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<br />Interoffice Memorandum <br />Walker to Binns <br />Mazch 9, 1997 <br />Page 3 of 4 <br /> <br />3.02.2 Performance Bond Requirements for Surface Coal Mining and Reclamation <br />Operations <br />Complete (if they aze not to compute) <br />No new surface facilities aze required in the Eastern Mining District. Two new monitoring well <br />sites may require reclamation [page 2.04.11(c), PR-04] in the Northern Mining District as may <br />the road to them. Need to verify that the reclamation of the ventilation site in the SE'/aSec 14, de- <br />watering site in the NW'/aSec21, and grout bore hole in SE'/sSec21 aze in the bond estimate. <br />4.03 Roads <br />Complete <br />The Permit has no 4.-sections, so 2.05 sections were checked. [Page 2.05-2(a) does not flow into <br />2.05-3.] Roads and facilities to the ventilation shaft in the NW'/aSE'/aSec 14 were described in <br />MR136. The Fish Creek Borehole Area (de-watering site) is described on page 2.05-13(e) and <br />2.05-16. PR-4 does not modify [his azea of the Permit. [Page 2,05-13(e)(1) does not flow into <br />2.05-13(f).] No new roads are proposed. <br />4.05 Hydrologic Balance <br />Complete <br />However, Gaging Station 1002 is treated lightly. <br />4.05.15 Water Rights and Replacement <br />Complete <br />The Permit has no section 4.05.15, so 2.03.10 was checked. PR-4 would not appazently affect <br />any water rights, depletion or replacement issues. Not necessarily related to any portion of PR-4, <br />I didn't find anv water rights information, well permits, etc. listed. <br />4.05.16 Discharge of Water into an Underground Mine <br />Complete <br />There is no change in current practices identified for the scope of PR-4. Current practice <br />appazently includes recirculation of water for mining purposes. [See 4.05.16(3).] There is no <br />