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Rule 2.03.8 <br />10. Although not specifically required under Rule 2.08.6(2)(b)(iii), please update the information on <br />revised page 25 in Section 2.03.8(2) of the SO-4 submittal to include recent mine developments. <br />The Division has no further concerns. [n the submittal dated June 15, 2004, Section 2,03.8(2) of <br />Volume ]was revised on pages 26 and 27 with an updated summary of reclamation operations <br />through May of 2002 at the Bowie No. 1 Mine. <br />Rule 2.03.9 <br />1 L The Division has received a copy of the certificate ofliabiliry insurance document that is required <br />under Rule 2.08.6(2)(b)(iii). However, one revision is needed. As required in Rule 2.03.9(3), <br />please delete "endeavor to "and "but failure to do so shall impose no obligation or liability of <br />any kind upon the insurer, its agents or representatives "from the cancellation section of the <br />insurance document and resubmit to the Division. <br />This issue has not been resolved yet. BRL submitted a revised insurance certificate but both the <br />Bowie No. 1 Mine and the Bowie No. 2 Mine were listed on the certificate. Each mine has to have <br />its own insurance certificate. <br />Rule 2.03.10 <br />12. Please revise this section to include a description ofwhich licenses and permits have been <br />transferred to Bowie Resources LLC. <br />In the submittal dated June 15, 2004, BRL revised the list to show which permits and licenses <br />have been transferred to Bowie Resources LLC. Not all of the permits and licenses have been <br />transferred. The Division has two additional questions: <br />a) On revised page 33 of Section 2.03.10 of the June I5, 2004 submittal, the NPDES <br />permit and the Stormwater permit are listed as being expired. Please update this <br />information to show if new permits were applied for or already approved. <br />b) Please add a statement on revised page 29 of Section 2.03.10 verifying that the permits and <br />licenses not cancelled or specifically transferred to Bowie Resources LLC. are still active for <br />the current Bowie No. I operations. <br />Rule 2.07.6 <br />13. As stated in Rules 1.08.6(4)(a) and 2, 07.6(1)(6) for approval of a succession of operator <br />application, the Applicant Violator System (AVS) must be updated with ownership and control <br />information and, then, checked for any violation problems within the corporate organizational <br />structure. The Division performed an AVS check and no violation problems surfaced The <br />recommendation at this time is to issue. The Division does have two questions, however. <br />a) Please send documentation on End Dates for the old Officers & Directors for Bryant <br />4 <br />