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DUE DILIGENCE CERTIFICATION <br /> The Board wishes to ensure that Prospective Successors are fully informed of their duties and <br /> obligations should they become Successor to the Permit Accordingly,the Prospective Successor <br /> must carefully review the items below and must initial indicating its agreement and <br /> 'cif 3� understanding. <br /> If the Application is approved,the Prospective Successor will assume all liability <br /> for the reclamation of the affected land,and for compliance with the Hard Rock <br /> Act and Rules or the Construction Materials Act and Rules,as applicable(available <br /> online at hn://naininv-.state.co.us/Rules%20and%2ORe sg_htm). Successor will be <br /> liable for any pre-existing conditions or violations,whether(mown or unknown at <br /> the time of the SO. It is the Prospective Successor's sole responsibility to <br /> investigate the operation prior to filing an Application. <br /> If the Application is approved, the Successor will be solely responsible for <br /> maintaining the mining and reclamation operations in compliance with the <br /> Reclamation Pernut. The Permit includes the original approved Application,along <br /> with any and all subsequent revisions, amendments,and conversions thereto. It is <br /> not uncommon for a Permit to include dozens of documents that span many years. <br /> It is the Successor's sole responsibility to obtain a full and complete copy of the <br /> Permit and to understand the extent of his/her/its obligations thereunder. Permit <br /> documents may be purchased from the Division of Reclamation,Mining and Safety <br /> (the "Division") upon request or viewed on the Division's website at <br /> httv:Hdrmsweblink.state.co.us/drmsweblink/search.Mx?dbid=O <br /> If the Application is approved,the Successor must submit Annual Fees and Annual <br /> Reports to the Division on the anniversary date of the Reclamation Permit For <br /> hard rock and designated mining operations,consult CRS. §34-32-127(2)for the <br /> amount of the Annual Fee. For construction materials operations, consult the <br /> CRS. §34-32.5-125 for the amount of the Annual Fee. Required annual reporting <br /> information is described in Hard Rock and Construction Materials Rule 1.15 and in <br /> the Annual Report Form provided by the Division_ Fame to submit Annual Fees <br /> or Annual Reports may result in enforcement action. <br /> -7- <br />