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<br />ty using our current procedures we are continually able to maintain <br />compliance in our discharge operations. <br />9. 'I he asphalt and/or concrete plants that are referred to are portable <br />plants. The location of either type of plant at this site would be ,job <br />specific and would occur for a short duration of time - usually less than <br />cne month. The plant would be situated in the south central section of <br />the site that is in the 500-year sheet flow. Most certainly, neither type <br />of plant will be situated on the site if there appears to be a threat of <br />a runoff of a 100-year flood magnitude. <br />Reasonable care will be taken to protect against environmental impacts. <br />Our plants are permitted by the Colorado Department of Health, Air <br />Pollution Control Division. Additionally, the site itself must be <br />hk permitted likewise. The application for the permit at the site was <br />submitted March 1, 1990. Appropriate spill containment plans will be <br />implemented to protect against spillage of petroleum-type fluids. <br />Again, please understand that a permanent asphalt or concrete plant is not <br />planned for this site. <br />10. According to our mining plan, no activity that is associated with our <br />operation should cause any harm to the referenced structures. <br />(a) The drainage ditch is on the west side of the subject property and <br />is situated approximately 15' west of our property line. There is <br />also a 40' dedicated easement on our property. No activity shall <br />occur within at least 55' of the drainage ditch. <br />(b) The Public Service Power line is located along the north portion of <br />the site. There is the 100' utility easement that must be observed. <br />Structural components of the power line are not threatened. <br />(c) The Grand Valley Rural Power line across the southern portion will <br />be protected by keeping any excavation a minimum of 30' away Pram <br />any poles. <br />It is inconceivable to us that the three homes could be ,j(g~pardized by our <br />operations. If we were informed of any specific concerns, we would <br />certainly attempt to mitigate the concern. We are not aware of any other <br />"structures" within 200' of our property. <br />11. A:s addressed in Item No. 2, storage of topsoil will occur in the form of <br />berms around the north, south, and east perimeters. These berms will be <br />p;^ovided with temporary revegetation to stabilize them. <br />12. United Companies of Mesa County owns eleven shares of water out of the <br />Grand Valley Canal for this property. Access of this water is by lateral <br />c,jnal that is now existing. <br />P~iul McGehee of United Companies met with James R. Hall of the Colorado <br />Division of Water Resources on May 7, 1990 in Denver. The purpose of this <br />moeting was for United to get information regarding the Well Permit and <br />