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On Mon, Mar 20, 2017 at 2:13 PM, Smithers - DNR, Brett<brett.smithersgstate.co.us>wrote: <br /> Angela: <br /> In order for CPW to prepare a comment letter, we need to know what exactly we are <br /> commenting on. Can you briefly describe the project?? We generally receive a request <br /> by DRMS for comments for this type of activity, and they provide to us, via cover letter, the <br /> purpose of the request. Are you basically just requesting DRMS update the existing permit <br /> (that according to our phone conversation is old and outdated) with new language from <br /> CPW?? <br /> Also, should I assume the application includes a request to convert the existing limited <br /> impact construction materials 110(c) permit to a regular construction materials 112(c) <br /> permit?? I'm guessing the 110 and 112 permit numbers in your message correspond to this <br /> type of conversion. <br /> Brett <br /> ----------Forwarded message---------- <br /> From: Environmental Alternatives,Inc. < <br /> eaigbresnan.net> <br /> Date: Fri, Mar 17, 2017 at 2:52 PM <br /> Subject: Pioneer Sand Co Fedinec Pit M-1977-057 <br /> To: brett.smithers@state.co.us <br /> Dear Mr. Smithers, <br /> Thank you for taking the time to talk about this very old landscape material operation. It is north of <br /> CR 120 SE of Craig. It is visible on Google Earth. I've attached a sketch and the legal description. <br /> The attached DRMS Rule, page 143, describes the wildlife requirements Exhibit 6.4.8. <br /> This is an existing operation that has not operated for many years. It may be operated by a new <br /> operator once Pioneer Sand converts the permit from a 110 to a 112. <br /> Please feel free to call with any questions. <br /> 3 <br />