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The concems expressed in the CDOW's letter to you focus on big game winter range, principally <br />involving elk. The specific concern is noise from the mine's crusher and haul truck traffic for off- <br />site gravel deliveries displacing elk from adjacent areas, resulting in reduced winter range <br />effectiveness. In our meeting, the CDOW acknowledged that the mine itself did not represent big <br />game winter range and that the surrounding golf course (covered by 3-4 feet of snow during most <br />winters) does not represent big game foraging or bedding areas, but maybe used during crepuscular <br />(dawn and dusk) hours and at night, as animals move between relatively large blocks of foraging <br />and bedding areas. Thus, it appeazs that there is little or no potential conflict between ongoing <br />daytime mining activity and crepuscular elk winter range use; the two are largely compatible. Also, <br />noise and activity associated with the mine is fairly well buffered from the closest elk foraging azeas <br />(973 feet to the closest winter range north of the Fraser River and 1,459 feet to the closest portion of <br />the Granby Ranch conservation easement, whose November 15-April 15 seasonal closure specified <br />in the Conservation Easement was specifically developed to conserve elk transitional range, <br />migration, and winter range values) and more distant elk bedding areas (i.e., where animals rest <br />during the day). Furthermore, because the mine maintains a rim azound_ its periphery, much_of its <br />noise is attenuated from the surrounding azea. Indeed, the mine operates throughout the golf season <br />and there have been no noise complaints from golfers despite portions of golf holes 1, 2, 3, 4, 5, 9, <br />and 10 completely and closely surrounding the mine, some within 130 feet of it. <br />The CDOW also identified a number of other wildlife species seasonally present in this general <br />area. While that is correct, as described above for elk, the existing mine provides little wildlife <br />habitat and the species seasonally present have adapted to the mining operation and the surrounding <br />golf course and Nordic uses. Continuation ofthese uses should have no further adverse effect on <br />those species. <br />Although we believe that Granby Ranch has akeady gone above and beyond what should be <br />required, in an attempt to be sensitive to the CDOW's wncerns related to potential winter range <br />conflicts while maintaining the mine's operational flexibility, Granby Ranch is willing to commit to <br />the following mitigation while the mine remains in operation, subject to CDOW acknowledgement <br />that these measures adequately address their concems. If mining activity occurs during winter, <br />crushing activities within the gravel pit and gravel hauling would be restricted to the hours between <br />9AM and 3PM from November 15-April 15, the period of ells transitional range, migration, and <br />winter range use. As such, mining activity would occur when elk are no longer in adjacent azeas, <br />where their habitat effectiveness could be affected. In addition, the mine would maintain a <br />peripheral rim around the pit; to the extent practicable, so as to contain-and attenuate mining noise. <br />Please contact us if you have any questions or require any further information. <br />Sincerely, <br />Rick 7hompson~~ <br />Richard W. Thompson <br />Certified Wildlife Biologist <br />Western Ecosystems, Inc. <br />RWT/s <br />n~zzaa~i ~s <br />