vessel (SSCV) Sleipnir, which we have contracted to lift the upper jacket, has a
maximum nominal lifting capacity of 20,000 tonnes. Recent work by Heerema Marine Contractors (HMC)
has confirmed that the whole jacket, from the topside cut line to the mudline, including the lengths of
conductors, piles and grout, would exceed this capacity [31].
Consequently, all options for decommissioning the Brent Alpha jacket would necessarily have as their starting
point the removal of the upper part of the jacket. We confirm that the upper part of the Brent Alpha jacket
will be removed to shore for dismantling and recycling, and our CA considers only the technically feasible
options for the decommissioning of the footings. The decommissioning options for the Brent Alpha jacket thus
focus on options for decommissioning the footings; the upper jacket would be removed regardless of which
option was selected for the footings, and does not form any part of the programme of work for the footings.
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6.6.1 Introduction
The starting point for all the options for the Brent Alpha footings would be that the upper jacket and the
conductor sections have been removed down to -84.5 m LAT (Figure 14).
Figure 14 Condition of the Brent Alpha Footings after Removal of the Upper Jacket.
The footings are fixed to the seabed by 32 hollow steel piles filled with grout, and these would have to be
severed at 3 m below the seabed if the footings were to be removed. The piles could be cut externally, after
excavating a large pit around each leg, or internally, after drilling out the grout inside the pile (Figure 15).
Figure 15 Typical Arrangement of a Pile Bore Grout Plug in the Brent Alpha Footings.
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Brent Alpha jacket footings after removal of upper jacket to -84.5 m LAT
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Specific stakeholder concerns about jacket decommissioning, and our responses, are presented
in Section 11.4.
Brent Alpha seabed cuttings pile 1. Remove, treat on platform, discharge treated material to sea.
5. Leave in place.
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As a result of a consideration of the practically available options for the jacket footings and the seabed drill
cuttings pile, we have determined that the recommended combined options would be as shown in Table 17.
In summary, if the footings were to be removed by external pile-cutting, all of the drill cuttings pile would
have to be displaced to allow the piles to be cut, and the recommended option for this would be ’retrieve
and treat onshore’, in which the cuttings would be dredged as a slurry, collected by a vessel and taken to
shore, and treated and disposed of onshore. If the jacket footings were to be removed by internal pile-
cutting, or if they were to be left in place, the recommended option for the cuttings pile would be ’leave in
place’ since this drill cuttings pile falls below both of the OSPAR thresholds.
Table 17 Recommended Combination of Options for Brent Alpha Jacket Footings and Seabed Drill
Cuttings Pile.
Combined Option Option for Footings Option for Drill Cuttings Pile
1. Complete removal of Complete removal with external Retrieve and treat onshore
footings after removing the pile-cutting
cuttings pile.
2. Complete removal of Complete removal with internal Leave in place
footings leaving the cuttings pile-cutting
pile in place.
3. Leave footings and cuttings Leave in place Leave in place
pile in place.
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There are several existing tools and systems, for example the ‘Scanmachine™’ and the ‘Scandredge™’, that
could be used to excavate the pits and relocate material either onto the adjacent seabed or to a surface
vessel. The pits around each leg would be excavated in turn and the clean excavated soil would be used to
backfill the previous pit. There would have to be a considerable period of planning and trialling before
attempting to cut the large diameter piles of the Brent Alpha footings.
In Option 2 the piles would be cut internally by AWJ after drilling out the pile-bore grout. The drilling method
is similar to conventional well drilling in hard clay or rock, and would be performed using a drill string
consisting of drill pipe and a Bottom-hole Assembly (BHA). The BHA provides weight and stabilises the drill
bit attached to the tip of the BHA. The drill bit is rotated in the conventional way and is provided with roller
cutters which grind away the grout. Because the piles on Brent Alpha are inclined in line with the legs, the
drill rig would have to be inclined in order to access the pile through the pile guides. Figure 17 shows such
an arrangement on top of a pile above the sea. For the Brent Alpha footings, the removal of the upper jacket
would facilitate access and make it easier to attach this equipment to the top of the piles.
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(Source Seacore)
There is a concern that drilling the grout could vibrate the pile within the sleeve, and break the grout bond
between the outside of the pile and the inside of the pile sleeve. This would loosen the pile and allow it to
fall onto the seabed as the section of footings was being lifted, or to jam partially out of the sleeve in such a
way as to make it difficult to load the footings onto the cargo barge. Existing pinning techniques could,
however, be used to secure the piles in place. Any pinning operation would have to be performed after the
removal of the pile bore grout and internal cutting because the pin(s) would restrict or prevent access for this
equipment.
Once the grout plug had been removed, an internal AWJ cutter could be deployed inside the pile to cut
through the steel wall of the pile. Clearly, the stability of the jacket footings would have to be understood
when determining the sequence of cutting the piles; the Brent Alpha jacket has minimal mud mats 15 and no
horizontal bracing16 members resting on the seabed. The removal of the upper jacket would, however,
reduce the weight on the piles and the turning moment caused by wave and current action, and the on-
bottom stability of the footings would thus be greater than that of the whole jacket after topside removal. If the
leg sections were removed in sequence it is very likely that with careful planning the remaining footings
(comprising the untouched legs, intact piles and cut bracings) would stay stable and secure on the seabed.
As with Option 1, a considerable period of planning and trialling would be required before attempting this
operation offshore.
There are no technical issues associated with Option 3. No further offshore operations would be performed
after the removal of the upper jacket.
15
Mud mats are horizontal steel structures fitted to the bases of legs to spread the load of a jacket onto a
larger area of seabed.
16
The bracings are the horizontal, diagonal and vertical diagonal hollow steel members linking jacket legs.
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7.1 Introduction
Several specific studies were completed to inform the CAs for the Brent Alpha jacket footings and these are
summarised below. These studies were in addition to (i) the more generic studies performed for all CAs; and
(ii) the technical and engineering studies already cited in the foregoing descriptions of the Brent Alpha jacket
and the assessments of potential re-float and removal options.
17
In pelagic fishing the nets are deployed in the water column and in normal operation would not come into
contact with the sea bed. Demersal fishing uses nets deployed on or near the seabed.
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Table 18 PLL for Types of Fishing Gear during Different Phases of the Degradation of the Brent Alpha
Jacket Footings.
