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Recipient <br />Page 2 of 2 <br />Date <br />may be revisited as the remaining permit area approaches final bond release. Discontinuance of <br />SW-N104 is appropriate at this time. <br />The Division does have two formatting issues to address: <br />1. It appears that the first submitted page for Section 2.04.7 does not fit with the <br />currently approved page. At the top of page 2.04.7-27 in the approved PAP, the initial <br />text (an extension of the sentence from the previous page) reads "standards from the San <br />Miguel River." However, the proposed page (also an extension from previous page) <br />reads "two sample sets collected at each surface water site." It appears two lines from the <br />approved permit pages (Revised March 2020-TR97) need to be included on the TR101 <br />page 2.04.7-27. Please address this apparent problem. <br />2. Some wells on the proposed version of Map 2.04.7-1A are indicated with a mustard <br />color, which (according to the map legend) is used for surface water sites. The color <br />the legend shows for ground water wells that are not monitored appear as a peach <br />color. Please revise the map to fix this inconsistency. <br />Please contact me should you have questions regarding the Division's concerns. <br />Sincerely, <br />Janet H. Binns <br />Environmental Protection Specialist III <br />Cell Phone: 970-688-0626 <br />CC: Chris Gilbreath, Tri-State Generation and Transmission Assoc. Inc. <br />P.O. Box 33695, Denver, CO 80233 <br />