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Fred Banta - 5 - tdarch 4, 1987 <br />Demolition costs as presented by Kaiser Coal Corporation do not <br />include all structures present at the Elk Creek and Bear Creek <br />facilities. To finalize our bond calculations we need to have <br />either the permittee or operator submit removal costs for the <br />following. <br />Elk Creek Facilities Bear Creek Facilities <br />Substation <br />Substation Fence <br />Rock Dust Bins <br />Substation <br />Dump Station <br />Tipple <br />B-Seam Ventilation Fan <br />Substation <br />Substation Fence <br />Ventilation Fan <br />Power Drill Hole <br />Site Maintenance and Hydrologic Monitoring <br />A fourth major concern which has recently developed (because of Marty <br />Holmes and Jay Smaldone leaving Kaiser Coal) is future site maintenance <br />and required hydrologic monitoring and report submittal. Unless the <br />permittee and/or operator is reminded of their responsibilities for site <br />maintenance and hydrologic monitoring there may be future compliance <br />problems. Particularly, the responsible party (Kaiser or U.S. Steel) <br />needs to be aware of the monitoring and report commitments agreed to in <br />the approved Somerset Mine Water Management Plan, Technical Revision <br />No. 1 processed by Kaiser Coal Corporation and approved on August 6, 1986. <br />/vj r <br />7869E <br />