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02104%1992 16 18 F+CZ INC. ~~** 303 879 9048 P.02 <br />III IIIIIIIIIIIII III <br />999 <br />ENERGY FUELS COAL, INC. <br />SOUTHFIELD MINE <br />MINOR REVISION D1R-IS <br />TECHNICAL AllLQUACY RESPONSES <br />TO <br />1/24/92 CMLRA COMMENTS <br />11 Please revise 2.03-ISR to Indicate the date each nJf!cer and director assumed theft tide per Rule <br />2.03.4(3)(c). While !t appears there was a rc-organiurion art May 20, 1997, nc~ regulations <br />require injomtgtlrin an the date each htdlvidua! acquired their title. 13re helicve Mr. Adapts <br />became president prior to May 2U 1991. <br />ottse• Infnrmalion on officers and dlreClOrs of those entities having ownership and/or <br />control over the applicant has been updated to rellecl the date(s) those indisidualx assumed <br />their position of responsibility. As appropriate, revised permit text pages acwmpany these <br />responses fur replacement in the £FCI Permit document. <br />2) Provide the ownership and contml relationship of the Corley Company, CYty of Flon!nce, and <br />Atchi.c0rt, Topeka and Sotto Fr. Railway COrrtparty per Rute 2.03.4(3)(6). In addition, please <br />i,dicate in your rerpnn.re why Slanovich, f/enrq, A1cFall, Adamic, Cnbb and Jackson are not <br />listed in [Iris Section. <br />Re.~,nnyq; EFCI previously interpreted applicable regulations as requiring wrpncate <br />information fnr any surface or mineral owner which is a corporation, partnership, <br />pmprietnrship, association nr buxincss entity other than an individual, Corporate information <br />for the Corley Company, City of Florence and Atchison, Topeka and Santa Fe Railway <br />Company was, Ihcrefore, included in the EFCI Permit Application document. Consistent with <br />this inlcrpreta[ion, additional information for the listed individuals wtts not included in this <br />section. <br />Review of recently revised regidatory previsions and discussions wish Division Staff, however, <br />indicate that wrporate information ix only rcquircd for those individuals or businexs entities <br />hatvtg an ownership and/or control relationship Io the applicant as specifically defined by <br />Rule ],04(g3a). Surface or mineral ownership do not constitute ownership/control unless the <br />surface or mineral owner has the right to receive the cord being mined or has the authority <br />to dc[crntinc how mining is to lrc c0nductccl (].~4(83a)(b)(iv)), With this clarification of <br />applicable regulatory requirements, corporate information is required only for EFCI, <br />Southfield Mining Company and Southfield Associates. Appropriate permit tczt pages <br />rcllecting necessary additions/de.letiotts accompany these responses for replacement in the <br />EFCI Permit Application document. <br />3) Provide the information rcquircd by 2.(13.4(3)(r1) far the owners and rontrollers listed wtderRtlle <br />2.03.4(,1). Specifically, the rvntrld ezprct that Dr. Corley's relatinrt.cltip to Newlin Creek would <br />be acknowledged, as well as arty odrer relariortsltips wlttch .clt0uld exist. <br />Response: Please see response to previous comment. <br />J) 77tr infanrtation presenter! nn pages 2.03-19R - 2.03-13R du not snatch with Maps 1 and 2. <br />.Specifically respond to the following questions: <br />ACZ InC. • P,O. Box 774078 'Steamboat Spdnpa, Colorado 80477 • (303)879-6260 <br />