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_REVISION - M1999034 (2)
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_REVISION - M1999034 (2)
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Entry Properties
Last modified
6/18/2021 11:10:35 AM
Creation date
11/21/2007 4:39:07 PM
Metadata
Fields
Template:
DRMS Permit Index
Permit No
M1999034
IBM Index Class Name
Revision
Doc Name
Karen Topper Letter
From
DMG
To
ADCO Consulting Inc
Type & Sequence
AM1
Media Type
D
Archive
No
Tags
DRMS Re-OCR
Description:
Signifies Re-OCR Process Performed
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R~aµ~~ !~ <br />- ~°`~ s ~,,,,, <br />May 26, 2003 <br />Division of Minerals and Geolog}~ <br />1313 Sherman Street, Room 215 <br />Denver, CO 80203 <br />Attn. Larry D. Oehler <br />Aggregate [ndueuies - V7CR, Imo. <br />Amendment Nal - Jemaimus Pmpetty <br />Permit # M-99-034 <br />Karen Topper ~/ <br />8120 E. 104th Avenue <br />Henderson, CO 80640 <br />(303) 838-5636 <br />RECEIVED/ <br />MAY 2 7 Zpp3 <br />®irisien of Minerals and Geology <br />RE: Aggregate Industries - WRC, Inc. ,/~ <br />Cooley Reservoir and Fulton Wildlife Area Amendment No. 1- Jeronimus Property <br />Amendment to Permit No. M-99-034 / <br />Dear Mr. Oehler: <br />This correspondence is in reference to Aggregate Industries -WRC, Ina (AI) regular (112) <br />operation reclamation permit application amendment to existing permit M-99-034. I had <br />previously registered my objections to the applicant's amendment application in a letter to your <br />office dated Apri13, 2003. One of my concerns was the issue of ground water quality. I have <br />recently contacted a representative with the Water Quality Control Division of the Colorado <br />Department of Heahh and Environment to inquae as to the status of the applicant's wastewater <br />discharge permit. I was surprised to learn that the Water Quality Control Division issued a <br />"generaP' wastewater discharge permit to Aggregate Industries with an effective date of October <br />1, 2002. "Creneral" permits for process water and stormwater are not site specific. This type of <br />permit does not address the reintroduction of existing adsorbed contaminants into the ground <br />water environment. Unlike asite-specific discharge permit, requests for "general" permits do <br />not have public ~tification or comment period. As such, the public was not afforded as <br />opportunity to bring their concerns forward and the Division did not review the site-specific <br />water quality ramifications of this proposed mining operation! <br />Having specifically been told by the applicant's representative that the permit application <br />documents I received were current, I am very disturbed why the applicant included an August <br />10, I999 discharge permit certification letter in Appendix D of the application rather than the <br />new certification that was readily available. The current CDPS Industrial General Permit No. <br />COG-500000 has no requirements for ground water quality monitoring and has not been <br />reviewed for antidegradation. I bring this issue to your attention as another inconsistency in the <br />pela,it application documents, and request that the Division of Minerals and Geology assure that <br />the appropriate documents are submitted and that they meet the Division's Hiles and regulations. <br />
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