Ed Well Competence

Download as pdf or txt
Download as pdf or txt
You are on page 1of 29

ED Offshore Inspection Guide

Wells Personnel Competency Management


System Inspection Guide

Contents
 Summary
 Introduction
 Action
 Background
 Organisation
 Targeting
 Timing
 Recording and Reporting
 Appendix 1 Inspection Guidance – Documentation review
 Appendix 2 Inspection Guidance – Role specific questionnaires
 Appendix 3 Inspection Guidance – System overview
 Appendix 4 Performance Rating

SUMMARY
This Inspection Guide (IG) sets out the Energy Division - Offshore approach
to the inspection of the management of competency of wells personnel
engaged in oil or gas well operations either offshore on the UK Continental
Shelf or onshore in Great Britain.

The Guide provides a question set to be used as a basis for a wells personnel
competency management system inspection. This has been developed from
a background of HSE and industry guidance on Competency Management
Systems.

The guide provides the basis to assess any risk gap as defined by HSE’s
Enforcement Management Model, and hence the Duty Holder’s Performance
Score which will feed into the intervention planning process.

Introduction
Competence is a very broad subject area that may span the length and
breadth of an organisation, and the competency requirements for personnel
involved in well engineering and operations activities will be different
dependent upon the organisation’s activities, the job position, the tasks to be
undertaken and the associated risks. The work activities and tasks carried by
different organisations will be different dependent upon their roles as mobile

Page 1 of 29
TRIM 2017/368037
and fixed installation drilling rig duty holders, or as well operators, or as third
party service providers.

Major hazard organisations require competent staff that have the necessary
skills, knowledge and experience to undertake critical tasks in such a way as
to prevent a major accident or minimise the consequences to people and the
environment, should one occur.

‘Competence’ means the ability to undertake responsibilities and perform


activities to a recognised standard on a regular basis. Competency is a
combination of practical and thinking skills, experience and knowledge, and
may include a willingness to undertake work activities in accordance with
agreed standards, rules and procedures. Competency depends on the context
and the environment in which the activity is performed, and on the working
culture of the organisation.

‘Competence Management’ means the arrangements to control, in a logical


and integrated manner, a cycle of activities within the organisation that will
assure, and develop, competent performance. The aim is to ensure that
individuals are clear about the performance that is expected of them, that they
have received appropriate training, development and assessment, and that
they maintain, or develop, their competence over time.

Action
The aim of this Inspection Guide (IG) is to provide information and guidance
to offshore inspectors to support the delivery of consistent and effective
competence assessments of offshore wells personnel. It does this by
highlighting key areas essential to an effective competence assessment
process, so that these can be covered during inspections, providing a
framework for inspectors to judge compliance, assign performance ratings,
and decide what enforcement action to take should they find legislative
breaches. In doing so, it complements HSE’s Enforcement Policy Statement
(EPS) and Enforcement Management Model (EMM).

Inspectors undertaking a Wells Competency Management System inspection


will need to be familiar with the Oil and Gas UK Guidelines on competency for
Wells Personnel.

A set of model responses is provided along with a questionnaire (see


Appendix 1). These provide the interpretive standard against which the
Enforcement Management Model (EMM) risk-gap should be assessed and
hence the Duty Holder’s performance Score in relation to wells personnel
competency management.

The questions were developed from the EI Research Report: Human Factors
Performance Indicators for the Energy and Related Process Industries and
the survey questionnaire commissioned by the OSPRAG Technical Review
Group.

Page 2 of 29
TRIM 2017/368037
Success criteria (fundamental requirements) are listed under the inspection
topics (see appendix 2); these cover the key issues that inspectors should
consider when carrying-out inspections against each core intervention issue.
In some instances, not all of the success criteria will apply so inspectors
should make a judgement regarding which of these are relevant in each case.
If the relevant success criteria cannot be met, inspectors should assess how
serious the consequences of failure to comply could be. This will inform their
decision making in terms of the performance ratings that they assign and the
enforcement action they take (if any) based on the findings of the inspection.

BACKGROUND
The Oil Spill Prevention & Response Advisory Group (OSPRAG) was set up
in the UK in response to the Macondo incident in the Gulf of Mexico in April
2010. The recommendations by OSPRAG’s Technical Review Group were
accepted by Oil and Gas UK and led to the publication of Guidelines on
Competency for Wells Personnel by Oil and Gas UK.

The OSPRAG Technical Review Group published the following


recommendations on competence assessment:

There is a high degree of variation in how Competency Management Systems


(CMS) are structured across all organisations and their focus on safety critical
well integrity issues. We recommend that all CMS ensure that they effectively
address the following minimum criteria within their systems:

 Leadership and Supervisory Competencies should be established and


assessed for a minimum of the following positions:

Location Position

OIM Well Service Supervisor


Company Man Well Test Supervisor
Toolpusher Coil Tubing Supervisor
Drilling Supervisor E-line Supervisor
Offshore Driller Slick Line Supervisor
Assistant Driller Completions Supervisor
Derrickman Subsea Engineer
Mud Logger BOP/LMRP Engineer
Drilling Fluids Engineer Well Integrity Engineer
Cementer Production Supervisor
Drilling Manager Senior Completion Engineer
Onshore Drilling Superintendent Completions Engineer
Senior Drilling Engineer Petroleum Engineer
Drilling Engineer Rig Manager
Geology and Operations Geologist Reservoir Engineer
Geophysics Development Geologist Subsurface Lead/Manager
** Position or Role titles will vary across organisations

Page 3 of 29
TRIM 2017/368037
 It should be recognised that appraisal systems alone do not constitute
an effective competency assessment and CMS should clearly
demonstrate competency is assessed.
 Competency assessments for all positions listed above should
demonstrate a level of independence for the role.
 CMS should have a detailed audit at least every 3 years.
 Additional competencies should be developed and assessed for all
positions listed above when working on challenging or high risk wells.
 CMS should detail how competencies for all contract staff used for
positions listed above are selected and assessed.

