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the Colorado Water Quality Control Act. The violation was <br />terminated on November 10, 1993 and the total assessed penalty of <br />$2,100.00 was paid in full on January 6, 1994. <br />C-93-147 was issued COVCC on November 10, 1993 for failure to <br />conduct hydrologic monitoring as required by permit C-81-038 <br />pursuant to Rule 2.05.6(3)(b)(iv). The violation was terminated on <br />December 29, 1993 and the assessed penalty of $1,900.00 was reduced <br />to $1,650.00 and paid in full on January 27, 1994. <br />C-94-032 was issued to COVCC on November 17, 1994 for failure to <br />conduct hydrologic monitoring as required by the approved permit. <br />The violation was terminated on November 18, 1994 and the assessed <br />penalty of $3,735.00 was reduced to $2,250.00 and paid in full on <br />December 27, 1994. <br />C-95-004 was issued to Bowie Resources on March 14, 1995 for <br />failure to declare all owners, controllers and operators; failure <br />to obtain approval for all owners, controllers and operators prior <br />to initiating mining activities; and failure to supply information <br />pertaining to ownership and control of the mining operation. The <br />violation was terminated on July 11, 1995 and the assessed penalty <br />of $1,250.00 was reduced during the assessment conference to <br />$800.00 and paid in full on August 31, 1995. <br />C-95-012 was issued to Bowie Resources on May 12, 1995 for failure <br />to maintain sediment control structures to comply with rules 4.05.6 <br />and 4.05.9. The violation was terminated on August 18, 1995 and <br />the assessed penalty of $1,050.00 was paid in full on September 15, <br />1995. <br />II. summary of Changes Requested <br />There are several changes being requested as a result of this <br />review. The first change is to increase the reclamation bond <br />required per rule 3.02 of the Regulations of the Colorado Mined <br />Land Reclamation Board for Coal Mining for. This is discussed in <br />more detail in section IV of this document. <br />The second item has to do with updating the facilities map. The <br />existing facilities map is not very detailed and since it was <br />developed, several facilities are no longer at the mine site and <br />some new facilities have been added that are not on the map. Anew <br />map should be submitted which identifies all surface facilities <br />and structures that are currently on the mine site. This <br />facilities map should coincide with all the structures that have <br />been added or deleted via the updated bond calculation. <br />The third item concerns the SAE for the West Mine fill. As we have <br />discussed, it would be appropriate to demonstrate that the <br />outslopes of the fill are stable and have enough vegetative cover <br />4 <br />