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Page 5 <br /> Mr. Peter Hays <br /> February ls', 2022 <br /> activities occurring at the mining operation;or c. where such structure is a utility, the Applicant may <br /> supply a notarized letter, on utility letterhead, from the owner(s) of the utility that the mining and <br /> reclamation activities, as proposed, will have "no negative effect"on their utility. The Division will <br /> require the Applicant to demonstrate they attempted to obtain notarized structure agreements with <br /> all owners of the structures within 200 feet of the affected area of the proposed mine site, pursuant <br /> to Rule 6.4.19, prior to the Division's consideration of a stability analysis. <br /> 21. The Division did not receive proof of notification for the following permanent man-made <br /> structures owners within 200 feet of the boundary of the affected land as identified on the Exhibit <br /> C-3 map. Please provide proof of notification for the following owners of record: <br /> a. PDC Energy Inc. <br /> b. Noble Energy/Chevron <br /> c. Western Mutual Ditch Co <br /> d. Farmers Independent Ditch Co <br /> e. Century Link <br /> f. Sunshare Community Solar <br /> See attached proof of notification for the listed structure owners, including for Cureton Energy <br /> which was missed on the map initially. <br /> 22. The Division received proof of notification for the following permanent man-made structures <br /> owners within 200 feet of the boundary of the affected land, however the structure owners were not <br /> identified on the Exhibit C-3 map. Please update the map to indicate the location of the structures. <br /> These were notices sent out to property owners within 200'not structure owners. <br /> a. Boney Macgillivray LLC(Located to south of site, was improperly labelled on map) <br /> b. James and Marilee Kissler(Located southeast corner of WCR 29 and WCR 44&midsection <br /> line on WCR 29) <br /> c. Donald and Bonnie Deibel(Added to map, located between FIDCO ditch and WCR 29) <br /> d. Mack WCR 43 LLC(Additional owners of the southeast corner of the site) <br /> e. Zabka Farms(Additional owners of the northwest corner of the site) <br /> f. Phyllis Nelson (Located north of WCR 44) <br /> g. Craig and Michelle Wiedman (Located northeast corner of WCR 44 and WCR 29 <br /> h. Street Farms Co (the name was difficult to read) Strear Farms located south of WCR 42. <br /> 23. Please provide the Division with copies of all signed structure agreements with the owners of <br /> permanent man-made structures within 200 feet the proposed affected area boundary. Copies of <br /> all returned structure agreements are included. <br /> 24. The Division received tracking information from the Applicant as proof of mailing a structure <br /> agreement to Xcel Energy. Please update the table on the Exhibit C-3 map to indicate Xcel Energy. <br /> Xcel Energy has been indicated on Exhibit C-3 to show all the overhead electric lines. <br />