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18
ICES, International Council for the Exploration of the Sea
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Mackay Consultants acknowledged that it was not possible to forecast the long-term value or significance of
the area to fisheries; the value of landings from the Brent area may change as a result of changes in several
factors including the sizes and distribution of fish stocks, fishing effort, the numbers of vessels involved,
technological improvements, and regulations. Nevertheless, they provided two estimates of the possible
value of future landings.
In the lower estimate, they assumed that the historic level and value of the mackerel catch would be restored
and that the current market value of the demersal catch would remain unchanged; this valued the total annual
catch at £6,795,750. In the higher estimate, Mackay Consultants noted the 65 % increase in the Western
mackerel quota and signs that the North Sea demersal stocks may be about to recover. On this basis, they
estimated that the future annual mackerel catch from 51F1 could be of the order 33,816 tonnes with a value
of £25,362,000. They also noted that there was reason to believe that the North Sea demersal fisheries
could recover to the levels experienced in the 1970s and 1980s. They suggested that it was not unrealistic
to project that the future catch of all ’other species’ (which includes all the demersal species) could be five
times the annual average catch observed for the period 2000 to 2013, which was 1,208 tonnes. The
average annual catch of demersal species could therefore be 6,040 tonnes, with a value of £9,060,000,
making an estimated total annual catch value for 51F1 of £34,422,000.
ICES rectangles are areas delineated by 1° of longitude and 0.5° of latitude, and at the latitude of the
Brent Field they have an area of 3,090 km². Each of the four Brent installations has a safety zone of 500 m
radius covering an area of 0.79 km2 centred on the installation. In the Brent Field, therefore, approximately
3.2 km² of seabed is not available to fishermen, and this represents approximately 0.1% of the whole of this
ICES rectangle.
With respect to the potential effects on fishing from the decommissioning of the Brent Alpha footings, we
determined that none of the options would be likely to have any effects on pelagic fishing. The presence or
absence of the jacket footings would only affect the size of the area of seabed available for trawling by
bottom-towed fishing gear. If the Brent Alpha footings were completely removed and the 500 m radius safety
zone ceased to exist, an additional area of seabed (0.025% of the ICES rectangle) would theoretically be
available for demersal fishing. This additional 0.025% of seabed for fishing might result in a similar
percentage increase in the value of demersal landings. If the value of demersal landings from 51F1 in the
future is taken to be £9,060,000 per year (the upper future estimate provided by Mackay Consultants for
the demersal fisheries), this would be equivalent to an increase of approximately £2,304 each year.
Fishing effort and, ultimately, the value of landings are, however, controlled not by access to grounds but
by other fisheries management measures such as Total Allowable Catch (TAC), mesh size and days at sea.
In summary, the assessment by Mackay Consultants indicates that the presence or absence of the Brent
installations and their safety zones would not have a significant effect on the economics of the fisheries
in this area.
Although in theory the complete removal of the Brent Alpha footings might confer some very small benefit
to commercial fisheries, the assessment by Mackay Consultants did not take into account the implications
of the continued presence of the historic cuttings pile, which would then be fully exposed on the seabed.
An exposed historic cuttings pile might be avoided by demersal trawlers, such that in effect fishermen did not
gain access to any additional seabed as a result of the removal of the footings themselves.
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19
UKOOA, United Kingdom Offshore Operators’ Association, now Oil and Gas UK
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The CA for the Brent Alpha jacket foo tings is presented in detail in the Brent Alpha Jacket TD [12].
Table 19 presents the weighted sub-criteria scores for each of the three options examined for the Brent Alpha
footing alone. On the basis of this assessment, the ‘CA-recommended option’ for the Brent Alpha footings
alone is Option 3 ‘Leave in Place’. It has a total weighted score of 81.05, in contrast to Option 1’s total
weighted score of 75.54 and Option 2’s weighted score of 74.21.
Table 19 Transformed and Weighted Sub-criteria Scores for the Brent Alpha Footings Alone.
Option 1 Option 2
Complete Removal Complete Removal Option 3
Sub-criterion
with External with Internal Leave in Place
Pile-cutting Pile-cutting
Safety risk offshore project personnel 6.14 6.00 6.61
Safety risk to other users of the sea 6.67 6.67 5.18
Safety risk onshore project personnel 6.61 6.61 6.67
Operational environmental impacts 3.55 4.70 5.00
Legacy environmental impacts 5.00 5.00 3.50
Energy use 3.87 3.70 3.74
Emissions 4.17 4.03 3.77
Technical feasibility 14.00 12.00 20.00
Effects on commercial fisheries 3.31 3.31 0.00
Employment 0.73 0.75 0.04
Impact on communities 3.67 3.67 6.67
Cost 17.81 17.76 19.87
Total weighted score 75.54 74.21 81.05
Table 20 presents the weighted sub-criteria scores for each of the three options examined for the Brent Alpha
footing in combination with the appropriate options for the drill cuttings pile, and Figure 18 shows the results.
The sensitivity analysis shows that Option 3 has the highest total weighted score in every scenario. On the
basis of this assessment, the ‘CA-recommended option’ for the Brent Alpha footings in combination with the
drill cuttings pile is Option 3 ‘Leave in place’. It has a total weighted score of 80.46, in contrast to
Option 2’s total weighted score of 71.91 and Option 1’s weighted score of 69.48.
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Table 20 Transformed and Weighted Sub-criteria Scores for the Brent Alpha Footings in Combination
with the Drill Cuttings Pile.
Figure 18 The Total Weighted Scores for Combined Options for Brent Alpha Jacket Footings in
Combination with the Drill Cuttings Pile, and the Contributions of the Sub-criteria.
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Green bars: Option 3 ‘Leave in place’ is better than Red bars: Option 1 ‘Complete removal with external-
Option 1 ‘Complete removal with external pile- pile-cutting’ is better than Option 3 ‘Leave in place’
cutting’
The removal of the Brent Alpha footings would present several technical challenges but could be achieved
at a cost of about £60 million. As a result of the discussion presented in the Brent Alpha Jacket TD [12],
however, we have concluded that, objectively, few environmental or societal benefits would be gained from
the additional expenditure and risk that would be incurred in removing the footings. One of the tangible
benefits would be the elimination of the ongoing liability that we would have if the footings were left in
place. If the footings were left in place, the residual long-term safety risk to fishermen – from the footings on
their own and in combination with the derogated GBS – would be very low and amenable to further
reduction by means of a number of mitigation measures, discussed in Section 10.5.
