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:. <br />mine in its present configuration. For instance, EA No. 012 gives <br />an annual production of SU,000 tons/year (p. 2). However, in a <br />letter dated May lU, 1979, to the Colorado Department of Health, <br />a reference is made to a Land Reclamation Permit allowing a pro- <br />duction of up to 200,000 tons/year. Other documents also refer <br />to '2VV,UVV tons/year. The permit and Map of General Improvements <br />indicate three parallel main entries but the enclosed Preliminary <br />Mine Layout Map indicates four para.11e1 main entries. No refer- <br />ence is made in the application to this change or other possible <br />changes which have taken place in the mine plan. The Mining Plan <br />Mag and the Reclamation Plan Map should be accompanied by a legend <br />and a more detailed narrative in order to explain what is shown. <br />The amount of actual construction and mining which has taken place <br />in the new Blue Ribbon Mine up to the present time should also be <br />made clear in the application. <br />The application would be much more coherent if organized in a <br />logical manner with a table of contents and numbered pages. It is <br />suggested that the applicant address parts 771, 782, 783, and 784 <br />of the permanent regulatory program in a systematic fashion in or- <br />der to ensure compliance oti the next submittal. <br />14 <br />