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Mr. Wayland <br />Page 3 <br />October 7, 2015 <br />required to implement one of the identified mitigation measures. The Division encourages <br />the Operator to install piezometers and commit to a groundwater monitoring program. Please <br />respond. <br />6.4.6 Exhibit F — Reclamation Plan Map <br />5. The revised Reclamation Plan Map depicts two permit boundaries which parallel each other. <br />Please revise the Reclamation Plan Map to include only a single permit boundary. <br />6.4.12 Exhibit L — Reclamation Costs <br />6. The Operator has dedicated water shares to cover the evaporative depletions associated with <br />the unlined BNER and has stated additional shares will be dedicated to the Substitute Water <br />Supply Plan to cover the evaporative depletions associated with the Pfeiff Pond. The <br />dedication of water shares alleviates the requirement to post a financial warranty for the cost <br />to line the pond. However, until such time as the Division has received written <br />documentation from the Division of Water Resources which acknowledges that additional <br />water shares were dedicated for the Pfeiff Pond, the Division will need to bond for lining or <br />backfilling the pond. Please submit documentation which demonstrates that additional water <br />shares have been dedicated for the Pfeiff Pond. <br />As previously mentioned, if you are unable to provide satisfactory responses to any inadequacies <br />prior to the decision date (October 31, 2015), it will be your responsibility to request an <br />extension of time to allow for continued review of this application. If there are still <br />unresolved issues when the decision date arrives and no extension has been requested, the <br />application will be denied. <br />If you have any questions, please contact me at (303)866-3567 x8116. <br />Sincerely, <br />a- '- — <br />Michael A. Cunn' gham <br />Environmental Protection Specialist <br />CC: Wally Erickson, DRMS <br />Ken Coulson, Coulson Excavating Company, Inc. <br />