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. - -~ i <br />- 2 - <br />• <br />During the Fish Creek Tipple Mid-Term I noted several inconsistencies between <br />the Fish Creek Tipple application and the Foidel Creek application which <br />should be rectified when the two permits are merged. This will provide a <br />consistent narrative throughout the merged permit and preclude <br />misunderstandings. In addition, there were several legal and financial issues <br />which should be clarified. <br />I. Hydrologic Balance - Rules 2.04.5, 2.04.7, 2.05,3(4), 2.05.6(3) and <br />4.05 <br />a. Please make water rights noted on Map 7 agree with Map 15, <br />Foidel Creek Life-of-Mine permit, per Rule 2.04.7(3). <br />b, Revise Map 5 to show elevations of surface water monitoring <br />sites per Rule 2.04,7(4)(b). <br />c. Submit three copies of the NPOES Permit Plo. CO-0036684. The <br />Division has no copies of this permit in any of the permit <br />application copies nor its files. <br />d. Re-write the solute transport section of the PHC to reflect <br />conditions described in the Foidel Creek Life-of-Mine PHC. <br />II. Backfilling and grading - Rules 2.05,3(6)(b), 2,05.3(9), <br />2.05.4(2)(a), 2.05.4(2)(c1, 2.09, 4.13 and 4.14, <br />a. The rill and guT1y stabilization plan should include a schedule <br />for mitigation efforts. This plan should include dates for <br />identification and mapping of gullies, and deadlines for <br />performing the work. <br />--~ <br />III. Legal;~Financial and Compliance Information Rule 2.03 <br />a. Review Section 2.03.4 to ensure that it is up-to-date. <br />b. JIs betty Minerals t4arketing, Inc. still the surface owner of <br />1`~/l ~ the permit area as noted on Page 2,05-62? <br />c/ Update the Certificate of Liability Insurance in Exhibit 2. <br />cc: -Bob Liddle <br />srs <br />?761F <br />