My WebLink
|
Help
|
About
|
Sign Out
Home
Browse
Search
2020-04-06_PERMIT FILE - M2019054 (2)
DRMS
>
Day Forward
>
Permit File
>
Minerals
>
M2019054
>
2020-04-06_PERMIT FILE - M2019054 (2)
Metadata
Thumbnails
Annotations
Entry Properties
Last modified
12/27/2024 6:46:14 PM
Creation date
4/7/2020 5:02:05 PM
Metadata
Fields
Template:
DRMS Permit Index
Permit No
M2019054
IBM Index Class Name
Permit File
Doc Date
4/6/2020
Doc Name
Comment
From
Skull Creel Residents
To
DRMS
Email Name
SJM
Media Type
D
Archive
No
There are no annotations on this page.
Document management portal powered by Laserfiche WebLink 9 © 1998-2015
Laserfiche.
All rights reserved.
/
35
PDF
Print
Pages to print
Enter page numbers and/or page ranges separated by commas. For example, 1,3,5-12.
After downloading, print the document using a PDF reader (e.g. Adobe Reader).
View images
View plain text
Applying that daily quantity to the Strip Mine's allotted 1 acre foot/year,we find that the Strip Mine <br /> will use their annual allotted water in approximately 5 days.And again, that quantity of water has <br /> already been proven to be grossly inadequate in a similar project under similar conditions. <br /> See: Hydrology Report,JFM Consulting,attached hereto. <br /> The Skull Creek Residents assert that the allocation of the well under permit 83891-F for the purpose <br /> of dust control was ill-conceived, inadequate for the purpose intended, and an unnecessary burden on <br /> the Skull Creek Resident's water table, and should be revoked. <br /> Q: WHERE WILL THE STRIP MINE SOURCE THEIR WATER FOR DUST CONTROL THE REMAINING <br /> ESTIMATED 265 DAYS THAT DUST CONTROL IS REQUIRED IN SKULL CREEK? <br /> e. SKULL CREEK RESIDENTS ASSERT THE SUBJECT WELL CAPACITY IS INADEQUATE TO <br /> FULFILL THE DUST CONTROL NEEDS OF THE PROPOSED STRIP MINE,AND SKULL CREEK <br /> RESIDENTS OBJECT TO ANY CHANGE IN THE WELL'S MAXIMUM OUTPUT. BASED ON THE <br /> FOREGOING,THE STRIP MINE IS NOT IN COMPLIANCE WITH THE "CONDITIONS OF APPROVAL" <br /> AND THE REQUIREMENTS SET FORTH IN THE 2-13-20 Memo from Justina P. Mickelson, <br /> Physical Science Researcher with CDWR to Mining and Reclamation outlining the requirement <br /> for adequate water for dust suppression. <br /> Assuming that the Strip Mine is allowed to go forward with the project and is required to provide dust <br /> control to the subject road and excavation area(s), it is important to note that, employing the average <br /> 4000 gallon capacity water tanker used for dust control,the Strip Mine will have to run approximately <br /> 17 tankers on the road and excavation area daily to complete 1 pass over the dust control area. <br /> Running the well at the maximum allowable rate of 15 gpm, each tanker will require approximately <br /> 4.5 hours to fill. <br /> Applying the Strip Mine's proposed hours of operation (Contrary to the dictates of the Department of <br /> Wildlife)of 12 hours daily,from 7 am to 7 pm, 7 days a week,the Strip Mine will only be able to fill <br /> approximately three(3)of the seventeen (17)4000 gallon tankers necessary to fulfill their obligation <br /> to provide dust control on a daily basis. Again,where will they obtain the remainder of the water <br /> necessary to fulfill the obligation for dust control? <br /> 2. AS TO THE IMPACTOR POTENTIAL IMPACT ON THE HEALTH AND SAFETY OF THE SKULL CREEK <br /> RESIDENTS BEING EXPOSED TO POTENTIALLY HAZARDOUS AIR QUALITY, EXCESSIVE DUST, <br /> POLLUTION, NOISE AND EXCESSIVE TRUCK EMISSIONS: <br /> URANIUM: <br /> In addition to the lack of adequate dust control available by way of the well permit 83819-F,Skull <br /> Creek Residents assert that the Strip Mine, by way of excavating massive amounts of material from the <br /> subject area, may potentially expose residents and others to hazardous and toxic materials, i.e., dust <br /> Skull Creek Homeowners Objection <br /> March 17,2020 <br /> Page 4 <br />
The URL can be used to link to this page
Your browser does not support the video tag.