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III IIIIIIIIIIIII III • .~,,~.~ ~ ~.~..~„~ ~,.~,, ~+.~ ~,. <br />FILE: CC&VSTIP. 005 ~~ f (p ~ ~ ~ I~j ~~~\ n~ ~~~-,~,,vpyt S <br />~I !~`~-~-{~~,~t ~wQ,C,l1Yl~l-l.d -~IMQJ(~ (.J~~ `^~ <br />l ~._ S u~Qrvtu. f `~~ ~tR~'l uw~, ~°"rvuc,Q~ <br />-~ casTc.~4,a t.J-~..QQ 1~ r~^, ~I-~.b~u~Q 1-t~ <br />November _, 1995 --~-~~,~ " 1 ~ ` ~ f ~'I~;Jryt^M~'~'~j <br />SENT BY CERTIFIED RETURN RECEIPT REQUESTED AND FACSIMILE J~~ <br />Mr. Berhan Keffelew <br />Environmental Protection Specialist <br />Colorado Department of Natural Resources <br />Division of Minerals and Geology <br />Office of Mined Land Reclamation <br />1313 Sherman Street, Room 215 <br />Denver, Colorado 80203 <br />Reference: Cresson Project: Permit M-80-244: Technical Revision -Baseline <br />Conditions - Response To Proposal Titled "Temporary Baseline <br />Compilation To Set Trigger Levels." <br />Dear Mr. Keffelew: <br />As mentioned previously, the Cripple Creek & Victor Gold Mining Company ("CC&V") deeply <br />appreciates the effort that you have put into developing a workable set of criteria upon which <br />we may base reactions and actions to measurements involving those elements of the Cresson <br />Project's Valley Leach Facility. We have studied the proposal and wish to suggest some <br />modifications CC&V believes will make the procedures fit the site-specific circumstances. <br />We have developed some definitions and attempted to divide the Commitment into four <br />protocols, three of which address the physical monitoring (underdrain system, leak dection <br />system, and ground water system) and the fourth of which addresses <br />COMMITMENT <br />Definitions: <br />"Arequa Gulch Underdrain" refers to a drainage system comprised of 4 pipes and a rock drain <br />installed under the two phases of the Cresson Valley Leach Facility. The concentrations of <br />substances in this system may be determined individually or in combination at any location from <br />their exit from the Valley Leach Facility to the permitted area boundary. However, for <br />compliance purposes, should elevated levels of potential contaminants be indicated by <br />measurements of the system, the compliance point will be located at the location in Arequa <br />Gulch identified as "AG-01.5" at or inside [he boundary of Permit M 80-244 unless CC&V <br />demonstrates to the satisfaction of the OMLR that the compliance point can be located elsewhere <br />for any specific se[ of circumstances. <br />"CNWAD" refers to the weak acid dissociable component of the cyanide. Measurement is by an <br />