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GENERAL34597
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Last modified
8/24/2016 7:55:59 PM
Creation date
11/23/2007 7:59:28 AM
Metadata
Fields
Template:
DRMS Permit Index
Permit No
M1999006
IBM Index Class Name
General Documents
Doc Date
8/27/2002
Doc Name
Well Data
From
Wilson Farms
To
DMG
Media Type
D
Archive
No
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Wilson Farms <br />9268 WCR 28 <br />Plattevil-e, Colorado 80651 <br />Chris Gates 25 August 2002 <br />Colorado Department of Public Health & Environment <br />Division of Water Control <br />4300 Cherry Creek Drive South <br />Denier, Colorado 80246-1530 <br />RE: Varna Companies Discharge Permit No: COG5000 <br />Dear Mr. Gates, <br />Attached is my letter transmitting well monitoring data to the DMG and Office of the State <br />Engineer. If you want to review the raw data, I will forward it to you as well. Please let me know. <br />The primary purpose of this letter is to again request that this permit not be renewed, at least not in <br />its present fonn. We have reason to believe that the Operator is in violation of the groundwater discharge <br />rate specified in the pemtit. The permit states that the discharge flow rate is estimated to be an average of <br />0.72 MGD. A copy of the Permit is attached. My understanding is that this would equate to 500 gallons <br />per minute (gpm). However, the Operator admits Drat the discharge rate is "approximately 1,500 gpm". <br />(Note: Please see [he 06/27/02 Inspection Report conducted by the Department of Minerals and Geology.) <br />We believe, from visual observations, that the discharge rate likely exceeds even the 1,500 gpm estimate <br />cited by the Operator. <br />We are not aware of a flow rate monitoring device that would ascertain the actual average flow <br />rate experience for the Varna pit since exception The DMG report leads us to believe that there is none, if <br />none exists, we believe that this is an unacceptable condition. The Operator should be required to have an <br />independently verifiable means of substantiating discharge rates. In the absence of such a monitoring <br />device, the ability to monitor compliance is greatly diminished. More importantly, it becomes more <br />difficult to prove off-site damage to wells. This is an additional burden that should not be placed on <br />potentially injured parties. Therefore, if the DepaRment chooses to renew the discharge permit in this case, <br />we would urge that i[ do so only with the 500 gpm flow rate limit AND the requirement for placemera of a <br />monitoring device & flow restricter(s) to ensure compliance on an ongoing basis. <br />We contirme to believe that the dry-mining 8t de-watering operation being conducted by Varna <br />under Discharge Permit COG-5000 is contributing to off-site damage in area wells. We are working to <br />substantiate that claim with the DMG and the Office of the State Engineer. While off-site damage to wells <br />may not be a standard factor considered in renewal decisions, we want you to be fully appraised of our <br />issues and ongoing attempts to address them with the appropriate governmental oversight agencies. We do <br />believe, however, that these issues should bear directly on the conditions of the renewal in terms of the <br />maximum discharge flow rate allowed, and the placement of verifiable monitoring meters to substantiate <br />compliance. <br />Thank you. We are certaiNy available to answer any questions raised by these requests. We also <br />request drat we be notified if the discharge pemtit is renewed, and any conditions attached. <br />Since/r~1/}{ ~/~ <br />Bruce and Bobbie Wilson <br />CC: Kcvin Rein, Office of the State Engineer <br />Cazl Mount & Kale Pickford, DMG <br />
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