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and Wyoming regulatory authorities, conduct any necessary inspections, and issue any and all <br />appropriate notices of violations to rectify these violations. Importantly, pursuant to 30 C.F.R. § <br />800.16(e)(2), OSMRE must ensure that Peabody Energy posts adequate bonds as soon as <br />possible or cease all coal extraction at the company's mining operations. <br />V. CONCLUSION <br />We look forward to a timely response from OSMRE to this complaint. It is critical that <br />adequate bonding be assured in relation to Peabody Energy's coal mining operations in <br />Colorado, New Mexico, and Wyoming. Thank you for your time and attention to this matter. <br />Sincerely, <br />Jeremy Nichols <br />Climate and Energy Program Director <br />WildEarth Guardians <br />1536 Wynkoop, Suite 310 <br />Denver, CO 80202 <br />(303) 437-7663 <br />anichols(awildearthauardians.org <br />cc (w/o exhibits): <br />David Barry, Director, OSMRE, Western Region <br />Ginny Brannon, Director, Colorado Division of Reclamation Mining and Safety <br />Kyle Wendtland, Administrator, Wyoming Land Quality Division <br />Fernando Martinez, Director, New Mexico Mining and Minerals Division <br />7 <br />