Oil and Gas UK Guidance


The Well Life Cycle Practices Forum produced guidance on competency for
wells personnel for Oil and Gas UK. They were written by the Competency,
Behaviours and Human Factors workgroup which included representatives
from operator companies, well management companies, OPITO and RGU.

The guidance is relevant to;

 all UKCS offshore installation duty holders, and


 all employers of personnel working on wells and well operations in the
UK.

The work-group has also produced example competency profiles for selected
well personnel roles, and established key risk areas and skill elements
defined as generic skills that are applicable throughout the well life cycle and
key risk areas of the well life cycle where other, more specific skills are
applicable.

Different roles are involved in these risk areas at different stages of the life
cycle, and also depending on the nature of the well.

IADC Competence Assurance Accreditation Programme


The International Association of Drilling Contractors (IADC) runs an
accreditation system for drilling and service companies, which provides
accreditation of companies Competence Assurance Program to assure these
programs meet accepted practices to develop and ensure the skills of their
personnel. Accreditation focuses on policy and procedures documentation,
identification of job positions and definition of competencies, the assessment
system, records system and quality assurance system.

IADC has developed with industry a series of Knowledge, Skills and Abilities
(KSA) competency templates for rig based personnel to provide a means by
which workers can demonstrate their capabilities.

The IADC has also developed, at the request of the HSE guidance on the
management of third party competence for safety critical positions offshore.
This guidance is targeted at any personnel who are not direct employees of

Page 4 of 29
TRIM 2017/368037
the Drilling Contractor; such as agency personnel provided by the drilling
contractor, Operator personnel and their sub-contractors providing drilling
support and other associated services to the Operator.

The guidance on the management of third party competence for safety critical
positions offshore can be found at the following link: http://www.iadc.org/wp-
content/uploads/2016/03/IADC-NSC-Guidance-Rev-1.pdf .

In addition to drilling contractors, some major service companies e.g. Baker


Hughes Inc., Halliburton Energy Services Inc have obtained IADC
accreditation for their Competency Assurance Programmes.

Team Competence
Well operations are usually team based activities rather than individuals
working in isolation. Assuring an appropriate mix of competencies at an
individual level may be used to assess the competency of the team. A risk
and task based approach will facilitate efficient gap analysis for team
competency assessment.

Oil and Gas UK competency guidelines require all roles with a supervisory or
project management element should be assessed for leadership and
supervisory competency.

Contract and Third Party Contract Personnel


Oil and Gas UK competency guidelines require the competency of contract
staff in the team to be assured. Contract staff should be assessed prior to
hiring, at the start of the contract and during operations. This can be done by:

 including contract staff in the employer’s or well operator’s CMS on a


temporary basis; or
 the company supplying the personnel operating its own CMS; or
 individuals demonstrating their personal competency.

In addition, the main duty holders (offshore installation owners, operators, and
well operators), need to assure themselves that all personnel, including third
party contractor personnel involved in well operations, are competent for the
proposed work. Oil and Gas UK guidelines require an audit prior to the start of
operations to assure themselves that the contractors have suitable policies,
procedures, and management controls (including competency assurance for
their employees) in place.

Human and Organisational Factors in Well Control


The North Sea Offshore Authorities Forum (NSOAF) have carried out a multi-
national audit during 2013 to look at how offshore operators and drilling
contractors in the North Sea are incorporating the wide range of necessary
human and organisational factors into their well control systems.

Page 5 of 29
TRIM 2017/368037
The audit results supported the view that industry was providing key well
control personnel with clear and comprehensive ranges of relevant
information, and with adequate designs of displays, control panels, alarm and
data systems. Although there were some rigs where practices needed
improvement, overall the control panel and associated engineering system
aspects from the audit were good.

Similarly, those aspects linked to how drilling personnel would be able to


make the right judgement and the decisions on well control issues were good.
Encouragingly, the audit received strong assurance on the driller’s authority to
shut in wells when necessary. However, there was a broader range of
performance here, and hence the need for those at the lower end to emulate
the more advanced operators and drilling contractors, particularly in the wider
use of scenario based training.

The audit, however, identified a particular issue caused by the general


shortage of experienced drilling personnel and although drilling activity has
slowed since the audit, the prevalence of drillers with less experience that was
historically the case remain and industry wide skills shortages continue.

To ensure that the drilling operation is safe and successful, the drilling crew
must continuously monitor displays and other information, and make
decisions on how they perceive and interpret that information. This ‘situation
awareness’ of how circumstances are at the time and how they might develop
in the future is a crucial element. Such activities take place within a complex
relationship of client and contractors, both onshore and offshore, and with an
intermeshing of different procedures, objectives, and technical monitoring
arrangements. The relationship between all the people and organisations
involved must be clear so that everyone knows and understands their role and
can deliver their contribution competently.