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8.1.3 Discussion for the Footings in Combination with the Drill Cuttings Pile
Examination of both the raw data and the weighted scores for each of the sub-criteria shows that the
differences between Combined Option 3 ‘Leave footings and cuttings in place’ and the two ‘removal’
options are very strongly driven by the differences in performance in ‘technical feasibility’ and, to a lesser
extent, ‘impact on communities’, ‘cost’ and ‘operational environmental impacts’ (which are better in
Combined Option 3 than in either Combined Option 1 or Combined Option 2), and in ‘safety risks to other
users of the sea’, and ‘effects on commercial fisheries’ (which are better in both of the ‘removal’ options). All
the other sub-criteria show no or only trivial differences between the options in terms of their weighted scores.
This is illustrated in Figure 20, which shows the differences (positive or negative) in the weighted scores in
each sub-criterion for Combined Option 2, ‘Leave cuttings, remove footings with internal pile-cutting’, which
is the better of the ‘removal’ options, and Combined Option 3 ’Leave footings and cuttings in place’. In
Figure 20 the green bars indicate sub-criteria where Combined Option 3 has the better performance and the
red bars indicate sub-criteria where Combined Option 2 has the better performance.
There are two technically feasible options for the complete removal of the Brent Alpha footings in the
presence of the seabed drill cuttings pile. Either the seabed drill cuttings pile could be removed to permit pits
to be dug around each leg so that the piles could be cut externally by DWC, or the pile bore grout could
be removed to permit the piles to be cut internally by AWJ. Although feasible, both options have numerous
uncertainties and technical issues (Section 6.9) that would have to be resolved during any detailed FEED of a
possible programme of work. The CA showed that Combined Option 2 ‘Leave Cuttings, Remove Footings
with Internal Pile-cutting’ was, marginally, better than the other ‘removal’ option, Combined Option 1
‘Remove Cuttings, Remove Footings with External Pile-cutting’.
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Figure 20 Difference Graph Comparing the Weighted Scores of each Sub-criterion in the Better
Combined ‘Removal’ Option for the Brent Alpha Jacket Footings and Seabed Cuttings Pile, with
the Combined ‘Leave in Place’ Option, Under the Standard Weighting.
Green bars: Combined Option 3 ‘Leave footings Red bars: Combined Option 2 ‘Leave cuttings,
and cuttings in place’ is better than Combined remove footings with internal pile-cutting’ is better
Option 2 ‘Leave cuttings, remove footings with than Combined Option 3 ‘Leave footings and
internal pile-cutting’ cuttings in place’
The advantages that would be realised by the complete removal of the footings would be the elimination of
a long-term legacy safety risk for fishermen, the removal of a small source of seabed debris, and support for
additional employment offshore and onshore. These could be realised without the need to remove and treat
the whole cuttings pile, by removing the pile bore grout and cutting the piles internally, and then extracting
sections of footings through the relatively thin layers of drill cuttings around the perimeter of the footings.
This operation would disturb some cuttings, which would drift and settle on the adjacent seabed but would
probably not increase the present extent of hydrocarbon contamination around the jacket.
Following our assessment of the real data informing those scores, we have concluded that in terms of the
Brent Alpha footings in combination with the seabed drill cuttings pile, the sub-criteria serving to differentiate
the options are ‘technical feasibility’ and, to a lesser extent ‘impact on communities’, ‘cost’ and ‘operational
environmental impacts’ (which are better in Combined Option 3 than in Combined Option 2), and ‘safety
risks to other users of the sea’ and ‘effects on commercial fisheries’ (which are better in Combined Option 2).
The drivers and trade-offs for the decommissioning of the Brent Alpha footings in combination with the drill
cuttings involve a consideration of how feasible and safe it would be to remove the footings and leave the
cuttings in place, and what real reduction in safety risk to other users of the sea or benefit to commercial
fisheries would thus be achieved.
As far as can be determined on the basis of a conceptual programme, the increases in technical difficulty,
cost and safety risk for project personnel associated with the programme of work to drill out the pile bore
grout, cut the piles internally and extract the footings while leaving the cuttings pile undistributed, is not
balanced by any real commensurate decrease in safety risk to other users of the sea or legacy environmental
impacts or increase in benefit to commercial fisheries. If the footings were to be removed, the safety risk to
fishermen would be zero and the total safety risk to project personnel engaged in these operations offshore
and onshore would be a PLL of 0.0323; that is, if we were to decommission the whole of the ‘Brent Alpha
footings and cuttings pile’ in this way approximately 31 times (by drilling out the pile bore grout and cutting
the piles internally then cutting and lifting the sections of footings) there is a risk that one project person might
be killed. In terms of the overall BDP this value is low and transforms to a value of close to 1 on the
normalised global scale of safety risk where the maximum estimated total risk of any option for any facility for
any exposed group of persons is a PLL of 0.2640.
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If the footings were to be left in place they would present a potential snagging risk to fishermen. Initially this
would be for both pelagic and demersal gear, but as the footings degraded and the height of the remains
above the seabed decreased, the risk to pelagic gear would decrease and then disappear. The estimate
of total PLL for fishermen for the whole predicted lifetime of the footings on the seabed as they degrade is
intended to be conservative. It ignores the fact that fishing practices, vessels and equipment are all likely to
change over time in a way that reduces safety risks for fishermen, and that fishermen themselves would take
active measures to ensure that their gear did not interact with any remains on the seabed. We would work
with the fishermen and the Fisheries Offshore Oil & Gas Legacy Trust Fund Limited (FLTC) to ensure that any
remains were properly marked and maintained, and included in the FishSAFE system, to ensure that any risks
to fisherman were minimised. We will have a long-term commitment to monitoring and management in the
Brent Field and will be able to review the developing situation in conjunction with OPRED and take any
necessary mitigation measures as appropriate.
The removal of the Brent Alpha footings, leaving the cuttings pile in place and largely undisturbed, would
present several technical challenges but could be achieved at a cost of about £64 million. As a result of
the discussion presented in this Section, however, we have concluded that, objectively, few environmental
or societal benefits would be gained from the additional expenditure and risk that would be incurred in
removing the footings in this way. One of the tangible benefits would be the elimination of the ongoing
liability that we would have if the footings were left in place. If the footings were left in place, the residual
long-term safety risk to fishermen – from the footings on their own and in combination with the derogated
GBS – would be very low and amenable to further reduction by means of a number of mitigation measures.
