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-~ <br />}' <br />Crreg E. Walther, Executive Director <br />Robert W. Cattany, Division Drector <br />July 2, 2003 <br />Page three <br />C. Exhibit G -Water Information. The applicant. wrongfully stated that it had a <br />Temporary Substitute Supply Plan in place, failed to advise that a requirement for commencement of <br />mining is the issuance of a Gravel Mine Well Pernut and failed to advise that no such permit had been <br />issued, or perhaps depending upon the position of the State Engineer's Office, had not even applied <br />for a Gravel Mine Well Permit. <br />Your office has been aware of the above information for approximately two weeks. BLC <br />Development has.not received any notification of any investigation or o8ier actioh based on this <br />information. We would appreciate your advising us if your office intends on taking any action based <br />upon all the information provided by our letters and documents of June 12, 2003, June 16, 2003 and <br />June 16, 2003. <br />If your office considers all of this information to be inconsequential and not worthy of <br />investigation and consideration, please advise us. We aze not suggesting that this is the case because <br />there appears to be several violations of law which should not be ignored. However, we should be <br />advised whether your office is willing to consider these matters or whether BLC Development should <br />consider seeking a Declazatory Order pursuant to Rule 2.5. <br />Every day, Hall Irvin is destroying additional property of BLC Development. We have <br />concluded that Hall Irwui is doing this under a defective Permit because of various violations of law. <br />We also are concerned that the damage maybe, in part, non-remedial and thus time is of importance. <br />In any event, if we can provide any further information that would be helpful or material, <br />please advise us. <br />Very truly yours, <br />BLC DEVELOPMEN'T'. LLC <br />BY•-~G~~-/1~ <br />Manager <br />