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(e) estimate of the amount spilled, whether any material has left the permit azea, and where <br />the spilled material went, and initial measures taken to contain and clean up spill. <br />(3) copy the Office on any correspondence and/or written reports provided to other agencies. <br />Supplement those reports ifnecessary to include the information outlined in rule 3.1.13(2). <br />(4) Far permits approved prior to the effective date of these rules, the requirements of Rule 3.13 shall <br />supercede stipulations to permits regarding spill reporting. <br />Pursuant to § 34-32-109(5)(b)(II), C.R.S. of the Mined Land Reclamation Act and § 34-32.5-109(2)(b)(II), <br />C.R.S. of the Construction Materials Act, you as an existing permit holder of the above-referenced permit were <br />notified of the proposed rules amendments, specifically Rule 3.1.13, on February 10 and March 23, 2005. Also <br />pursuant to the above-referenced statutory requirements, the Mined Land Reclamation Board made a specific <br />finding during the rulemaking hearings for both the Hazdrock and CMA rules that it is necessary to apply the <br />new rule to existing permits to ensure public health and safety. Your permit may already contain a stipulation or <br />on your existing permit. <br />the <br />stipulation or requirement <br />Please be advised that you are now required to comply regarding your spill reporting responsibilities. For any <br />potential inconsistency between your spill reporting permit stipulation or requirement, the new rule will apply. <br />If you have nay questions regarding this regulatory change to your permit, please contact Mr. H. Bruce <br />Humphries at (303) 866-4925 or bruce.humphries@state.co.us. Thank you for your assistance in the transition <br />to this new spill reporting requirement. <br />Sincerely, <br />r 1 <br />'~f~ H. Bruce umphries <br />Minerals Program Supervisor <br />