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• Further, because no measurable eater has accumulated in <br />Sediment Pond ~2 for long periods of time and has never <br />discharged, all other ponds have been removed from the plan <br />and the NPDES permits were deactivated. CEC ie confident <br />that there will never be a discharge from the sigfit. <br />For these reasons, CEC is reluctantly applying for a minor revision <br />to return to quarterly inspections of all impoundments (sediment <br />pond ~2, Dugout pond, Sewage Treatment pond), for no other reason <br />than to comply with Rule 4.05.6(13>. The operator understands that <br />the fore mentioned rule requires permittee to have a P.E., or other <br />qualified individual, inspect all impoundments quarterly, to have <br />copies of the inspection reports on file at the mine office and to <br />submit copies of the inspection reports to the Division on either a <br />quarterly or annual basis. <br />This letter will replace the present letter in the Heenesburg Mine <br />Permit (C-e1-028), Found in section 2.05.3, Operation Plan. From <br />Mr. Thomas A. Schreiner, Dated April 14, 1987, Keenesburg Mine - <br />Ouarterly Sedimentation Pond Inspection -Rule 4. 05.6(11)(C). <br />If there are question or you disagree, please call <br />Respectfully, <br />• <br />Jac pple <br />Oper tion Manager <br />