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<br />-- III IIIIIIIIIIIIIIII <br />. 999 <br />PARCEL, MAURO, HULTIN & SPAANSTRA, P.G. <br />ATTORNEYS AT LAW <br />SUITE 3600 <br />IBOI CALIFORNIA STREET <br />DENVER. COLORA DO 60202 <br />TELEVHONE 00 31 292 6400 <br />B RENT C. ANDERSON TELECOHIER 0031 2 95304 0 <br />REC~~~~~ <br />FAQ 13 139Q <br />February 13, 1990 AEC~gMAT,O~ D p'srp'! <br />VIA MESSENGER <br />Mr. Fred Banta <br />Colorado Mined Land Reclamation Division <br />1313 Sherman Street, Room 215 <br />Denver, Colorado 80202 <br />Re: Rockcastle Coal Company, Grassy Gap Mine -- Mid-Term <br />Review Stipulation Responses. <br />Dear Fred: <br />Rockcastle Coal Company ("Rockcastle"), hereby submits its <br />responses to Stipulations 5, 6 and 7 as required by the Mined Land <br />Reclamation Board's ("NLRB") Order dated December 14, 1989. <br />STIPULATION 5 <br />Rockcastle has retained ACZ, Inc. for the purpose of preparing <br />certified as-built drawings of the post-mining topography. ACZ <br />cannot conduct necessary survey work due to the current onsite <br />weather conditions. ACZ indicates that aerial photographs taken <br />when the ground is snow covered will be of questionable reliability <br />and may not be certifiable as required by the Board (Please see <br />attached letter). Due to snow cover Rockcastle has been unable to <br />produce as-built drawings of the post-mining topography. <br />Consequently, Rockcastle requests an extension for compliance with <br />this stipulation until June 1, 1990 or as soon thereafter as as- <br />built post-mining topography maps are available. Rockcastle will <br />submit the as-built drawings and the associated discussion promptly <br />upon receipt of ACZ's final report. <br />STIPULATION 6 <br />Rockcastle has retained ACZ, Inc. for the purpose of preparing <br />a bond release package for Phase I and II bond release for pits 2 <br />and 3. Rockcastle is unable to submit the package at this time <br />because of an inability to produce necessary as-built post-mining <br />