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which ore and waste rock generated from the mine are managed. There will therefore be no incremental harm <br />that could occur to human health, property or the environment if the additional time were granted. <br />Denison believes that <br />• The Site does not use toxic or acidic chemicals in processing for purposes of extractive metallurgy; <br />• Acid mine drainage, as defined by Rule 1 of the Regulations, will not occur or have the potential to <br />occur as a result of mining or reclamation activities or operations at the Site; and <br />• Toxic oracid-forming materials will not be exposed or disturbed at the Site in quantities sufficient to <br />adversely affect human health, property or the environment. <br />Therefore, Denison believes that it will be able to demonstrate that the Site should be considered to be exempt <br />from the requirements of Rule 7 of the Regulations, under Rule 1.1(14)(e), or, if applicable, under Rule 7.2.6(1). <br />In the course of preparing the Environmental Protection Plan for the Site, Denison will determine if it has <br />sufficient information to support an exemption under Rule 1.1(14)(e) or Rule 7.2.6(1) and, if and when sufficient <br />information is available, will consider making further submissions to the Division in support of an exemption <br />from DMO status under the applicable Rule. <br />We trust that we have addressed all of the matters required to be addressed at this time under the Regulations, <br />in response to the Notices. If you have any questions or concerns or require any further information, please <br />contact the undersigned. <br />Yours very truly, <br />DENISON MIN S (USA) CORP. <br />a i C Frydenlund <br />Vice Pr ident, Regulatory Affairs and Counsel <br />cc: Ron F. Hochstein <br />Harold R. Roberts <br />Philip G. Buck <br />Terry V. Wetz <br />Stephen D. Landau <br />Christy A. Woodward <br />dENISON~II <br />MINES <br />3 <br />