The Human Factors findings of the audit included all personnel involved in the
drilling process reported to be trained to International Well Control Forum
(IWCF) standards and in possession of a Well Control Certificate (at least to
supervisor level). Well control drills were undertaken and documented.

The drilling contractors reported having training and competency matrices in


place, including job descriptions with continuous evaluation and competency
assurance and on-the-job (OJT) training books for selected drilling activities.
One drilling contractor had a bespoke Competency Assurance system (CMS)
in place where personnel were assessed on actual performance by competent
assessors. However, because of the general shortage of experienced drilling
personnel, it was acknowledged that personnel were often being promoted
into positions early on in their training and development. This caused some
organisations difficulties in keeping planned competency assurance
programmes for drill crews fully effective.

There was some variation in the type of drill training undertaken, ranging from
Task and IWCF-focused to Scenario-based training. The audit identified
a welcome improvement from solely ‘routine’ training towards the latter

Page 6 of 29
TRIM 2017/368037
approach, which is designed to prepare crew for the range of information and
decisions they will face. The wider involvement of 3 rd parties in that learning
approach was also acknowledged as an improvement.

‘Drill Well on Paper’ (DWOP) exercises were considered an excellent way for
identifying unfamiliar elements in the well programme and hence exploring the
offshore crew competence. Any gaps could be addressed, for example by
bespoke onshore courses or adding experienced supervisors to the offshore
crew to support learning offshore until it was clear that the crew had the
required competence. It was acknowledged, though, that there was a need to
extend scenarios to later phases and further handling of a loss of well control
situation.

Organisational Factors addressed the safety management systems within the


drilling contractor where issues were highlighted. Drilling operations and well
intervention were usually under the direct control of the drilling contractor but
there was close involvement with the client who often maintained overall
responsibility for installation safety. Although all audited companies had
bridging documents in place, the content and quality of these documents
varied.

There was often a lack of GAP analysis of the systems/ standards used by the
drilling contractor and client/operator, and this reflected a lack of attention at
the contract stage to manuals and compliance. It was notable, in some
examples, that training (and presumably competence) was not included in
these arrangements.

LEGAL REQUIREMENTS
There is a general duty under Regulation 13 of the Offshore Installations and
Wells (Design and construction, etc.) Regulations 1996 for the well operator
to:

ensure that a well is so designed, modified, commissioned, constructed,


equipped, operated, maintained, suspended and abandoned that:

a) so far as is reasonably practicable, there can be no unplanned escape


of fluids from the well; and
b) risks to the health and safety of persons from it or anything in it, or in
strata, to which it is connected, are as low as reasonably practicable.

This general duty is supplemented by further Regulations, including


Regulation 21, Information, instruction, training and supervision which
requires:

In the case of a drilling, well intervention or workover operation to be carried


out on a well:

a) from an installation. the duty holder, and


b) otherwise than from an installation, the well operator,

Page 7 of 29
TRIM 2017/368037
shall ensure that the operation is not carried out, unless it is carried on in
circumstances where the persons carrying out the operation:

a) have received such information, instruction and training; and


b) are being so supervised, that the risk to health and safety from such
operation is reduced to the lowest level that is reasonably practicable.

The Regulation seeks to promote competence in those carrying out well


operations by ensuring that they receive appropriate training (including
on-the-job training), initial and refresher, information and appropriate
supervision. It requires the installation duty holder or well operator (when the
well is being worked on other than from an installation) to ensure all staff are
capable of carrying out the tasks allocated to them.

Duty holders can discharge their duties for personnel and third parties, other
than their own by checking that specialist contractors carrying out operations
have suitable policies, procedures and management controls for the
operations foreseen.

Organisation
Targeting
Inspections should be carried-out in accordance with ED duty holder
intervention plans.

Timing
Inspectors should undertake wells competence inspections as part of the
agreed ED Offshore Intervention Plan; when intelligence indicates intervention
is necessary, or as part of an investigation following an incident.

Resources
Resource for the undertaking of wells competence interventions will be
agreed as part of the ED Offshore Work Plan or by agreement between
discipline specialist team-leaders and inspection management team-leaders,
as appropriate.

Recording & Reporting


The duty holder performance ratings should be entered on the Inspection
Rating Form (IRF) tab of the relevant installation Intervention Plan Service
Order. Findings should be recorded in the normal post inspection report and
letter.

REFERENCES

 Oil and Gas UK – Guidelines on Competency for Wells Personnel;


 Oil and Gas UK - Example of Competency Profiles for Wells Personnel;

Page 8 of 29
TRIM 2017/368037
 The Offshore Installations and Wells (Design and Construction, etc.)
Regulations 1996; Regulations 13 and 21;
 Developing and Maintaining Staff Competence. Office of Rail
Regulation;
 Inspection of Competence Management Systems at COMAH
Establishments, COMAH Competent Authority; and
 Multi-National Audit “Human and Organisational Factors in Well
Control”, North Sea Offshore Authorities Forum, 2012-13.
 IADC Guidance on the Management of Third Party Competence for
Safety Critical positions offshore

Contacts
ED Offshore: ED 6 specialist inspectors

Appendices
Appendix 1 Inspection Guidance – Documentation review
Appendix 2 Inspection Guidance – Role specific questionnaires
Appendix 3 Inspection Guidance – System overview
Appendix 4 Performance Rating

Page 9 of 29
TRIM 2017/368037
Appendix I: Inspection Guidance – Documentation Review

Well Competency Scheme inspections are defined by the Health and Safety
Executive’s intervention planning process this guide will be used as a part of
the inspections undertaken

This appendix details the typical information that should be requested prior to
a well competency scheme inspection. The inspection will enable
benchmarking of the system and provide inspectors with clear examples
which can inform their questionnaires:

1. A current copy of the Wells Personnel Competency System, where this


sits within different business groups i.e. drilling and subsurface both
should be provided.
2. Details of the custodians [i.e. the person(s) responsible for the
competency of wells personnel within the organisation]
3. A definitive list of positions covered by the arrangements.