8.1.4 Conclusion of Assessment for Brent Alpha Jacket Footings in Combination with the Drill Cuttings Pile
Although we have performed two CAs, one for the footings options on their own and one for the combined
options for the jacket footings and seabed cuttings pile, it is impossible to ignore the implications of the
cuttings pile when considering options for the footings. The Brent Alpha cuttings pile falls below both of the
OSPAR thresholds and, as described in the Drill Cuttings TD [14], the best option for the pile would be to
leave it undisturbed to degrade naturally. Considering the drill cuttings pile alone, there is little to be gained
by undertaking a programme of work to remove it. The additional safety risk, environmental impacts, energy
use, emissions and cost of removing the pile would therefore be incurred simply to gain access to the
footings.
When the footings alone is considered, Option 3 ‘Leave in place’ is the recommended option in all of the six
sensitivity scenarios. There is therefore no indication that a programme of work to remove the cuttings pile
would then yield significant, or even any, benefits through being able to remove the footings.
When the footings options are considered in combination with the appropriate best options for the cuttings
pile, examination of the raw data shows that the significant criteria differentiating the Combined Options are
‘Safety risk to fishermen’, ‘Technical Feasibility’ and ‘Cost’. The estimates of the long-term legacy safety risk
to fishermen have already been discussed and assessed as being tolerable and amenable to additional
mitigation measures. More importantly, the safety risks to fishermen are much smaller than the estimated
safety risks to project personnel who might be engaged in drilling out the pile-bore grout and retrieving
the sections of footings.
The technical challenges, safety risks and cost of Combined Option 2 ‘Leave cuttings, remove footings with
internal pile-cutting’ are significant and disproportionately large in relation to the very small benefits that
would be gained. Consequently, this assessment reinforces the earlier conclusion (Section 8.1.2) that for the
Brent Alpha jacket footings, Option 3 ‘Leave footings and cuttings in place’ is preferable to full removal.
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9.1 Preparation
In June 2020, the topside (including the PGDS) was removed in a single lift by the SLV Pioneering Spirit and
returned to shore for dismantling, recycling and disposal.
While preparing the topside for lifting, all the inner strings and conductors were cut at approximately
+7m LAT, i.e. just above the cut line for the topside, and removed. The conductors and inner strings were
then cut at -84.5m LAT, in line with the top of the footings, using external DWC deployed from a work-class
remotely-operated vehicle (WROV), and the inner strings removed where possible. This will enable the
middle sections of the conductors and any remaining inner strings to be removed with the upper jacket when
it is lifted away.
Two temporary working platforms, each weighing approximately 63 tonnes, will be fitted to the top of the
jacket by the HLV. These will provide a safe platform from which to undertake further preparatory work on the
jacket, including the fitting of the lifting points, spreader bars, and conductor hanging frame. Some
additional strengthening and support will have to be provided to horizontal members on the jacket at
the -77 m level.
No significant environmental impacts are expected from any of these preparatory activities.
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All underwater cutting will be completed using a DWC system deployed by ROVs from the HLV, operating
on dynamic positioning (DyP); it is not envisaged that divers will be needed. All the cuts will be well above
the top of the existing seabed cuttings pile, so the drill cuttings will not be disturbed. We do not plan to use
underwater explosives, but if their use were required as a contingency we would consult with OPRED on
their use and follow the JNCC’s20 Guidelines for minimizing the risk of injury to marine mammals from using
explosives [30].
Before the final cuts are made, new specially-designed lifting trunnions will be inserted and welded inside the
open tops of the four corner legs. The HLV will then move into position and take station, working on DyP.
The crane lifting strops will be attached to the lifting trunnions and the slack taken up.
Once clear of the sea, the jacket will be attached to a specially-designed cradle on the stern of the HLV so
that it can be transported securely in an upright orientation while still supported by the cranes (Figure 21).
From beginning the final cuts to completing the sea-fastening of the jacket on the HLV, this whole process
should take approximately 44 hours.
The jacket will then be transported to Vats in Norway, where it will be set down vertically on the quayside. It
is estimated that this voyage will take about 30 hours.
In a later campaign, seabed debris will be removed from within the 500 m radius zone around the footings.
Debris that is buried by significant volumes of drill cuttings will be cut back to the drill cuttings pile and the
visible section removed.
Figure 21 Artist’s Impression of HLV Lifting Brent Alpha Upper Jacket and Conductors.
20
JNCC, Joint Nature Conservation Committee.
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Removed on Disposed of
Material Recycled Left in Place
Upper Jacket in Landfill
Steel 8,411 8,411 0 14,848
Aluminium/Zinc 101 101 0 155
Organic marine growth 1,601 0 1,601 1,133
Cementitious grout 0 0 0 5,204
Totals 10,113 8,512 1,601 21,340
Since the completion of the supporting studies, we have engaged HMC to remove the Alpha upper jacket.
They have performed more detailed calculations on the mass of the jacket (Brent Alpha Jacket and
Conductors – Calculation – Jacket Weight Reconciliation [31]), and estimate that during removal, the upper
jacket, including conductors, spreader bars and associated additional lifting equipment, will have a mass of
approximately 9,494 tonnes in air.
This will comprise 8,219 tonnes of steel and anodes and 1,275 tonnes (wet) of marine growth. This small
decrease in estimated mass, of approximately 619 tonnes (about 6%) from the 10,113 tonnes shown in
Table 21 above, does not make any material difference to the energy use, environmental impact, or cost of
removing the upper jacket.
Figure 22 State of the Brent Alpha Footings after Removal of the Upper Jacket.
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10.1 Introduction
DNV GL prepared the Brent Field Decommissioning Environmental Statement [9], on behalf of and as
endorsed by Shell U.K. Limited and Esso Exploration and Production UK Limited, the Brent Field owners.
The ES presents the results of the EIA which was completed in accordance with the requirements of the BEIS
Guidance Notes and the UK Offshore Petroleum Production and Pipelines (Assessment of Environmental
Effects) (Amendment) Regulations [32].
