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-4- <br />A map which depicts the success criteria by area (4.15.8 vs. <br />4.15.10) should be provided. The area south of Highway 12 <br />which is currently assumed to be "undisturbed" must be <br />reclassified. This is clearly a disturbed area, for which <br />Rule 4.15.10 would provide the appropriate revegetation <br />standard. WFC and the Division have discussed possible <br />drainage modifications in this area. This area is included in <br />WFC's recent (reclamation) stipulation responses, and should be <br />included in this map. <br />o) The air pollution control section on Page 2.05-40 states that <br />no permit was required for existing facilities. WFC should <br />also include the requirements for new facilities in this <br />section. <br />p) A spill control plan is mentioned on Page 2.05-43. However, <br />the narrative does not sufficiently address the plan. The <br />spill containment plan which is said to be on file at the mine <br />should be submitted. Specific areas for storage of 55 gallon <br />drums should be designated and bermed as part of this plan. <br />q) The Draft Findings response contains a commitment for quarterly <br />monitoring of renewable resource structures. WFC should <br />describe the current status of this monitoring program. <br />r) A letter dated January 2, 1986 from WFC concerning the proposed <br />water treatment facility indicates that the old facility has <br />been removed. The operator should explain how sewage treatment <br />is currently being handled at the New Elk mine. Compliance <br />with Department of Health requirements should also be addressed. <br />s) A rill and gully plan should be included which discusses <br />maintenance and repair of gullies which form on reclaimed <br />areas. This plan should include: a monitoring schedule, a <br />repair schedule, and a description of repair methodology which <br />considers minimization of the disturbance to revegetated areas <br />as a result of the gully repair. A copy of the Division's rill <br />and gully policy memo is included for your guidance. <br />5) Permit Revision <br />a) The permit revision for the wash plant construction and RDA <br />should be formatted so that it is a part of the application. <br />This may be done either by incorporating revised pages, or <br />using properly referenced exhibits. <br />b) No method of revegetation is included in the narrative. This <br />should be adequately described. <br />6) Exhibit 5 - Cultural and Historic Information <br />a) The study performed by Mr. Campbell indicates two sites of <br />archeological importance. WFC should discuss what has been <br />` done to protect these sites. The sites should also be located <br />on a map. <br />