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SUBJECT: Retrieval and identification of 1978 GEX Mine Workings Map (South Portal <br />Mine) from archives of DRMS. <br />6 Mr. Walter Eldridge <br />MAPS Survey, Inc. <br />P.O. Box 290 <br />Mesa, CO 81643 <br />970-250-0946 <br />SUBJECT: Surveys of Tracts 70, 71 and Martin Crawford Ditch. <br />7. Mr. Steven Kissner <br />Kissner Drilling <br />2536 Rimrock Ave., Suite 400-326 <br />Grand Junction, CO 81505 <br />SUBJECT: Core drilling in Tracts 71 and Carey Tract conducted during April, 2017. <br />8. Any lay witness endorsed by any party to this proceeding. <br />9. Objectors reserve the right to endorse such additional lay witnesses as are deemed <br />necessary by them after receipt and review of any reports or other data from Applicant. <br />10. Any additional lay witness(es) deemed necessary for rebuttal or impeachment the identity <br />and need for which witness cannot presently be determined. <br />V. PENDING MOTIONS <br />1. Motion to Strike <br />Submitted by Fontanari/Snowcap in its Comments to Proposed Decision, relating to 2003 <br />Deeds and Purchase Agreement for Tract 71. Interpretation of these documents in relation to <br />TR -69 lies outside the statutory authority of MLRB. <br />VI. DISCOVERY/ SUBPOENAS <br />1. Discovery: The parties are generally not allowed discovery in a hearing <br />involving a Technical Revision. However, Snowcap's counsel has asserted' that the surface <br />subsidences on Tract 71 and Carey Tract derive from some cause other than collapse of <br />underground coal caverns in the Powderhorn Mine. To avoid surprise and prejudice at hearing, <br />Objectors request an Order of the PCHO directing Snowcap Coal to produce, not later than May <br />1, 2017, all evidence, both testimonial and documentary, it intends to present at hearing <br />supporting the above declaration. If such evidence includes any or all portions of Exhibits 1-10 <br />1 SCC Response to Requestfor Clarification; Fn. 1, Pg. 1; Filed 3.7.2017 <br />7 <br />