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<br /> <br />~;:;. S'cL:~_ „-,T~GJ::[~S OF Fli~~l6u - R~~__S Z.U6.7, 2.06.10 and 4.25 <br />STIPULPSIONS - <br />Tnese concerns could be stipulated as conditions to the per,nit. <br />Empire Eneryy Corporation has not adequately addressed the requirements <br />of Rules 2.U(i.lU anu 4.2; reyardicg the Craig loadout facility. A mad <br />o,f this facility is referenced on page V-7 of the application, but coulrJ <br />not be located. There is a Figure V-1 giving the general location of <br />the facility, but this is not adequate to meet the standards of Rule <br />2.10. As requested previously, Che applicant must provide a •nap <br />prepared to the sCanrlarrJs of kulu !.lU. <br />ine a.~ienduJ application states u~i oay~ V-IU that E~„pire i~as iiistdlled <br />surface water sediment control system. The applicant has not provided <br />dusiyn criteria fur the pinuJs or ditches in the aruended application. <br />These are required Ly Mules 4.Zii.J, (4) ar~G (2). Also the applicant <br />references i•tap V-1 to show the locations. As stated above this map <br />could not be located. Empire Energy Corporation shall submit designs <br />~~nd .a map in co~upliance with Rule 4.22.3(4) and (u). , <br />Empire Eneryy Corporation states topsoil was salvaged during <br />construction of the sediment control system. Hose much was salvaged, <br />s.nere is it stocpiled, s•rhat measures i•,ave been ta`~cer~ to protect the <br />topsoil and where will it oe re spread? The applicant shall submit a <br />topsoil plan in compliance ~.vith Rule 4.22.3(13). <br />Rine 4.22.3(9) requires that air pollution control measures associated <br />,;ith fugitive dust emissions shall comply with Rule 4.17. Empire Ei.ergy <br />Corporation has not addressed this requirement in Section 5.3 of the <br />application. Empire Eneryy Corporation shall comply with Rule 4.i? and <br />state the air pollution control measures associated with fugitive dust <br />emissions at the Craig load-out site. <br />uoc. No. 753 <br />