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ENFORCE20172
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ENFORCE20172
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Entry Properties
Last modified
8/24/2016 7:24:26 PM
Creation date
11/21/2007 9:44:05 AM
Metadata
Fields
Template:
DRMS Permit Index
Permit No
C1981012
IBM Index Class Name
Enforcement
Doc Date
6/6/1991
Doc Name
RESPONSE TO TEN-DAY LETTER TDL 91-002-370-003 TV4 NEW ELK MINE C-81-012
From
OSM
To
MLRD
Violation No.
TD1991020370003TV4
Media Type
D
Archive
No
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III IIIIIIIIIIIIIIII <br />999 <br />TA1~ ~~ <br />United States Department of the Interior ~~ <br />OFFICE OF SURFACE MINING <br />RECLAMATION AND ENFORCEMENT `r. ~~ ~ <br />SUITE 310 <br />625 SILVER AVENUE, S.W. ~n Reply Rrfer To: <br />ALBUQUERQUE, NEW MEXICO 87102 <br />May 31, 1991 <br />~~C~ 1 ~~~ <br />CERTIFIED MAIL - RETURN RECEIPT REQUESTED 1 <br />P 965 799 189 <br />JUN 6 1991 <br />Mr. Steven G. Renner, Coal Program Supervisor ~!~ep'iaOd <br />Department ofcNaturalnResources ~GC!amati0n DiViSj011 <br />215 Centennial Building <br />1313 Sherman Street <br />Denver, CO 80203 <br />Re: Response to Ten-Day Letter (TDL) 91-02-370-003 TV4, New Elk Mine, <br />C-81-012 <br />Dear Mr. Renner: <br />The Albuquerque Field Office (AFO) has received the Mined Land <br />Reclamation Division's (NERD) four additional responses to the above <br />listed TDL. Your May 3, 14, and 16, 1991, responses address violation 3 <br />of 4, and your May 6, 1991, response addresses violation 4 of 4. Listed <br />below is the status of the TDL to date. AFO's review of the responses <br />and the decision rendered are final at this time. <br />1 of 4 - MLRD response was found appropriate as of May 1, 1991. No <br />further action is necessary. <br />2 of 4 - MLRD response was found appropriate as of April 22, 1991. <br />No further action is necessary. <br />3 of 4 - AFO has reviewed all MLRD responses, both written and <br />oral, and has found them to be inappropriate. The responses <br />indicate two positions: (1) That the structures cited are not <br />sedimentation ponds; and (2) that approval of these structures and <br />their respective watersheds as small area exemptions (SAE's) will <br />suffice to correct the violation. AFO disagrees with both of the <br />positions offered for the following reasons: <br />AFO understands MLRD to say that the catchment areas and sumps are <br />not sedimentation ponds because the structures are non-discharging, <br />
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