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2021-01-14_PERMIT FILE - C1981019A (3)
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2021-01-14_PERMIT FILE - C1981019A (3)
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Last modified
5/17/2021 6:42:25 PM
Creation date
5/13/2021 8:26:41 AM
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Template:
DRMS Permit Index
Permit No
C1981019A
IBM Index Class Name
Permit File
Doc Date
1/14/2021
Section_Exhibit Name
2.05 Operations and Reclamation Plans
Media Type
D
Archive
Yes
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RULE 2 PERMITS <br /> available. Many of the grouse are then observed in the alfalfa and irrigated meadowlands <br /> on areas around the mining area. <br /> Within the post-mine vegetative community,the food component for brood rearing will <br /> be provided by insects and succulent vegetation on reclaimed areas early in chick <br /> development. Later into the summer months, as food sources dry up on the upland slopes, <br /> food will be available near water impoundments and drainage bottoms being returned to <br /> the post-mining topography. The literature indicates no optimum distance between nesting <br /> sites and food sources. Evidently, the location of nesting sites are independent of food <br /> sources, rather, the nesting locations are based on available cover, and the grouse <br /> movements are tied to the availability of succulent vegetation. <br /> For the most part, the mitigation measures indicated above had the desired impact of <br /> improving conditions for sage grouse on undisturbed areas under Colowyo control. To the <br /> contrary, original reclamation plan measures did not result in a sagebrush component <br /> consistent with the original projections in many areas of the mine, especially the old <br /> reclaimed units that were revegetated with"introduced"pasture grasses. Beginning in the <br /> late 1990s and as evident in revegetated units that have been seeded since then, the <br /> sagebrush component of reclamation has improved substantially, but is still not up to <br /> original expectations. Therefore, substantial changes to the reclamation plan have been <br /> introduced in this submittal to hopefully,make another quantum leap forward in the ability <br /> to establish sagebrush steppe communities. Many changes in techniques have been <br /> proffered including variable topsoil depths, significantly increased amounts of the <br /> appropriate sagebrush seed,proper planting techniques to encourage sagebrush,etc. Given <br /> success of these techniques elsewhere in the mining industry, the potential is strong that <br /> the original projections for sagebrush establishment at Colowyo will be realized from this <br /> point forward. <br /> Additional Mitigation Measures <br /> The pre-planning for a minimum amount of annual disturbance, the establishment of herbaceous <br /> species,the replacement of native shrub species, and habitat improvement techniques are the most <br /> important areas for minimizing impacts to wildlife, several other protection measures are in effect. <br /> Electric power lines located in the permit area will be constructed in accordance with the <br /> requirements of Section 4.18 to minimize potential electrical hazards to large raptors. <br /> Vehicle use within the permit area is limited to the active mining area and the various support <br /> facilities. Off-road vehicle use is kept to a minimum and is usually only authorized for surveying, <br /> environmental data collection and monitoring, security, etc. Travel by foot, which causes much <br /> more disturbance to wildlife than vehicle traffic, is highly unlikely outside active mining areas. <br /> Hunting with firearms inside Colowyo's permit boundary is allowed and is strictly managed by <br /> Colowyo. <br /> Speed limits in the mine area are limited to reduce the likelihood of collisions between vehicles <br /> Rule 2 Permits 2.05-34 Revision Date: 10/27/20 <br /> Revision No.: TR-143 <br />
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