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<br />groundwater. See Petition at 1. NEW IN FORMATION and 2. LIMITATIONS ON <br />DEPTH OF EXCAVATION, pp. 1-2 of Petition, and pages 2-4 of accompanying <br />consultant's report "Request for Review of Limited Mining Proposal at the Haldorson <br />Sand and Gravel Mine," Greg Lewicki and Associates (Dec. 24, 2003) ("Report"). <br />DMG staff believe that the new information presented in the Petition and Report <br />is directly applicable to the above-identified issue and resulting permit condition imposed <br />by the Board, which requires the Applicant to collect one year's groundwater quality data <br />prior to actively mining the site. See Board's "Findings of Fact, Conclusions of Law and <br />Order In the Matter of the Application of Haldorson and Sons, Inc., File No. M-2003- <br />037", Paragraphs A.3-4., B. of Findings of Fact, ,and Paragraph 2 ("Order"). <br />Attachment 2, p. 4-7, 19. <br />Because DMG's Staff Review has concluded that the Applicant has submitted <br />new information not available at the Board hearing in October 2003, under Construction <br />Materials Rules 2 CCR 407-4, Rule 2.9.1(2), DMG, as staff to the Board on this matter, <br />recommends that the Board grant the Petition and hold a hearing pursuant to Rule 2.9.2 to <br />readdress the, groundwater issue and the resulting condition 2 on the Applicant's permit. <br />Respectfully submitted, <br />303-866-4434 <br />FAX 303-866-3558 <br />r ~~~~ <br />Stephe M. Brown <br />Assistant Attorney General <br />Counsel for DMG <br />Attachments <br />