Laserfiche WebLink
4.21.4(7)(a), 4.21.4(7)(b), and 4.21.4(7)(c) (the last of which in turn requires compliance <br />with Regulation 4.05.3, which specifies design criteria for temporary diversions). <br />6. In accordance with the requirements of Regulations 2.02.2(2)(f), 2.02.2(2)(g) and 4.21.4(5), <br />please modify the Notice of Intent to describe how topsoil will be salvaged and stored in <br />conjunction with construction of the proposed sections of new access road. Please ensure <br />this description addresses the requirements of Regulation 4.21.4(5). <br />In accordance with the requirements of Regulation 2.02.2(2)(h), please modify the Notice <br />of the Intent to include: <br />"a statement, with appropriate references from the relevant State or Federal <br />agencies or published sources, which determines that the exploration and <br />reclamation described will not jeopardize the continued existence of an <br />endangered or threatened species listed pursuant to Section 4 of the <br />Endangered Species Act of 1973 (16 U.S.C. 1533) or the Nongame, <br />Endangered or Threatened Species Conservation Act (Section 33 -8 -101 <br />et seg C.R.S.) or result in the destruction or adverse modification of <br />critical habitat of those species ". <br />We have the wildlife information supplied in the "Elk Creek Mine Block Clearance <br />Project" document dated August 2005 and prepared by Monarch & Associates and Michael <br />Ward Outdoors. We just need in the NOI the "statement" mentioned above. <br />Thank you for your participation in this matter. Please free to contact me at (303) 866 -4933 if you <br />have questions. <br />Sincerely, <br />Daniel I. Hernandez <br />Senior Environmental Protection Specialist <br />