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REV05044
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REV05044
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Entry Properties
Last modified
8/25/2016 1:03:23 AM
Creation date
11/21/2007 9:22:30 AM
Metadata
Fields
Template:
DRMS Permit Index
Permit No
M1981057
IBM Index Class Name
Revision
Doc Date
5/21/1999
Doc Name
MEMO ARKINS PARK STONE CORP NEIL AND ARLIS SPRAGUE MINE PERMIT APPLICATION SPECIAL REVIEW SU99-04
From
JERALD M POWELL
To
CITY OF LYONS
Type & Sequence
CN1
Media Type
D
Archive
No
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<br /> <br />Mcry 17, 1999 <br />information the Colorado Division of Mining and Geology would be erroneous in <br />the issuance of the 112 Mining Permit. <br />Reclamation Plan -The reclamation plan set forth by Arkins is wholly inadequate. <br />There is no discussion of how plants are expected to become established (since it <br />appears that top soil would not be stockpiled) on bare stones. No mention is <br />made of what techniques would be employed to achieve successful reclamation or <br />what actions would betaken if reclamation activities proved to be unsuccessful. <br />Rock Dyrranrics - No where within the perntit application is there any discussion <br />on the effects that an operation this size may have on the underlying formations <br />and associate aquifers. Citizens of Lyons have the right-to-know whether this <br />type of mining operation would decrease either the quality or quantity of well <br />waters which so many depend on. <br />• Bonding -There is no discussion on what agencies would require bonding. The <br />Town of Lyons and Boulder County must not allow an operation such as this to <br />go forth without ensuring that a monetary vehicle is in place to pay for natural <br />resources and city/county property damaged. The citizens of Lyons and Boulder <br />County must not be placed in a position where they must carry the brunt of the <br />financial burdens caused by a private entity. <br />Jurisdictional Waters of the U. S. -The permit application does not address <br />whether an increase in the size of the mining operation would impact <br />Jurisdictional Waters of the U. S, as determined by the U. S. Army Corp of <br />Engineers. 7'he financial repercussions to the Corporation of this issue potentially <br />could be enormous. <br />Control of Run-off Waters -The Lyons area is subject to sudden and intense <br />storm events often producing enormous amounts of moisture in localized areas. <br />There is no discussion on how storm waters would be managed so that homes <br />and businesses would not be inundated with floods or mud slides. The potential <br />exists for a large area to exist adjacent to homes that does not have the ability to <br />absorb moisnrre since soils have been removed. Without soil and with a large <br />amount of exposed stone it is likely that flooding would result more regularly and <br />intensely thazi it currently does when storm events occur. This information must <br />be included as a Stormwater Pollution Prevention Plan (40 CFR Part 122) and <br />available for public review. <br />• Hazardous Materials -The citizens of Lyons have the right-to-know if substances <br />either identified as hazardous material by their nature or volume, as determined <br />by RCRA (4(1 CFR Part 265), would be used at the site. If hazardous materials <br />would be used in the mining operations a Spill Contingency and Response Plan <br />2 <br />
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