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• 45. "Review of the proposed site indicates the mining operation will be directly affect both <br />• "Review of the well data also indicates that the water table is generally parallel to <br />the ground surface ...". <br />• "There is a risk that the quality and quantity of local ground water supplies will be <br />adversely affected :.." <br />• "There is also a concern that the proposed mining operation (blasting, etc.) may <br />m o uce con am ni-anfs to the mterconnec~d~ rac res sapp yin tg ~e wafer to tie - <br />riearliy wells and negatively impact the water quality. Additionally, the proposed <br />blasting could plug the interconnected fractures and reduce or eliminate the yield <br />from these existing wells." <br />46. "All the information in the application is not correct. i1H,RB Rules state "all <br />information iin an application must be accurate and complete."" "11H.,RB Rules <br />1.4.1(3)" <br />• 47. "The information required by MLRB Rules, including evidence that the operation will <br />comply with the applicable groand water performance standards under Rule 3, was <br />not provided by the applicant." <br />48. "The information required by the MLRB Rules because the operation is expelled to <br />directly affect: the ground water system (NII.RB Rules 6.4.7(2)), has not been provided <br />by the applicant." <br />49. "Cottonwood I:reek is within the proposed site boundaries. The application incorrectly <br />states that "There are no perennial streams ... on the permit property." Exhibit G <br />does not comply with CMLR Act 34-32-116(7)" <br />50. "The applicant: has not yet applied for or obtained a NPDES permit. IYII.RB Rules <br />require the applicant to either have the NPDES permit fn hand or have applied to <br />CDPHE for tlhe necessary NPDES permit at the time of its 112 permit application <br />submittal." <br />51. "Based on Exhibit C-2B, the access road will be constructed within 200 feet of a <br />BHCCSD's (Illack Hawk & Central City Sanitation District) sanitary sewer line <br />serving the convenience store, yet the applicant has provided no documentation it has <br />complied with MLRB Rule 6.3.12." <br />the surface and ground water systems for the following reasons:" <br />• "The fractured aquifer yield is not poor as claimed by the applicant ..." <br />• "The fractured aquifer is not classified as nontributary ..:' <br />• "Well data in the vicinity of the proposed quarry site indicate that ground water will <br />be encountered with mining operations and that dewatering will be necessary. <br />Review of 300 wells within four miles of the site, shows the median depth to water is <br />120 feet ..." <br />• 52. " It is unclear if the ponds are designed aad sized to adequately handle sediment <br />accumulations over the life of the mine. In addition, it is unclear if the ponds are <br />