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Porzak Browning & Bushong LLP <br />A t t o r n e y s a t 9 L a w <br />212013th Street, Boulder, Co 80302 <br />Glenn E. Forzak <br />Steven J. Bushong <br />Kristin H. Moseley <br />Kevin J. Kinnear <br />Karen L. Henderson <br />Corina A. Hach April 10, 2018 <br />Cassidy L. Woodard <br />Via E -Mail: Eric.Scott@state. co. its <br />Eric Scott, A.G., R.G. <br />Division of Reclamation Mining and Safety <br />1313 Sherman St., Rm 215 <br />Denver, CO 80203 <br />Re: Climax Revised Water Quality Management Plan, TR -27 <br />Dear Mr. Scott, <br />Michael F. Browning <br />OfCounsel <br />303 443.6800 Tel. <br />303 443.6864 Fax. <br />www.pbblaw.com <br />Please find attached comments prepared by Leonard Rice Engineers ("LRE") on behalf of the <br />Eagle Park Reservoir Company (the "Reservoir Company") regarding the Climax Mine Water <br />Quality Monitoring Plan (TR -27). This letter is intended to help put the LRE comments, and the <br />Reservoir Company's concerns, into a broader factual and regulatory context. <br />The Reservoir Company operates a water supply reservoir immediately downstream of the <br />Climax mine boundary. The reservoir is used directly and indirectly for water supply purposes, <br />snowmaking and other beneficial uses of water through -out the Eagle River basin. Ensuring the <br />continued quality of the reservoir is of paramount importance to the Reservoir Company and the <br />downstream users of the water. Although surface water quality is currently very good in the <br />reservoir, concerns exist given that the Climax mine has started operating again. As you know, <br />the mine is the world's largest molybdenum mine and there have been water quality issues in the <br />past. <br />The Reservoir Company has expressed concerns over the use of NPLs based upon the interim <br />narrative ground water standards, as that will result in limits that, with the exception of <br />manganese, far exceed ambient groundwater conditions and allow degradation of water quality. <br />Although these concerns remain, the LRE comments are more limited in scope. These <br />comments focus on addressing Climax's proposed elimination of certain monitoring <br />requirements and on having meaningful detection limits for certain parameters. We do not <br />believe there is any justification to eliminate all surface water and ground water monitoring for <br />arsenic, mercury and silver. Further, having detection limits for these metals that are too high to <br />determine existing ambient quality, and that are between 10 — 125 times greater than applicable <br />surface water standards, renders the data of little use for protecting adjacent surface water quality <br />since significant degradation could occur without detection. <br />