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UTAH INTERNATIONAL INC <br />BOX 187 - CRAIG, COLORADO 87626 <br />303-Q24-4401 <br />«i~iuiiiuriiiiii <br />999 <br />June 2, ].982 <br /> <br />Mr. Mike Savage <br />Colorado Mined Land Reclamation Division <br />423 Centennial Building <br />1313 Sherman Street <br />Denver, Colorado 80203 <br />Dear Mike: <br /> <br />P~;jn;~r° L}i?J~ fi!;L^,i;7nfiGiU <br />C~!!0. CC:J i. OS Pf ~fi:fAl :;: jniir~~ac <br />As you recall, on the 1st of June I discussed with you by phone the recla- <br />mation of the site known as the Field Coal Stockpile in Ashmore Pi[. My ques- <br />tions were in reference to the application of Colorado Mined Land Reclamation <br />Division regulation 4.14.3 (covering coal and acid-and toxic-forming materials) <br />to the above coal stockpile. The following is a summary of my understanding of <br />our discussion. <br />a.) Regulation 4.14.3 does not apply to the reclamation of coal stock- <br />piles. Its purpose is to address exposed coal seams, underground coal <br />mine waste, and toxic or hazardous spoil. <br />b.) Reclamation of the coal stockpile by the same techniques used on other <br />Trapper reclaimed coal stockpiles is satisfactory. <br />c.) Additionally, no special analyses or plans must be submitted to the <br />Division concerning reclamation of the coal stockpile or disposal of <br />coal and soil into Ashmore Pit spoils, <br />Mike, unless we hear differently from you in the next week, we will proceed <br />with reclamation of the Field Coal Stockpile on the basis of my present under- <br />standing of our conversation. Thanks for your help in clarifying this matter. <br />Best regards, <br />~~~~fiL'/"~G~'Yl~ <br />H. B. Humphries D' <br />Environmental Engineer <br />Trapper Mine <br />HBH/js <br />cc; G. M. Stubblefield <br />W. E. Sot+ards <br />File 109.2.3.3 <br />