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Page 3 of 3 <br />4. Well completion logs should be provided following completion of any new monitoring <br />wells for incorporation into the PAP. Please also ensure that the Well Completion <br />Summary Table is updated for the revised groundwater monitoring plan and add <br />any new monitoring well locations to the Hydrologic Monitoring Map 13A. <br />The current Refuse Disposal Area capacity is 20.0 million cubic yards which includes <br />refuse material from the permitted Peabody Sage Creek Mine. Please provide <br />information to the Division that the RDA is designed to receive in excess of the 20.0 <br />million cubic yards or that the Wadge seam refuse, Peabody Sage Creek Mine <br />refuse, and the Wolf Creek refuse will not exceed the 20.0 million yard capacity. <br />6. The submitted application form for TR -83 identifies 1600 acres as a proposed change in <br />affected area and proposed page 2.05 -11.2 states that there will be no change in affected <br />area. Due to the fact that the area of the proposed Wolf Creek mining has previously <br />been affected, the gate roads and bleeder entries will not be identified as affected again. <br />However, based on proposed Map 23 the area of the ramp down has not been affected. <br />Please identify the number of new affected acres, only those acres not previously <br />mined. <br />7. Proposed page 2.04 -41 identifies Map 14 as the Five -Year Mine Plan Baseline <br />Hydrology. The approved Map 14 is labeled the Wadge Seam Piezometric Contour Map <br />1999. Please identify the correct Map for inclusion as Map 14. <br />Please feel free to contact me with any questions at (303) 866 -3567 ext 8134. <br />Sincerely, <br />Jason Musick <br />Environmental Protection Specialist <br />C -PR -02 <br />