This documentation may take some time to collate and notification of an


inspection and requests for information should be made in a timely manner.
Where the inspection is done on a reactionary basis then as much notice as
possible should be given.

Page 10 of 29
TRIM 2017/368037
Appendix 2: Inspection Guidance – Role Specific Questionnaires

Typically one of each of the following roles within organisation should be


interviewed:

 Wells user staff


 Wells user contract
 Administrator of the system

Example time table:

Start Time: 9.30 am

a. HSE presentation on requirements of HSWA 1974 & 0930-1000 hrs


DCR Reg. 21

b. Interview scheme custodian 1000-1100 hrs

c. Sampling of competence information, including testing 1100-1230 hrs


evidence requirements and assessment records with
system administrator

Offshore interviews with system users and sampling of their records should be
conducted where appropriate. Onshore personnel such as drilling engineers
can be added to the above onshore inspection schedule if appropriate.

Page 11 of 29
TRIM 2017/368037
Appendix 2: Inspection Guidance – Role Specific Questionnaires

The need for a Wells Personnel Competency Management System inspection


using this guide will be defined by the Energy Division – Offshore intervention
planning process.

Personnel to be interviewed should include at least the custodian of the CMS,


an onshore user such as the Rig Manager, and an offshore user such as the
OIM.

The inspection will be carried out using the question set below.

Inspectors undertaking a Wells Competency Management System inspection


will need to be familiar with the Oil and Gas UK Guidelines on competency for
Wells Personnel.

CUSTODIANS OF ARRANGEMENTS

Name:
Job Title:

SATISFACTORY
QUESTION EXAMPLE ANSWERS RESPONSE?/
COMMENT
1. CMS Cycle
1. Describe your There should be:
system, processes and  A clearly identified process owner and
procedures for the clear accountabilities for well technical
management of authorities and line management;
workforce competence  The process and responsibilities for
defining and maintaining competency
standards for well activities should be
described;
 The process and responsibilities
should be clearly set out for
assessment of wells personnel and
their individual competencies;
 The process and responsibilities
should be clearly set out for
assessment of wells teams and their
collective competency;
 The process and responsibilities
should be clearly set out for the
management of assessed shortfalls in
competency and for
 Competency development of
individuals and teams; and
 The process and responsibilities
should be specifically set out for the
management of contract staff.

Page 12 of 29
TRIM 2017/368037
SATISFACTORY
QUESTION EXAMPLE ANSWERS RESPONSE?/
COMMENT
2. Is this system The CMS is an integral part of any
integrated with other
management system and can be
management systems demonstrated to be specifically tailored to
and, if so how? manage the competencies of that
organisation’s work activities and
associated safety risks.
3. What industry References:
guidelines for  Oil & Gas UK Guidelines on
competence competency for wells personnel &
management systems Example competency profiles for well
are being used? personnel;
 IADC Competence Assurance
Accreditation Program & Knowledge,
Skill and Abilities (KSA) competency
guidelines.
 IADC Guidance on the
Management of Third Party
Competence for Safety Critical
positions offshore
4. Describe the The CMS should link into other sections
processes in place for of the management system and link to the
recruitment, selection, recruitment process, i.e. job descriptions,
training, and the selection criteria and process of
assessment of staff, selection and training requirements.
including the selection
criteria used, training
methods used, and
how competence is
assessed (where and
by whom?)
5. Who is included in the A minimum list of positions to be included
competency system, in the wells competency management
how frequently are system is provided for both onshore and
they assessed? offshore positions in the OSPRAG
recommendations and the Oil & Gas UK
Guidelines on competency for wells
personnel (see Background).
 The CMS should cover all new
employees and contract staff who
start after the system is in place.
 Existing staff and employees should
be assessed as soon as practicable
and competency and training for
individuals started after assessment.
 A maximum period between the
formal competency assessments
conducted between an individual and
their assessor and should be defined.

Page 13 of 29
TRIM 2017/368037
SATISFACTORY
QUESTION EXAMPLE ANSWERS RESPONSE?/
COMMENT
6. How much time and The organisation should demonstrate that
resource is being used the CMS is continuously reviewed to
to administer the determine the efficiency of the system,
competency system, accuracy of decisions being made,
per person, per year? employees, contract staff, supervisors,
have sufficient time to carry out the
requirements of the system, and the CMS
is not distracting people from their primary
responsibilities.
7. How is the system Formal training and assessment records
administered? should be maintained. Usually an
electronic system of tracking and
maintaining individual performance
against an approved list of job or task
related competencies are maintained.
2. CMS Cycle Phase 1 & 2: Establish Requirements and Design CMS
8. Who has the authority Accountabilities for implementing and
to establish and managing the CMS should be assigned.
approve performance The process and responsibilities for
standards within the defining and maintaining competency
system? standards for wells activities by the
organisation should be described.
This may be a role for the wells technical
authorities for a well operator.
9. How are these An approved list of job or task based
standards measured approved competency standards and a
for effectiveness and process for reviewing and revising
how are the results competencies should be available with
managed? assigned responsibilities for each element
of the process.
Competency standards should be
reviewed at periodic intervals or whenever
there is a change in the wells activities.
10. If there are changes to Competence standards should be
the performance available to staff such that they are able
standards, how are to refer to them and understand how they
they communicated relate to their activities.
and measured for
effectiveness?
3. CMS Cycle Phase 1 & 2: Establish Requirements and Design CMS

