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Creek stream system. This includes a portion of the GEC site runoff entering <br />the unnamed tributary immediately below the spillway of Pond 5. <br />The GEC mine disturbance area is significantly larger than that of Southfield, <br />and as such has higher potential to impact the stream system below Pond 5. <br />There is no location to monitor downstream of Pond 5 to accurately <br />differentiate any potential problems with TDS attributed to Pond 5 discharge <br />compared to the discharge from the GEC mine site. <br />20. To be addressed under separate cover at a later date. <br />21. To be addressed under separate cover at a later date. <br />22. To be addressed under separate cover at a later date. <br />23. To be addressed under separate cover at a later date. <br />24. To be addressed under separate cover at a later date. <br />25. Buffer Zones: EFCI mining activities commenced in 1985 and ceased with permanent <br />mine closure in December, 2000. Demolition of facilities and reclamation activities then <br />commenced. The Southfield mine is currently in Year 10 of the 10 Year Reclamation Liability <br />Period. The Loadout site is in Year 15 of it's liability period. The Division approved EFCI's <br />mining /reclamation permit wherein it states that buffer zones are not required (pg 4.05 -29) for <br />the Southfield operations. In so doing, the Division authorized underground mining through the <br />area streams. Given that mining operations have long since ceased, EFCI has no intent of further <br />disturbance to the area(s). <br />Also included with this submittal is the description of the landowners, the "Vento Group" <br />with detail of the owning entities and the respective individuals names and addresses (page 2.03 - <br />6a). <br />If you have any questions or need additional information please contact me. <br />Sincerely, <br />George V Patterson <br />Energy Fuels Coal, Inc. <br />