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___-- <br />r... <br />Mr. David R. Gossett <br />-2- <br />February 25, 1986 <br />The section "Proposed Monitoring Changes" lists three proposed changes to the <br />Phase 1 monitoring schedule. Kerr Coal Company should note that Rule 1.04 of <br />the Regulations states that a reduction in monitoring is considered a <br />technical revision to a permit. Therefore, Kerr should submit the proposed <br />monitoring changes in a technical revision request format. No changes in <br />monitoring may occur without Division approval. <br />Finally, Kerr Coal Company should be aware that the maintenance of all <br />hydrologic monitoring facilities, and that the monitoring of these facilities <br />within the approved timeframes is a condition <br />any reason, data from a particular site cannot <br />should be notified as soon as possible. <br />If you have any questions, please contact me. <br />Sincerely, <br />Steven Renner <br />Hydrologist <br />SR/ph <br />of the approved permit. If, for <br />be collected, the Division <br />7872E <br />