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E~~ INEC/1 <br />S Coel Company <br />Seneca Coal Company <br />Apti13Q 2002 <br />Mr. Mike Boulay <br />Division oEMinerals and Geology <br />1313 Sherman Street, Room 215 <br />Denver, CO 80203-2273 <br />(303) 866-3567 <br />RE: Seneca II-W Mine Permit C-82-057 <br />PR-03 -Adequacy Review Responses <br />Dear Mr. Boulay, <br />RECEIVED <br />MA`f ©s; 7002 <br />piuision of Minerals and Geology <br />Enclosed you will fmd three (3) copies of revised and/or additional information addressing the <br />adequacy review comments in your April 2, 2002 letter. Please note, in Tab 19 that SCC has revised <br />and clarified the request for variance to Rule 4.14.1(1)(c) regazding the timing of backHlling and rough <br />grading in select areas of II-W training area <br />Responses to each of the adequacy comments are provided below and are numbered accordingly. <br />2.03 Minimum Requirements for Legal, Financial, Compliance and Related Information <br />1. Please update the permit pager for Offzcers and Directors (August 3, 2001) for Seneca Coal Company, Peabody <br />Coal Company, and Interior Hald:bgr Corporation to thaw the most recent updates to offzcers and directors. <br />Response: Updated Officers and Directors information for Seneca Coal Company, Peabody Coal <br />Company, and Interior Holdings Corporation is attached. <br />2. In AVS for Peabody Energy Corp., there are two identities that have a similar name: David A. Beerbawer, Vice <br />President, Entity ID# 130140 and David A. Beerbower, Vice President, Entity ID# 152024. In the permit <br />pages for Peabody Energy Carp. (dated 8/3/01) there is only a David A. Beerbawer, Vice President, Entity <br />ID# 130140. Pleare have AVS update Peabody Energy Corp. to take out the second David A. Beerbower, <br />Vice President if he is not an offrcer. Otherwise please update the permit pages for Peabody Energy Corp. to show <br />David A. Beerbower, Vice President, as being an officer. <br />Response: It is SCC's understanding that the AVS has been updated. <br />3. Pleare update Appendix 3-6, Attachment 3-5, Compliance Information (revised 8/01) to chow the new Notices <br />of Violation for Yoast and Seneca II-W. <br />Response: Appendix 3-6, Compliance Information, has been updated. <br />2.04.6 Geology Description <br />4. Revised Site-Specific Geology Map (Exhibit 6-1Bf should contain the location of known unconsolidated su~cial <br />landslide deposits. The carresponding text in Tab 6 Geology and Overburden Assessment or in Tab 12 Coal <br />Resource Recovery Plan should afro contain a discussion of potentially unstable and active landslide areas. A slide <br />bas occurred in the part at Topsoil Stockpile N, which has raised stability concernr..The Division it particularly <br />concerned about the locations of certain facrlitier such as topsoil stockpiler, proposed haul roads and pond <br />embankments with respect to their proximity to surjiazal landsk'de deposited and potentially unstable areas. <br />Seneca Coal Company • P.O. Box 670 . Hayden, Colorado 81639 <br />Telephone (970) 276-3707 • FAX (970) 276-3014 <br />