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COLORADO DEPARTMENT OF PUBLIC HEALTH & ENVIRONMENT -Water Quality Control Division <br />Rationale -Page 12 Permit No. COR-040000 <br />VII. CHANGES AFTER PUBLIC NOTICE (cont.) <br />research, the Division found clarification in the preamble ro the federal stormwater rules. As published in the <br />Federal Register (Vol. SS,No. 222) on November 16, 1990, page 48032, third column, the preamble states: <br />"Similar to the RQ [reportable quantity) test for oil and gas operations, EPA intends to use the <br />"contact" test solely as a permit application trigger. The determination of whether a mining <br />operation's runoff is comaminated will be made in the context of the permit issuance proceedings. <br />The Division believes that this should be interpreted to mean that continued permit coverage is no longer <br />needed if it can be shown by the permittee that runoff from the mining activity site is uncontaminated <br />(including sediment). It will be the Division's presumption that contact does cause contamination, acrd the <br />permittee will have the burden of proof to show to the Division's satisfaction that runoff from a specific site is <br />not contaminated. Since the Division has virtually no experience in this, we have little guidance to offer <br />permittees who wish to undertake this demonstration. This may be an opportunity for the Division to work <br />with the mining industry and other stakeholders to develop strategies for this demonstration. In the interim, <br />decisions by the Division will be made ors acase-by-case basis. <br />Reeardine an exemption for aee or size of site: The regulations state that pemeits are required for alive <br />inactive and mining activities, regardless of their age or size. There is no flexibility for the Division to <br />exempt sites on these bases. <br />4. The termination requirement that equipment and "significant materials" be removed from the site and that <br />mine waste be removed or permanently isolated. <br />Several commentors objected to the requirement that all equipment and significant materials must be removed <br />from the site before permit coverage can be terminated. They suggest that old equipment and buildings have <br />historic value and tourism interest and should be retained for those reasons. Further, in at least one <br />Colorado county, zoning regulations protect many of these historic structures and tailings piles. Another <br />commentor asserts that overburden and rock should not be considered "significant materials" and that it is not <br />feasible to attain compliance with this criteria in a practical manner. A few commentors objected.to the <br />termination requirement that al[ mine waste be removed or permanently isolated as being impractical, <br />infeasible or too onerous. <br />Response: The regulations which require stormwater permits for inactive mines use very broad language. In <br />vinua[ly all cases where the site is still recognizable as an inactive mine or mine working, a permit may still <br />be required. In at least one case, the Division has agreed to reclassify an historic mill site as a museum when <br />an Historical Society took title to the property and undertook interpretive signage and tours. However, this is <br />not possible in the majority of cases of permittees wishing to end their permit liability. The Division does not <br />require site remediation unless the permittee is trying to terminate permit coverage. Continued permit <br />coverage is possible with no disturbance of the historic elements. <br />Reeardine the removal of equipment and "significant materials": Zhe Division has re-evaluated the <br />termination criteria and eliminated the requirement to remove equipment and significant materials. The <br />deciding factor regarding whether a permit is needed is exposure of the materials in the "contact list" <br />(overburden, raw material, intermediate products, ftnished products, byproducts or waste products). Once a <br />permit is deemed necessary, equipment and significant materials must be managed in such a way as to reduce <br />their potemial to impact stormwater quality. Amine or mill site, where the materials on the contact fist are <br />not exposed to stormwater, yet which has equipment exposed to stormwater, would not be required to obtain <br />permit coverage. The Division has revised the termination criteria to reflect this situation. <br />Reeardin¢ "overburden ": This term is not specifically included or excluded in the definition of significant <br />material, however, "overburden" is one of the materials in the "contact list". This is the list of materials that <br />trigger the need for a stormwater permit if contacted by runoff. The termination criteria as modified, do not <br />include "overburden ". The two major pollution concerns with overburden are potemial acid generating <br />material and subsequent metals loading, and sediment delivery to state waters. The criteria have been <br />