This section presents:
1. Descriptions of the environmental settings in which the jacket decommissioning activities will take place.
2. A summary of the methods that were used to assess the potential impacts of the proposed programme of
work.
3. A summary of the mitigation measures proposed to reduce or eliminate potential impacts.
The EIA and ES are based upon the 2007 pre-decommissioning seabed surveys by Gardline [33], [34]
and [35]. During the preparation of the ES and the DP, a further pre-decommissioning survey was completed
in 2015 by Fugro EMU and is presented in a series of Pre-Decommissioning Environmental Survey Data
Reports, including one for Brent Alpha [36], and a Brent Field Temporal Report Block 211/29 [37],which
examined changes in the extent of perturbation and effects on the benthos over time across the whole Field.
The 2015 survey endeavoured to re-sample all the grab sample and reference stations from the 2007
surveys although this was not always possible. The 2015 survey also sampled new areas of the seabed to
fill in identified data gaps and sampled new reference stations for the Field.
The results from the 2015 seabed environmental survey were not available in time for the submission of the
consultation draft DP document. However, DNV GL have reviewed the results of this survey and presented
the following statement:
DNV-GL believe that the 2015 Brent Field survey data indicates that the Brent Field is, in general,
recovering over time (which is to be expected given biodegradation processes and bioturbation).
As such, DNV-GL consider that the environmental impact assessment (and thus the CA scores), which
are based on the 2007 Brent Field survey data, do not require amendment or updating to reflect the
2015 Brent field survey data.
Information on the spatial and temporal changes and trends in the physical, chemical and biological
characteristics of the seabed adjacent to each of the five Brent sites is presented in more detail in the
ES [9] and in the Drill Cuttings TD [14].
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Table 22 Summary of the Physical, Biological and Socio-economic Environments in the Brent Field.
21
SAC, Special Area of Conservation.
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10.3.1 Introduction
This section presents a summary of the methods that were used to assess and compare the potential impacts
of short-listed options, and the way they presented their results. The method is fully described in the ES [9].
For each potential impact, DNV GL assessed the likely scale of effect, taking into consideration standard
mitigation measures commonly applied by the offshore industry and the project- and site-specific mitigation
measures that are identified in the ES.
The likely overall severity of the effect was determined by considering the sensitivity of the receptor or the
environment and the scale or magnitude of the potential impact. For every facility, the severity of the overall
effect of the option on each receptor is shown on a single diagram, as shown in Figure 23.
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In these diagrams, the four curved bands shaded green indicate positive impacts of increasing (positive)
effect, and the four curved bands shaded red indicate negative impacts of increasing effect. The white zone
indicates where the combination of sensitivity and severity would result in no impact or an insignificant
impact. The labels on the right of the diagram indicate the severities of each band. The position of the
circular or elliptical area within a band or straddling a band indicates the degree of certainty or uncertainty
in the assessment. For example, Point A has a small negative impact and a relatively small degree of
uncertainty, as indicated by the small circle. The value or sensitivity (horizontal axis) is well defined, and the
assessment of effect (vertical axis) has been determined with confidence. By contrast, Point B represents a
relatively larger degree of uncertainty, because although the value or sensitivity is well defined, there is a
high uncertainty about the scale of effect, and this translates into an impact ranging from ‘small negative’ to
‘large negative’. DNV-GL noted that detailed planning of activities, substantial knowledge, and robust
methodologies and procedures can contribute to a reduction in the uncertainty of the assessment.
As a result of applying this methodology, the same scale of effect may give a different impact depending on
the value or sensitivity of the receptor or environment. DNV-GL consider this a sound basis
for assessing and presenting environmental impacts. They noted that a ‘moderate negative’ or ‘large
negative’ impact does not necessarily mean that the impact is unacceptable, but that further consideration
should be given to it.
Figure 23 An Example of the Diagrams Used to Portray the Severity of an Impact.
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• Impacts to local communities at onshore dismantling and recycling sites caused by noise,
dust and odour.
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Figure 24 Environmental Impacts from Partial Removal and Onshore Dismantling of the Brent Alpha Jacket.
Figure 25 Environmental Impacts from Leaving the Brent Alpha Footings in Place.
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10.5.1 Assurance
The potential environmental impacts of the programme of work to remove and dispose of the Brent Alpha
upper jacket – including offshore cutting, lifting, transportation, onshore dismantling and disposal –
have been identified and assessed in the ES [9].
If all or part of the upper jacket were lost to sea, there is a procedure that must be followed for dropped
objects associated with oil and gas infrastructure. OPRED must always be notified by a PON2 notification,
through which other agencies are also notified. Depending on the location of the dropped object, other
statutory notifications and/or procedures will apply to ensure compliance with other legislation e.g. a Marine
Licence under the Marine and Coastal Access Act 2009.
• Appropriate Notices to Mariners will be issued to alert other users of the sea to the proposed
operations in the Brent Field, along the tow route to Norway and the back-loading to the Vats
dismantling site.
• Vessels will be well maintained, to reduce the effects of underwater noise, and use low sulphur fuel,
to reduce the effects of gaseous emissions.
• A HAZID was carried out covering the removal of the Brent Alpha upper jacket and its transportation
to Vats. The objective of the HAZID was to assess high level controls and interface issues. An
activity-specific guideword process was used to help review these issues. The lift contractor HMC
will perform detailed risk assessments of the procedures to be used.
• Several actions were generated from the HAZID but the overall conclusion was that suitable
arrangements are being put in place to provide a safe lifting and transportation process, although
work is still ongoing to define the details of procedures and to provide independent assurance of the
safety of the procedures and adequacy of the engineering controls to be applied. A ‘small negative’
impact from accidental events was determined due to a combination of (i) the risk of dropped
objects, (ii) the risk of the jacket being lost, and (iii) the risk of a spillage of heavy fuel oil (HFO) to
sea.
The Brent Field System and Associated Pipelines Offshore Oil Pollution Emergency Plan (OPEP) [42]
will be in place during lifting operations and Shell have a contract for specialist response services
through OSRL should a spill occur. Once the jacket is secured to the HLV any spill of hydrocarbons
will be managed through the vessel’s SOPEP. Shell will have a bridging document in place with
HMC to confirm all responsibilities and response arrangements. It is noted that there is no oil on or
in the jacket itself, only the HLV and any attendant vessels.
Shell and HMC will ensure that all safety testing is completed and warranties are in place before
the jacket lift and transportation begins.
