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To: Jared Ebert <br />Date: February 14, 2018 <br />Page 13 <br />Nearly every gravel pit on the Poudre River has exposed the Pierre Shale and <br />there are not wide-spread water quality issues associated these activities <br />Constituent mobility requires two principal components: <br />Source chemistry <br />Water movement <br />LRM commits to monitoring and managing its water to limit the potential for <br />water quality issues <br />While the Pierre Shale is documented to have source constituents available, it is also well <br />documented that it is highly impermeable. On site, the Pierre Shale drilled dry, meaning <br />there is no water present. Thus, the only mechanism to move source constituents from <br />the Pierre into contact water is through molecular diffusion, which is a slow process. <br />Recently, LRM collected samples of the Pierre Shale at the contact with the alluvium and <br />subjected the samples to the synthetic precipitation leach procedure (SPLP) testing. One <br />of 5 samples resulted in detectable selenium. Three groundwater quality samples were <br />taken from monitoring wells MW-06, MW-13, and MW-02. MW-06 showed detectable <br />levels of selenium below the drinking water standard. The sample from MW-06 <br />contained sedimentation (i.e., the well has not completely developed), thus it is most <br />likely that the detected selenium was part of the solid matrix. LRM will sample MW-06 <br />again and filter the sample to corroborate this supposition. These data corroborate the <br />potential for the Pierre Shale to contain selenium, and on the whole, show that ground <br />water quality is not significantly impacted by the Pierre Shale. LRM's water <br />management activities keep the groundwater system outside of the mining area in tact <br />with respect to water contacting the Pierre Shale. Inside the mining area, no water that is <br />in direct contact with the shale is proposed to leave the site. Thus, no water quality issues <br />are anticipated. Regardless, LRM commits to monitoring its water quality in the water <br />management pond and respond accordingly should discharges be an issue. <br />Comment 39b <br />The groundwater quality data provided and proposed groundwater quality monitoring <br />program are insufficient. The applicant will need to submit a groundwater quality <br />monitoring plan and data sufficient to demonstrate that the site will be in compliance <br />with CDPHE Water Quality Control Commission (WQCC) Regulation 41 - Basic <br />Standards for Groundwater during the life of the mine and during reclamation. In <br />accordance with Rule 3.1.7(7)(b), the submitted plan should be revised to include at <br />least: <br />Response to DRMS Adequacy Review 3 comments TELE S T 0