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' • <br />E%HIBIT E (Cont'd) <br />Delta Sand Ec Gravel Co. believes it is in compliance with federal <br />' and state laws and regulations governing water and water rights. <br /> There is no application of the river dredge law or siltation <br /> structure removal requirement. See Exhibit G for more details <br />' concernin g water. <br /> Area outside the perimeter of the affected land will not be <br /> affected in any foreseeable way by slides, runoff or other func- <br />' tions of the mining and reclamation operations. <br />All land area of the affected land will be stabilized through <br />' revegetation and appropriate slopes so as to control erosion and <br />attendant air and water pollution. <br />' The landowner-operator has elected to reclaim by creating an <br />area suitable for private recreation and wildlife habitat. The <br />Reclamation 1~fap, Exhibit F, indicates the component parts of this <br />plan. <br />It is believed that wildlife habitat in the area will be <br />' enhanced by the reclamation plan. See Exhibit H for more details. <br />' Revegetation Program <br />In 1977 when the original 110 permit was applied for and <br />' granted, Delta Sand & Gravel Co. stated its agreement with the <br />' reclamation plan proposed by the SCS. (Refer to Exhibit I/J.) <br /> This called for the revegetation of pit bank slopes with native <br />' seedlings of Russian olive and cottonwood. SCS also stated that, <br />"It will not be necessary to use grasses or legumes for revegetation." <br />' The revegetation program under the 112 permit is designed to comply <br />' with the 1977 SCS recommendations. <br />13 <br />