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PERMIT#: M-1981-112 <br /> INSPECTOR'S INITIALS: ECS <br /> INSPECTION DATE: March 15,2016 <br /> Army Corps of Engineers wetland mitigation plan (Photo 2). <br /> DRMS discussed the possibility/configuration of a proposed acreage reduction with Mr. Miner during this <br /> inspection, and the southwest corner of the property/permit was GPS located for reference. Possible <br /> "new/reduced" permit corner locations were also GPS located. This data has been summarized on the <br /> attached map. <br /> The attached map assumes that the USACOE approves the proposed plan to return the river to roughly its <br /> previous channel as shown on the photo thus allowing for dredge operations to resume. Please note the <br /> following issues as depicted on the attached map: <br /> 1) The proposed NE corner marker is located approximately 50' east of its intended location and would <br /> need to be moved. <br /> 2) The proposed south permit boundary (200' north of property line) bisects a portion of the gravel <br /> sorting equipment that the permittee stated would need to be utilized. This equipment would need to <br /> be relocated inside the new proposed permit boundary, or the proposed permit boundary would need <br /> to be moved further south, or the south permit boundary could be left in its current location at the <br /> south property line. <br /> DRMS would suggest that another solution may be to leave the south and west permit boundaries in their <br /> current location at the property boundaries, set the north permit boundary to run parallel to the south bank <br /> of the Platte River (location to be determined by USACOE permit), and set the eastern permit boundary as a <br /> north-south line through the location of the proposed southeast permit corner. Please note that the current <br /> 80 acre permit boundary will remain in effect until an acreage reduction is submitted by the permittee and <br /> approved by DRMS. This proposed boundary is depicted by a red line on the attached map. <br /> It is important to note that a mining permit would not be required if the permittee wished to continue utilizing <br /> the site for the current non-mining operations (material resale, concrete and asphalt recycling, various other <br /> concrete and construction related work). These activities would be allowed under the approved post-mining <br /> land use of industrial/commercial. If the permittee wishes to resume sales of material extracted from the <br /> permitted site through dredging or other means, the permit will need to be revised to fully address the <br /> previously listed issues. <br /> Page 4 of 5 <br />