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:;- <br /> <br /> <br /> <br />Section IV - Decision to Require Revisions (continued) <br />1. The most recently updated permit application form submitted October 25, 1987 <br />lists Mr. Fidel Lobato, Sr. as permitting contact, and Mr. Ronald Housekeeper <br />as inspection contact and resident agent. Mr. Housekeeper is nn longer <br />associated with Blue Flame and the extent to which Fidel Lobato is still <br />involved with the operation is not clear. Since February, 1988, the Division <br />has been advised that all official correspondence concerning the Blue Flame <br />Mine should be directed to Mr. Robert Lobato or Mr. Kevin Martinez, both of <br />Tulsa, Oklahoma. Mr. Lobato and Mr. Martinez are affiliated with a company <br />known as L & L Energy, in Tulsa. <br />The Division has not been advised if a sale or transfer of the mine has <br />occurred or is anticipated. If so, an application for succession of operator <br />will need to be made, and all information required by Rule 2.08.6 will need to <br />be submitted. <br />Whether or not a permit transfer is anticipated, Section 2.03.4 of the permit <br />application, Identification of Interests, will need to be updated and the <br />permit application orm wi nee to a revised to specify the current <br />permitting and inspection contacts, and the resident agent. Please note that, <br />pursuant to Rule 5.03.4(3)(b) and (c), the designated agent "shall be either a <br />corporation whose ordinary business is serving as an agent for receipt of <br />service or an individual who has a permanent address in Colorado other than a <br />post office box" and "shall be available in the county in which the mine site <br />is located or in the city and county of Denver, Colorado ." <br />A Permit Application Form is enclosed as Enclosure No. 1, and a Succession of <br />Operator Form is enclosed as Enclosure No. 2. <br />2. Section 2.03.5 of the apolication will need to be updated to include a listinn <br />of violation notices received and related information as required by <br />Rule 2.03.5(3)(a)-(f). <br />3. The Permit Term Information in Section 2.03.8 of the apolication should be <br />updated to reflect the current status of the mine. <br />4. Section 2.03.10 of the apolication should be revised to indicate the <br />identification number of the NPDES permit and the date of issuance of that <br />permit. <br />5. The statement in Section 2.05.3 of the apolication which indicates that <br />underground development wastes and unsalable coal fines would be disposed of <br />inside the mine will need to be deleted. A statement which commits the <br />operator to obtaining approval fora permitted disposal site from the Division <br />prior to resumption of active status will need to be provided for insertion <br />into the appropriate section of the permit application. <br />-4- <br />