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f <br />Y <br />• <br />Ms. Carol Pahlke <br />Mined Land Reclamation <br />April 30, 1979 <br />4 <br />(2) According to what authority? The SCS makes general statement about any <br />given soil type but is almost never sight specific. ~ <br />~„ko s°~~ <br />(3) With 35% (sparse) ground cover and a material content of alcareous gravelly <br />and cobbly loamy alluvium, we doubt that it can be considere as highly <br />rich soil. The SCS also notes a carrying capacity of one animal unit per <br />4 or 5 acres. <br />(4) Not unless Board demands. <br />Exhibit J <br />(1) Please contact the authority for this information, the USDA Soil Conser- <br />vation Service. <br />(2) On demand of Board only - not required procedure by statute or Rules and <br />Regulations. <br />Exhibit L <br />(1) This is an accepted method under certain bonding conditions. The methods <br />and items shown have been acceptable to the staff and board in approximately <br />20 previous applications. Please advise if new rules are in effect. <br />(2) See 1 above. <br />(3) See 1 above. <br />(4) See 1 above. <br />(5) See 1 above. <br />Exhibit N <br />(1) No "Fugitive Dust Emission Permit" has been required at this mine since <br />it began in 1968. It is not expected that the D.O.N. will require a <br />permit since the operation appears to be exempt under D.O.H. Regulation III, <br />Section III, D. (6). <br />Sincerely, <br />LEO:cm <br />• <br />ENVIRONMENT, INC. <br />~, <br />r <br />Larry E. O'Brian <br />