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Response: <br />The reviewers should refer to the applicable regulations if they are confused. The <br />permit reads correctly. <br />Comment: <br />22. Section VI.B.4.d, page 15, second paraeraoh and Table VI-3 <br />See Comment 5 concerning the use of Station RS-5 to establish baseline load. <br />Table VI-3 only presents data for a dischazge of 250 gpm from Dischazge Point <br />001. This analysis should be repeated for all dischazge rates (i.e., 400 gpm and <br />110 gpm). And, per our previous comments, this analysis also assumes no <br />loading from the seepage front. <br />Response: <br />See response to Comment 5. <br />The purpose of showing Table VI-3 was to demonstrate the general method <br />applied in the determination of the appropriate effluent standazd for each <br />constituent. A similaz method was applied for the other dischazges considered. <br />See response to Comment Number 19 <br />Comment: <br />23. Section VI.B.4.e, Dose ] 7, fourth pazaeranh <br />An analysis must be performed to establish that radium and uranium aze the <br />species that contribute to the elevated gross alpha activity observed in the West <br />Pit. <br />Response: <br />See response to Comment 12. <br />Bustle Mountain Resources, Inc. HSl GeoTrans <br />26 .lnry zr, aooo <br />