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See revisions to Exhibit M. Additionally, the licensed blasting contractor will bring all potentially <br /> hazardous materials that would fall under Colorado Division of Oil and Public Safety's purview. <br /> Therefore, any potential permits required by CDOPS will be acquired and provided by the <br /> licensed blasting contractor. The Young Ranch Resource Quarry commits to only using licensed <br /> blasting contractors will all the required and necessary permits in place. <br /> 77. Will any permitting and/or approvals be required from state and/or federal agencies for <br /> storing fuel on site? If so, please include them in this exhibit. <br /> No additional permits or approvals are required for the storage of fuels on site. As described in <br /> the response to Division question #16, a `draft' SPCC has been prepared for the site which will <br /> be updated to current conditions at the start of mining. <br /> Exhibit P— Municipalities Within Two Miles (Rule 6.4.16): <br /> 78. This exhibit only includes Central City(due to their right-of-way for Central City Parkway <br /> being located within the proposed affected lands). However, it has been determined that <br /> Idaho Springs is another municipality located within 2 miles of the proposed operation. <br /> Therefore, please include Idaho Springs and the address of their general office in this <br /> exhibit. <br /> Idaho Springs and the City of Black Hawk have been added to the list of municipalities within <br /> two miles as shown in Exhibit P. Additionally, all municipalities are included on Figure 1. <br /> Exhibit S— Permanent Man-made Structures (Rule 6.4.19): <br /> 79. This exhibit lists out several structures located within 200 feet of the proposed affected <br /> lands which are owned by Central City(roads, culverts, road gutters and other structures <br /> associated with Central City Parkway; overhead powerlines, power poles, lights, and <br /> other electric components; and billboards) and by Goltra West Ranch, LLC (fences and <br /> gates). However, the only structures identified on Figure C-1 — Current Conditions are <br /> "Central City Parkway"and "overhead power"located at the western edge of the <br /> parkway. Please ensure this exhibit and Figure C-1 include the location and owner's <br /> name(s) of all permanent, man-made structures located on or within 200 feet of the <br /> proposed affected lands. While agreements are not required for any structures owned by <br /> the applicant, please include in this list (and on Figure C-1) any structures owned by the <br /> applicant which are located on or within 200 feet of the proposed affected lands. <br /> Please see the revised agreement with Central City that acknowledges and approves impacts to <br /> their structures related to the CCP as shown in Exhibit S of the revised permit narrative. <br /> Additionally, Map C-1 and subsequent maps include all structures —where appropriate due to <br /> map scale constraints— referenced within said agreement. <br /> 80. The application includes copies of structure agreements (dated February 3, 2021) which <br /> were sent to Central City Parkway and Goltra West Ranch, LLC for structures they own <br /> within 200 feet of the proposed affected lands. However, these agreements have not yet <br /> been signed and notarized by the structure owners. Additionally, proof the letters were <br /> delivered to the respective structure owner(return receipts of a Certified Mailing or proof <br /> of personal service) was not included in the application. Lastly, the structure agreement <br /> sent to Goltra West Ranch, LLC includes only "fences", whereas this exhibit lists "fences <br /> December 2021 25 E Lewicki&Associates <br />