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Please update, if applicable, Section 2.03.4(3)(e) of the permit application to <br />include any pending surface coal mining operation permit applications. <br />The Division has no further concerns. Terror Creek has stated that there are no <br />updates to this section. <br />4. Please update the ownership and control information in Section 2.03.4(4) of the <br />permit application, if applicable. <br />The Division has no further concerns. Terror Creek has stated that there are no <br />updates to this section. <br />5. Please update the names and addresses in Section 2.03.4(6)(a), (b) and ©of the <br />permit application, if applicable. <br />The Division has no further concems. Terror Creek has stated that there are no <br />updates to this section. <br />6. Please update the names and addresses in Section 2.03.4 (7) of the permit <br />application, and on Map 1, "Surface Ownership", for those owners of surface and <br />subsurface azeas which aze contiguous to the permit area. One change would <br />involve The Denver & Rio Grande Western changing to Union Pacific. Also, what <br />is the ownership situation for Mr. Merl Mitchell as it pertains to Rule 2.03.4(7) ? <br />Tenor Creek submitted revised page 2.03-9R and Map 1. The Division has several <br />remaining concerns. First, please add the name of Robert Barnes to revised Map 1, <br />since that name appears on revised page 2.03-9R. Second, the name Delta Housing <br />Inc. appears on revised page 2.03-9R, but the name V. N. Jenkins appears on <br />revised Map 1. Please reconcile this difference. Third, please modify revised Map <br />I to show the full extent of the permit boundary. Revised Map 1 does not show the <br />permit boundary extending to the south side of the railroad siding, as is shown on <br />the currently approved Map I. <br />Rule 2.03.5. Compliance Information <br />7. Please update the compliance information in Section 2.03.5 of the permit <br />application, if applicable. <br />