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<br />and propose appropriate amendments to remedy the problem. If the <br />approach suggested by the Division is followed, the sentence referencing the <br />permit document under Cover and Production, could be amended to state, <br />"The rationale for the factor of 2x...is explained in Appendix 13-14". <br />8. The SHRUB EVALUATION SECTION of the appendix contains a description <br />of the approach to be employed to establish revised woody plant density standards <br />applicable to BRB-1, BRB-2, and BRB-3, as well as woody plant density <br />sampling, evaluation, and testing methods to be applied to these bond release <br />blocks. The conceptual approaches are in line with previous discussions between <br />DMG and SCC staff. However, before this technical revision application can be <br />approved, the section needs to be "fleshed out" by inclusion of the necessary <br />"high densit}~' (minimum 1000 stem per acre) shrub patch mapping, and specified <br />minimum areal percent of BRB-3 to be comprised of high density patches. In <br />addition, woody plant density standards applicable to BRB-4 and BRB-5 blocks <br />will also need to be addressed. <br />Please address these concerns and provide new or amended text and <br />mapping as appropriate. <br />