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2020-10-12_GENERAL DOCUMENTS - C1981010
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2020-10-12_GENERAL DOCUMENTS - C1981010
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Last modified
10/13/2020 8:24:40 AM
Creation date
10/13/2020 7:50:41 AM
Metadata
Fields
Template:
DRMS Permit Index
Permit No
C1981010
IBM Index Class Name
General Documents
Doc Date
10/12/2020
Doc Name Note
For PR10
Doc Name
Proposed Decision and Findings of Compliance
From
DRMS
To
Trapper Mining Inc
Permit Index Doc Type
Findings
Email Name
JLE
RAR
Media Type
D
Archive
No
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well. Four wells are drilled into the Pyeatt alluvium,well J1 is located in the Johnson drainage <br /> alluvium and one of the three GLEV wells in the Deacon drainage reached the alluvium at the very <br /> north east corner of the permit. This GLEV well is located downgradient of any mining to the east <br /> that may occur in the future. These wells constitute an environmental monitoring system during <br /> surface coal mining and reclamation operations continuing until release of all bonds in accordance <br /> with Rule 3 (4. 24.4). <br /> Four gulches (No Name, Johnson, Pyeatt, and Flume) are determined not to be alluvial valley floors <br /> based on their absence of water availability sufficient for flood-irrigation or sub-irrigation <br /> agricultural activities. <br /> Potential impacts to the Yampa River AVF resulting from the proposed mining operation are <br /> negligible. Generally,the Yampa River AVF receives very little of its water supply (surface and <br /> ground water) from the proposed mine area. The majority of the flow in the river and subsequent <br /> recharge to the alluvial aquifer derive from the headwaters portions of the drainage, far upstream <br /> from Trapper. The applicant states that the contribution of surface water from the Trapper mine is <br /> insignificant as per page 2-533 of the permit application. <br /> This is substantiated by seepage,runoff, and potentiometric studies in Appendix H of the permit <br /> application. Based on the information presented by the applicant,the Division finds that proposed <br /> surface coal mining operations will not interrupt, discontinue, or preclude farming on the Yampa <br /> River AVF,nor materially damage surface or ground water quantity or quality in systems supplying <br /> the Yampa River AVF (4. 24.3(1)), (4.24.3(3),and 2.06. 8(5)(a)(11)). <br /> The potential for impacts from mining to the Williams Fork AVF is also negligible. The Williams <br /> Fork River is located south of the proposed mining area. Almost exclusively, spring snowmelt <br /> comprises the only surface discharge from sediment ponds in the drainages flowing towards the <br /> Williams Fork River. It is likely that much of the discharge from these ponds infiltrate into the <br /> permeable Twentymile Sandstone outcrop prior to reaching the Williams Fork River. Therefore,the <br /> Division finds that the proposed surface coal mining operations will not interrupt, discontinue, or <br /> preclude farming on the Williams Fork AVF, and will not materially damage the quantity or quality <br /> of water in surface or ground water systems that supply the Williams Fork AVF (4.24. 3(1)), <br /> (4.24.3(3), and 2.06. 8(5)(a)(11)). <br /> The Division finds that: <br /> 1. Proposed mining activities comply with the requirements of the Act and the <br /> Regulations with respect to alluvial valley floors, (2. 06.8(5)(a)(111)). <br /> 2. The surface coal mining and reclamation operations will be conducted to preserve the <br /> essential hydrologic functions of alluvial valley floors outside the permit area and to <br /> reestablish the essential hydrologic functions of alluvial valley floors within the affected area <br /> throughout the mining and reclamation process(4. 24.2). <br /> 21 <br />
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