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Eric Scott, P.G., R.G. <br />May 1, 2018 <br />Page 2 of 2 <br />obligations. C.R.S. § 34-32-116(7)(g); Hard Rocl✓Metal Mining Regulations, Rule 3.1.6(1); <br />Memorandum of Agreement between State Agencies (SB 181), dated December 14, 2010. <br />Consistent therewith, CDRC requests that DRMS require continued ground water and surface <br />water monitoring of arsenic, mercury and silver, and that Climax be required to use lower <br />detection limits that are readily available and are either below the surface water quality standards <br />or as close to those standards as technology currently allows. <br />Thank you for considering these comments. It is our understanding that the Climax is still <br />working on responding to DRMS's comments on TR -27 and no final decision has been made on <br />TR -27. Please feel free to contact us directly if you have any questions. <br />Sincerely, <br />PORZAK BROWNING & BUSHONG LLP <br />Steve Bushong <br />Legal Counsel for Eagle Park Reservoir Company <br />cc: Glenn Porzak, Esq. <br />Aimee Konowal, WQCD <br />Robert Hillegas, WQCD <br />