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Abdullah Javed <br /> December 3, 2019 <br /> Page 5 of 6 <br /> exceeded. <br /> 9. All pumping for product washing and dust control shall be measured in compliance <br /> with the Amended Rules Governing the Measurement of Tributary Ground Water <br /> Diversions Located in the Arkansas River Basin. <br /> 10. The Applicant shall provide daily accounting (including, but not limited to <br /> diversions, depletions, replacement sources, and river calls) on a monthly basis. <br /> The accounting must be emailed to the Division Engineer <br /> (DNR Div2proundwater@state.co.us) and the Water Commissioner <br /> (Dan.Henrichs@state.co.us) with the subject line "Parkdale Project Gravel Pit <br /> SWSP". Said accounting must be received by the 10t" of the month following the <br /> month being reported. The name, mailing address, and phone number of the <br /> contact person who is responsible for operation and accounting of this plan must <br /> be provided on the accounting forms. <br /> 11. Approval of this SWSP does not relieve the Applicant and/or the landowner of the <br /> requirement to obtain a Water Court decree approving a permanent plan for <br /> augmentation or mitigation to ensure the permanent replacement of all <br /> depletions, including long-term evaporation losses and lagged depletions after <br /> mining operations have ceased. If reclamation of the mine site will produce a <br /> permanent water surface exposing groundwater to evaporation, an application for <br /> a plan for augmentation must be filed with the Division 2 Water Court at least <br /> three (3) years prior to the completion of mining, to include, but not be limited to, <br /> long-term evaporation losses and lagged depletions. If a lined pond results after <br /> reclamation, replacement of lagged depletions from mining and dewatering shall <br /> continue until there is no longer an effect on stream flow. <br /> 12. Dewatering at this site will produce delayed depletions to the stream system. As <br /> long as the pit is continuously dewatered, the water returned to the stream system <br /> should be adequate to offset the depletions. However, once dewatering at the site <br /> ceases the delayed depletions must be addressed. At least three years prior to <br /> completion of dewatering at the Parkdale Pit a plan must be submitted that <br /> specifies how the post pumping dewatering depletions (including refilling of the <br /> pit) will be replaced, in time, place and amount. <br /> 13.In accordance with the letter dated April 30, 2010 from the Colorado Division <br /> of Reclamation, Mining, and Safety ("DRMS"), mining operators must comply <br /> with the requirements of the Colorado Reclamation Act and the Mineral Rules <br /> and Regulations for the protection of water resources. The April 30, 2010 <br /> letter from DRMS requires that you provide information to DRMS to demonstrate <br /> you can replace long term injurious stream depletions that result from mining <br /> related exposure of ground water. <br /> In accordance with approach nos. 1 and 3, you have indicated that a bond has <br /> been obtained for $1045,736 through DRMS to assure that depletions from <br /> groundwater evaporation do not occur in the unforeseen event, or events, <br /> which would lead to the abandonment of the Pit. In addition, Front Range <br /> Aggregates owns and has dedicated five shares of Twin Lakes Reservoir and <br /> Canal Company to cover these potential long term depletions. Front Range <br />