Page 14 of 29
TRIM 2017/368037
SATISFACTORY
QUESTION EXAMPLE ANSWERS RESPONSE?/
COMMENT
11. Have safety critical Oil & Gas UK Guidelines Table 1 provides
roles been defined and a table of the minimum positions within
have safety critical offshore and onshore well’s organisations
competence for competency assessment and states
requirements been Leadership and Supervisory
mapped against these competencies should be established and
safety critical roles? assessed for all these positions.
The training and development needs of
recruits must be established and different
levels of competence identified and
clearly defined for different parts of the
job. Additional competencies should be
developed or assessed for all positions
listed when working on challenging or
high risk wells.
12. Please identify any Note; The list will vary depending upon
additional roles that the various companies e.g. Drilling
have been added to Contractor – MODUs or Drilling
the Oil and Gas UK list Contractor – Platform Well operators etc.
of minimum
recommended
positions. Please
confirm, which of these
additional roles are
considered safety
critical
13. Are attitudes, Critical competencies should be identified
behaviours and for all positions and have been described
leadership in Key Risk Areas and Skill Elements in
performance standards Oil & Gas UK & IADC Guidelines.
applied to all staff  These cover the lifecycle of the well
assigned to well including well design, operations
control, planning, planning, operations execution,
design, examination, workover and intervention planning
verification and and execution, production well
operational activities. If integrity and long term integrity. Ref.:
so, how is it Oil and Gas UK Guidelines Table 2.
accomplished? Critical competencies have been
identified as ‘technical' and ‘leadership
and supervisory’.
 Typical examples of leadership and
supervision skill elements have been
provided in Oil & Gas UK guidance
providing example competency
profiles for well personnel.
 This should include Operator third
parties who are undertaking safety
critical roles on a MODU.
4. CMS Cycle Phase 3: Implement CMS

Page 15 of 29
TRIM 2017/368037
SATISFACTORY
QUESTION EXAMPLE ANSWERS RESPONSE?/
COMMENT
14. Is team competence Phase 3
evaluated to ensure Well operations are usually team based
the right people are in activities rather than individuals working
the right place at the alone.
right time to conduct  A gap analysis for team competence
both routine tasks and is a good starting point for
safety critical assessment of the competency of a
activities? team.
 Offshore installation owners or
operators, and well operators need to
assure themselves that all personnel
in well operations are competent for
the proposed work. They should
ensure themselves, by audit prior to
the start of operations, that the
contractors have suitable policies,
procedures and management controls
in place.
Phase 4
Assessment of wells teams and their
collective competency and the process for
assessment should be clearly set out plus
the process and management
responsibilities for the assessed shortfalls
in competency and the competency
development of individuals within the
team.
 Gap analysis techniques based on a
risk and task based approach may be
used.
 Crew Resource Management (CRM)
has been used to cover non-technical
aspects of competency by some
drilling contractors.
15. What training methods Various training methods may include PC
are used? based desk top training; computer based
training techniques, on the job training,
the use of simulators etc.
In-house and external training modules
may be used.
16. What learning The most effective CMS are specifically
objectives are in place, tailored to manage the competencies
and are they supported required for that particular organisation’s
by suitable modes of work activities and associated safety risks
training eg simulators? and provide a comprehensive picture of
job requirements allowing a training
needs analysis to provide targeted and
effective training interventions and a
framework for on-going coaching and
feedback.

Page 16 of 29
TRIM 2017/368037
SATISFACTORY
QUESTION EXAMPLE ANSWERS RESPONSE?/
COMMENT
17. What methods are Assessment techniques can vary from;
used to assess  direct methods of observation,
trainees and how is it products of work and questioning;
ensured these  indirect methods of witness testimony,
methods are suitable? professional discussions, candidate
statements and simulation;
 Trade tests.
It is important to establish if trainees are
assessed by suitable means and whether
structured refresher training is conducted
for recognised safety critical or infrequent
safety related tasks in well operations.
Team exercises and simulations may be
used for developing team competency,
ranging from desk top exercises to the
use of simulators.
18. How is it ensured the Assessors must have a good
assessment is carried understanding of the concepts and
out by an individual principles of competency based
competent to evaluate assessment.
the trainee? Assessors may be qualified through
various schemes, e.g. OPITO’s
competency assessor award or NVQs,
however some organisations may prefer
in-house training. The assessor should be
technically competent in the area being
assessed.
Some companies use supervisors or line
managers whilst others use dedicated
assessors.

Page 17 of 29
TRIM 2017/368037
SATISFACTORY
QUESTION EXAMPLE ANSWERS RESPONSE?/
COMMENT
19. How is the Phase 3
competency of The competency of contract staff within
contract staff the organisation must be assured.
assessed? Contract staff should be assessed prior to
hiring, at the start of the contract and
during operations. This may be done by:
 Including contract staff in a well
operators or employers CMS on a
temporary basis;
 The company supplying the personnel
having a competency assurance
system, or
 Individuals demonstrating their
personal competency.

