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It also states: <br /> "The area will be monitored for success of revegetation until accepted by the Board. If <br /> revegetation failures occur prior to release, an analysis will be made and the area will be <br /> revegetates again as necessary." <br /> and <br /> "The use of species native to the area will be included in hopes that successful reclamation will <br /> be accomplished at a minimum cost." <br /> Per 43 CFR 3601.44(b), "Your operation must not deviate from the plan BLM approves, unless it is <br /> modified under§3601.44."Failure to comply with this subpart is a violation of the Federal Land Policy <br /> Management Act. <br /> It is now too late in 2018 for effective weed treatment this growing season, since seeds from weeds have <br /> already propagated. Mayne Block and Stone must conduct weed control activities during the 2019 <br /> growing season,but no later than July 1,2019. Mayne Block and Stone must provide documentation of <br /> weed treatment. After July 1, 2019,the CRVFO Geologist will conduct an inspection to determine of <br /> weed control has been adequately addressed. <br /> If weed treatment is not conducted by July 1, 2019, BLM will consider the lack of reclamation activity as <br /> Mayne Block and Stone's failure to meet the terms and conditions of the contract and, subsequently, a <br /> violation of FLPMA, and will initiate the bond forfeiture process in order to gain funds for weed <br /> treatment. <br /> If you have any questions or concerns regarding this matter, please contact Jessica Lopez Pearce, <br /> Geologist, at(970) 876-9018 orjlopezpearce@blm.gov. <br /> Sincerely, <br /> lord' ibbetts <br /> 4�sistant Field Manager <br /> CC: Mike Leidich, Mayne Block and Stone <br /> Doug Siple, BLM Colorado State Office <br /> Stephanie Mitchell <br /> Division of Reclamation, Mining and Safety <br /> 1313 Sherman Street, Room 215 <br /> Denver, CO 80203 <br /> 2 <br />