Laserfiche WebLink
JAMES A. BECKWITH <br />FONTANARI OBJECTIONS AND COMMENTS / SNOWCAP BOND APPLICATION SL -I I / PG. 4 <br />(Magers Report; Pg. 11.) <br />Though Mr. Magers speculated that erosion caused the change in surface tension <br />cracks between 1981-85 and 1991, the 2016 Fontanari inspection and 2018 Bond Release <br />Inspections did not reveal significant surficial evidence of erosion. Instead, the 1991 surface <br />crack evolved into a series of major sinkhole lines running in the same direction and pattern <br />Mr. Magers noted decades earlier. <br />The continued depressions in Tract No. 71 and the irrefutable evidence of new and <br />additional sinkholes in other locations of the Study Area as discussed hereafter, also refute <br />Snowcap's claim that subsidence has ceased. Stated simply, neither Snowcap nor this agency <br />can ignore that the lands beneath the Study Area are fluid and moving as a result of the prior <br />and continuing collapse of coal tunnels from room -and -pillar mining. The release of the bond <br />posted to cover remedial repairs of subsidence damages should not be granted [unless and <br />until the subsidence damages are properly addressed in accordance with Snowcap's repair and <br />remediation obligations. Thus, as set forth below, Fontanari makes the following comments <br />and objections to Snowcap's Application. <br />II. AUTHORITY <br />Snowcap's application is made pursuant to Rule 3.03, Regulations of the Mine Land <br />Reclamation Board for Coal Mining (Coal Rules). That Rule permits release, in whole or <br />part, of the requisite performance bond if Snowcap can demonstrate certain conditions are <br />satisfied. Specifically, Snowcap must establish the reclamation required under Rules 3.05, <br />4.16, and 4.20 has been accomplished as to the lands the bond covers. <br />Snowcap must also establish that it has, in accordance with its reclamation plan, <br />repaired or reclaimed the surface lands to allow the land to be used in either the same manner <br />it was prior to any mining being conducted or, any higher or better use compatible with <br />surrounding areas. (Coal Rules 4.16.1, 4.16.2(1).) Further, Snowcap must establish that it <br />has adopted subsidence control measures to prevent material damage to the surface land use <br />and has mitigated any such damage's effects. (Coal Rule 2.05.6(f)(iii)(C)V); 4.20.3(1), see <br />also Minor Revision #82 (12.15.2015), Finally, Snowcap must further establish that it has <br />preserved and protected surface and ground water users' rights from adverse effects resulting <br />from the coal mining activity, including any water augmentation plan required under its <br />Permit. (Coal Rule 2.05.6(3)(a)(ii).) <br />Snowcap has not — and cannot — make these showings, given the Study Area's <br />continued subsidence and the water quality issues. Accordingly, Fontanari provides his <br />objections and comments pursuant to Coal Rule 3.03.2(3). <br />