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X, <br />Mr. Brock Bowles <br />March 4, 2015 <br />Page 4 <br />NCRS Comments <br />On February 27, 2015 the U.S. Department of Agriculture Natural Resources Conservation Service <br />(MRCS) provided comments on the TR -65 application. It was noted in the letter that the topsoil buried by <br />the road base materials is no longer considered topsoil and it should be relegated to "A horizon " <br />material. The NRCS recommended removal of the road fill material used from the temporary road and <br />replacement with an adequate amount of topsoil. It was also noted that this "A horizon " materials <br />should be loosened through subsoiling or chiseling to begin to break apart any hardpan that may have <br />developed. <br />Response: WFC will remove the road fill as required, and all topsoil replacement will be at the <br />discretion of the surface landowner. Also, as noted by the NRCS, the "A horizon" material will <br />be loosened through ripping or chiseling to breakup any hardpan material that may have <br />developed. <br />Also included with this adequacy response package is a change of index sheet to ease <br />incorporation into the permit document, and materials revised in response to your adequacy comments. If <br />you have any questions regarding the enclosed adequacy review responses, please contact Tony Tennyson <br />at (970) 824 -1232. <br />Sincerely, <br />Barbara A. Walz <br />Senior Vice President <br />Policy & Compliance/ <br />Chief Compliance Officer <br />BAW:TT:pvt <br />Enclosures <br />cc: Frank Ferris, WFC (via email) <br />Chris Gilbreath (via email) <br />Jason Storey (via email) <br />Tony Tennyson (via email) <br />AN EQUAL OPPORTUNITY /AFFIRMATIVE ACTION EMPLOYER <br />A Touchstone Energy' Cooperative <br />