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RECEWED <br />Riess Research & Planning <br />Naomi E. Riess <br />1480 E. 2"d Ave. # 8 <br />Durango, CO 81301 <br />(970) 259-6817 <br />riessmqt@frontier.net. <br />J. Waldron <br />Division of Reclamation, Mining and Safety <br />Dept. of Natural Resources <br />1313 Sherman St. Room 215 <br />Denver, CO 80203 <br />Dear Mr. Waldron, <br />JUN U 9 2008 <br />Division or keclamation, <br />Mining and Safety <br />June 6, 2008 <br /> <br />We have received your letter dated May 27, 2008 and feel that there is an issue <br />outstanding. <br />BP Amoco has now removed the material from the ground and it is currently stockpiled on <br />the property. It amounts to just slightly more than we stated on our questionnaire. <br />However, we also stated on our questionnaire that we would be using a portion of it for our <br />internal road improvement. <br />The road required approximately 5300 cubic yards of material, leaving a significant amount <br />that cannot remain on the property permanently. This will have to be removed. It is <br />unsightly and not needed. Your letter states that if material is to be hauled off the parcel <br />where it was mined, this "might require obtaining a permit". <br />We know now that a portion of the material will have to be removed. Is this something <br />that BP Amoco can do without a permit as a_p__art of their drilling & site approvals? Or, as <br />the landowner, can we do this without a permit? We are not suggesting that the material <br />will be sold, but will be removed. <br />Please comment on the potential necessity for obtaining a permit, and, if you feel that a <br />permit is necessary, please send or direct me to the appropriate paperwork. <br />Tha k you, <br />N omi E. Riess <br />Agent for Fork Horn Mesa Subdivision, Palmer Pipe & Construction. <br />cc. Pat Palmer