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GENERAL37201
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Last modified
8/24/2016 7:57:25 PM
Creation date
11/23/2007 9:02:13 AM
Metadata
Fields
Template:
DRMS Permit Index
Permit No
C1981013
IBM Index Class Name
General Documents
Doc Date
7/26/1993
Doc Name
RANCHO ESCONDIDO CONCERNS BASIN RESOURCES INC GOLDEN EAGLE MINE PN C-81-013
From
DMG
To
KRASSA LINDHOLM KUMIL & MADSEN
Permit Index Doc Type
GENERAL CORRESPONDENCE
Media Type
D
Archive
No
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Mr. Robert F. T. Krassa - 2 - July 26, 1993 <br />S. Longwall mining and room-and-pillar retreat mining north of the <br />Purgatoire River will cause subsidence damage to existing and future <br />structures in the area; <br />9. Raton West would like to be placed on a mailing list for all notices <br />concerning actions requested or to be taken by the Division in regard to <br />the Golden Eagle Mine; <br />10. Raton West would like to be involved in the Mid Term Review process; <br />Your second letter listed the following additional concerns: <br />11. Raton West demands the Office of Mined Land Reclamation to order <br />Basin Resources to show cause why the amount of bond should not be <br />increased to protect surface improvements value and water supply; <br />12. Raton West demands the Office of Mined Land Reclamation to order <br />Basin Resources to show cause why its Golden Eagle Mine permit should not <br />be revoked; <br />13. Raton West demands the Office of Mined Land Reclamation to order <br />Basin Resources to hold public hearings pursuant to C.R.S. 34-33-124; <br />14. Basin Resources has failed to file a subsidence survey and subsidence <br />monitoring plans for areas outside the renewable resource zone defined as <br />the alluvial valley floor of the Purgatoire River, as required by <br />C.R.S. 34-33-111(1)(c>, (d), (i), and Regulation 2.05.6(6); <br />15. Basin Resources has failed to adopt measures to prevent subsidence and <br />maintain the value and reasonably foreseeable use of surface land, as <br />required by C.R.S. 34-33-121(2)(a); <br />16. Basin Resources has failed to comply with ventilation statutes and <br />regulations, as required by C.R.S. 34-25-101-109; <br />17. Basin Resources has failed to adequately identify all parties with various <br />types of interests in the property to be mined, particularly owners of <br />lands overlying and subject to coal mining operations, as required by <br />C.R.S. 34-33-110(2)(b) and Regulation 2.10.3(1)(a); <br />18. Basin Resources has failed to notify all landowners and residents within <br />the area above the underground workings and adjacent areas and provide <br />information required by statute six months prior to commencing mining <br />operations beneath such property, as required by C.R.S. 34-33-121(1) and <br />Regulation 4.20.2; <br />19. Basin Resources has failed to indemnify overlying landowners for surface <br />damages, as required by C.R.S. 34-33-121(2>(a) and Regulation 4.20.3; <br />20. Basin Resources has failed to provide a statement of the consideration <br />which has been given to making the coal mining reclamation operations on <br />the surface consistent with surface-owner plans and with applicable state <br />and local land use regulations, as required by C.R.S. 34-33-111(1)(h>; <br />
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