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Mr. Ragsdale <br /> May 16, 2019 <br /> Page 8 of 9 <br /> would I need to provide to a third party to get a complete bid to conduct all the work required". Costs should be <br /> broken down by task and acreage area, and preferably shown on the reclamation plan map or map dedicated to <br /> this exhibit. Details such as topsoil and overburden volumes, equipment to be used,push distances, specifics for <br /> demolition and disposal costs for removal of the "red-mix"plant area, etc. will need to be provided. <br /> The issue of groundwater exposure, both currently and as part of the reclamation plan, may have potentially <br /> significant bonding implications that will need to be addressed. DRMS is currently required to address the <br /> liability of exposed groundwater by one offour methods: 1) bonding to backfill to two feet above static <br /> groundwater levels, 2) bonding to line the pit(generally compacted clay or slurry wall) to SEO standards for a <br /> lined reservoir, 3)permittee demonstration that the permittee has committed, and SEO has accepted, sufficient <br /> water rights to address groundwater exposure until the permanent augmentation plan is approved by Water <br /> Court, 4)permittee demonstration that there is a court approved permanent augmentation plan for the <br /> groundwater exposure on-site. Please clarify how the permittee will address this requirement. <br /> EXHIBIT M-Other Permits and Licenses (Rule 6.4.13): A statement identifying which of the following <br /> permits, licenses and approvals the Operator/Applicant holds or will be seeking in order to conduct the proposed <br /> mining and reclamation operations: effluent discharge permits, air quality emissions permits, radioactive source <br /> material licenses,the State Historic Preservation Office clearance,disposal of dredge and fill material (404) <br /> permits,permit to construct a dam,well permits, highway access permits, U.S. Forest Service permits, Bureau of <br /> Land Management permits,county zoning and land use permits, and city zoning and land use permits. <br /> No permitting is required through Jefferson County for this site%peration? <br /> EXHIBIT N- Source of Legal Right to Enter (Rule 6.4.14): You must provide the source of your legal right to <br /> enter and initiate a mining operation on the affected land. <br /> Permittee will need to demonstrate that Areosa is the legal landowner for the `processing facility"area. They <br /> will also need to demonstrate that they have a valid lease for the remainder of the permit area with the landowner <br /> (Hogan)for the purposes of mining and reclamation. <br /> EXHIBIT S - Permanent Man-Made Structures (Rule 6.4.19): Please note that roadways and above-ground <br /> or underground utilities (if present)within 200 feet of the proposed affected area are considered permanent man- <br /> made structures. In accordance with Rule 6.4.19, when mining operations will adversely affect the stability of any <br /> significant, valuable and permanent man-made structure located within 200 feet of the affected area,the applicant <br /> may either: <br /> (a) Provide a notarized agreement between the applicant and the person(s)having an interest in the structure,that <br /> the applicant is to provide compensation for any damage to the structure; <br /> or <br /> (b) Where such an agreement cannot be reached,the applicant shall provide an appropriate engineering evaluation <br /> that demonstrates that such structure shall not be damaged by activities occurring at the mining operation. <br />