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w <br />• • <br />of the permit area. Additional Field and "E" Logs have also <br />been provided. Those sections of the text relating to this area <br />of concern are as follows: <br />2.1.7 4.2.2 <br />2.4.2 4.2.2.1 <br />4.1.2.5 4.2.3 <br />4.1.2.6 4.2.5 <br />4.2.1 <br />Specific hydrology and AVF related questions .will also be <br />addressed as necessary in the order of their presentation. <br />The mine plan now adequately assesses the impacts of surface <br />coal mining operations on the alluvial valley floor and confirms <br />the absence of renewable resource lands including the absence <br />of an aquifer above the coal seam to be mined. <br />2.04.6 <br />2.04.6 (1) (b) (i) (D) <br />The roof and floor analysis were provided in Section 2.5.3 <br />(page 2-34) and in Tables 2.1-4 and 2.1-5. The cited authority t~ <br />in Colorado Regulations is specifically limited to surface mining.~~~ <br />2.04.6 (1) (b) (i) (E) <br />This cited authority is also a surface mining requirement <br />as distinctly opposed to underground mining requirements found <br />in Sub-Section (2) of the regulation. As is logically deter- <br />mined for the list of parameters presented, the request is logi- <br />cally aimed at an overburden, interburden analysis rather than <br />a coal analysis. As agreed upon in our meeting (OSM, CD~Li.,R and <br />SEI), no action will be taken on this specific request at this time. <br />