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Mr. Steve Shuey <br />July 10, 2008 <br />Page 2 <br />ENV029.08 <br />Adequacy Comment No. 4 - There are no other mining related features (wells, ditches, <br />ponds, etc) in the subject area that have not been transferred to the new lessee that will <br />remain American Soda, L. L. P. `s responsibility to reclaim. <br />Adequacy Comment No. 5 - Enclosed is revised page 5 of the application form (Enclosure <br />#3). American Soda understands that removal os such lands and infrastructures will be <br />addressed through an acreage reduction request once the DRMS has approved the <br />amendment and requested that a release request be submitted. <br />Adequacy Comment No. 6 - Enclosed is revised Exhibit L (Enclosure #4) so the <br />reclamation estimate can be calculated. <br />Should you have any questions or comments regarding this information, please contact me <br />at (970) 285-0428 or Celina Akin at (970_ 285-0406. <br />Sincerely, <br />Todd Wilson <br />Plant Manager <br />Enclosures: Enclosure #1 - Map of Post Mining Land Use Change Area <br />Enclosure #2 - Electronic Correspondence from Paul Daggett, BLM <br />sent on June 30, 2008 (includes 2 attachments) <br />Enclosure # 3 - Revised page 5 of Amendment application form <br />Enclosure #4 - Revised Exhibit L of the original permit application. <br />Cc: American Soda Environmental Files <br />American Soda Central Files