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• Documentation with the Office of the State Engineer demonstrating the <br />applicant owns and has committed sufficient shares of water to cover the <br />evaporative losses from the exposed groundwater anticipated in the OMLR <br />permit. Consistent with information provided under Exhibit G - Water <br />Information (specifically parts (3) and (4), Varra Companies, Inc. has <br />sufficient water to meet this consideration in lieu of direct financial <br />warranty cost considerations. <br />The Division will calculate the cost to install a clay liner at the site, since the <br />post- mining land use is developed water resource unless otherwise <br />instructed by the Applicant. <br />Please refer to part c., above. The applicant has sufficient water to cover <br />exposed groundwater, dust suppression, and related groundwater demands, <br />until installation of the clay liner is completed over the extracted basin. <br />6.4.13 Exhibit M - Other Permits and Licenses <br />23.Please commit to providing the Division with copies of the approved permits <br />and licenses required for the Varra - Coulson Resource Project. <br />Varra Companies, Inc. will provide proofs of the approved permits and <br />licenses prior to onset of extraction activities not otherwise allowed by law, <br />and consistent with the terms of the approved OMLR permit. <br />6.4.18 Exhibit R - Proof of Filing with Countv Clerk and Recorder <br />24.Please provided an affidavit or receipt indicating the date on which the <br />revised permit application information required to address this adequacy <br />letter was placed with the Weld County Clerk and Recorder for public review, <br />pursuant to Subparagraph 1.6.2(1)(c). <br />Proof of placement of this correspondence and related attachments and <br />addendums to the Weld County Clerk to the Board is included as an <br />addendum to this submittal. <br />6.4.19 EXHIBIT S - Permanent Man -made Structures <br />Varra Companies, Inc. Coulson Resource Project OMLR M- 2013 -064 13 <br />Correspondence to Peter Hays 21 January 2014 <br />