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Environment, Inc. Page 11 <br /> Ellicott Sand&Gravel LLC-M-2017-063 <br /> Adequacy response 01 <br /> Division of Water Resources (rec. 2/21/19) <br /> Ellicott Sand & Gravel understands the DWR's comments and agree with the three <br /> points they have raised. The application packet contains commitments to comply with <br /> each. <br /> 1 - The floor of the mine and mining will stay at least 10 feet above the groundwater table <br /> 2 - Water used for industrial purposes will come for a source approved for that use. <br /> 3 - Stormwater runoff intercepted by this operation will be released to the stream <br /> system within in the time required by DWR or a Temporary Substitute Supply Plan will be <br /> obtained to cover the evaporation. <br /> I have contacted Doug Hollister the Division 10 Water Commissioner regarding flash flood <br /> capture and he has indicated that Black Squirrel Creek is located in the Upper Black <br /> Squirrel Creek Designated Basin and the Colorado Ground Water Commission. We met <br /> with the Board and will work with them to resolve the potential evaporation loss issue. <br /> Items attached <br /> Application Form Page 2 Copy CPW information request packet. <br /> Mining Plan with revised pages 5, 9 & 10 Exhibit I - Soils revised page 24 <br /> Reclamation Plan with revised page 18 Map Exhibits C, C-1 and F <br /> Exhibit G Water with revised page 19 Bank Protection Plan <br /> If you have more questions or need more information please call me at (303) 423-7297. <br /> Sincerely, <br /> Stevan L. O'Brian <br /> Environment, Inc. <br /> cc Ellicott Sand & Gravel LLC <br /> Tim Cazier - via e-mail <br /> file <br />