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• submission of the Technical Revision to modify the water management and treatment <br /> program for the site, which was approved by the Division on March 1, 2022 (Corrective <br /> Action Number 1); <br /> • submission of a financial warranty in the amount of $162,841.00 to operate the water <br /> treatment system at the site (Corrective Action Number 2); and <br /> • submission of quarterly written reports outlining the activities undertaken at the site, <br /> including a summary of any actions or findings of the WQCD (Corrective Action Number <br /> 3). <br /> The only Corrective Action that has not yet been completed is Corrective Action Number 4,which <br /> requires GIR to "[a]ppear at the Board's December 2022 meeting to provide a status update on the <br /> corrective actions required by this Order." <br /> In addition, GIR has complied with the Division's additional requirements set forth in the <br /> Division's May 2022 Letter. Specifically, GIR submitted water test results for April through June <br /> 2022 demonstrating GIR's compliance with the approved discharge permit. In addition to the test <br /> results and other information GIR submits to CDPHE, GIR will also continue to submit to the <br /> Division monthly water sample test results. Ex. D,¶ 10 (Aff. of S. Muller). There are no further <br /> substantive requirements for GIR to meet under the Cease and Desist Order,nor has the Division <br /> expressed any concerns with GIR's compliance with the Order beyond its request that GIR submit <br /> proof of compliance with the water discharge permit for the months of April through June 2022. <br /> GIR could then, at the end of June 2022, demonstrate compliance with this request and seek <br /> reconsideration from the Division of the Cease and Desist Order. Now, rather than remove the <br /> Cease and Desist Order based on GIR's compliance with the Division's prior directives, the <br /> Division has simply deferred to the Board based on unidentified"current circumstances." <br /> 5 <br />