Laserfiche WebLink
i~ .~ • <br />1 <br />• <br />( - Given the problems with low tonnage, difficult mineability and poor qual- <br />ity, the Lennox seam at Energy Mine No. 3 is not considered an economic deposit. <br />c~- <br />' 2. Rule 2.04.7(4)(a) requires that "the locations of ... (water) wells within a <br />one mile minimum radius of the affected area" be plotted on a map submitted in <br />the mine permit application. Energy Fuels Corporation has only plotted private <br />wells within the proposed permit area. If any water wells exist within a radius <br />of 1'~ miles from the outer edge of the proposed permit area, they should also be <br />plotted on a map and inventoried. If ground water rights do exist within the <br />area of the mine, an augmentation plan should be presented to replace any ground <br />' water supplies should they be degraded by mining. <br />' Response: This request was subsequently revised, during a conversation with <br />MLR personnel, to require a map and inventory of any water supply wells existing <br />within a radius of one mile from the outer edge of the proposed permit area, in <br />accordance with Rule 2.04.7(4)(a). <br /> <br />1 <br /> <br />There are no water supply wells outside the proposed permit boundary within <br />a one-mile radius. <br />CYCC owns all of the <br />proposed permit area [her <br />wells witghin the <br />:\~ G <br />3. Rule 2.04.7(4)(d) requires that the locations of springs and seeps be <br />plotted on a map. The Division can find no springs or seeps plotted on any <br />maps. If springs do exist within the permit or adjacent areas, please plot them <br />on an appropriate map. <br /> Response: 14ap ll4 Energy Mine /13 Ground Water Hydrology, has been revised <br /> to show all springs and seeps within the proposed permit and adjacent areas (See ~'~ <br /> Map ll4a Energy Mine 1~3 Ground Water Hydrology). ~~ <br />~ <br /> '< <br /> y <br />U ~~ <br /> <br /> -4 <br />1 <br />~...v <br />