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2017 permit term. This number will be the maximum about of disturbance approved for this <br />permit term. The purpose of this is to verify that Trapper has not disturbed acreage beyond what <br />they have been approved from year to year. The Division acknowledges that Trapper reports the <br />total acreage disturbed for each reporting year in the annual reclamation report. However, the <br />acreage reported in the annual reclamation report does not and should not include areas to be <br />disturbed in the future. The disturbed acreage reported in the ARR should always be less than or <br />equal to the total approved disturbed area acreage that the Division is requesting to be specified in <br />section 3.1.4.1 of the permit. <br />III. It appears based on Map M4, M10A and M10B, Trapper will be mining in the M Pit area. Please <br />add a discussion of mining in this area to section 3.1.4.1 of the permit and include the information <br />required in Rule 2.05.3(2). <br />Trapper's Response: Enclosed Table 3.1 -3 has been revised and expanded in response to Division <br />comments 1. and I1. above. An M Pit mining area discussion is included in revised permit page 3 -15a <br />(enclosed) in response to comment 111. above. <br />Also included in this packet is revised Map M10B (sheet 3). This maps is revised for PR7 based on recently <br />approved topsoil disturbance changes in Minor Revision MR -220. <br />Please get back to us with any questions, comments or concerns. <br />Sincerely, <br />Forrest Luke <br />Environmental Manager <br />c PR -07 binder <br />File 109.2.3.4 <br />