Phase 4
Contract staff should continue to be
assessed during operations.
For contract or employee personnel
arrangements should be in place to
monitor performance and if necessary
have arrangements in place to restore
competence or when found to be
necessary removal from the workplace.

Page 18 of 29
TRIM 2017/368037
SATISFACTORY
QUESTION EXAMPLE ANSWERS RESPONSE?/
COMMENT
20. How is the Phase 3
competency of third The main duty holders, offshore
party services staffinstallation owners or operators, and well
assessed? operators, need to assure themselves that
all personnel involved in well operations
are competent for the proposed work.
 They should do this by checking that
the contractors have suitable policies,
procedures and management controls
(including competency assurance for
their employees) in place. This should
be audited prior to start of operations.
 This would include, in particular,
offshore positions such as: Mud
logger, Drilling fluids engineer,
Cementer, Well Service supervisor,
Well Test supervisor, Coiled tubing
supervisor, Eline and Electric line
Supervisors.
Phase 4
Arrangements should be in place with the
third-party service provider to ensure
competence of third-party services staff is
maintained by the service provider
Where necessary, arrangements should
be in place to restore competence, or, if
necessary removal from persons from the
work place.
5. CMS Cycle Phase 4: Maintain and Develop Competence
21. How is training The duty holder or employer must be able
validated? to demonstrate that activities to be carried
out and the training and development
requirements have been defined e.g. by
Training Needs Analysis, and that
arrangements are in place to be able to
develop and train each individual and
assess their competence via defined
methods.
There should be a system in place for
ongoing monitoring of competency by
suitably competent supervisors, and
internal mentors and coaches to assist in
the competency process.
Some key roles e.g. the Well Examiner or
Drilling Manager may rely on some form
of External/ Internal Review.

Page 19 of 29
TRIM 2017/368037
SATISFACTORY
QUESTION EXAMPLE ANSWERS RESPONSE?/
COMMENT
22. How is it determined There should be in place a system of
whether the training ongoing monitoring for competency
has delivered what it including assessors and supervisors. The
was supposed to CMS should define the maximum period
deliver? between the formal competency
assessments between an individual and
their assessor.
23. Are suitable training A suitable system of maintaining training
records maintained records for internal and external training,
and how are they on the job training and computer based
used? training modules must be in place.
These records must be available for the
ongoing development and training of
personnel to ensure personnel progress
from a status of ‘not yet competent’ to
fully competent.
24. How do you ensure The duty holder/employer must be able to
that only workers who demonstrate that arrangements are in
are deemed as place to ensure personnel (including
‘competent’ are contractor personnel) only carry out
assigned to safety activities for which they have been
critical tasks? assessed competent, This must ensure
that people ‘not yet competent’ cannot be
‘jumped’ into senior roles due to a lack of
experienced or competent personnel. The
duty holder/employer must be able to
demonstrate that managers are aware of
the range of activities their personnel and
contractors are currently competent to
carry out.
25. What triggers are in This is a part of the management of
place to ensure that change process and the duty
competence holder/employer should demonstrate that
requirements are re- there is guidance in place which includes
evaluated and any re-assessment of competencies with
necessary training installation of new equipment, higher risk
provided following well conditions, etc.
changes to process,
procedures, and
conditions, e.g. HPHT
well conditions

Page 20 of 29
TRIM 2017/368037
SATISFACTORY
QUESTION EXAMPLE ANSWERS RESPONSE?/
COMMENT
26. Is structured refresherCompetence criteria should be relevant to
training conducted for the specific job or task and clearly linked
safety critical and to the major accident hazard on site and
infrequent safety reflect on site risks.
related tasks? Major accident hazard for well operations
relate to loss of containment, hydrocarbon
release, blow out and explosion.
Refresher training in well control, and well
control techniques is standard in the
industry. It is normal practice when drilling
HPHT wells to provide additional training
using simulation techniques, desktop
exercises etc.
27. How are ‘not yet The duty holder/employer must
competent’ demonstrate that he has the ability to
assessments managed manage those ‘not yet competent’, and to
and how many have make a decision on the suitability of the
been made in the last person for further training and
12 months? development, and if so, to provide further
training development to gain sufficient
experience prior to another assessment.
A record of competence should be kept
and the duty holder/employee able to
demonstrate sufficient opportunity for the
person to consolidate any training given.
28. What systems are in The duty holder/employee must be able to
place to establish and demonstrate that those involved in the
maintain ‘trainer’ and operation of the competency system
‘assessor’ (including recruiters, trainers and
competency? assessors) have the combination of
professional competencies (related to
their role) and occupational competencies
(related to knowledge, skill, experience,
etc.) which are clearly identified.
29. What systems are in Management responsibilities for those
place to establish and operating the CMS should be clearly
maintain managers’ defined and allocated and the training and
competencies? development needs of the managers
established.
Managers required to carry out
competency assessment should be
suitably trained and periodically re-
assessed as part of the CMS procedures.

