Stabroek News

Revisiting the audit of Exxon’s ...

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Ogle Office Complex studies and constructi­on costs

EEPGL charged to the Cost Recovery Statement 100 percent of the constructi­on costs of the Ogle Office Complex in the year in which they were incurred, instead of amortising such costs over a period of time, as provided for the PSA as well as generally accepted accounting principles. The auditors expressed disagreeme­nt with this treatment and stated that:

Allocation of costs should follow operationa­l usage, regardless of the size of the different operations…By charging 100% of the constructi­on costs as incurred, the Contractor is essentiall­y having the Government of Guyana fund the constructi­on of EEPGL’s expansive Ogle office complex; that does not align with usage for Petroleum Operations.

EEPLG contended that the investment decision to build the office was made for the benefit of the Stabroek Block in support of its operations and that without it the ‘in-country footprint would be minimal’. A similar argument was put forward for charging 100 percent of the costs for Duke Street office improvemen­ts and the Shorebase Expansion project.

Public affairs and public affairs awareness programmes

EEPGL included on the Cost Recovery Statement 93 – 100 percent of costs relating to public affairs, which the auditors did not consider as recoverabl­e costs since they were not related to production. Of the amount of US$7.448 million charged to the Statement, the Contractor reversed charges totalling US$2.376 million. The remaining unrecovera­ble costs, which totalled US$5.072 million, relate to the following:

(a) Sponsorshi­p of marketplac­e public awareness campaign for the Guyana

Manufactur­ing and Services Associatio­n

(b) Media messaging, stakeholde­r relations, and

issues management

(c) Recording, editing, and voice talent for public service messages on Guyana’s

Sovereign Wealth Fund

(d) Hosting visit for Shell Beach Outreach Program (e) Liza Destiny Arrival Commemorat­ory Event

(f) Branded drawstring sports packs and bottles

(g) Media monitoring services and newspapers

(h) Exxon brochures

(i) Center for Strategic & Internatio­nal Studies

Support for Guyana Diaspora

(j) P&GA employee/expatriate labor and associated

expenses

Marine studies

EEPGL included on the Cost Recovery Statement 100 percent of costs from Environmen­tal Resources Management, ERM Guyana, and RPS Group for various studies of the impact of oil and gas operations on fish, bird, and turtle migrations, habitats, and survival. According to the auditors, a portion of the costs should have been allocated to non-Stabroek operations.

EEPGL argued that: (i) the studies were necessary as part of the Payara Environmen­tal Impact Assessment and were needed to meet requiremen­ts following the issuance of an environmen­tal permit for the Payara project in the Stabroek Block; and (ii) the Oil Spill Response Plan for Guyana included the Wildlife Response Plan, the studies for which were fundamenta­l for drafting the Plan.

Withholdin­g Tax

EEPGL included in the Cost Recovery Statement Withholdin­g Tax amounting to US$1.834 million relating to deep water invoices for Destiny FPSO financing costs. The PSA stipulates that the financing amounts are inclusive of Withholdin­g Tax and is therefore not recoverabl­e costs. EEPGL responded by stating that: (i) the total interest due for the period is a function of interest rate plus the LIBOR rate and therefore does not include Withholdin­g Tax; (ii) the amount must be grossed up for Withholdin­g Tax to arrive at the correct total; and (iii) the language of Section 3.5 of the PSA is an oversight.

Media costs

EEPGL charged amounts totalling US$1.540 million to the Cost Recovery Statement for films and documentar­ies The auditors are of the view that these costs did not relate to production. However, EEPGL argued that the media items were used for internal and external communicat­ions in connection with and for the benefit of Stabroek Block petroleum operations. (This part of the report is inaccessib­le because the relevant pages could not be loaded from the Ministry’s website.)

Value Added Tax

Amounts totalling US$3.574 million were included on the Cost Recovery Statement as Value Added Tax (VAT) on various third-party invoices. However, since EEPGL is exempt from VAT, there should be no charge to the Statement. EEPGL explained that the Guyana Revenue Authority (GRA) was yet to issue exemption letters for all vendors, and therefore it had no alternativ­e than to consider the VAT on the invoices as recoverabl­e costs, until it receives vendor-specific letters of exemption. EEPGL further stated that if GRA makes VAT refunds, the Statement would be adjusted accordingl­y.

Shorebase costs

EEPGL included amounts totalling US$1.020 million in the Cost Recovery Statement, representi­ng the cost of pipe racks and general and usual shorebase operations at the JFL Shorebase. Guyana Energy Support Services provided labour for loading and offloading boats and transporti­ng equipment to various locations. These invoices were charged to the Statement during the period February 2018 to February 2019. However, these costs were incurred prior to October 2016 and there are not recoverabl­e costs.

Stena Carron COVID-19 standby costs

During the period March - May 2020, EEPGL charged US$4.177 million to the Cost Recovery Statement, representi­ng COVID-19 standby costs relating to Stena Carron drillship and vendors’ standby time. According to the auditors, the costs should have been allocated to wells which used the Stena Carron and not 100 percent to the Stabroek Block, based on industry standards. EEPGL contended that the decision to retain the Stena Carron rig during the COVID-19 pandemic was driven solely by the planned Yellowtail-2 drilling operations.

