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10/15/13 State.co.us Executive Branch Mail -Re: Southfield Mine: MWNW & Pond 4 <br />(c) For underground musing activities, the application shall contain a <br />detailed description, with appropriate drawings, of permanent <br />entry seals and down -slope barriers designed to ensure stability <br />under anticipated hydraulic heads developed while promoting mine <br />inundation after mine closure for the proposed permit area and <br />adjacent area. <br />OUR OPINION AND REQUESTS REGARDING MWNW: <br />From Mr. Zuber's email dated October 7, 2013: <br />"It is the Division's opinion that it would he a mistake to put water sampling equipment in <br />the well and attempt to pass it by the obstruction (the block of wood). " <br />Mr. Zuber, I totally agree with your statement however due to the inability <br />to put water sampling equipment in MWNW you need to further detail whether <br />EFCI is required to repair or replace the well so that monitoring equipment can <br />monitor water quality and quantity in compliance with the above listed Guidelines <br />and Bond Release Requirements. The Notice of Violation CV- 2013 -002 issued to <br />Energy Fuels Coal Inc. on January 28, 2013 for the permittee's failure to ensure <br />that the well continues to function as designed was a correct analysis of the <br />violation and needs to be pursued until monitoring data for water quality and <br />quantity shows that compliance is complete. <br />POND 4: <br />https: / /mai l.g oog le.conVmai 1 /u /0 / ?ui =2 &i Ire29129fcb5 &viev�-- pt &search =i nbox&th =141 bcb36ff3ec945 16/20 <br />