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method. Consistent with past practice, we propose to limit discharge to high flow periods (typically during <br />spring runoff) in order to take advantage of the resulting mixing and dilution so that we can meet a relatively <br />stringent EC limit. <br />We have applied to the Colorado Division of Reclamation, Mining, and Safety for a permit revision to allow use <br />of this additional treatment method, and they have requested consultation with Colorado Parks and <br />Wildlife. Given that we are already into the runoff season, we would like to process this request as soon as <br />possible in order to discharge this year, so we would very much appreciate your timely consideration and <br />response. I have attached a sample CPW consultation letter as a template to facilitate your response. Please <br />feel free to contact me with any questions, or to discuss. Thanks for your consideration and assistance — <br />Best regards, <br />Jerry <br />Jerry M. Nettleton <br />Manager Environmental Affairs <br />Twentymile Coal, LLC <br />29515 RCR27 <br />Oak Creek, Colorado 80467 <br />970.870.2712 <br />i iettleton'a peabod%cilervv.com <br />Peabotq <br />