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2022-09-06_ENFORCEMENT - M2020044
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2022-09-06_ENFORCEMENT - M2020044
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Last modified
9/15/2022 10:08:10 AM
Creation date
9/6/2022 4:20:49 PM
Metadata
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Template:
DRMS Permit Index
Permit No
M2020044
IBM Index Class Name
Enforcement
Doc Date
9/6/2022
Doc Name
Findings of Fact, Conclusions of Law and Order
From
DRMS
To
Rocky Flats Environmental Solutions, LLC
Violation No.
MV2022012
Email Name
CMM
GRM
MAC
JDM
JLE
Media Type
D
Archive
No
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multiple ore stockpiles, the storage and use of cyanide solution, and the operational <br /> nature of the milling equipment. Division staff also provided testimony regarding <br /> the activities at the site demonstrating that the mill was active, including playing a <br /> video from YouTube that showed the site engaged in milling, with shaker tables in <br /> use and the flow of concentrate through the process. <br /> 16. The Division also presented its legal analysis on the Board's and <br /> Division's jurisdiction over milling, stating that milling is expressly included in the <br /> Act's definition of"Mining Operation," with no distinction between an on-site or off- <br /> site mill. Rather, the Act's definition of"Affected Land" refers back to "Mining <br /> Operation" to make clear that the existence of a Mining Operation, as defined by <br /> the Act, creates Affected Land. Thus, a mill is a Mining Operation under the Act <br /> that requires a reclamation permit prior to commencement of operation. The <br /> Division presented several examples of previous and currently permitted mills that <br /> were not physically located at a mine but were treated as Mining Operations under <br /> the Act and required to obtain reclamation permits. The Division explained that <br /> the Mining Operation observed would meet the definition of a Designated Mining <br /> Operation under Rule 1.1(20) of the Mineral Rules and Regulations of the Mined <br /> Land Reclamation Board for Hardrock, Metal and Designating Mining Operations <br /> (the "Rules"). <br /> 17. At the hearing, Operator also presented testimony regarding the site. <br /> Operator argued that it was not required to obtain a reclamation permit, claiming <br /> that "offsite process" is exempt from the Act. Mr. Emsile argued that the intent of <br /> the Act was to return mined land to a beneficial use and, according to Mr. Emsile, <br /> mills that are separate from an excavation do not have "mined land." Mr. Emsile <br /> admitted that the site had processed up to 20 tons of tailings, though he stated that <br /> the goal was to"clean up" mine sites. According to Operator, they are not governed <br /> by the Act because they are not on"Affected Land." <br /> CONCLUSIONS OF LAW <br /> 18. The Board has jurisdiction over this matter pursuant to the Mined <br /> Land Reclamation Act, Article 32 of Title 34, C.R.S. (2021). <br /> 19. "Mining Operation' means the development or extraction of a <br /> mineral from its natural occurrences on affected land...The term `mining <br /> operations' also includes the following operations on affected lands: <br /> transportation; concentrating; milling; evaporation; and other processing." § 34- <br /> 32-103(8), C.R.S. (2021). "Mining Operation" includes milling operations on <br /> affected lands. <br /> Rocky Flats Environmental Solutions, LLC <br /> M-2020-044 <br /> MV-2022-012 4 <br />
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