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• On completion of offshore operations to remove the upper jacket, other users of the sea will be
advised, through the UKHO and Notices to Mariners, of the changed status and condition of the
jacket and footings.
• The location and status of the Brent Alpha footings will be entered onto the FishSAFE system to alert
fishermen when approaching the structure.
• After the upper jacket has been removed, an as-left structural survey will be performed to accurately
determine the condition of the remaining footings and provide a baseline against which to monitor
its future condition. This will be completed as part of the Brent Field post-decommissioning surveys.
After the upper jacket has been removed, debris in a 500 m radius area around the footings will be
removed and the area surveyed to verify that it is free of obstructions to bottom-towed fishing gear.
The nature of this survey will be determined by OPRED and may consist of non-contact methods (e.g.
side scan survey) or an over-trawl of the area. This may be conducted as part of the wider debris
removal programme and over-trawling surveys that will be conducted after all offshore
decommissioning work in the Brent Field has been completed.
• The dismantling of the upper jacket, and the treatment and disposal of all resultant waste streams,
will take place at the AF Gruppen dismantling site at Vats in Norway, which is fully licensed for the
dismantling of offshore structures and the management of these wastes.
• A range of mitigation measures will be applied to minimise the potential impacts of onshore
dismantling. These are likely to include carefully planned work practices and programmes, limits to
working at night, dust-control measures, and measures to plan and monitor additional road traffic
and the movement of large loads.
• A risk-based environmental and structural monitoring programme, to track the long-term degradation
and fate of the Brent Alpha footings, will be discussed and agreed with OPRED.
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11.1 Introduction
Throughout the development of the Brent Decommissioning Programmes we have carried out a programme
of engagement with both formal and informal consultees and stakeholders. The aims of this programme were
to:
• Provide all interested parties with news and information about the BDP, the issues that we were
addressing and the information that we were obtaining.
• Create a means by which stakeholders could tell us of their concerns and views on any aspect
of the BDP.
• Provide mechanisms for stakeholders to learn about, and discuss, the views and concerns of other
stakeholders.
• Allow us to appreciate and understand our stakeholders’ concerns, and take these into account
when assessing the advantages and disadvantages of different options, and identifying
recommended options.
A full description of our stakeholder engagement programme, our stakeholders, and the concerns and issues
they raised is given in our Brent Decommissioning Stakeholder Engagement Report [43].
In accordance with the BEIS Guidance Notes, we undertook a programme of formal statutory consultation on
the Consultation Draft DP Document and its supporting documentation from February 2017 to April 2017.
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• For Brent Alpha your proposal is to leave the footings in situ. However you are also proposing to
leave the well conductors partially in place - despite the fact that earlier in the document you claim
the wells will be P & A'd in compliance with guidelines that usually include for conductor removal to
a level below the seabed. There is clearly a contradiction here.
Please also note that the conductors are not classified as part of the footings - so please explain
what the justification is for leaving them in situ - it is not clear, but I am sure there is one.
Our response to this question:
“There are several reasons for seeking to leave the lower parts of the conductors in place with the
Brent Alpha footings. After the removal of the upper part of the jacket and the sections of conductor
therein, by cutting at approximately -84.5m LAT, the conductors would be held in place by the last
conductor guide frame at approximately 109.7m LAT. Because of the presence of Talon
connections and other modifications, not all of the conductors could be pulled through this frame.
The parts of the conductors above the guide frame would have to be cut and removed, and then
guide frame itself would have to be removed, and then the remaining parts of the conductors cut
and removed. All of this is feasible, but would add to the complexity, risk and cost, for very little
benefit in terms of safety risk to other users of the sea or environmental impact. We recommend that
the lower parts of the conductors should be left in place, within the guide frame. The continued
presence of the guide frame will add strength to the footings, and leaving the lower parts of the
conductors (below the guide frame) in place will avoid physically disturbing the seabed drill cuttings
pile which lies within the footprint of the Brent Alpha footings.”
• There is no technical reason it [the Brent Alpha jacket] cannot be fully removed. The proposal leaves
55.7 metres protruding from the seabed and as there cannot be navigation lights this will remain a
hazard for fishing in perpetuity. Derogation is sought as the jacket weighs over 10,000 tonnes
(OSPAR 98/3). Under OSPAR 98/3 there is a general prohibition on the dumping and leaving
wholly or partly in place of offshore installations. There is a presumption that the footings will be
removed entirely and exceptions will only be granted if it can be demonstrated that there are
significant reasons why an alternative disposal option is preferable to reuse, recycling or final
disposal on land. OSPAR 98/3 is enshrined in EU law and as the UK will not be in the EU much
longer, derogations sought under it will be out of date. It is stated on page 27 of the Brent Field
Decommissioning Programme consultation document. "The potential risk of snagging on submerged
leg stubs is recognised by fishermen, who prefer the legs to be left upright where they can be seen”.
If this is the case then the jacket should be left in place with navigation lights. The best solution is to
leave the seabed as you found it and the worst solution is to remove part of it leaving behind a
snagging hazard in perpetuity, which is what you propose.
Our response to this question:
“We have examined a range of technically feasible options for the management of the BA jacket
and whilst our studies show that the whole jacket cannot be removed in one piece, it is technically
feasible to remove the whole jacket in several pieces. The studies also show that a sensible place to
cut the jacket into sections would be at the top of the “footings”, some 84m below sea level.
Therefore, our Comparative Assessment (CA) includes options for removing the footings, i.e. the
complete removal of the whole jacket, as well as leaving the footings in place.
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Our CA for the jacket footings shows that while feasible, the technical challenges, safety risks and
cost of removing the Brent Alpha jacket footings (while leaving the drill cuttings pile undisturbed on
the seabed) are significant, and disproportionately large in relation to the relatively small benefits
that would gained in terms of the long- term safety risks to other users of the sea and the
environmental impact of removing the footings to shore.
The fishermen have expressed a pragmatic view about leaving footings at this depth. The concern
that you refer to is associated with the Gravity Base Structure (GBS) legs, where the fishermen have
indeed stated a preference for the legs to be left upright, projecting above the water, where they
can be seen.”
