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to water quality in the Swan River and potential impacts to the <br />ground water system? (Construction Materials Rules 3.1.6 and <br />6.4.7.) <br />(C) Has the Applicant provided a description of the game and non- <br />game resources in the vicinity of the application area and described <br />the general effect during and after the proposed operation on these <br />species? (Construction Materials Rule 6.4.8(1).) <br />A. Identification of All Necessary Permits and Approvals <br />Construction Materials Rule 6.4.13 requires an applicant to state which of <br />several listed permits aze required in order to conduct the proposed mining <br />and reclamation operations. <br />The Applicant intends to seek an approval from the Army Corps of <br />Engineers if it constructs a second crossing of the Swan River. The <br />Division has determined that there are no wetlands or other waters of the <br />United States within the 42- acre area to be mined that would require a <br />dredge or fill permit from the Army Corps of Engineers. The Applicant <br />was notified in a June 1, 2004 inspection report that it must prevent <br />accidental discharges of dredged material into waters of the United States <br />by employing careful mining methods during dredge pile removal. The <br />Applicant has agreed to cooperate with the Air Pollution Control Division <br />in obtaining any necessary air quality permits or other regulatory <br />requirements, and to report any such permits or requirements to the <br />Division. Summit County notified the Division that the Applicant would <br />