Comment from Marc Young, PE, Self

Document ID: BOEM-2010-0034-0007
Document Type: Public Submission
Agency: Bureau Of Ocean Energy Management, Regulation, And Enforcement
Received Date: November 05 2010, at 12:00 AM Eastern Daylight Time
Date Posted: November 5 2010, at 12:00 AM Eastern Standard Time
Comment Start Date: October 14 2010, at 12:00 AM Eastern Standard Time
Comment Due Date: December 13 2010, at 11:59 PM Eastern Standard Time
Tracking Number: 80b813ff
View Document:  View as format xml

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The intent of Congress and the OCSLA does not appear to be complied with by the proposed rules. The use of a registered Professional Engineer to certify casing and cementing programs when "The Registered Professional Engineer must be registered in a State in the United States but does not have to be a specific discipline" does not appear to comply with the allowance for coordination with local Coastal Affected Zone States to have input. Two apparent deficiencies are apparent. One is a licensed professional engineer should not be certifying anything that he is not competent to certy due to his education, trainng and experience. The second is that the engineer should be licensed in the Coastal Zone Affected State due to the differences that occur in licensing requrements. Some states are more liberal than others in the exemptions allowed and the requirements for discipline specific engineering licensure. If Texas wants to allow a hgiher risk then Texas offshore Coastal Affected Zones should be the only zones that are allowed to have such higher risk to be taken. If Louisiana or Mississippi want to be more reestrictive then their offshore waters should be more restrictive. This seems to be the intent of the Coastal Zone Affected State language in the federal statutes. As currently proposed a licensed engineer from the state of minimum requirements can be selected. Sort of like South Dakota for credit cards. Good for business but not good for protection.

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