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HISTORY <br />December 12, 2016 <br />Tabetha N. Lynch <br />1nvironmental Protection Specialist <br />Division of Reclamation, Mining and Safety <br />1313 Sherman St., Room 215 <br />Denver, Colorado 80203 <br />RECEIVED <br />DEC 1 6Z016 <br />pivisionof ges�fetyton, <br />Min tig <br />Re: Williams Fork Mines (Perrin No. C-1981-044), Technical Revision No. 37 (I'R-37), Vegetation Sampling <br />Modification (HC #71297) <br />Dear Ms. Lynch: <br />\We received your correspondences dated November 9, 2016 on November 14, 2016 regarding the above <br />referenced technical revision. <br />In consideration of the administrative nature of the undertaking it is our opinion that there is no potential to <br />cause effects to historic properties pursuant to 36 CFR 800.3(x)(1). <br />Should unidenufied archaeological resources be discovered in the course of the project, work must be <br />interrupted until the resources have been evaluated in terms of the National Register eligibility criteria (36 CFR <br />60. 1) in consultation with our office pursuant to 36 CFR 800.13. Also, should the consulted -upon scope of the <br />work change please contact our office for continued consultation under 36 CFR part 800. <br />\We request being involved in the consultation process with the local government, which as stipulated in 36 CFR <br />800.3 is required to be notified of the undertaking, and with other consulting parties. Additional information <br />provided by the local government or consulting parties might cause our office to re-evaluate our eligibility and <br />potential effect findings. Please note that our compliance letter does not end the 30 -day review period provided <br />to other consulting parties. <br />Thank you for the opportunity to comment. If we may be of further assistance, please contact Mark Tobias, <br />Section 106 Compliance Manager, at (303) 866-4674 or mark.tobiasnstate.co.us. <br />Sincerely, <br />_( >teve fx'g r AIA <br />State I Iistoric Preservation Officer <br />Sl'/mt <br />