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P.O. Box 187 <br />July 28, 2020 <br />TRAPPER MINING SNC. <br />Craig, Colorado 81626 <br />Ms. Robin Reilley <br />Environmental Protection Specialist <br />Colorado Division of Reclamation, Mining and Safety <br />1313 Sherman Street, Room 215 <br />Denver, CO 80203 <br />Re: Trapper Mining Inc., Permit No. C-1981-010 <br />Permit Revision PR -09, Response to Adequacy Review No. 5 Continued <br />Dear Ms. Reilley: <br />(970) 824-4401 <br />Enclosed are two copies of our response to your letter of July 17, 2020. We are referring to this as <br />Adequacy Review No. 5 Continued to Trapper's Permit Revision PR -09 application. <br />Listed below are your comments followed by Trapper responses. <br />Rule 2.03.10 Identification of Other Liscenses and <br />Permits DRMS July 2020 <br />This was address in the preliminary round of adequacy questions and may <br />have changed since then. <br />DRMS Comment 1. Please inform DRMS if there have been any changes as per the above <br />mentioned rule. <br />Trapper Response to 1. Enclosed Table 1.2-1 (page 1-9) is updated with the recent approvals of <br />the Trapper DRMS permit renewal, the Trapper NPDES pen -nit renewal and our BATF license <br />renewal. <br />Rule 3.02.2 Performance Bond <br />Determination DRMS July 2020 <br />DRMS is unclear as to exactly what acreage represents the net increase in <br />affected for PR9 given the permitting actions submitted since the 2018 <br />submission of the PR9 application. The original application requested of <br />