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<br /> <br />bond released area within the permit boundary into the acreage <br />values referenced, in conjunction with some very minor <br />reclamation parcel boundary discrepancies which have previously <br />been identified. The values submitted with this application are <br />accurate to the best of our knowledge and belief, with the <br />understanding that factors such as planimeter error may also <br />have affected both the current and the previously submitted <br />values to a minor degree. <br />2) For the Identification of Interests section (starting with page <br />778-1-1), the current Rule 2.03.4 which corresponds to previous <br />Rule 778.13 has been inserted into section 778 AS RULE 2.03.4. <br />This is addressed briefly on page 778-1-1. The reason for this <br />is to alleviate confusion in trying to address the various <br />subsections of Rule 2.03.4 in the previous Rule 778.13 format, <br />given the degree to which Rule 2.03.4 has evolved. <br />3) The Identification of Other Licenses and Permits (pages 778-29-2 <br />and 778-29-3) information has been updated to reflect current <br />permit status. You will note that the explosives licenses have <br />not been renewed, as they are no longer necessary to the <br />operation. <br />4) The only change to enclosed Permit Renewal Map #2 (Surface <br />Ownership) is the transfer of property from Bogle Farms to the <br />Cross Mountain Ranch Limited Partnership. <br />Your cooperation in this matter has been greatly appreciated, and <br />we look forward to receiving your response. Should you have any <br />questions or comments, please contact me at your convenience. <br />Sincerely, <br />Marcus A. Middleton <br />Environmental Specialist <br />MAM:mm\Pe\dg <br />Enclosures <br />