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RULE 2 PERMITS <br /> ,r wtv.n+.weY ,x+.ofi.Ww,>�F�s»..•-ua,a;>.'�.an,.tK._;.,r-'+Nutra�w;n:r'.ri5, <br /> The following practices will not be promoted or practiced at Colowyo with respect to the topsoil <br /> resource: 1) Topsoil will not be "buried in place" within the footprints of existing stockpiles in <br /> order to reduce the amount of resource to be moved and placed on reclamation areas. 2) At no <br /> time will topsoil be placed without adequate metrics in place to accurately estimate volumes placed <br /> within each reclamation unit to ensure an accurate accounting of the topsoil balance. 3) Topsoil <br /> will not be placed indiscriminately within reclamation units in a manner that does not serve a <br /> specific defendable purpose regarding vegetation type establishment or location within the <br /> reclamation unit or localized watershed. <br /> In summary, application of PERA on "shrub-favorable areas" would be based on the community <br /> development contributory factors of: 1) soil quantity, quality, and replacement depth; 2) aspect, <br /> slope, and landform; 3) documented and expected performance of various floral species; 4) <br /> revegetation metrics; and 5) the target post-mining land use. In this manner, reclamation and <br /> resultant developing communities will be encouraged to follow a more natural path to maturation <br /> and successional progression as opposed to more historically utilized grassland favorable <br /> approaches that should only be applied to the remaining 60%to 80%of reclaimed ground(sloping <br /> areas). However, there will likely be instances, if not an overall need, to incorporate managerial <br /> practices to encourage or protect positive recruitment to the shrub populations. Such management <br /> may include the following steps: <br /> • Use of elevated quantities of sagebrush seed within the grassland target areas, and <br /> placement of that seed in a manner to encourage sagebrush emergence. <br /> • Use of limited livestock (cattle) grazing to select against grasses and for shrubs and <br /> forbs. <br /> • Use of elk-proof fencing to preclude access into large blocks of maturing shrub <br /> populations, especially core areas. <br /> • Use of hunting pressure to reduce elk utilization of new reclamation where it can be <br /> incorporated in a safe manner given proximity to active mining. Develop special <br /> seasons in concert with CPW for management of"refuge" elk. For obvious reasons, <br /> any activity in this regard would have to be designed and approved for implementation <br /> in accordance with applicable statutes. Furthermore, approvals from appropriate <br /> agencies (CPW, MSHA, etc.)will be obtained as necessary. <br /> • Use of orchard grass (Dactylis glomerata) in key reclamation locations to encourage <br /> elk away from maturing shrub populations. It has been documented that this taxon is <br /> heavily utilized by foraging elk. <br /> • Implement procedures for micro-habitat development whereby snow catchment is <br /> encouraged and shrub heavy mixes can be applied. <br /> Rule 2 Permits 2.05-20 Revision Date: 12/20/19 <br /> Revision No.: TR-135 <br />