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(blue earth <br />SOLUTIONS <br />May 2, 2014 <br />RECEIVED <br />Colorado Department of Natural Resources <br />Division of Reclamation, Mining and Safety MAY U 9 2014 <br />Attn: Mr. Peter Hays <br />1313 Sherman Street; Room 215 DIVISION OF RECLAMATION <br />Denver CO, 80203 MINING AND SAFETY <br />RE: Response to Second Adequacy Review Comments for Connell Resources, Inc. <br />Connell Carr Pit, Permit No. M- 2014 -001 <br />Dear Mr. Hays: <br />The following discussion and attachments are submitted on behalf of our client, Connell <br />Resources, Inc., in response to the Adequacy Review comments prepared by the Division of <br />Reclamation, Mining and Safety dated April 16, 2014 for the Connell Carr Pit 112 Construction <br />Materials Reclamation Permit application. The information and discussion below addresses each <br />comment as it was presented by the Division: <br />1. Acknowledged <br />2. Proof of notice to specified surface owners and easement holders of record within <br />200 feet of the affected land is attached. The certified letter receipts, cover letters, and <br />DRMS notice allowing 20 days to provide comment are also attached. <br />Platte River Power Authority requested a mining setback of 50 feet from the east edge of <br />their buried gas pipeline easement. During communications with Platte River Power <br />Authority and DRMS, Connell Resources agrees to provide the 50 -foot setback from the <br />gas line easement. The setback is provided in the revised Exhibit C -5, Pre - Mining Plan <br />Map, included with the response to DRMS Adequacy Review comments from Blue Earth <br />Solutions dated April 7, 2014. <br />6.4.1 Exhibit A — Legal Description <br />4. Acknowledged <br />6.4.3 Exhibit C — Pre - Mining and Mining Plan Maps of Affected Land <br />5. Acknowledged <br />6. Acknowledged <br />7. The buried water line owner information for L.G. Everist, Inc. has been added to the table <br />in Exhibits C -1, Existing Conditions Map. The revised exhibit is attached. See response <br />to Question #2 regarding proof of notice. <br />