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PERMFILE58865
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PERMFILE58865
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Entry Properties
Last modified
8/24/2016 11:01:09 PM
Creation date
11/20/2007 6:03:08 PM
Metadata
Fields
Template:
DRMS Permit Index
Permit No
M2002004
IBM Index Class Name
Permit File
Doc Date
5/6/2002
Doc Name
Preliminary Adequacy Review
From
DMG
To
GCC Rio Grande Inc.
Media Type
D
Archive
No
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6.4.8 EXHIBIT H -Wildlife Information <br />This section is adequate as submitted. <br />6.4.9 EXHIBIT I -Soils Information <br />The soils information indicates that on average, 18 inches of suitable material is available <br />for reclamation, however, Exhibit E contains a commitment to replace a minimum of 12 <br />inches. This should be restated to commit to replacing all available growth medium with <br />a final thickness of 12-24 inches. The rest of this section is adequate as submitted. <br />6.4.10 EXHIBIT J - Veeetafion Information <br />As previously mentioned, the operator needs to show the relation of the types of <br />vegetation to existing topography on a map in Exhibit C or on a separate map. Please <br />provide this information. <br />6.4.11 EXHIBIT K -Climate Information <br />This section is adequate as submitted. <br />6.4.12 EXHIBIT L -Reclamation Costs <br />The division will continue to review the reclamation cost, however, until we receive a <br />detailed projection of the full cycle of mining through reclamation, a fmal reclamation <br />liability amount cannot be accurately calculated. <br />6.4.13 EXHIBIT M -Other Permits and Licenses <br />It appears the Colorado Air Pollution Control Division permit expired on March 25, <br />2002. Please clarify. <br />6.4.14 EXHIBIT N -Source of Leeal Rieht to Enter <br />The division recognizes that the applicant has changed their entity name with the State of <br />Colorado from Rio Grande Portland Cement Corp. to GCC Rio Grande, Inc. However, <br />the mineral lease from the State Land Board, as well as the various Warranty Deeds <br />showing land ownership, are all in Rio Grande Portland Cement Corporations name. <br />Therefore, GCC Rio Grande, Inc. must demonstrate their legal right to enter the site to <br />conduct mining and reclamation operations in accordance with Rule 6.4.14 (6.3.7). In <br />addition, apparently the northwest '/< of Section 24, T22S, R 65 W is GCC fee owned <br />surface but federally owned mineral. Please provide the basis for legal right of entry to <br />mine and conduct reclamation operations on this portion of the site as well. <br />
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