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LAFARGE <br />NOR7H AMERICA <br />Construction Materials <br />expected groundwater impacts. The Groundwater and Surface Water Evaluation Before During <br />and After Riverbend Mining Operations has identified two wells that may potentially be <br />impacted by our mining operations, well number 2216 owned by John Norris and well number <br />13697 owned by Tom Holton. A waiver will be obtained by these well owners prior to mining <br />within 600-feet oftheir wells; the well owners will negotiate preferred mitigation measures. The <br />concerns and rights of well owners in the area will be addressed in more detail by the Office of <br />the State Engineer through the gavel well permit application process. <br />12. The applicant needs to describe how the drawdown of the pits and any <br />shadowing/mounding effects will impact the structural integrity of the surrounding wells, <br />surface water drainages, activities which rely on groundwater in the vicinity of the site, <br />and vegetation on or near the site (including the cottonwood trees in the riparian area <br />near the South Platte River and the wetlands located adjacent to the pits). The applicant <br />must also describe any mitigation measures to be implemented at:d trigger points that <br />would put mitigation measures into effect. <br />Please see enclosed "Groundwater and Surface Water Evaluation Before During and After <br />Riverbend Mining Operations" which describes the anticipated impacts from the drawdown of <br />the pits. The cottonwood trees in the riparian area near the South Platte River will be preserved; <br />dewatering water will be discharged through pipes that are perforated in the portions adjacent to <br />cottonwood groves located within 200 feet of the river comdor. Impacts to the wetlands, both <br />jurisdictional and non-jurisdictional, will be addressed in the Corps 4041ndividual Permit <br />currently under draft. <br />13. The Division has concerns that there may be effects on the amount of water conveyed in <br />the Fort Lupton Bottom Ditch, the Brighton Ditch, and Big Dry Creek due to dewatering <br />of the pit. The applicant must project the amount ojwater that will be lost from these <br />structures if these structures leak and ground water Ieve1 around the structures is <br />lowered as a result of mining activities. The applicant needs to indicate whether this <br />issue has been investigated and the results of that investigation. <br />Please see enclosed "Groundwater and Surface Water Evaluation Before During and After <br />Riverbend Mining Operations" which details anticipated impacts resulting from dewatering <br />activities. Please refer to Response #4, which explains how dewatering activities will not occur <br />adjacent to the ditches prior to agreement execution. <br />14. Due to the potential for permanent impacts to ground water, the applicant may need to <br />take permanent mitigation measure such as installing French drains. The applicant <br />should consider this eventually and respond to this concern. <br />Please refer to attached response prepared by Applegate Group, Inc, <br />LAFARGE NORTH AMERICA INC. -Lafarge Aggregates, Concrete 8 Asphalt <br />10170 Church Ranch Way, Suite 200 Westminster, Colorado 80021 <br />Telephone: (303) 657-0000 Facsimile: (303) 657-4037 <br />