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ARR-4 rl <br /> Associated Natural Gas DCP Operating Company,LP Yes <br /> Front Range Gas Kerr-McGee Gathering LLC Yes <br /> Weld County Commissioners *Please see note below Yes <br /> Industrial Gas Service,Inc. Molson Coors Brewing Company Yes <br /> Adolph Coors Company Coors Energy Company Yes <br /> Panhandle Eastern Pipe Line Co. Kerr-McGee Gathering LLC Yes <br /> CP-Boots **Please see note below No <br /> Waste Services Company Waste Management or Waste Management of Colorado,Inc. Yes <br /> c <br /> *Weld County Commissioners The east-west trending Weld County Commissioners depicted on Exhibit <br /> E-1 contains no constructed improvements (i.e. county road) so no man-made structure exists within the <br /> easement and therefore no Structure Agreement was obtained from Weld County Commissioners. Regarding <br /> Weld County Road 59,south of Weld County Road 22,Colorado Sand Company LLC and Weld County will <br /> be entering into a Road Maintenance Agreement before plant production commences. Once fully executed, <br /> Colorado Sand Company LL will be happy to produce the fully executed Road Maintenance Agreement upon <br /> request. <br /> *CP-Boots is a land survey control point(CP)and is therefore not a man-made structure requiring a Structure <br /> Agreement or Public Notification. <br /> CSC notes that all entities/features are now depicted on Exhibit E-1: Mine Plan Map, and we have <br /> strived to utilize the most legally accurate identification name, where known. To the extent any <br /> discrepancy or confusion may remain,we respectively direct the Division's attention to Table AR 1- <br /> 1, above. <br /> 3) The Division did not receive comments or objections regarding the permit application as of the <br /> date of this letter. The Division will forward any comments received after the date of this letter <br /> to the Applicant. <br /> CSC Response <br /> Comment duly noted. CSC commits to timely providing appropriate response(s)to any comments <br /> received to the respective submitter(s) as well as the Division. <br /> 6.3 Specific Exhibit Requirements—110 Limited Impact Operations <br /> The following items must be addressed by the Applicant in order to satisfy the requirements of C.R.S. <br /> 34-32.5-101 et seq. and the Mineral Rules and Regulations of the Mined Land Reclamation Board. <br /> 6 3.3 Exhibit C-Mining Plan <br /> 4) On Page C-12 in response to Rule 6.3.3(d),the Applicant states the anticipated maximum mining <br /> depth will be limited to approximately 25 ft. below the existing ground surface for both the main <br /> pit area and fines recovery pit, respectively. On Page C-15 in Section (ii) — Mine Pit, the <br /> Applicant states the projected mine depth will be limited to approximately 25 ft. to 30 ft:, <br /> dependent on existing topography and CSC shall retain the right to mine to greater depths, in <br />