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<br /> <br />propose another option in the event normal measures do not meet conditions <br />encountered in the field. <br />In regards to site reclamation, CEC feels that the best approach to reclamation of CRP <br />ground will be to utilize a seed mixture developed in conjunction with the landowner, <br />to better blend in the site. In two instances, the landowner has indicated that they <br />may wish us to delay seeding of the site on an area to lie fallow next summer, so that <br />they can then seed the entire area at one time next fall. We will further discuss this <br />with the Division as this progresses. <br />The modified legal description reflecting the deletion of PEDS-21 has been enclosed. <br />Additional materials such as landowner agreements, Exploration License copies, and <br />related materials as they become available. <br />If you could please review the bond, and contact our operation concerning the needed <br />amount, it would be appreciated. This will allow us to obtain the needed bond during <br />the final approval process. <br />Barbara, your assitance has been greatly appreciated. As discussed before, we need <br />to begin drilling as quickly as possible to minimize weather effects, and have scheduled <br />for start-up around October 25. Should you have any questions or comments, please <br />contact Joe Shoemaker at your convenience, as I will be unavailable until October 23. <br />Sincerely, <br />~- ~ ~-mw~ <br />~o^~ Marcus A. Middleton <br />Environmental Engineer <br />