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NEWMONT <br /> GOLDCORP <br /> 7 FACILITIES EVALUATION <br /> EPFs are maintained to effectively manage and contain designated chemicals and acid <br /> generating materials. The addition of Phase 3 to VLF2 is considered an expansion to the existing <br /> approved VLF2 EPF. <br /> A monitoring program for surface and groundwater monitoring is presented in Exhibit G. The <br /> emergency response, spill prevention, control, and countermeasures, and emergency and spill <br /> reporting requirements, are contained in the Spill Response Plan (SRP) and the Emergency <br /> Response Plan provided in Appendix 11 and Appendix 12 of this amendment, respectively. <br /> Currently, updates are being made to the facility SRP; therefore, the SRP provided in Appendix <br /> 11 is the most current approved version. <br /> The EPFs discussed in this EPP are shown in the attached Figure U-1, and a list is provided in <br /> Table U-2. In addition to the EPFs presented in this section, a number of systems throughout the <br /> site operate to control and contain chemicals and materials. While these systems serve an <br /> important function, they do not exist as final containment for designated chemicals, acid mine <br /> drainage, or toxic or acid-forming materials; therefore, are not considered EPFs. <br /> Cripple Creek&Victor Gold Mining Company Exhibit U <br /> Cresson Project Amendment 13 <br /> 9 <br />