Page 21 of 29
TRIM 2017/368037
SATISFACTORY
QUESTION EXAMPLE ANSWERS RESPONSE?/
COMMENT
30. What systems are in Refresher training and personnel briefings
place to enable should be in place with feedback sessions
workforce involvement to help identify the need for and be able to
in the continuous deliver additional and refresher training
improvement of the and check for use of appropriate
system? performance standards, methods of
assessment and consistent use of
procedures and work instructions
developed for the CMS.
31. Is the competence Oil & Gas UK guidelines state the CMS
management system should be under continuous internal
subject to continuous quality assurance.
top level management It is important that senior management
review Who is endorse and drive the CMS. A sense of
involved, how is the ownership of the system is important,
review conducted and particularly for those carrying out key
how often? roles within the system. Quality assurance
of assessment decisions is the key to the
integrity of a competency management
system and may include the sampling of
assessor’s judgments to determine
whether a decision is valid by a
designated internal verifier; conducting
exercises with assessors for consistency
in assessors decisions. Check for how
well the system works under stressed
conditions, eg shortage of skilled,
competent personnel to fill safety critical
roles.
32. Does a credible third Oil & Gas UK guidelines recommend the
party audit the CMS be audited every 3 years.
competence Competent personnel should carry out the
management system? audit. They may be company personnel
If so, provide details of but they should not be part of the well
the third party and how operations team nor personnel
frequently they audit responsible for management of the CMS.
the system HSE guidance would recommend the
audit be undertaken by an Auditor
external to the company, but familiar with
systems for competence assurance. Audit
of the CMS should look at the system as
a whole, sampling and checking
performance and compliance over the
entire scope of the CMS against the
procedures and the latest regulatory
guidance.

Page 22 of 29
TRIM 2017/368037
SAMPLING RECORD – SCHEME ADMINISTATOR

Name:
Job Title:

SATISFACTORY
QUESTION EXAMPLE ANSWERS RESPONSE?/
COMMENT
1. Describe your There should be:
system, processes  A clearly identified process owner and
and procedures for clear accountabilities for well technical
the management of authorities and line management;
workforce  The process and responsibilities for
competence defining and maintaining competency
standards for well activities should be
described;
 The process and responsibilities should
be clearly set out for assessment of wells
personnel and their individual
competencies;
 The process and responsibilities should
be clearly set out for assessment of wells
teams and their collective competency;
 The process and responsibilities should
be clearly set out for the management of
assessed shortfalls in competency and
for competency development of
individuals and teams; and
 The process and responsibilities should
be specifically set out for the
management of contract staff.
2. How much time and The organisation should demonstrate that
resource is being the CMS is continuously reviewed to
used to administer determine the efficiency of the system,
the competency accuracy of decisions being made,
system, per person, employees, contract staff, supervisors, have
per year? sufficient time to carry out the requirements
of the system, and the CMS is not distracting
people from their primary responsibilities.
A well-managed system will be
demonstrated through correlation between
the administrator’s experience and the
figures given by the custodian
3. How are changes to Competence standards should be available
the performance to staff such that they are able to refer to
standards, how are them and understand how they relate to their
they communicated activities. Can demonstrate how this would
and measured for occur within the system
effectiveness?

Page 23 of 29
TRIM 2017/368037
SATISFACTORY
QUESTION EXAMPLE ANSWERS RESPONSE?/
COMMENT
4. Demonstrate how Can demonstrate that safety critical tasks
safety critical tasks are highlighted within competence elements
have been and should be able to demonstrate that
identified within the safety critical competencies are tracked and
scheme deficiencies actioned
5. Are team Team competence may be an output of the
competence CMS system viewed on a dashboard or run
assessments as a report Team competence assessments
recorded within the by department heads or project managers
CMS? should not be informal, but should be
captured and be auditable
6. How are internal Evidence of attendance should be available
and external as should copies of external certification
training records obtained and expiry dates of certificates
maintained? managed Some external training may be
validated such as checking certificate
authenticity
7. Do you maintain Each assessor should have received training
records of qualified in assessment techniques and on the CMS
competence itself.
assessors
8. Provide a The administrator should be able to pull up
walkthrough of the the training and competence record and
competence record identify the various competence
of a staff member requirements show how evidence of each
competence area is recorded and explain
how non-conformance with the system is
escalated to management. They should also
be able to show how the system interacts
with other parts of the management system
via reports, dashboards links etc.
9. Provide a The administrator should be able to pull up
walkthrough of the the training and competence record and
competence record identify the various competence
of a contract team requirements show how evidence of each
member competence area is recorded and explain
how non-conformance with the system is
escalated to management. They should also
be able to show how the system interacts
with other parts of the management system
via reports, dashboards links etc.
10. Present details of Audit of the effectiveness of CMS should be
the audit schedule done as part of the wider business
that covers the management system
CMS
11. Provide details of Review details to ensure that non-
the last CMS audit conformances have resulted in measureable
actions

