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COLORADO <br /> Division of Reclamation, <br /> A ca 0 Mining and Safety <br /> Department of Natural Resources <br /> Date: July 21, 2020 <br /> To: Robin Reilley, DRMS <br /> From: Patrick Lennberg, DRMS <br /> RE: Trapper Mine; C1981-010, Permit Revision PR-10—Review Memo <br /> On June 30, 2020, 1 was requested to review portions of the Trapper Mine permit application for compliance <br /> with several Rules related to groundwater hydrology. Below is a list of Rules that I was requested to review and <br /> a summary of my findings. <br /> Rule 4.05.11: Ground Water Protection <br /> No adequacy issues noted.The information required by this rule is discussed in sections 2.7.5.2d and 2.7.5.4b of <br /> the permit with supporting information contained in numerous Annual Hydrology Reports (AHR) and on page 4- <br /> 226a. <br /> Rule 4.05.12(2) and (3): Protection of Ground Water Recharge <br /> No adequacy issues noted.The information required by these two rules are discussed in sections 2.7.5.1d and <br /> 2.7.5.3d with supporting information found in various permit tables and AHR. <br /> Rule 4.05.13(1):Ground Water Monitoring <br /> No adequacy issues noted.The information required by this rule is discussed in sections 2.7.5.2d, 2.7.5.3d, <br /> 2.7.5.4b, and MR-225. <br /> Rule 4.05.15:Water Rights and Replacement <br /> No adequacy issues noted.The information required by this rule is discussed in section 2.7.5.4 and page 4-226c. <br /> If you need additional information or have any questions, please let me know. <br /> Sincerely, <br /> A.�—#�— <br /> Patrick Lennberg <br /> Environmental Protection Specialist <br /> cc: Jared Ebert, DRMS <br /> OF CO<O <br /> w <br /> 1313 Sherman Street, Room 215, Denver, CO 80203 P 303.866.3567 F 303.832.8106 http://mining.state.co.us �e <br /> Jared Polis, Governor I Dan Gibbs, Executive Director I Virginia Brannon, Director <br />