Laserfiche WebLink
For Ron and Daniel would you please review the hilited portions in Section <br />1.6 that pertain to your agency's and advise me if there are any corrections that should <br />be made. <br />Dave Lehmann & Scott, please review and provide any comments you may have. <br />I am especially concerned about the statements in Section 1.5 that describes the North <br />Fruita Desert management Plan as amending the RMP by adding an NSO area. I don't believe <br />that the North Fruita Plan amended the RMP, as it is not listed on the web site as an RMP <br />amendment. I believe it was done as an Iimplementation (activity) plan that was limited <br />to implementing existing decisions in the RMP. Please advise concerning this. <br />Kurt & Matt, please review the hilited paragraph in Section 1.4 that describe the actions <br />that follow completion of the EIS, to determine if they describe current practice. I <br />believe Bill got this material from the North Fork EIS. Please provide me with <br />corrections if any are needed. <br />Thanks, <br />Glenn Wallace, Planning & Environmental Analyst <br />303 239 3736 <br />glenn wallace@blm.gov <br />----- Forwarded by Glenn WallacelCOSO/CO/BLM/DOI on 08/13/2007 06:17 PM <br />Bi11 Killam@URSCo <br />rp.com <br />08/03/2007 08:93 "Glenn Wallace" <br />AM <Glenn Wallace@blm.gov>, <br />bruce_fowler@blm.gov <br />Red Cliff EIS P&N <br />Gentlemen: <br />To <br />cc <br />Subject <br />Please take a look at the P&N, revised according to BLM comments. The permits table is <br />from the North Fork EIS - modified for this project. I have also included (shaded) some <br />language from the North Fork EIS regarding the lease process that BLM will follow upon <br />completion of the EIS. Please make sure that it is correct for this project. I have also <br />added some OSM/CDRMS permitting procedure language from NFEIS to give the public an <br />indication of other necessary procedures before construction can start. <br />Also - we currently have language in the P&N regarding the USACE 904(b)(1) procedures <br />regarding alternatives that will change if an individual 904 permit is not required. <br />Thanks for your review. <br />WmRK <br />(See attached file: P&N rev2.doc) <br />Bill Killam <br />URS Corporation <br />8181 E. Tufts Ave. <br />Denver, CO 80237 <br />303-790-3816 - direct <br />303-694-3996 - fax <br />2 <br />