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APPCOR13427
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APPCOR13427
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Entry Properties
Last modified
8/24/2016 6:33:41 PM
Creation date
11/19/2007 2:41:49 PM
Metadata
Fields
Template:
DRMS Permit Index
Permit No
C1996084
IBM Index Class Name
Application Correspondence
Doc Date
3/3/1997
Doc Name
ADEQUACY REVIEW LORENCITO CANYON MINE C-96-084
From
DMG
To
GREYSTONE DEVELOPMENT CONSULTANTS
Media Type
D
Archive
No
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<br />174. Are there any stream buffer zones within the permit azea? If so, the permit text should <br />identify them and commit to marking them as required by 4.05.18(2). <br />Rule 4.06 To~rsoil <br />175. LCC states that topsoil will be removed in two lifts. Review of the soil resource <br />information indicated that some soil series have clayey subsoils. These soils would be <br />degraded by intermixing of the top horizon (A) with a poorly structured "B" or "C" <br />horizon. Will topsoil and subsoil be stored separately from one another and will they be <br />redistributed in separate lifts? <br />Rule 4.07 Sealing of Drilled Holes and Undereround Oaenines <br />176. This section is in compliance with the Rules. <br />Rule 4.08 Use of Explosives <br />177. On page 2.05-39, the application states that one of the "unavoidable hazardous situations" <br />that may require blasting to deviate from the approved blasting schedule might be when <br />"stray current conditions" exist "when electric detonators aze used". However, on page <br />2.05-37, it is stated that "A Nonel non-electric initiation system will be used...". Is this <br />a discrepancy? <br />178. Please include in the discussion on deviations from the blasting schedule a commitment <br />to comply with the conditions of Section 4.08.4(1)(6) if the deviations from the approved <br />blasting schedule will occur between sunset and sunrise. <br />]79. On page 2.05-37 (5th paragraph), it is stated "Persons within the proposed permit areas <br />and residents along Highway 12 will be notified of the meaning of the signals...". <br />Please revise this to read "Persons within the permit area and who reside and regularly <br />work within one-half mile of the blasting area limit will be notified of the meaning of the <br />signals..." (Section 4.08.4(3)). <br />180. Please discuss how the applicant will comply with the part of Section 4.08.4(3) that states <br />"Those (signal meatting) instructions shall be periodically delivered or otherwise <br />communicated in a manner which can be reasonably expected to inform such persons of <br />the meaning of the signals." What will the period of delivery be? Monthly? Quarterly? <br />annually? <br />181. How will the applicant ensure that the information in its application pertaining to owners <br />of structures within one-half mile of the permit area, to people who regularly work within <br />one-half of the permit area, and to owners of structures such as those discussed in <br />Sections 4.08.4(6), (7), and (10), is accurate and up-to-date? For example, if someone <br />
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