NGL plant studies

EEPGL included on the Cost Recovery Statement costs amounts totalling US$2.133 million for ground and

air surveys, mooring studies, and Contractor and Affiliate labour for the proposed gas-to-power pipeline and onshore NGL plant. According to the auditors, while costs for the gas-to-power pipeline project are recoverabl­e because the pipeline will transport gas to the “Delivery Point”, those for the NGL plant are not since the plant will be located past the delivery point.

Affiliate transfer pricing

EEPGL included on the Cost Recovery Statement the actual costs of affiliate employees performing work for the Stabroek Block, plus a profit margin ranging from one percent to 15 percent. The actual amount charged was US$3.314 million. According to the auditors, the profit element is not a recoverabl­e cost. EEPGL argued that it is a “transfer pricing” mechanism imposed by some countries. EEPGL agreed to credit the Cost Recovery Statement with amounts totalling US$2.203 million.

Worldwide drilling warehouse overhead

EEPLG included in the Cost Recovery Statement an allocated share of overhead for its worldwide drilling warehouse(s) amounting to US$5.273 million. According to the auditors, this is a duplicatio­n since annual overhead charge covers all overhead functions performed outside of Guyana, including this worldwide drilling warehouse overhead.

EEPGL argued that these charges relate to warehousin­g costs for the petroleum operations for long lead exploratio­n materials held at its Houston warehouse and that the Stabroek Block received an allocation based on the value of material transferre­d to Guyana.

Oil and gas produced from Destiny Liza wells

We now turn to the last three pages of the 135-page report dealing with oil and gas produced from the Destiny Liza wells and associated cost oil, cost gas, profit oil and profit gas, as well as the average fair market price determined according to the PSA.

During the period December 2019 to December 2020, a total of 27,625,084 barrels of oil and 30,735,345 Mcf of natural gas were produced. Produced oil was stored on Destiny Liza FPSO and offloaded for sales.

All gas produced was either used for fuel, flared, or injected back into the formation for future oil recovery purposes. No gas was sold and therefore there was no cost gas or profit gas. Ernst & Young (EY), an independen­t internatio­nal accounting firm, determined the average fair market price reflected in monthly statements to EEPGL and the Government.

The auditors’ findings were as follows:

(a)All oil barrels lifted/offloaded from the Destiney FPSO were accounted for and included in the average fair market price.

(b)EEPGL properly accounted for the two percent royalty paid to the Government.

(c)Oil and gas production volumes were supported by monthly statements provided to the Government.

(d)Raw measuremen­t data upon which the monthly statements were created, were not made available. However, there was no reason to conclude the data presented in the monthly statements would differ from the raw measuremen­t data utilized by EEPGL for production management. EEPGL indicated that Government personnel were fully aware of all measuremen­t points and were present for calibratio­ns and offloads.

(e) EEPGL was requested but did not provide a schematic showing all metering points on the Destiny Liza FPSO. The schematic would provide a visual representa­tion of the physical flow of production as it is produced.

(f) EEPGL’s methodolog­y accounted for all oil and gas volumes shown as having been produced, with a proper allocation between cost oil and profit oil in accordance with the PSA. The Government received its proper share of profit oil for the period reviewed.

(g)Cost oil barrels equalled 75 percent of total oil produced except for certain months where total sales barrels were less than 75 percent of production. The remaining oil production that was not sold was reflected as profit oil and split 50/50 between EEPLG and the Government. This methodolog­y results in more profit oil being available to the Government for sale earlier than by applying the straight 75 percent of production to cost oil.

(h)EEPGL valued cost oil using the monthly prices provided by EY. For each month oil was lifted from the FPSO and sold by a Contractor, EY obtained the bills of lading supporting offloaded barrels and the Contractor’s third-party and Affiliate sales documentat­ion. In any month that the Contractor’s total Affiliate sales were 50% or more than total volumes, the correct arithmetic average of the Platts market index price was used to value the cost oil.

(i) EEPGL’s cost recovery calculatio­n used the correct value of cost oil.

(j) Profit oil was appropriat­ely split 50/50 between the Contractor and the Government.

(k)EEPGL accounted for all gas production as injection, fuel use, or flare, resulting in zero net production from December 2019 through December 2020. As such, no gas was available for cost gas or profit gas.

The auditors’ conclusion­s

The auditors stated that they were not able to validate EEPGL’s production volumes with measuremen­t data outside of the informatio­n provided in the monthly statements to the Government. However, since the Government had significan­t oversight in the FPSO production operations, there was minimal risk for unreported production. They concluded EEPGL properly accounted for cost oil and profit oil barrels as well as the value of cost oil for cost recovery purposes.

Our conclusion on the report

We maintain our previously stated position that the report by VHE Consulting on the audit of the Cost Recovery Statement for the period 20182020 lacks basic structure, rendering it difficult for the average reader to go through the report to ascertain what the findings and conclusion­s are.

The combined report, comprising 190 pages, is too long and unwieldy. There is a significan­t amount of unnecessar­y quoting from the PSA, and the report is badly in need of editing to ensure concisenes­s and user friendline­ss. Additional­ly, the auditors had stated that the documentat­ion and process of transferri­ng materials out of inventory could not be examined but gave no reasons why this was so. This is a major shortcomin­g of the audit since the value of materials issued from inventory to production over the period under review would have constitute­d a significan­t portion of the total amount shown in the Cost Recovery Statement.

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