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2021-06-14_REVISION - M2012032 (2)
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2021-06-14_REVISION - M2012032 (2)
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Last modified
1/19/2025 7:28:02 AM
Creation date
6/15/2021 7:01:04 AM
Metadata
Fields
Template:
DRMS Permit Index
Permit No
M2012032
IBM Index Class Name
REVISION
Doc Date
6/14/2021
Doc Name
Adequacy Review Response
From
Ouray Silver Mines, Inc.
To
DRMS
Email Name
LJW
Media Type
D
Archive
No
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Al h-W., <br /> Q,RAY SILVER MINES <br /> authority to initiate notification and response while assuming responsibility for <br /> coordinating response activities. The response will vary depending on the release, but in <br /> general an earthen berm would be constructed to contain the fluids in the immediate area. <br /> Once the release has been controlled, spilled material and contaminated soil, if any, will <br /> be placed into containers. The containers and/or their content will be characterized as <br /> solid or hazardous waste in accordance with Colorado Hazardous Waste Regulations. <br /> Containers containing spilled materials, once characterized, will be disposed of offsite by <br /> an appropriate waste disposal service. <br /> 23. The Materials Containment Plan(MCP) is mentioned in both the SPCC Plan and <br /> ERP however the reference document was not provided. Please provide this <br /> document. <br /> Response:An up-to-date Materials Containment Plan (MCP) is attached. <br /> 24. SPCC <br /> a. Who is the designated person/environmental specialist indicated in section <br /> 1.1 ofthe SPCC?The title is given but the actual designated person was not <br /> indicated. <br /> b. Page 18 Of the SPCC plan (section 3.6.4) indicates that a 1000 gallon <br /> unleaded fueltank was installed in 2021. The Division has no record of this <br /> tank. Please provide details as to the location, construction type and <br /> secondary containment measures relating to this fuel storage. <br /> Response: <br /> a. The Environmental Specialist is the designated person. Currently, Todd Jesse is <br /> the designated person/environmental specialist indicated in section 1.1 of the <br /> SPCC Plan. <br /> b. The unleaded gas tank is a temporary above ground tank located directly adjacent <br /> to the diesel tank on site to the west of the dry/admin building. It is a manufactured <br /> double walled tank compliant with SPCC regulations. It is being leased from Mills <br /> Equipment Company Inc in Denver, CO. <br /> 25. ERP <br /> a. The ERP should function as a stand-alone document in the event of an <br /> emergency.The ERP plan does not include a complete list of possible <br /> chemicals to be encountered on site during an emergency, nor does it <br /> indicate the anticipated quantities of chemicals stored on site that could be <br /> 141P :Igz <br />
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