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(B) Will the Applicant comply with applicable Colorado water laws and regulations <br />governing injury to existing water rights for neighboring water wells? <br />(Construction Materials Rule 3.1.6(1)(a)) <br />(C) Has the Applicant provided a statement identifying which permits, licenses and <br />approvals they will be seeking in order to conduct the proposed mining operation? <br />(Construction Materials Rule 6.4.13) <br />9. With respect to the prevailing hydrologic balance issue identified in the prehearing order <br />and set forth in paragraph S(A) above, Construction Materials Rule 3.1.6 provides that <br />"disturbances to the prevailing hydrologic balance of the affected land and of the <br />surrounding azea and to the quantity and quality of water in surface and groundwater <br />systems both during and after the mining operation and during reclamation shall be <br />minimized...." <br />10. The Applicant identified wells within 600 feet of its property and has provided evidence <br />of an approved well plan and temporary substitute supply plan as required by the Office <br />of the State Engineer for current and proposed mining at the Durham Pit. This assures <br />neazby groundwater users that the Applicant will minimize impacts to groundwater <br />sources during and after the mining operation. The Applicant has also provided a <br />detailed hydrogeologic evaluation that assesses the extent and magnitude ofiinpacts to <br />groundwater in the affected land and surrounding area for current and future de-watering <br />activities. The impacts assessment indicates a minimal impact to the nearest groundwater <br />users immediately south of the Durham Pik and no impact to users north of the Cache la <br />Poudre River. The Applicant has an approved National Pollution Discharge Elimination <br />System Surface Wafer Discharge Permit from the Colorado Department of Public Health <br />