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Rock Rules and Regulations. DMG would not further the problem by approving additional disturbance without fast <br />ensuring a permit is in place for mining activity at this location. <br />Site 3: Based on information supplied in SL-O1 and the permit, it appeazs that approximately two-tenths of an acre, <br />designated to be affected by mining operations, were not ever disturbed in this quarter-quarter section. Therefore, a <br />technical revision with details regazding topsoil scavenging operations would be appropriate for up to two-tenths of an <br />acre of additional disturbed azea in the NW/4 NW/4 Section 19, T7S, R96W. An amendment to the permit, or a new <br />110c permit would be required to extend disturbance beyond the two-tenths of an acre or into the SW/4 SW/4 of <br />Section 18, T7S, R96W. <br />Site No. 4: All disturbance, including road upgrades would be required to be included in the proposed permit azea. <br />Permanent road upgrades would not be required to be reclaimed, but must support the post-mine ]and use and be <br />approved as permanent features through signed and notarized statement from the surface land owner. Non configuous <br />portions of one permit aze allowable if all aze located within a mile radius. <br />If you need additional information, please contact me at the Division of Minerals and Geology, Grand Junction Field <br />Office, 101 South Third Street; Room 301, Grand Junction, Colorado 81501, telephone no. 970-243-6368. <br />Sincerely <br />Steve S. Shuey <br />Environmental Protection Specialist <br />