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~. <br />,~ Janet Binns, 9/15/95, Page 2 <br />2. Energy Fuels identified the damage to the silt fence during a regulaz company inspection <br />on 8129/95. Corrective action included: <br />Call placed to Energy Fuel's Florence office, by mobile phone, to order silt fence <br />materials; <br />Energy Fuels Southfield crew scheduled to be at Raton Creek on 9/6/95. <br />3. The silt fence was repaired to design specifications on 9/6/95. <br />Summary: Energy Fuels identified the damage to the silt fence on 8/29/95, and took appropriate and <br />timely action to correct the conditions. <br />C. Abatement Step 3 - "Identify in permit a person to act as inspection contact, be responsible for <br />regular inspections of the mine site, and he responsible for remediation of non-compliance situations' <br />1. The Division has contacted Al Weaver, in practice and in accordance with the company, as <br />the inspection contact since Jue DeAngelis left the company. Accordingly, Energy Fuels is <br />revising Page vii of the Permit Renewal Application Form to show Al Weaver as the <br />inspection contact. Three espies of the revised page accompany this letter. <br />2. Energy Fuels interprets this abatement step to mean that we aze not in compliance with the <br />Regulations. Since no regulations address the conditions of this abatement step, Energy Fuels <br />requests that abatement step 3 be removed from the NOV and a Modification Notice issued to <br />reflect the change. <br />3. Energy Fuels will continue to make regulaz inspections of the Mine and Loadout Sites. We <br />have several individuals involved in these inspections from the Southfield operation who shaze <br />the responsibility for identifying and documenting conditions of the sites. <br />Please contact me if you have any questions or requve additional information. <br />Sincerely, <br />Energy Fuelg Company <br />Allen S. Weaver <br />Mine Engineer <br />enc. <br />cc: Randy Acre (EFMC) <br />Dan Hernandez (DMG) <br />