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<br />. Section 779 (corresponding to CMLRD Rule 2.041 has not been addressed in most <br />cases because it represents original baseline information. <br />Updated responses to Section 778 in most cases could be substituted as <br />replacement pages for those in the original permit application. This was <br />possible because the OSM and CMLRD regulations correspond very closely for <br />this section. However, this is not the situation for Section 780. Update <br />responses to Section 780 summarize the applicable changes and give the <br />details of the currently approved operating practices that have changed. <br />Appropriate documentation of approved revisions is included. It should be <br />remembered that in most cases changes are only identified in one location <br />where most applicable. However, the change applies throughout the applica- <br />tion. For example, mulching is mentioned many places in the original applica- <br />tion but the revision which eliminated the mulching requirement is only <br />identified under the soil stabilization section. <br />Permit Renewal Map 1, Permit Boundary and Reclamation Liability, shows <br />• the currently approved permit boundary as submitted in the midterm review <br />response dated February 3, 1984. Those areas which have been released from <br />bond are also identified on this map. In addition, as requested by CMLRD, <br />those areas for which Twentymile Coal Company (TCC) now has reclamation <br />liability have been identified. In conjunction with this TCC has assumed <br />liability for all revisions (some of which were submitted under permit C-81- <br />071) affecting those areas for which they now have reclamation liability. <br /> <br />Permit Renewal 1-2 <br />