Laserfiche WebLink
• ui i~iiii~iniuiii <br />~" STATE OF COLORADO <br />DIVISION OF MINERALS AND GEOLOGY <br />Depanment of NaNral Resources T ~ S y y „-~ r ~U ~jJ ! L/C ~ ~ '1 <br />1313 Sherman Si., Room 215 •.L L / ~~t ~ 7 Ily~~ <br />Denver, Colorado 80203 ~7! ~ e X./„~ f ~ // /^7 ~ r n j / / ~ /"• ~~, I <br />Phone 1303) 866-3567 / <br />FAX 13071832-8106 !• $ ~ ~~ cr^ ~ J ` m f/_r ~ i~ ~//.~~ j <br />DEPARTMENT OF <br />c>:`.,•~cl~r~'~ ~~ /f~,,,~ ~/u,~s NATURAL <br />/ RESOURCES <br />TO: H. BRUCE HUMPHRIES ~~/~-- Roy Romer <br />JAMES STEVE//N~~S(~ may/ Governor <br />~/ f j; 1 /1// `~' lames 5. Lochhead <br />1/9y-`,'~~J~' Executive Director <br />FROM: James Dillie <br />Michael B. Long <br />Division Direcbr <br />DATE: June 11, 1996 <br />RE: DMO DETERMINATION -Sunday Mine - M-77-285 <br />& West Sunday Mine - M-81-021 <br /> <br />The Division sent DMO determination letters to Energy Fuels Nuclear (EFN) on November 14, <br />1994, for the above-referenced uranium mines. The reason for the determination leas "toxic- <br />forming materials are or will be exposed or disturbed as a result of mining operations". <br />Specifically, "waste rock dumps are exposed to Cain and snowmelt runoff, possibly causing offsite <br />contamination". <br />EFN responded on December 28, 1994, disputing DMG's determination and appealed the notice <br />of determination. EFN listed the following three reasons the mines should not be DMO's: 1) the <br />Sunday and West Sunday operations do not meet the criteria for designation, as providled in Rule <br />1 of the Hard Rock/Metal Mining Rules and Regulations, 2) the criterion given in DMG's letter, <br />which was applied to determine whether the mines would be DMOs, is not one of those listed in <br />Rule 1, and 3) reclamation activities carried out concurrent with mining operations, and ~;tormwater <br />management measures, ensure that no toxic-forming materials are exposed or disturbed irl quantities <br />sufficient to adversely affect human health, property, or the environment. EFN providl~ detailed <br />narratives for each reason. The Division agrees with EFN that designated chemicals are not stored <br />or used on site and acid mine drainage does not occur as a result of mining or neclamation <br />activities. However, the Division disagrees with EFN's contention that toxic-forming materials are <br />not exposed or disturbed in quantities sufficient to adversely affect human health, property, or the <br />environment, primarily because EFN did not submit any supporting data for their argument. <br />The Division responded to EFN's appeal letter on Febnlary 2, 1995. The Division disagreed with <br />EFN and decided to schedule a meeting pursuant to Rule 7.2.4(1)(a). <br />Michelle Rehmann, EFN representative, met with the Division on April 25, 1995. Ms. Rehmann <br />presented the Division with an outline of issues she feels are important in the DMO determination <br />process. The key issue, she says, is whether there is any risk to human health or the environment, <br />due to toxic-forming chemicals. Ms. Rehmann discussed the important components of her risk <br />analysis. The Division instructed Ms. Rehmann to prepare a summary of relevant information in <br />support of DMO exemption for the Sunday and West Sunday Mines and schedule another meeting <br />with the Division. <br />