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-6- <br />• created by Colowyo conducting nonstandard mining practices, rather it was the <br />result of regulations written with design criteria that applied to conditions most <br />prevalent in the east. <br />These regulations have evolved to a paint where it is no longer necessary <br />for the Streeter Fill to remain as an Experimental Practice. The present state and <br />federal regulations now provide for the construction of Streeter Fill under Section <br />4.09 of the State Regulations, rather than Section 2.09.2. The Streeter Fill <br />should now be considered as Standard Practice under Section 4.09 Disposal of Excess <br />Spoil and Underground Development Waste. <br />Colowyo will continue to monitor the fill as agreed upon in our present <br />permit in order to ensure that the stability requirements of Rule 4.09 are met. <br />These monitoring requirements will ensure the public safety and protection of the <br />environment. Refer to the 1983 and 1984 annual reports for additional information <br />as to the monitoring requirements and the data collection .made to date. .. <br />• In the spirit of the Board's wishes, we request that this Technical Revi- <br />sion 6e given "the expenditure of absolute minimum review time". <br />We have included a proposed Notice of Publication which will be submitted <br />to the local paper upon notification from you that the application is complete. <br />If you need additional information, please contact me at your convenience. <br />Sincerely, <br />COLOWYO COAL COMPANY <br />r <br />~,1.i`1,~ ~ 1v~U <br />ames A. Kiger <br />Senior Reclamation Specialist <br />JAK/yml <br />cc: R.G. Atkinson <br />Central Files <br /> <br />