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PERMFILE117359
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PERMFILE117359
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Last modified
8/24/2016 10:13:07 PM
Creation date
11/25/2007 3:37:37 AM
Metadata
Fields
Template:
DRMS Permit Index
Permit No
C1981033
IBM Index Class Name
Permit File
Doc Date
12/11/2001
Section_Exhibit Name
EXHIBIT 15 MIDTERM PERMIT REVIEW, 1985
Media Type
D
Archive
No
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~ecision to Require Revision <br />The Division has conducted a mid-term review under Rules 2.08.3, 2.08.2(a), <br />2.06.3(4), 2.06.5(3), 2.06.7(5) and 3.02.2(4). The review included the Bear <br />Mine permit application, all subsequent revisions, all stipulation responses, <br />hydrologic monitoring data, past inspection reports, and on site inspections. <br />The Division finds that certain revisions and modifications are needed to <br />ensure future compliance with the Colorado Surface Coal Mining Reclamation Act <br />and the Regulations of the Colorado Mined Land Reclamation Board for Coal <br />Mining. The following section details •the revisions required, ,justification <br />for requiring the revisions, and timetable for submitting the revisions. <br />Responses are to be submitted as one package by August 15, 1985. <br />Part I. Revisions or Responses Required <br />Responses to the following concerns should be submitted in the form of a <br />technical revision by August 15, 1985, unless otherwise noted. <br />A. Format and Supplemental Information - Rute 2.03.3 <br />1. The current format of the permit application, including revisions, <br />responses and correspondence makes a review difficult. Bear Coal <br />• Co. should therefore incorporate all these various components into <br />one cohesive, comprehensible document within 45 days after the <br />mid-term review process is completed. <br />2. Bear Coal Company should submit a precise legal description of <br />.areas and activities currently covered by permit number C-030-81. <br />This information is needed since the permit boundary has changed <br />since the initial permit issuance. <br />8. Other Licenses and Permits -Rule 2.03.10 <br />1. Has final approval been granted for the Air Emission Permit? <br />C. Operations Plan -Rule 2.05.3 <br />1. Topsoil salvaging and replacement at Bear Na. 3 needs to be <br />clarified. Specifically, approximately how many acres were <br />stripped of topsoil, how many acres of surface disturbance <br />currently exist? Accurate estimates of how much topsoil is <br />stockpiled or stored in embankments should be submitted for both <br />Bear No. 3 and Nos. 1 and 2. What depth of topsoil is to be <br />respread on the surface at Bear No. 3? <br />2. Sediment removed from the sediment pond cannot be assumed to be a <br />• suitable soil material. Therefore, Bear should submit a plan for <br />disposal of the material if analyses show that it is not suitable <br />soil material. <br />
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