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JAMES A. BECKWITH <br />LETTER TO BROCK BOWLES, CO DRMS / SNOWCAP COAL COMPANY RECLAMATION / PG. 7 <br />Please note that this is irrigation season. Mr. Fontanari is having to forego the use of his <br />decreed water right and flood irrigation of his property, potentially harming his water right <br />through non-use and diminishing agricultural production, until these issues are resolved. In that <br />regard, we request that SCC be further ordered to expedite its testing. <br />This time, however, there should be advance meetings between SCC, DRMS and <br />consultants for Fontanari and/or other landowners. These meetings would determine the scope <br />of field inspections and testing: all of which should be at SCC's expense and not at the expense <br />of Fontanari. When the tests are conducted, consultants to SCC, DRMS and Fontanari should be <br />in attendance, after full notification to all parties. The raw data, in its entirety, should be <br />provided to consultants for all parties: again with SCC bearing all consultant fees and costs. <br />Reports of data interpretation should then be submitted to DRMS for final conclusion. <br />Respectfully submitted, <br />au-_� k CLL ' <br />Mr. James A. Beckwith <br />Attachments <br />cc / with attachments: <br />Mr. Rudolph Fontanari, Jr. <br />Mr. Jason Carey <br />Mr. Ken M. Walter / The Walter Environmental Group <br />Mr. David Fox, P.E. <br />Mr. John D. Garr, P.G. <br />Mr. James M. Stover, P.E. <br />Mr. Gregory Stutz, Esq. <br />