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2014-06-20_HYDROLOGY - M1983090
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2014-06-20_HYDROLOGY - M1983090
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Last modified
9/5/2020 7:13:05 AM
Creation date
6/20/2014 11:16:01 AM
Metadata
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Template:
DRMS Permit Index
Permit No
M1983090
IBM Index Class Name
Hydrology
Doc Date
6/20/2014
Doc Name
SWSP
From
DWR
To
Civil Resources, LLC
Permit Index Doc Type
Hydrology Report
Email Name
ECS
Media Type
D
Archive
No
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Poudre Pits Combined SWSP Page 5 of 9 <br /> June 18, 2014 <br /> net depletion in the amount of 33.36 acre-feet. Therefore the total depletions owed to the river for <br /> this SWSP approval period are 261.43 acre-feet. See Table 10 column 2a for the monthly distribution <br /> of the total losses. <br /> Replacements <br /> The proposed source of replacement water under this SWSP is historical consumptive use <br /> credits available from of 8 shares of the Whitney Ditch used at the Tigges farm. <br /> Historically 10 Whitney Ditch shares were used to irrigate 120 acres on the Tigges farm. The <br /> Tigges farm owner (Kenny Tigges), through the mining lease, has allowed the operator to use all <br /> necessary Whitney Ditch water that was currently being used on the property. For this SWSP period <br /> the operator will be using 8 of the 10 Tigges Whitney Ditch Shares. This plan projects a farm <br /> headgate delivery of 31.176 acre-feet per share for a total of 249.41 acre-feet for the 8 subject <br /> shares. The total consumptive use available for the 8 shares of the Whitney Ditch averaged 120.84 <br /> acre-feet, with a return flow obligation of 128.57 acre-feet (see Tables 6-10). <br /> The 8 Whitney Ditch shares will be diverted at the Tigges farm headgate, delivered to the <br /> mine site, measured, and returned directly to the Poudre River. The water will be measured through <br /> a turnout in the Whitney Ditch equipped with a Parshall flume that is located above Lake Shiloh (aka <br /> the Roberts Pit). The water delivered to the waste ditch (WDID 0302904) will flow south directly to <br /> the river without passing through any ponds. All measurements must be made and recorded to the <br /> satisfaction of the water commissioner. During months where the projected diversions will exceed <br /> the mining and operational depletions and the monthly return flow attributed to these shares, the <br /> excess water will be diverted into the unlined northernmost pond on the Tigges site where it will <br /> recharge the ground water and create lagged accretions. It is projected that this will occur in July <br /> and August of this plan period with a net amount of 23.56 acre-feet being recharged. Recharge is <br /> lagged to the river using the same parameters as the Tigges depletions and will result in a lagged <br /> accretion of 31.13 acre-feet during this approval period (includes accretions from past deliveries to <br /> recharge). <br /> The 8 Whitney Ditch shares are insufficient to provide replacement during the months of <br /> January through June, and again from September through December. To cover these months the <br /> Applicant has obtained a lease with the Groundwater Management Subdistrict ("GMS") of the Central <br /> Colorado Water Conservancy District for a total of 81.3 acre-feet of water. Please note that the <br /> lease amount is for less than the calculated depletions due to free river conditions in January, <br /> February, March, and part of April, during which no replacements were required to be made. This <br /> water will be released from Central's La Poudre Reservoir (WDID 0303377) located within the <br /> boundaries of La Poudre Aggregate Mine M-1983-090, or at any other point that would satisfy the <br /> downstream call. A copy of the signed lease was provided to this office on May 6, 2014 and is <br /> attached. <br /> Conveyance loss for delivery of the augmentation water referenced above is subject to <br /> assessment and modification as determined by the division engineer. <br /> Long-Term Augmentation <br /> In accordance with the letter dated April 30, 2010 (copy attached) from the Colorado Division <br /> of Reclamation, Mining, and Safety ("DRMS"), all sand and gravel mining operators must comply with <br /> the requirements of the Colorado Reclamation Act and the Mineral Rules and Regulations for the <br />
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