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ENFORCE25133
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ENFORCE25133
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Last modified
8/24/2016 7:33:37 PM
Creation date
11/21/2007 10:55:23 AM
Metadata
Fields
Template:
DRMS Permit Index
Permit No
M1988112
IBM Index Class Name
Enforcement
Doc Date
4/5/1992
Doc Name
TECHNICAL REPORT AND PROPOSAL CYANIDE DETOXIFICATION AT SAN LUIS RESPONSE TO 03-31-92 NOPV PRELIMINA
From
MLRD
To
LARRY D OEHLER
Media Type
D
Archive
No
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<br />Memo - BMG Tailings Detoxification <br />BEI Study and Proposal <br />page 2 <br />The cyanide concentrations within the tailings must attain toi(al cyanide <br />levels of less 4.4 ppm or less, and the weak acid dissociable levels of <br />less than 3.B ppm. The violation is not abated until these <br />concentrations are attained. <br />(2) The "Cytox" treatment process is relatively unproven. BEI sh uld provide <br />the Division with a detailed list of references for previous pplications <br />of the "Cytox" chemicals, including professional contacts. F rther, BMG <br />should retain the BEI, as the design engineer, to supervize t e project, <br />monitor the performance, and prepare a final report evaluatin the <br />success of the application. <br />(3) BEI and BMG have indicated that the project should require approximately <br />two weeks to complete. BMG must provide a detailed schedule f r <br />implementation of the technical revision. The schedule should indicate <br />start date, any important interim events, and a completion dat, BMG <br />should update the Division daily as to progress of the project. <br />(4) .BMG must conduct thorough monitoring of the process to verify he <br />progress and final result of the project. At a minimum, BMG s ould <br />monitor total, free and W.A.D. cyanide levels at the processin plant <br />slurry outfall and at approved selected locations within the t flings <br />area, on a daily frequency. In addition, on a weekly frequent ,BMG <br />should sample and determine the detailed metallic constituency of the <br />W.A.D. cyanide at the same locations. This monitoring should ontinue <br />until the tailings have reached the compliance levels specifie~ in <br />item (1) above. <br />(5) BMG is responsible for the solution of any environmental consequences of <br />their remedial action. <br />In additylon, BMG must expeditiously complete a comprehensive reevaluation of <br />the chemical constituency of their modified tailings, including an $valuation <br />of the potential environmental impact of those tailings. I suspect that the <br />processing complications caused by the ore chemistry is resulting i an <br />unanticipated elevated level of a selection of metallic elements wi~hin the <br />tailings. The reclamation implications of this occurrence can be <br />significant. Finally, if the Division determines it to be appropri te, we <br />should require BMG to amend their existing reclamation plan and perr~it for the <br />tailings disposal area. <br />I have prepared a broader set of abatement requirements for imposition upon <br />the NOPV issued March 31, 1992, which I have attached for your consideration. <br />attachment: <br />cc: Bruce Humphries <br />Mike Long <br />Jim Stevens <br />JP/jp <br />Doc. Plo: 2382E <br />
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