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2. James Hild, P.G. <br />Fugro Consultants, Inc. <br />1726 Cole Blvd., Suite 230, Building 22, <br />Lakewood, CO 80401 <br />(303) 824-1450 <br />Area(s) of Expertise and Subjects of Anticipated Testimony: Mr. Hild is a professional <br />geophysicist, whose areas of expertise include geophysical techniques, including, surface <br />electrical resistivity tomography (ERT), time domain electromagnetic methods, magnetic, <br />seismic, radar, and borehole methods, and appropriate quality control procedures for data <br />acquisition. Mr. Hild is anticipated to provide testimony concerning Fugro Consultants, <br />Inc.'s ("Fugro") electrical resistivity study to map underlying drainage pathways at the <br />Roadside Portals, including but not limited to data acquisition, data processing, and <br />results as described in Fugro's previously disclosed April 28, 2016 and August 23, 2016 <br />letter reports to Huddleston -Berry Engineering & Testing, LLC. Anticipated length of <br />testimony (including cross-examination): 1.0 hour. <br />3. Michael A. Berry, P.E. <br />Huddleston -Berry Engineering and Testing LLC <br />640 White Ave # B <br />Grand Junction, CO 81501 <br />(970) 255-8005 <br />Area(s) of Expertise and Subjects of Anticipated Testimony: Mr. Berry is a geotechnical <br />engineer with significant experience in directing and conducting subsurface and <br />geophysical investigations, groundwater studies. Mr. Berry is anticipated to provide <br />testimony concerning Huddleston -Berry Engineering and Testing LLC's ("Huddleston - <br />Berry") geophysical investigations and evaluations of the source of hydrologic <br />communication identified in the July 1, 2014 Inspection Report of Mike Boulay as <br />described in Huddleston -Berry's previously disclosed May 9, 2016 and August 25, 2016 <br />letter reports to Snowcap Coal Company. Mr. Berry may also testify concerning his June <br />19, 2014 Report concerning his evaluation of seepage at the South Portal, previously <br />disclosed. Anticipated length of testimony (including cross-examination): 1.0 hours. <br />4. Jim Stover, P.E. <br />J. E. Stover & Associates, Inc. <br />2352 N 7th Street, Unit B <br />Grand Junction, CO 81501 <br />(970) 245-4101 <br />Area(s) of Expertise and Subjects of Anticipated Testimony: Mr. Stover is a registered <br />Professional Engineer with more than 30 years of experience in the permitting, operation, <br />and reclamation of coal mines. Mr. Stover developed the repair and reclamation plan set <br />forth in TR -69, as modified by subsequent responses to DRMS's inquiries and requests <br />for clarification, and his testimony will be directed at the proposed repair of the <br />hydrologic communication identified in Michael Boulay's July 1, 2014 Report based on <br />2 <br />