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RULE 4 PERFORMANCE STANDARDS <br />Tri-State Generation and Transmission Assoication, Inc. (Tri-State), owns and operates a 345 kV power <br />line which is located within the permit boundary and is shown on Map 22. Tri-State is required to <br />maintain proper phase to ground clearences under all their power lines, and will be conducting ground <br />disturbances activites within their 150' right-of-way, within the permit boundary, in two approximate <br />locations as shown on Figure 4.12-3. The final loctions will be determined by Tri-State. These ground <br />disturbing activites are not associated with the Colowyo Mine and will not be required to be permitted <br />and bonded for in accordance with Rule 3.02.1(2). <br />In February of 2016, the Colowyo Mine site experienced a very high wind event which snapped a power <br />pole off at the base and left the power pole dangling from the line. Colowyo constructed an emergency <br />road into the pole location (0.4 acres of disturbance) to access the location, stabilize the line, and replaced <br />the broken pole. Topsoil was windrowed with a dozer down gradient of the road footprint to minimimze <br />surface water flow from the area of disturbance to native areas. Once ground conditions allow access, the <br />entire road footprint will have the topsoil re -spread on the area, and it will be seeded in accordance with <br />the approved reclamation seed mixture. Please see Figure 4.12-4 for a location of the emergency road <br />that was constructed to repair the power pole. <br />In 2016, the Inactive Mine and Reclamation Program (IMR) began a drilling program to define the burn <br />limits to abate an underground mine fire at the abandoned underground workings at the Axial Mine. The <br />Axial Mine workings are shown on Map 22 and are labeled as the Red Wing Mine. The Axial Mine and <br />Red Wing Mine shared common workings. The drilling project will create ground disturbance within the <br />permit boundary to support the drilling program. These disturbances may include but are not limited to <br />temporary roads, drill pads, and mud pits. The final locations to be disturbed will be determined by IMR. <br />These ground disturbing activities are not associated with the Colowyo's mining activities, and will not <br />be required to be permitted nor bonded for in accordance with Rule 3.02.1(2). <br />In 2016, approximately 4 acres within Colowyo's permit boundary was affected by the moderate intensity <br />wild land fire. The location of the fire is shown on Figure 4.12-5. The area that was burned is mostly <br />comprised of Gambel's Oakbrush and low density sagebrush. Additional surface disturbance within the <br />permit boundary of approximately 1.4 acres was created to cut in a fire line to control and fight the fire. <br />The relatively low intensity nature of the fire does not appear to warrant or require supplemental seeding; <br />however, the area impacted by the fire line will be smoothed over and seeded with the approved <br />reclamation seed mix. <br />In the fall of 2016 and spring of 2017 White River Electric Assoication (WREA) installed and removed <br />powerlines located within the Colowyo permit boundary. The powerlines that were serviced are located <br />adjacent the Gossard Loadout facility (an overhead line will be buried) and Jubb Creek (new overhead <br />line) north towards Moffat County Road 32. These powerlines that were installed and removed are <br />owned and operated by WREA. The final locations that will be serviced and potentially create ground <br />disturbance will be determined by WREA. These ground disturbing activities are not associated with the <br />Colowyo's mining activities, and will not be required to be permitted nor bonded for in accordance with <br />Rule 3.02.1(2). <br />In 2017, Chevron dug up and capped an existing unused oil line in several locations just south of the <br />Gossard Loadout facitlies within the Colowyo permit boundary. These ground disturbing activities are <br />not associated with the Colowyo's mining activities, and will not be required to be permitted nor bonded <br />for in accordance with Rule 3.02.1(2). <br />Rule 4 Performance Standards 4.12-2 Revision Date: 2/14/17 <br />Revision No.: MR -170 <br />