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HYDRO20139
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Entry Properties
Last modified
8/24/2016 8:41:31 PM
Creation date
11/20/2007 1:23:14 PM
Metadata
Fields
Template:
DRMS Permit Index
Permit No
C1980007
IBM Index Class Name
Hydrology
Doc Date
12/12/2005
Doc Name
Discharge Permit CO-0038776
From
Colorado Department of Public Health
To
Mountain Coal Company, LLC
Permit Index Doc Type
NPDES
Media Type
D
Archive
No
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~OLORADO DEPARTMENT OF PUBLIC HEALTH AND ENVIRONMENT, Water Q¢aliry Control Division <br />?azionafe -Page !0, Permit No. CO-0038776 <br />~~~ ~ ~' uenP.dratnefer - <br />~ ~- ~ easuremenf re uenc ., ' _--. - am a e..:' ~~~. <br />ron, ota , u a ecnve t rou nce er mon[ ra <br />ron, , u nce er mont ra <br />,s. u. nce er wee n-situ <br />i an tease, m nce er wee isua <br />ota tsso ve o i rn nce er uarter ra <br />cute nce er uarter ra <br />C Reporting <br />/. Discha e Monitorin Re art: Mountain Coal Company shall submit Discharge Monitoring Reports (DMRs) on a monthl <br />asis tote ivuion. a ivision now re uires all permittees to submit D monthly. These reports should contain t e <br />required summarization of the test results~r parameters shown in Tables VI-9 through VI-13 above and Part IB.I of the <br />permit. See the permit, Part IE.1. for detai s on such submission. <br />1. Additional Reoortine: The results of the twelve-time analysis described previously shall be submitted as required. <br />3. S ecial Re orts: Special reports are required in the event ofa spill, bypass, or other noncompliance. Please refer to Part II A. <br />o t e permit or reporting requirements. <br />D. Additional Terms and Conditions <br />1. Si ato and Certi ication Re uirements: Signatory and certification requirements for reports and submittals are discussed in <br />art .. o t e permit. <br />2. Compliance Schedules: <br />a. All in~~ormatton and written reports required by the following compliance schedules should be directed to the Permits Unit <br />for tYlaterials Containment Plan: In November 1999, the permittee submitted an engineered spill plan. An update to the <br />plan is require to e e wit in 90 days of the permit effective date, detailing all changes that have occurred since the <br />original submittal. Ijno changes have occurred, a letter to this effect is required. For specific requirements, refer to Part <br />ID.1. of the permit. <br />b. Actt'viries to.Meet Total Recoverable Iron Final Limits -Out all 017 In order to meet Total Recoverable Iron limitations, <br />t e o owing sc e u e wi a Inc ti e in t o permit. <br />o e vent ermtt itatmn tie ate <br />11599 Submit a plan for approval that identifies operational changes, <br /> mod cation of the existing treatment system, or construction of a new part LA.3. 11/31/04 <br /> treatment system such that compliance with the final total recoverable <br /> iron limitations for Outfa11017 ma be attained. <br />00199 Submit ¢ progress report summarizing the progress in implementing <br /> the plan such that compliance with the final total recoverable PartLA.3. 11/31/05 <br /> limitations or Ou a11017 may be attained. <br />00299 Submit a progress report summarizing the progress in implementing <br /> the plan such that compliance with the final total recoverable Part LA.3. 12/31/06 <br /> limitations or Outfa11017 may be attained. <br />50008 Submit plan implementation results that show compliance has been <br /> attained with the final total recoverable iron limitations for Outfall Part IA.3. 01/01/07 <br /> 017. <br />E. Waste Minimization/Pollution Prevention <br />Waste minimization and pollution prevention are two terms that are becoming increasingly more common in industry today. Waste <br />minimizafion includes reducing the amount of waste at the source through changes in indusMal processes, and reuse and recycling <br />o(wastes for the original or some other urpose (such as materials recovery or energy production). Pollution prevention goes <br />hand-in-hand with waste minimization. I~he waste u eliminated at the front of the line, it will not have to be treated at the end of <br />the line. The direct benefits to the Industry are often significant, both in terms of increased profit and in public relations. Thu <br />program can ajject all areas of process and waste control wtth which an industry deals. Elimtnation or reduction of a wastewater <br />pollutant can also result in a reduction in an air pollutant or a reduction in the amount of hazardous materials that must be handled <br />or disposed. <br />This discharge permit does not speciftcally dictate waste minimization conditions at this time. The Division does strorsgly encourage <br />the permittee to continue worlang m developing and implementing a waste minimizationytan. Several industries have already <br />developed plans and found that implementation resulted insubstantial savings. Both the Colorado Department ofPubiic Health and <br />r,.,., nA,;.,a~ enonnna <br />
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