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Rule 2.03.6 Right ofEntry Information <br /> 5. DRMS reviewed section 2.03.6 of the permit document for Right of Entry requirements. <br /> DRMS ascertained that this information was current as of 2013. Please update with revised <br /> pages for any Right of Entry information that has changed since 2013. In accordance with Rule <br /> 2.03.6(1), each document cited must identify or describe the specific lands to which the <br /> document pertains. <br /> a) There have been no changes to the Right of Entry information. <br /> Rule 2.03.9 Insurance Information <br /> 6. Please update Exhibit 01 to include a copy of the most recent Certificate of Liability Insurance <br /> in accordance with Rule 2.03.9. <br /> a) A copy of the current insurance certificate has been included in this submittal. <br /> Rule 2.05.4—Reclamation Plan <br /> 7. Please provide a Post Mining Topography Map depicting ponds and the post mine configurations <br /> of all surface disturbed areas.Assure that topographic contours are legibly labeled with elevation <br /> values. <br /> a) MCM is working on updating the PMT and will submit in a future response or separate <br /> revision. <br /> 8. A detailed plan for the reclamation of the pond and associated drainage below the No. <br /> 5A portal. <br /> a) MCM is working on updating the reclamation plan and will submit in a future response <br /> or separate revision. <br /> 9. A detailed plan for the sealing of all wells and drilled holes. This should include a list <br /> of which holes will be sealed and which holes will remain open for monitoring <br /> purposes. This should include appropriate cross sections, maps and text describing <br /> measures used to seal mine openings, and to plug, case or manage bore holes, wells and <br /> other openings as per Rule 2.05.4(2)(g). <br /> a) MCM is reviewing the existing wells and drill holes and is putting together a <br /> reclamation plan for them. MCM will submit the plan in a future submittal. <br /> 10. Please update the "Removal of Structures and Facilities" section on permit page 2.05-23 <br /> to include a discussion of the reclamation activities completed since mid-2018. <br /> a) Page 2.05-23 has been updated and is included with this submittal. <br /> 11. DRMS was unable to locate Table 63 Overburden Redistribution in the permit file. This table <br /> may need to be updated based on recent reclamation and anticipated future reclamation. <br /> a) Table 63 has been updated and included in this submittal within the revised text. <br /> 12. Please update the reclamation status of the areas listed in the permit, beginning on page <br /> 2.05-28,to reflect the reclamation completed since 2017. <br /> a) Pages 2.05-28 through 2.05-31.3 have been updated included in this submittal. <br /> Rule 2.05.60—Protection of the Hydrologic Balance <br /> 13. Sampling frequency issues in the DRMS Review of the 2019 Annual Hydrology Report, and <br /> Permit Exhibit 29 are pointed out below in Rule 4.05.13(1),will need to be addressed <br /> specifically,where a monitoring requirement was not met. Please either submit the data or <br /> explain why the data was not collected. <br /> a) See responses below for Items 16-24. <br /> 14. DRMS has no record of discharge monitoring reports (DMRs),being submitted for Williams <br /> Fork Mines for 2020. In accordance with Rule 4.05.13(2)(a)(111) MCM must submit copies of the <br /> 2 1 P a g e <br />