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1999-06-14_GENERAL DOCUMENTS - M1974052
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1999-06-14_GENERAL DOCUMENTS - M1974052
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Last modified
4/12/2023 5:55:35 PM
Creation date
11/23/2007 10:39:39 AM
Metadata
Fields
Template:
DRMS Permit Index
Permit No
M1974052
IBM Index Class Name
General Documents
Doc Date
6/14/1999
Doc Name
VARRA COMPANIES PIT 1 WELD COUNTY PN M-74-052 USR PN 248 CGRS 1-135-2755
From
BERNARD LYONS & GADDIS
To
DMG WELD COUNTY PLANNING DEPT COLO DEPT OF PUBLIC HEALTH & ENVIRONMENT
Media Type
D
Archive
No
Tags
DRMS Re-OCR
Description:
Signifies Re-OCR Process Performed
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BERNARD <br /> LYONS & GADDLS <br /> A PROFESSIONAL CORPORATION <br /> ATTORNEYS AND COUNSELORS <br /> Ben Patton <br /> Glen Mallory <br /> Harry Posey <br /> June 11, 1999 <br /> Page 3 <br /> naturally occurring formations within that aquifer. Those formations are not present <br /> in the alluvial aquifer in the St. Vrain River basin. <br /> The applicant should be required to do significantly more ground water and surface <br /> water sampling in this area before consideration of any pilot plan for this location, <br /> not after. There are not enough monitoring wells proposed in and around the project <br /> site. <br /> The report does not mention the changes in ground water levels or water quality <br /> which may occur at different times of the year. The amount of ground water, its rate <br /> of flow, and its quality may vary from season to season and month to month, based <br /> on irrigation use in the area which will in turn have some affect on leaching of heavy <br /> metals or other contaminants from the coal ash. The applicant should be required to <br /> conduct frequent, periodic samples throughout the year, perhaps for several years, <br /> before being allowed to begin a project of this type. Any project should be <br /> significantly smaller than proposed by the applicant. Since there is no control over <br /> the local hydrology, it would be more appropriate to conduct this type of a test or <br /> pilot project outside of the alluvial aquifer altogether. <br /> Finally, there is no contingency plan to remove any contaminants that may leach out <br /> from the pilot project, or to help well owners or owners of other water rights whose <br /> source of supply may be contaminated by this type of project. <br /> For all of the reasons stated in this letter, the District urges you to deny the <br /> application for this project. If you have any questions, please give me a call. <br /> Yours truly, <br /> BERNARD, LYONS & GADDIS, <br /> a Professional Corporation <br /> By � <br /> Steven P. Jeffer <br /> SPJ:bl <br /> cc: Les Williams <br /> Christopher L. Varra <br /> Joby L. Adams, P.G. <br /> %%GBLGIDATAICLIENTS%SISVLNWIPATTON-MALLORY-POSEY-L.DOC 06I09199 4.55 PM <br />
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