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elevation of the existing floodplain/floodway. <br />5. Fugitive Dust <br />"Will gravel operations require a Fugitive Dust Permit? This issue is not specifically addressed <br />in the application." <br />Response -Fugitive dust is a concern that is outside the scope and authority of the Colorado <br />Land Reclamation Act for the Extraction of Construction Materials, Sections 34-32.5-101 et sec ., <br />C.R.S. (1999) ("Construction Materials Act"). A fugitive dust permit will be required for this <br />operation and will be obtained by the applicant from the Colorado Department of Public Health <br />and Environment, Air Pollution Control Division. <br />6. Explosives <br />"The application does not address the use of explosives on this site." <br />Response -The use of explosives is a concern that is outside the scope and authority of the <br />Construction Materials Act. No explosives will be used on the site during mining and <br />reclamation. <br />7. Permanent Man-Made Structures <br />"There are two significant high-pressure gas mains in the vicinity of the proposed mining <br />operation. The application makes no mention of what precautions will be taken to ensure the <br />safety of the gas mains." <br />Response -The gas lines near the site aze low pressure residential, and have been identified on <br />the revised Exhibit C, Premining/Mining Plan Map. Protection of the gas lines and other <br />permanent man-made structures within 200 feet of [he affected land have been addressed by the <br />appliant's commitment to maintain a minimum setback distance of at least two (2) times the <br />depth of pit excavation. The high pressure gas lines referred to in the above comments aze <br />located approximately 400 feet south of the south permit boundary. <br />8. Public Outreach <br />"No meaningful outreach has been made to adjacent property owners to receive their input or <br />