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as described in permit text under Rule 2.03.4. However, boundaries dividing ownership aze <br />not cleaz and do not allow a precise determination of ownership. Exhibit B information <br />(two pages, unlabeled) does not accurately reflect the permit boundary and therefore cannot <br />accurately reflect ownership contiguous to that boundary. The street address for Gilliam is <br />different on page 2.03-6 and Exhibit B. The Cotter Corporation address is different on page <br />2.03-6 and Exhibit B. Please review the requirements of Rule 2.03.4(6) and Rule <br />2.10.3(1)(a) and modify Map 1 and the permit text to accurately, clearly, and distinctly <br />depict the ownership of all coal to be mined and the surface ownership within the permit <br />boundary and adjacent to the permit boundary. Boundaries separating ownership aze <br />difficult or impossible to determine at this time. <br />Northfield Response: Address changes were made and Map 1 is forthcoming. <br />Division response: The Division awaits Map 1. <br />5. Please update the permit text with the MSHA ident f cation number. <br />Northfield Response: Coal operator is undetermined at present time. <br />DRMS response: Please submit the appropriate permit page when MSHA number is <br />known. <br />Northfield Response: Text will be updated when MSHA permit is issued. <br />Division Response: The Division awaits the MSHA information to be submitted in the <br />future. <br />6. Please submit a certificate showing personal injury and property damage insurance is in <br />force as required by Rule 2.03.9. <br />Northfield Response: Insurance certificate submitted August 23, 2007. <br />DRMS response: The insurance certificate remains un-acceptable in its present form. Text <br />on page 2.03-13 refers to a rider ensuring notification to the Division of termination or <br />changes in the policy. No such rider was found in the materials submitted. Furthermore, <br />the cancellation clause on the certificate mentions 0 days notice will be mailed to the <br />Division.. As a matter of policy and practice, 30 days notice is the common period for <br />sending written notice or changes or policy termination. Please refer to Rule 2.03.9. Please <br />add the mine name and permit number to the certificate. Please submit a valid <br />insurance certificate striking the words "endeavor to" and all words including and <br />after "but failure to do so...". <br />Rule 2.04 Environmental Resources <br />8. The Horseshoe Mine is shown on Map 4 as historic mining within the permit area but is not <br />ident~ed (other than in the table) in permit text. This historic mining is very close to <br />