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. <br />-zs- <br />3. The applicant should discuss the construction, use, <br />maintenance, and removal of the truck loadout. The applicant <br />should also discuss how trucks are to be loaded at the coal <br />stockpile, all in accordance with Rule. 2.05.3(7). <br />XIV. Reclamation Plan (2.05.4) <br />1. The applicant should submit a detailed timetable for the <br />completion of each major step in the reclamation plan for the <br />Foidel Creek mine and facilities in accordance with Rule <br />2.05.4(2)(a). <br />2. Steps being taken to comply with the requirements of the <br />Clean Air Act and Clean Water Act, cannot be adequately <br />reviewed as required by Rule 2.05.4(2)(h) until updated and/or <br />additional NPDES and Air Emission permits have been received. <br />XV. Coai Ptocessinc Plants and Suonort Facilities not Located <br />Within the Permit Area (2 06 10 4.28) <br />1. Tipple 3 is planned to be used as the loadout for coal <br />produced from the Foidel Creek mine. This tipple is addressed <br />in a separate permit application (C-036-81). The facilities at <br />Tipple 3 have not been reviewed in conjunction with this <br />applicaton (C-056-82). <br />Roads [2.05.3(3). 4.03) <br />1. TRe applicant does not discuss the construction of any <br />new roads in conjunction with the underground mine. Map 13. <br />however shows an access road from the portal area to the county <br />road. Presumably, this will eventually be the road to haul the <br />coal to tipple 3 and should be designated a haul road. In <br />accordance with Rule 2.05.3(3)(c), the application moat contain <br />a description of each road to be constructed, used or <br />maintained withln the permit area. <br />XVI. Bondinc (2.05.4(2)(bZ <br />1. The applicant should submit calculations for the <br />reclamation bond that address removal and reclamation of all <br />the surface facilities that will be used for the Foidel Creek <br />mine in part or in whole. The bonding calculations for <br />reclamation of the underground mine pit that are included in <br />the bonding calculations for Permit No. 79-177 must be updated <br />and revised. It has also come to the Division's attention that <br />a number of surface facilities addressed under Permit No. <br />79-177 have not been included in the bonding calculations for <br />that permit. It is, therefore, recommended that the existing <br />permit 79-177 bonding calculations be revised as well in <br />accordance with Rule 2.05.4(2)(b). <br />~' <br />