The following questions and issues were raised specifically on the decommissioning of the Brent Alpha jacket
as part of the letter received from the World Wildlife Fund UK (WWF UK) on behalf of WWF UK,
Greenpeace UK, Whale and Dolphin Conservation, the Marine Conservation Society, Friends of the Earth
Scotland, the Scottish Wildlife Trust, KIMO and RSPB Scotland:
• The CA report states that leaving the Alpha steel footings in place is the best option for safety,
technical and cost reasons. Selection of option based on these three criteria only is not compliant
with 98/3 – which requires the full list of criteria in Annex 2 of 98/3 to be applied in the CA,
including but not limited to environmental impacts and impacts on other users and uses of the area.
(e.g. fisheries).
Our response to this question:
“As described in the various TDs and summarised in the Brent DPs, the recommendations for each of
the facilities subject to CA either under OSPAR Decision 98/3, the DECC Guidance Notes, or
OSPAR Recommendation 2006/5 on a Management Regime for Offshore Cuttings Piles are based
on a full assessment of all of the sub-criteria that we identified and defined (from the “matters to be
considered”) as being requisite and complete for the CA procedure.
For the CAs of the cell contents, drilling leg contents, minicell annulus contents, and drill cuttings
piles, either one or both of the sub-criteria “safety risk to other users of the sea” and “impacts on
commercial fisheries” were considered not be applicable. In such cases, the description of these
particular CAs makes it clear which sub-criterion is not applicable, and why it is considered not
applicable.
Apart from the exceptions explained above, we used all 12 sub-criteria in all the CAs. The narrative
sections (“Identification and Discussion of the Recommended Option”) of each of the CAs, presented
in full in the relevant TDs, describe the performance of each option in each sub-criterion, and the
"difference charts" help to identify those sub-criteria that show greatest differences between options.
After reviewing the performances of the options in all the sub-criteria, and in line with OSPAR
Decision 98/3 and the DECC Guidance Notes, we then examined in more detail the
performances of options in those sub-criteria that showed greatest differences between the options,
having acknowledged and described all the other sub-criteria where there are no, or only very
small, differences between the options.
We believe this overall approach is in line with the DECC Guidance Notes which state (Annex A,
page 60):
“If the comparative assessment of the options identifies two or three matters that show a
significant difference, judgement will need to be exercised as to which should be given the
greatest consideration”.“
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• It should be noted that decommissioning of the Ekofisk platforms in Norwegian waters in 2008-
2014 included the successful removal and recycling onshore of the complete steel jackets from no
less than nine (9) offshore platforms.”
Our response to this question:
“Whilst preparing our decommissioning plans, and examining potential options and engineering
solutions, we have kept abreast of current engineering and technical developments in
decommissioning, and with the experience and lessons learned from past and current
decommissioning programmes by other operators.
In our view, the nine Ekofisk platforms decommissioned between 2008 and 2014 are not
comparable to the Brent Alpha steel jacket (which in air has an estimated weight of approximately
31,000 tonnes and stands in water 140m deep). The Ekofisk platforms (Ekop, Ekor, Alba, Albf,
Edda, Cod, Ekod, Ekow and Ekqq) were located in water depths ranging between 70m to 90m,
and were of a simpler design and construction than the Brent Alpha jacket, and only weighed from
3,000 tonnes to 9,000 tonnes. Accordingly, none of these platforms came within the scope of a
derogation category for the purposes of Annex 1 of OSPAR Decision 98/3.”
• It is recommended that an independent re-evaluation of options for the Alpha steel jacket be
undertaken including applying all 98/3 criteria to all options in a more complete CA.
Our response to this question:
“As part of our Comparative Assessment process we examined a wide range of alternative, re-use,
recycling and disposal options for these facilities, as per the requirements of OSPAR Decision 98/3.
As a result, we identified practically-available options, and carried these forward to the later
numerical stages of our CA process. The reasons why some options were not taken forward were
explained in the DP. As mentioned earlier, we will update the narrative within the DP and TDs to
make this clearer.
In accordance with the OSPAR Framework for Assessment and the DECC Guidance Notes, we
identified and defined 12 sub-criteria which could be applied to all facilities and options, to assess
performance.
For the BA jacket, we subjected the technically feasible options to a CA that followed the
requirements of the Framework laid down in Annex 2 of OSPAR 98/3 as supported, and as
clarified, by the guidance in the DECC Guidance Notes. All 12 of our CA sub-criteria were applied
in the CA for the Brent Alpha steel jacket.
We note the following comments extracted from the IRG’s Final Report:
“The IRG commends the thorough and extensive efforts made by Shell to acquire, make
available and document the information needed in support of the programme, to use the
best available methodologies, and the cooperative and constructive response of Shell staff
to IRG queries and requests for more information, including in several cases the
commissioning of new or expanded studies as a result of suggestions made by the IRG ”.
“The IRG has reviewed and commented on reports by Shell and its contractors on all
relevant aspects of the DP, and is satisfied that a sufficiently wide range of options have
been examined. The IRG has also assessed the rationale leading to the decisions by Shell
and confirms so far as it can judge, the scientific, engineering and other evidence used,
and rationale developed, appear to be adequate to enable the decisions to be made. In
particular, the IRG accepts the evidence that supports the conclusions that the complete
removal of the Brent Alpha jacket is technically feasible, but may well not be preferred
option, because of the trade-off between low technical feasibility and high cost, versus
small benefits to fishermen and a limited reduction of the small residual environmental
impact expected”.”
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2. The conductors are not part of the footings, and it is possible to remove them:
The lower parts of the conductors, within the depth range of the footings, are considered to be an integral
part of the footings and as such could be left in place.
3. The degradation and collapse of the conductors was not taken into account when assessing the impacts
of leaving the footings on the seabed:
Shell contracted the independent engineering consultants Atkins to undertake an assessment of the
degradation and longevity of the conductors, and the effects of their collapse on the overall degradation and
longevity of the footings [28]. The study also confirmed that the conductors are likely to corrode at about the
same rate as steel components of the same thickness on the footings. The tall slender vertical conductors,
supported only by a single horizontal framing about halfway along their length, will not remain upright longer
than the associated footings, and therefore the degrading conductors will not present an additional snagging
hazard to bottom-towed fishing gear once the footings have collapsed.