Page 24 of 29
TRIM 2017/368037
USER INTERVIEW

Name:
Position:
Staff/Contract/Agency:
Date:
INSPECTORS
TOPIC EXAMPLE ANSWERS
REMARKS
1. Describe your system, There should be:
processes and  A clearly identified process owner and
procedures for the clear accountabilities for well technical
management of authorities and line management;
workforce  The process and responsibilities for
competence defining and maintaining competency
standards for well activities should be
described;
 The process and responsibilities
should be clearly set out for
assessment of wells personnel and
their individual competencies;
 The process and responsibilities
should be clearly set out for
assessment of wells teams and their
collective competency;
 The process and responsibilities
should be clearly set out for the
management of assessed shortfalls in
competency and for competency
development of individuals and teams;
and
The process and responsibilities should
be specifically set out for the
management of contract staff.
2. Explain your Individuals should be aware of what is
involvement in required for continued competence and
maintaining your should be attending training courses,
competence forwarding copies of certification etc.
Contractors who move around regularly
with projects may have a competence
portfolio to provide evidence as required
to well operators
Individuals may drive the training needs
or may simply aim to maintain the
minimum company standards
3. How do you maintain Individuals should be empowered to take
your own competence control of their own competence, being
involved in training needs analysis and
should be responsible for maintaining
some records or informing administration
of their competence arrangements

Page 25 of 29
TRIM 2017/368037
INSPECTORS
TOPIC EXAMPLE ANSWERS
REMARKS
4. Does the competence Linking performance management
scheme integrate into systems to the performance management
the performance scheme can motivate individuals to keep
management records up to date, further requiring
arrangements of your competence in one position before
company? promotion to the next can motivate
individuals to participate in training and
maintain records
5. Are contactors and An advantage of staff positions includes
staff subject to similar additional training opportunities however if
levels of competence staff are more regularly monitored for
demonstration? competence through internal systems
than contractors poor contractor
performance can go unnoticed.
6. Does the scheme Users should be aware of the importance
cover non-technical of non-technical aspects and how these
aspects such as are measured by the company
behaviours
8. Does the scheme The users are likely to be able to give
address team examples of exercises or activities they
competence? were involved in as a team that can be
cross referenced against competence
records.
9. How do you keep up Users may talk of CPD requirement for
to date with new Chartered Engineer status or internal
technology? And how training. They may be able to talk of times
does the scheme that performance standards have been
reflect that? updated and the additional
demonstrations that they had to provide

Page 26 of 29
TRIM 2017/368037
Appendix 3: System Review

Following review of the supplied documentation, subsequent interviews and


on/off shore sampling the system review can be populated. The systems
review should enable the inspector to assign a performance score and form a
record of such.

SYSTEM REVIEW of INSPECTIONS of


WELLS PERSONNEL COMPETENCE SCHEMES

Company:
Date:
INSPECTORS
TOPIC EVIDENCE
REMARKS
1. What CMS cycle phase do you
determine the scheme to be in?

The further through the CMS


cycle the more mature the
scheme is; be aware of duty
holders that go from one
ineffective scheme to another
and never develop the
competence scheme beyond
cycle 2.
2. Is this system integrated with
other management systems
and, if so how?
3. Are all relevant positions
identified in the Oil & Gas UK
guidelines covered
appropriately by the scheme?
4. Are contactors and staff subject
to similar levels of competence
demonstration?
5. Have audit cycles been
developed and there is a
history of auditing resulting in
improvement action
6. Do users understand their
responsibilities in relation to
competence and take
ownership of competence
management
7. Does the scheme cover non-
technical aspects such as
behaviours
8. Does the scheme address team
competence?

Page 27 of 29
TRIM 2017/368037
INSPECTORS
TOPIC EVIDENCE
REMARKS
9. Does the scheme address new
and emerging technology for
staff and long term contract
staff alike?
10. Does the scheme contain
sufficient verifiable evidence of
competence – (beware of tick
box type line manager sign-off)

Page 28 of 29
TRIM 2017/368037
Appendix 4: Performance Assessment

The EMM Risk Gap should be judged on the basis of the responses to the
inspection questionnaire and hence the Duty Holder’s Performance Score
according to:

EMM RISK GAP


EXTREME SUBSTANTIAL MODERATE NOMINAL NONE NONE
TOPIC PERFORMANCE SCORE
60 50 40 30 20 10
Broadly Fully
Unacceptable Very Poor Poor Exemplary
Compliant Compliant
Significantly
Meets most of
below the Meets the
the relevant Exceeds the
Unacceptably relevant relevant
minimum legal relevant
far below minimum legal minimum legal
requirements. minimal legal
relevant requirements. requirements.
requirements.
minimum legal Substantially
Most success
requirements. below the Several All success
criteria are All success
relevant success criteria are fully
fully met. criteria are
Most success minimum legal criteria are not met.
fully met.
criteria are not requirements. fully met.
Degree of
met. Management
non- Management
Many success Degree of competent and
compliance competent,
Degree of criteria are not non- able to
minor and enthusiastic,
non- fully met. compliance demonstrate
easily and proactive
compliance significant. adequate
remedied. in devising
extreme and Degree of non- identification of
and
widespread. compliance Limited the principal
Management implementing
substantial. recognition of risks,
recognise effective
Failure to Failures not the essential implementation
essential safety
recognise recognised, relevant of the
relevant management
issues, their with limited components of necessary
components of system to
significance, commitment to effective control
effective ‘good practice’
and to take remedial health and measures,
health and or above
demonstrate action. safety confirmation
safety standard.
adequate management, that these are
management, Actively seek
commitment to but used
and to further
take remedial demonstrate effectively; and
commitment to improve
action. commitment to subject to
improve standards.
take remedial review.
standards.
action
EMM INITIAL ENFORCEMENT EXPECTATION
Prosecution / Enforcement Enforcement Letter / Verbal
None. None.
Enforcement Notice / Letter. Notice / Letter. warning.
Notice.

Page 29 of 29
TRIM 2017/368037

You might also like