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• • III IIIIIIIIIIIIIIII <br />STATE OF COLORP~UU <br />DIVISION OF MINERALS AND GEOLOGY <br />Depanmenl of Natural Resources <br />1 J 13 Sherman St.. Roorp 215 ~ ~ ~ `y` <br />Denyer, Colorado A0203 I <br />r <br />Phone: (3031 866J567 III <br />FAX: 13031832-A106 <br /> DEPARTtv1EIxIT OF <br /> NATURAL• <br /> RESOURCES <br /> Roy Romer <br /> Governor <br />DATE: September 30, 1998 lames S lachhead <br /> Executive Director <br />TO: Berhan Keffelew Michael B. Long <br /> Division Director <br />FROM: Jim Stevens :(lI <br />RE: Review of ground water hydrology of CC&V Amendment 7 <br />As a result of my review, I have identified the following adequacy concerns: <br />MAP: Rule 6.4.7 (2) requires a map with well locations and those of other water bearing <br />structures that may be affected by the proposed mining operation. Rule 6.4.20 (8) (a) <br />requires a map with similaz information but extends the area covered to two (2) miles of <br />the existing or proposed affected lands for Designated Mining Operations. Rule 3.1.7 (7) <br />requires a map that accurately locates all proposed ground water sample points and any <br />locations proposed as a point of compliance. There is no map provided with Amendment <br />7 [ha[ meets the requirements of these applicable rules together with the basic <br />requirements of Rule 6.2.1 (2). The monitoring well map comes closest but does not have <br />a scale or land survey grid (for accurate well locations) nor does it have [he outline of the <br />area corresponding to the application. It does not show the locations of the various wells <br />in the Bateman Creek drainage, many of which yield water of useful quality and are near <br />enough [o [he ADR at the head of the drainage to be adversely affected. It does no[ show <br />any of the monitoring wells in the northern part of the DMO, eg. in Sections 17 and 18, <br />which are registered with the SEQ and may yield water of useful quality. It does not even <br />show all wells proposed in the application narrative to be monitored, ie. WCMW-2 and <br />WCMW-9. It also does not show the locations of the various tunnels/adits that underlie <br />the mine which carry and, in some cases, discharge water admitted by the operator to . •• ~~• <br />possibly be adversely impacted by the operation.. <br />A[ least one map meeting the requirements of these various applicable rules should be <br />provided. <br />2. HYDROGEOLOGY: Rule 6.4.20 (8) (e) requires the hydrogeology of the area where <br />the ground water may be impacted by the DMO to be described and illustrated. The <br />hydrogeology for the area of the DMO drained by the Carlton Tunnel has been described <br />