4. The effects of collapsing conductors disturbing the seabed drill cuttings pile were not properly taken into
account:
Reference should be made to the separate study performed by independent consultants BMT on the effects of
human disturbance and over-trawling of cuttings piles in the Field [18]. While not specifically assessing the
effects of falling debris on the pile at Alpha (because of the wide range of possible impact scenarios) this
study nonetheless gives a quantitative assessment of the likely extent and duration of environmental impacts
when certain volumes of drill cuttings are resuspended into the water column. This study in turn helped to
inform the assessment of impacts from these sources by DNV GL as reported in the ES [9].
The OSPAR consultation culminated in a Special Consultative Meeting (SCM) in October 2019. The
Chairman’s Report on the SCM did not contain any specific mention of the decommissioning of the Alpha
jacket and it was not discussed during the additional bilateral discussions with the German and Netherlands
representatives in Q1 2020.
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PROGRAMME MANAGEMENT
12 PROGRAMME MANAGEMENT
12.1 Strategy
The strategy for this project is to maximise the use of our in-house resources and existing contracts for
the preparatory work, and to award lump sum contracts to pre-qualified prime contractors for the main
decommissioning activities such as the removal and disposal of the upper jacket.
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12.6 Verification
At significant milestones in the planning and execution of the project, work will be subject to internal peer
reviews by Shell and by Esso. Major technical decisions will also be subject to approval from Shell’s internal
‘technical authorities’.
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12.10Schedule
Figure 26 outlines the main phases of work in the decommissioning programme for the Brent Alpha
installation.
Figure 26 Indicative Timing and Duration of the Proposed Brent Alpha installation Decommissioning
Programme of Work.
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12.11Costs
An estimate of the overall cost of the proposed programme of work to decommission the Brent Alpha upper
jacket has been provided separately to OPRED.
12.12Close-out Report
The proposed programme of work to remove and dismantle the Brent Alpha upper jacket will take less than
one year to complete (Figure 26). We therefore propose to issue an interim progress report once the upper
jacket has been offloaded at Vats, and this will also include a description of the “as-left” condition of the
footings. A final close-out report will be issued once the jacket has been dismantled and all the material
segregated and despatched for re-use, recycling or disposal.
12.13.1 Introduction
Our proposed environmental and structural monitoring programmes have been designed to monitor two types
of event (i) environmental effects and, (ii) the physical degradation and collapse of remains. Figure 27
presents a visualisation of the possible timing of potential effects arising from the operations and legacy of
the proposed programme of work for the Brent Alpha jacket. After the local disturbance that may be caused
by the offshore decommissioning operations in 2020 there are not likely to be any potential impacts
to monitor for perhaps 100-200 years.
After removal of the upper jacket, we will discuss and agree with OPRED a programme of monitoring for the
footings.
Figure 27 Relative Timescales of Impacts from Offshore Operations and Some of the Long-term
Consequences of Leaving Material on the Seabed at Brent Alpha.
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concentrations of oil and other contaminants in the seabed immediately adjacent to the historic seabed drill
cuttings pile have changed over time, especially since the discharge of oil-based drill cuttings ceased.
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SUPPORTING MATERIAL
13 SUPPORTING MATERIAL
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SUPPORTING MATERIAL
[22] Anatec Limited, 2014. Assessment of safety risk to fishermen from decommissioned
pipelines in the Brent Field, BDE-F-PIP-HX-0709-00002.
[23] MacKay Consultants, 2014. Brent Decommissioning: Assessment of socio-economic effects
on commercial fisheries, BDE-F-GEN-HE-0702-00003.
[24] MacKay Consultants, 2014. Brent Decommissioning: Likely economic and employment
impacts, BDE-F-GEN-AA-6844-00001.
[25] Shell, 2017. Brent Topsides Decommissioning Technical Document; BDE-F-TOP-HE-0709-
00001.
[26] GL Noble Denton, 2010. Brent Alpha jacket removal re-float feasibility study,
BDE-A-JKT-CS-8225-00007.
[27] Shell, 2012. Degradation and longevity study, BDE-A-JKT-CS-8225-00006.
[28] Atkins, 2019. Shell Brent Decommissioning Study: GBS and BA Conductor Degradation
Study, BDE-F-GEN-CX-8380-00001.
[29] UKOOA, 2005. UKOOA Drill Cuttings Initiative Phase III Final Report.
[30] .JNCC, 2010. JNCC guidelines for minimizing the risk of injury to marine mammals from
using explosives. Joint Nature Conservation Committee, 10pp.
[31] Heerema, 2018. Brent Alpha Jacket and Conductors – Calculation – Jacket Weight
Reconciliation, BDERSC-A-JKT-CS-8180-00001.
[32] Offshore Petroleum Production and Pipelines (Assessment of Environmental Effects)
(Amendment) Regulations 2007.
[33] Gardline Environmental Surveys Limited, 2011. Brent A, Brent B, Brent C and Brent South
pre-decommissioning environmental survey report, BDE-F-GEN-HX-7880-00001.
[34] Gardline Environmental Surveys Limited, 2011. Brent Delta pre-decommissioning
environmental survey report, BDE-D-GEN-HX-0780-00001.
[35] Gardline Environmental Limited, 2012. Brent Charlie cell-top drill cuttings environmental
survey report, BDE-C-SUB-HE-0702-00003.
[36] Fugro EMU 2017. Brent Alpha Pre-Decommissioning Environmental Survey Data Report,
BDE-A-GEN-HX-7880-00001.
[37] Fugro EMU 2017. Brent Field Temporal Report Block 211/29, BDE-F-GEN-HX-7180-
00006.
[38] European Commission, 2001. European Commission (EC) Guidance in EIA Scoping, June
2001.
[39] European Commission Guidance Checklist of Criteria for Evaluating the Significance of
Environmental Effects, presented in EC 2001, above.
[40] DNV, 2011. Environmental Scoping Report for the Brent Field EIA, BDE-F-GEN-HE-0702-
00004.
[41] Institute of Petroleum (IoP), 2000. Guidelines for the calculation of estimates of energy use
and gaseous emissions in the removal and disposal of offshore structures. ISBN 0 85293
255 3.
[42] Shell, 2011. Brent Field System and Associated Pipelines Offshore Oil Pollution Emergency
Plan (OPEP), Document Number 3149-010.
[43] Shell, 2017. Brent Decommissioning Stakeholder Engagement Report, BDE-F-GEN-HX-
5480-00001.
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PARTNER LETTER
14 PARTNER LETTER
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PARTNER LETTER
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