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2024-08-20_REVISION - M1992051
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2024-08-20_REVISION - M1992051
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Entry Properties
Last modified
8/20/2024 8:09:38 AM
Creation date
8/20/2024 7:55:59 AM
Metadata
Fields
Template:
DRMS Permit Index
Permit No
M1992051
IBM Index Class Name
Revision
Doc Date
8/20/2024
Doc Name
Request For Amendment To Permit
From
Langston Concrete Inc
To
DRMS
Type & Sequence
AM1
Email Name
JLC
AME
EL1
Media Type
D
Archive
No
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LANESTON <br /> CONCRETE INC. <br /> best. At one point they determined that the meter had stopped reading only to redact that <br /> statement the following month when they discovered they had made an accounting error. We did, <br /> however, discover a large difference in water cost pulled from the fire hydrant vs. water pulled <br /> from the bulk station. Once we made this discovery, we internally decided to abandon the idea of <br /> trying to get water from the City. It is still an option in the event a problem arises out of the <br /> Minnequa Canal, but we determined it is not going to be a stable long term solution for what we <br /> are attempting to do at the wash plant facility. <br /> We have been working on this wash plant system for over a year. Our biggest hurdle thus far has <br /> been coming up with a consistent and reliable water source. We recently learned that Mr. Zerfas <br /> was relieved of his duties with Evraz. A new canal manager has been hired. His name is Chad <br /> Ones and has thus far proven to be a much better human being than the person that held the <br /> position previously. Attached you will find our water lease agreement with Evraz. All of which <br /> was made possible by the cooperation and coordination of Mr. Ones. We will be obtaining all <br /> our water for wash plant processing from Evraz through the lease agreement and it will come <br /> from water they own out of the Minnequa Canal. We are going to meter the water and report to <br /> Evraz weekly. Please see the attached Exhibit G Evraz Water Lease for reference. <br /> In regards to our stormwater permit with the CDPHE, we determined we are permitted for <br /> processing sand after reviewing the permit. Attached to this exhibit you will find our <br /> COG500000 discharge permit. Our certification# is COG501737. <br /> Part IA.1 lists activities covered on page 5. If you note page 5 of the permit; about half way <br /> down the page under Part I.A.1.a. Eligible Process water discharges it lists everything allowed to <br /> discharge water from. Including dimension stone, crushed stone, construction sand& gravel, & <br /> industrial sand. It is our understanding that the COG500000 permit is a generalized permit that <br /> lists out basic requirements for discharges. Obtaining a certification # gives us authorization to <br /> discharge and outlines specific requirements. <br /> If you refer to the 2"d attachment to exhibit G, you will find our certification# (GOG501737) and <br /> the requirements to comply with. Including Visual Monitoring, WQBEL/Water Quality <br /> Standards, & Reporting. <br /> Further communication with the CDPHE WQCD has yielded that as long as we are not <br /> discharging any of our process water to the discharge location on the property and thereby to <br /> State owned water, we are clear to do as we wish. We were asked if we were creating a closed <br /> loop system, which we are. We were told that as long as we are keeping the process water <br /> contained within the wash plant system there is no need to modify the existing stormwater <br /> permit. <br /> LKNUTON <br /> 902 South Union Street Florence, Co 81226(719) 784-3878 Office (719) 784-1158 Fax <br />
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