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REV90430
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REV90430
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Entry Properties
Last modified
8/25/2016 3:12:09 AM
Creation date
11/21/2007 11:02:55 PM
Metadata
Fields
Template:
DRMS Permit Index
Permit No
C1983059
IBM Index Class Name
Revision
Doc Date
6/23/2003
Doc Name
Review/Comment Letter
From
DMG
To
Oxbow Mining LLC
Type & Sequence
RN4
Media Type
D
Archive
No
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for the demolition debris. All of the demolition costs are now based on on-site disposal. Tasks <br />15a and 15 b were revised. Please update the appropriate map and permit text to describe the <br />location of this demolition disposal area. <br />e. Because the truck dump and scale house structures are at the base of the cut slope, these <br />structures can be buried on site. The costs associated with the concrete removal were taken out <br />of the bond liability estimate since they can be buried where they are. However, the <br />superstructures will need to be demolished/pushed up against the slope or into the fill so that <br />cost was retained. Tasks 15a and 15b were revised. <br />f. The distance in [ask 018 has been changed to reflect that Somerset is about 80 miles from <br />Grand Junction. <br />g. The cost associated with task 19 is for mobilizing the dozer ten times (once each yeaz), not a <br />single mobilization. Task 19 was not changed. <br />h. One addition was made to the final line of task I Sb for the cost of petroleum contaminated soil <br />(pcs) clean up and removal from [he area of the fuel storage tanks. This will be added to every <br />cost estimate at either midterm, renewal or permit revision time. <br />Attached are replacement pages for the original Permit Renewal No. 4 reclamation cos[ estimate <br />for the Terror Creek Loadout. There are six tasks that need to be replaced, the summary sheet and <br />tasks 002, 010, 15a, 15b and 018. The new liability is $272,878.00. Please review [his revised <br />reclamation liability estimate and inform the Division as to whether or not it is acceptable to TCC. <br />8. Please revise permit application page 2.05-7R to state that any facilities debris, except concrete, <br />or any mine equipment that is not sold will be disposed ojin a certifred landfill. <br />Because the mine material will be disposed of onsite, this question is no longer applicable. <br />Section 2.07.6, Criteria for Review of Permit Applications for Permit Approval or Denial <br />As required in Section 2.07.6(1)(b), the Division will be conducting a computer check ojthe <br />Applicant Violator System (AVS) and will inform the operator ojthe results. The Division will <br />conduct additional AVS checks before the permit renewal is final. <br />The Division conducted an AVS check and found no violations recorded in the system. However, <br />there was one discrepancy between the ownership information listed in AVS and that listed on <br />revised page 2.03-6Ra of the submittal dated May 8, 2003. In AVS, the following officers and <br />directors are listed for Bear Coa] Company, a minority partner of the Terror Creek Coal Company: <br />James P. Bear Shareholder <br />Daniel E. Bear President, Director <br />William A. Bear, Sr. Shareholder, Director <br />This information is also in Bear Coal Company's permit application as of 11/2002. However, on <br />revised page 2.03-6Ra, the only officer listed for Bear Coal Company is Daniel E. Beaz as <br />President. The ownership and control information listed in the permit application must reflect that <br />listed in AVS. Please either update revised page 2.03-6Ra to show the officers and directors of the <br />
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