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<br /> <br />sii iuiiiii~iiiiiii <br />999 <br />GRAND ti ALLEY COAL COMPANY <br />P. O. Boz 70 <br />Loma, Colorado 815240070 <br />(303)858-3608 <br />December 18, 1992 <br />Mr. Roy Doyle ~~~jEJ~~//..~ <br />Colorado Department of Health 1~~ f'j <br />APfiN Update Project ..YY <br />4300 Cherry Creek Dr. South DEC 2,11992 <br />Denver, CO 80222-1530 M'N~~ ~L~J/ONE <br />~'V~ g G~O`~ ~ <br />Re; APSN Updates <br />13 MB 257-1 & 13 GA 257-2 & 3 <br />Dear Mr Doyle: <br />Enclosed are the APSN update forms for the permits shown above. As <br />you will note from the forms and the attached letter to Mr. Jim <br />Geier of your office, this process has been complicated because the <br />mining project has been sold. Salt Creek Mining Company, the <br />previous owner, has sold all of its assets to Grand Valley Coal <br />Company, a Colorado corporation. Grand Valley Coal Company (GVC) <br />will be the new operator of the mines and will comply with the terms <br />and conditions of the permits. There are no plans formulated to <br />change the permitted activities. If new operational plans are <br />developed, GVC will revise the existing permit to reflect the impact <br />of the changes. <br />During the last month, I have been in contact with Mr. Geier <br />regarding coordination of the transfer and update. Mr. Geier <br />suggested that revised APEN's for the transfer be sent directly to <br />him. ~. new APSN for an additional emission source, the mine <br />ventilation system, is also being submitted to Mr. Geier along with <br />the required fee. The update forms with corrections are being <br />submitted to you with Check Number 1043 in the amount of $225.00 for <br />the fee. <br />Through numerous discussions with Mr. Mike Jensen of CDOH it has <br />become apparent that the structure of the existing permits will not <br />readily fit into the format of the update form. These discussions <br />have also revealed that there is data contained on the State <br />generated forms that does not agree with the data on previous APEN's <br />and permit applications. Given the number and possible complexity <br />of the corrections and issues identified on the enclosed APSN Update <br />Comment Sheets, CVCC expects to be contacted by CDOH to refine both <br />the specifics of the permits and the method of addressing the <br />legislated APSN update process. <br />