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REV93760
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REV93760
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Entry Properties
Last modified
8/25/2016 3:15:05 AM
Creation date
11/21/2007 11:34:46 PM
Metadata
Fields
Template:
DRMS Permit Index
Permit No
C1981010
IBM Index Class Name
Revision
Doc Date
11/8/2000
Doc Name
Midterm Review Findings Document
From
DMG
To
TRAPPER MINING INC
Type & Sequence
MT4
Media Type
D
Archive
No
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3. Listing of subsurface owners appears to need updating. Trapper's mailing list of <br />9/99 for bond release SL-02 showed the following subsurface owners who aze not <br />shown on pages 1-25 and 1-25a of the permit: <br />Raftopoulos Ranches <br />Rhanda Nusbaum <br />Alvin Wilson et al <br />W.F. Simpson <br />Frank M. Shepherd <br />Colowyo Coal Company L.P. <br />Please update pages 1-25 and 1-25a, and Map M-2, to include any of these names <br />who are subsurface owners. <br />Please delete from those pages Forrest E. Norman, Utah International, and W.F. <br />Simpsonll'aylor, if they are no longer subsurface owners (they weren't shown on the <br />SL-02 mailing list). <br />The Division found in an October 2000 check of the Moffat County Tax Assessor's <br />records that Frank M. Shepherd recently transferred coal mineral ownership in <br />SWSW Sec. 33-6N-90W to Big Sky Properties LLC; recorded at book 2000, page <br />3013. <br />4: Water rights shown on map M-31 appear to need updating. Water rights <br />highlighted on the attached two pages of Water Rights Reports indicate M-31 needs <br />updating. Please update M-31 and any related text. <br />5. Wells shown on map M-31 appear to need updating. Water well permits <br />highlighted on the attached three pages of reports from the State Engineer's office <br />indicate M-31 needs updating. Please update M-31 and any related text. <br />6. The one year of shrub density sampling called for in the permit (page 4-119, <br />fourth paragraph, first sentence) conflicts with the two-year sampling <br />requirement of the Rules [Section 4.15.7(5)]. To resolve [he conflict, please change <br />the wording in the referenced sentence to indicate sampling will be done in either the <br />last two years of the 10-year liability period or in two subsequent consecutive years. <br />7. The one year of cropland sampling called for in the permit (page 4-142a, first <br />sentence) conflicts with the two-year sampling requirement of the Rules (Section <br />4.15.9). To resolve the conflict, please change the wording in the referenced sentence <br />to indicate sampling will be done in the last two years of the 10-year liability period <br />or in subsequent years. <br />Trapper Mine Page 7 November 6, 2000 <br />Midterm Review <br />
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