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To: Jared Ebert <br />Date: February 14, 2018 <br />Page 21 <br />Comment 2b <br />2. The Little Cache La Poudre Ditch lateral extends from the western boundary east <br />into the Phase 1 Mining area where mining is shown to be planned. Will the lateral <br />ditch be mined through? If LRM does not own the lateral ditch, please provide <br />documentation that they have permission to mine through the section of the lateral <br />that extends into the Phase 1 mining area. <br />Response 2b <br />The Little Cache La Poudre Ditch lateral is owned by LRM. It will be mined through. <br />RULE 6.4.19 — EXHIBIT D — PERMANENT MAN-MADE <br />STRUCTURES <br />Comment 3a <br />3. The Taylor and Gill Ditch and lateral is within 200 feet of the affected land. These <br />structures are not included in Exhibit S. Please provide the required documentation <br />to fulfill the requirements of Rule 6.4.19. <br />Response 3a <br />The Taylor and Gill Ditch and seven other structure owners have been identified and <br />added to Exhibit S and shown on Sheet 1 of Exhibit C (Attachment 1). The table of <br />parcels and structures is included in Response 2 above. The lateral is on LRM property <br />and was not added to Exhibit S. The proof of mailings is in Attachment 3. <br />Comment 3b <br />3. A water line designated as U3 on the Exhibit C, sheet 1 map owned by the West Fort <br />Collins Water District was added to this map. This waterline runs through the Phase <br />1 and 2 mining areas and it appears LRM proposes to mine through a section of the <br />waterline. Also the waterline parallels the Little Cache La Poudre Ditch within the <br />50 foot setback on the north side and it parallels the western permit boundary within <br />the proposed 100 foot setback. Please address the following issues: <br />i. Please provide documentation that LRM has permission to mine though the water <br />line. If such documentation cannot be obtained,please modify the mining plan to <br />provide for an adequate setback from the mining operation to the waterline and <br />provide the appropriate documentation required by Rule 6.4.19. <br />ii. For portions of the waterline that will not be mined through and appear to be <br />within the mining setbacks proposed for the Little Cache La Poudre Ditch and the <br />Response to DRMS Adequacy Review 3 comments T E L E S T O