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Bowie Resources, LLC <br />Page 2 <br />3/17/2016 <br />Division Comment - No additional discussion or analysis has been provided by the operator. The <br />referenced section of the PAP beginning on page 2.04-36 appeard to be unchanged from the <br />original TR -99 submittal. The Division does not agrees that this rationale meets the performance <br />standard criteria based on Rules 4.05.11 and 4.05.13. Please provide a detailed analysis based <br />on the season data collected as justification why points of compliance are unecessary. <br />Additional Adequacy Comments <br />3. Wells DH -15, DH -25, and DH -38 have been reported as damaged in the (02/16) revised pages. <br />The Operator "commits to installing a new D -Seam monitoring well in the general location of DH - <br />15 by July 31, 2016." With the mine currently "idle" and a temporary cessation request <br />initiated, please addres if this comittment is to remain active. Additionally, these changes have <br />not been reflected in an updated Map 09 Hydrological Monitoring Location Map. <br />4. The proposed revised text currently states that monitoring wells 2010-1 SS and 2010-1B will be <br />mined through during late 2016 and that these wells will not be replaced by down gradient points <br />of compliance. Due to the mine currently being idle, this text revision does not to represent an <br />accurate timetable. These wells (2010-1 SS and 2010-113) should continue to be monitored as the <br />down -gradient wells within the groundwater monitoring plan. <br />If you have any questions or comments feel free to contact me. (303) 866-3567 ext 8134 <br />Sincerely, <br />C;4—? <br />Jason Musick <br />Environmental Protection Specialist <br />Jason. musick@sate.co. us <br />