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deposits located upslope (northwest) of the Fire Mountain Canal did not meet the <br />geologic and water availability criteria, and were given no further consideration. The <br />Alluvial Valley Floor along the North Fork continues downstream, as shown on Map <br />5-2. <br />The operator will be affecting 11.4 percent of the Terror Creek watershed. This area and <br />the adjacent Terror Creek were not considered in the Division's original Alluvial Valley <br />Floor determination August 20, 1981, but were considered during the review of the <br />permit revision of June 20, 1985. The operator did not identify any areas along Terror <br />Creek that contain significant bodies of alluvium. Most of the deposits are colluvial in <br />nature and confined to the immediate stream channel. The Morrell Camp azea contains <br />primarily colluvial deposits and as such does not meet the definition of Alluvial Valley <br />Floors. <br />East and West Roatcap Creek were also not determined to be Alluvial Valley Floors. <br />The sediments aze predominately colluvial in nature and are too limited to support <br />agricultural activities. <br />In reviewing the original application, some concerns were raised over whether the <br />applicant proposed to use augmentation water that would normally supply an AVF. <br />The applicant responded by showing that Terror Ditch and West Reservoir waters <br />supply Garvin Mesa and an irrigated azea known as "The Basin," both of which aze out <br />of the valley floor complex and are not Alluvial Valley Floors. Therefore, the Bowie <br />No. 1 Mine will not be affecting an AVF because of augmentation mitigation. <br />Alluvial Valley Floors - Findings <br />The applicant is eligible for exemption from the requirements of Section <br />34-33-114(2)(e)(II) of C.R.S. 1973 by virtue of having a permit issued before August 3, <br />1977. This permit was a License to Mine, issued by the Colorado Division of Mines on <br />December 14, 1976. This was the primary permit required at the time by Colorado law to <br />operate an underground coal mine. The extent of this exemption must be based upon a <br />demonstration of financial or regulatory commitment to mine before August 3, 1977. In <br />this case, mine maps submitted to the Division of Mines and information in the permit <br />application (see "Ground Water Investigation of Steven's Gulch" in Volume 4) provide <br />the appropriate financial or regulatory demonstration. Therefore, the area identified as <br />an Alluvial Valley Floor along the North Fork of the Gunnison River are exempt from <br />the requirements of Section 34-33-114(2)(e)(I). The permit revision areas and the <br />potential Alluvial Valley Floor in adjacent Terror Creek are not covered by the <br />grandfather provision, and will be discussed sepazately. <br />Although exempted from Section 34-33-114(2)(e)(I), the applicant must still comply with <br />Section 34-33-120(2)Q)(VI) for all activities that involve surface operations or surface <br />impacts incident to the underground portions of the mine. To demonstrate compliance, <br />the applicant must identify the essential hydrologic functions of an Alluvial Valley Floor <br />47 <br />