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2) d) ii) DRMS concern <br />If the data is available, the analysis should include the grab samples from pond water (related to <br />TR42 and TR44 adequacy issues). With respect to item 2) d) i), the 2015 Weaver Analysis is <br />appropriate in its approach and should be updated when TR43 is resubmitted. <br />EFCI response <br />Grab samples from pooled water in Pond 4 and Pond 5 were taken and the results submitted, as, <br />requested, to the Division during review of TR -42 and TR -44, respectively. The sample data were <br />reviewed during preparation of the 2015 Weaver Analysis. The analysis determined that the pond <br />quality results did not indicate any impacts as a result of mining activities. No comparison to previous <br />pond water quality could be made because no samples of pooled pond water had ever been obtained <br />from any of the sediment ponds since there was no requirement to do such sampling. <br />Permit materials for this revision include text pages for your review and approval. Included with this <br />transmittal are the following: <br />• Appendix A, Surface and Groundwater Monitoring Data <br />• Summary of Revisions/Additions <br />• Revised Permit pages <br />If you have any questions or require further information, please contact me. <br />Sincerely, <br />Allen S. Weaver <br />Energy Fuels Coal, Inc. <br />