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REV95001
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REV95001
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Entry Properties
Last modified
8/25/2016 3:20:12 AM
Creation date
11/21/2007 11:45:11 PM
Metadata
Fields
Template:
DRMS Permit Index
Permit No
C1996083
IBM Index Class Name
Revision
Doc Date
1/27/2004
Doc Name
Adequacy Review Letter
From
DMG
To
Bowie Resources Limited
Type & Sequence
SO2
Media Type
D
Archive
No
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Rule 2.03.6 <br />On revised page 2.03-14 of the SO-2 submittal, it is stated that the right of entries that aze <br />listed in Section 2.03.6 were transferred from Bowie Resources Limited to Bowie <br />Resources LLC through the asset purchase agreement. However, some of these transfers <br />may require approvals from third parties. One example is the assignment of the vazious <br />BLM leases, which still need to be approved by BLM. <br />In order to avoid any confusion, please revise the text in Section 2.03.6 to describe how <br />each right of entry was transferred to Bowie Resources LLC,. The right of entry issue <br />needs to be resolved before there is a proposed decision on the Succession of Operator <br />submittal. The Division can not stipulate any right of entry. <br />Rule 2.03.8 <br />4. Although not specifically required under Rule 2.08.6(2)(b)(iii), please update the <br />information on revised page 2.03-17, in Section 2.03.8(2), to include recent mine <br />developments. <br />Rule 2.03.9 <br />5. The Division has received a copy of the certificate of liability insurance document that is <br />required under Rule 2.08.6(2)(b)(iii). However, one revision is needed. As required in <br />Rule 2.03.9(3), please delete "endeavor to" and "but failure to do so shall impose no <br />obligation or liability of any kind upon the insurer, its agents or representatives" from the <br />cancellation section of the insurance document and resubmit to the Division. <br />Rule 2.03.10 <br />6. Please revise this section to include a description of which licenses and permits have been <br />transferred to Bowie Resources LLC. <br />Rule 2.07.6 <br />7. As stated in Rules 2.08.6(4)(a) and 2.07.6(1)(b) for approval of a succession of operator <br />application, the Applicant Violator System (AV S) must be updated with ownership and <br />control information and, then, checked for any violaflon problems within the corporate <br />organizational structure. The Division has performed an AV S check and no violation <br />problems surfaced. The recommendation at this time is to issue. The Division does have <br />two questions, however. <br />a) Please send documentation on End Dates for the old Officers & Directors for Bryant <br />Mining Company, Kanawha Development Corporation, and Huff Creek Energy <br />
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