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iii iiiiiiiiiiiu iii <br />723 <br />July 13, 1977 <br />b[r. & Mrs. Cass Weber <br />bear :aver Saud & Cravel <br />Y, u. Box Glti <br />Oak Creek, Colorado Sb~}67 <br />RL: Compliance Plan, sloffat County. <br />liear Air. & I•La. Weber: <br />~~ <br />~.~:1,~ <br />The :fined Land Reclamation Board has made several recent decisions <br />which af:ect sand and gavel operators. At their `fay 2G, 1977 <br />meeting, the Board voted not to extend the original compliance plan <br />deadline past say 1, 1477. Your operation, hherefore, ;uns not <br />allowed to co:ile under that plan. At their June 23, 1977 meeting, <br />however, the Board recognized the fact that many operators, like <br />yourself, still wished to cuee under the compliance plan, but had <br />not met the deadline fuz one reason or another. As a result, the <br />3oard adopted a supplemental compliance plan which set forth new <br />dates for submission of materials (see enclosed copy). In order to <br />enter into the supplemental pla~i, you must, by September 1, 1977, <br />write a letter formally requesting to do so. <br />i1'ith rel;ard to the material you Dave submitted thus Par, I would <br />point out that' you will be required [o submit quite a few additional <br />"Exhibits". In particular, you must develop a comprehensive mining <br />and reclamatiou plan wkdch addresses everything outlined in Rule 3 <br />of the Rules and Regulations. In addition, since your permit area <br />will be leas than 10 acres, you aced the Liwited Impact application <br />form as opposed to the Regular form. 1 am enclosing copies of <br />both the Rules and Regulations (final form) and the application <br />form. <br />There will be a i+vorkshop" on how to prepare an application offered <br />by our Board and staff sometime later this monhh. It will probably <br />be bold sometime during the day in Ctaig. I will let you know the <br />details as soon as possible. <br />In au:mnary, all you need to do for now is send a letter formally <br />requesting to enter into the supplemental compliance plan. Although <br />