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2024-06-25_PERMIT FILE - C1980007A (4)
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2024-06-25_PERMIT FILE - C1980007A (4)
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Last modified
3/14/2025 12:49:14 PM
Creation date
7/30/2024 9:59:11 AM
Metadata
Fields
Template:
DRMS Permit Index
Permit No
C1980007A
IBM Index Class Name
Permit File
Doc Date
6/25/2024
Doc Name
pg 2.05-101 to 2.05-199
Section_Exhibit Name
2.05.5 & 2.05.6 Post-Mining Land Uses and Mitigation of Surface Coal Mining Operation Impacts
Media Type
D
Archive
Yes
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West Elk Mine <br /> <br />2.05-102 Rev. 06/05- PR10, 03/06- PR10, 05/06- PR10, 11/060- TR107, 04/07- TR108, 09/07- PR12, 02/08- PR12; 11/10- MR372; 10/20- MR-452; <br /> 12/20- TR149; 12/21- TR150, 1/24-TR152 <br />Open Coal Stockpiles <br />The stockpiles are compacted and may be sprayed as necessary to eliminate particulate emissions <br />created during coal handling. <br />Fish and Wildlife Plan - 2.05.6(2) <br />The baseline wildlife information collected on the property indicates that the mine facilities area is <br />not of prime significance to major wildlife species. The affected area is not known to be critical <br />habitat for big game, except small areas of critical winter range for elk and mule deer along the <br />North Fork and Minnesota Creek. The North Fork corridor also provides winter concentration areas <br />for federally listed (threatened) bald eagles, but no roost sites or other critical habitat features for <br />bald eagles exist in the permit area. Fragmentary and relatively low-quality habitat for federally <br />listed (threatened) Canada lynx is identified in the permit area, but lynx are not known to occur <br />there and at best an occurrence or use would be peripheral to occupied range to the south. No <br />identified critical habitat features exist in the permit area for other raptors, migratory birds, or other <br />threatened or endangered species. Cliffs in the permit area are not known to provide important <br />nesting or roosting habitat for raptors or other cliff-dependent wildlife. Water depletions to the <br />Colorado River Basin, if they occur, could adversely affect populations and downstream critical <br />habitat for four species of federally listed (endangered) Colorado River fish. Water depletions of <br />less than 100 acre-feet per year are considered adequately mitigated by USFWS. <br />Using the best technology currently available and applying it to the extent reasonably feasible, <br />disturbances and adverse impacts of mining and related operations on fish, wildlife, and related <br />environmental impacts are minimized. Where practicable, enhancement of such resources is <br />achieved. In so doing, MCC will report to the Colorado Division of Wildlife (CDOW) the presence <br />of any threatened or endangered animal or plant species listed or proposed to be listed by the State <br />or Secretary of the Interior; any critical habitat of any threatened or endangered animal or plant <br />species listed or proposed to be listed by the State or Secretary of Interior; or any Bald or Golden <br />Eagle, or nest thereof, of which MCC becomes aware and which was not previously reported to the <br />CDOW. The electric power lines and other transmission facilities used for MCC’s underground <br />coal mining operation on the permit area will be designed and constructed to prevent electrocution <br />hazards to large birds. <br />In compliance with the USFWS's "Windy Gap Process" (a determination of effect of water <br />depletions in the Colorado River Basin on four endangered fish species), MCC has calculated the <br />net depletion of water from the North Fork as a result of West Elk Mine's current and projected <br />operations, including production from the Jumbo Mountain and Box Canyon lease tracts and South <br />of Divide area (Exhibit 67). This calculation is affected by any significant increase in production <br />rates, but not by an increase in the areal extent of coal to be mined. Should the rate of production or <br />other factors affecting the net depletion calculations change, the calculations would be revised. <br />MCC has taken the following factors into account to protect wildlife on the affected area: <br />1. Since the area is not a prime wildlife area, it is generally possible to operate and locate roads <br />so as to avoid and minimize impacts on fish and wildlife species. <br />2. Since no major migration routes have been identified on the permit area, it is not necessary <br />to guide migratory wildlife species by the means of fencing so as to direct their movement
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