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Holcim South Platte Combined SWSP June 18, 2024 <br /> Plan IDs 3614, 4773, 3624, 4772, 4616, 3437, 3376, 3650, 3668, 5475, 5829, Ft 6243 Page 24 of 26 <br /> requires that permits or notices be obtained as described in Table 1 of the Water Well <br /> Construction Rules.) <br /> Depth to Groundwater Percent Reduction in Calculated HCU' <br /> (Feet) Native Grass Alfalfa <br /> 1 85% 100% <br /> 2 50% 90% <br /> 3 30% 75% <br /> 4 20% 50% <br /> 5 15% 35% <br /> 6 10% 20% <br /> 7 5% 15% <br /> 8 0% 10% <br /> 1. Adapted from EVAPOTRANSPIRATION AND AGRONOMIC RESPONSES IN FORMERLY IRRIGATED <br /> MOUNTAIN MEADOWS, South Park, Colorado, March 1, 1990; Revised September 1, 1991 <br /> 22. Dewatering at the Wattenberg Pit, W.W. Farms Pit, Tull Pit, Tucson South Pit, DPG Pit, and <br /> Irwin-Thomas Pit will produce delayed depletions to the stream system. As long as the pits are <br /> continuously dewatered, the water returned to the stream system should be adequate to <br /> offset the depletions attributable to the dewatering operation. Once dewatering at a site <br /> ceases, the delayed depletions must be addressed. Accordingly, dewatering is required to <br /> continue at the Wattenberg Pit, W.W. Farms Pit, Tull Pit, Tucson South Pit, DPG Pit, and <br /> Irwin-Thomas Pit during the term of this approval. At least three years prior to completion of <br /> dewatering, a plan must be submitted that specifies how the post pumping dewatering <br /> depletions (including refilling of the pit) will be replaced in time, place and amount. <br /> 23. Prior to claiming any credit for the water returned to the stream system from dewatering in <br /> excess of lagged dewatering depletions (a net accretion), the Applicant must install a <br /> totalizing flow meter that accurately measures the quantity of water being pumped and <br /> returned to the stream system via dewatering operations and account on a real time basis for <br /> the actual dewatering depletions and accretions. No net accretion credits are sought by the <br /> Applicant for this approval period. <br /> 24. If dewatering of any of these sites is discontinued, the pit would fill, creating additional <br /> depletions to the stream system due to increased evaporation. To ensure that additional <br /> depletions to the river do not occur, a bond has been obtained through the DRMS for lining or <br /> backfilling of the pits. Therefore, if the dewatering is discontinued, these bonds can finance <br /> the completion of the lining of these pits or the backfilling, thus preventing depletions to the <br /> stream system. <br /> 25. The approval of this substitute water supply plan does not relieve the Applicant and/or <br /> landowner of the requirement to obtain a Water Court decree approving a permanent plan for <br /> augmentation or mitigation to ensure the permanent replacement of all depletions, including <br /> long-term evaporation losses and lagged depletions after gravel mining operations have <br /> ceased. <br /> 26. If reclamation of the mine sites will produce a permanent water surface exposing <br /> groundwater to evaporation, an application for a plan for augmentation must be filed with <br /> the Division 1 Water Court at least three (3) years prior to the completion of mining to <br /> include, but not be limited to, long-term evaporation losses and lagged depletions. If a lined <br /> pond results after reclamation, replacement of lagged depletions shall continue until there is <br /> no longer an effect on stream flow. According to the SWSP request, mining of material has <br /> ceased at the Jeronimus Pit, Hazeltine Pit, Platte Valley Pit, F-Street Pit, Brighton Pit, Distel <br />