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2009-03-12_REVISION - M1978222UG
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2009-03-12_REVISION - M1978222UG
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Last modified
6/15/2021 5:55:47 PM
Creation date
3/23/2009 8:27:33 AM
Metadata
Fields
Template:
DRMS Permit Index
Permit No
M1978222UG
IBM Index Class Name
REVISION
Doc Date
3/12/2009
Doc Name
Response to preliminary adequacy review
From
O&G Environmental Consulting, LLC
To
DRMS
Type & Sequence
CN1
Email Name
GRM
Media Type
D
Archive
No
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Nuvemco, LLC's Monogram Mine M-1978-222UG <br />Response to Preliminary Adequacy Review <br />March 10, 2009 <br />4 Scarify, seed, and mulch 6.3 acres $6,930 7 <br />5 Equipment mob & demob (most on-site mining <br />equipment is moved to next mine at company cost) $2000 2 <br /> Subtotal Direct Costs $18,330 <br /> DRMS Overhead at 21 % $ 3,850 <br /> Total Bond Estimate $22,180 <br />Although only a month is listed for reclamation (20 working days), six months is projected to <br />allow for equipment failures, inspections, weather, etc. <br />Exhibit S Permanent Man Made structures: <br />Depending on clarification, San Miguel Power lines may need to be added to Exhibit S. The division considers <br />the historical mine features such as adits, portals and shafts as man-made structures. Please identifjrr these types <br />of structures and those within 200 feet of the permit boundaries both in Exhibit S and Pre-Mining Map C-1. <br />As mapped by the USGS and observed by surveyor, eleven existing or reclaimed portals, adits, <br />shafts, vents or declines are present within the Monogram Permit boundary. Up to five of these <br />may be reopened and reclaimed. <br />A San Miguel Power line drop is located within 200 feet of the permit boundary on the northeast <br />end of the adjacent Anna May claim. <br />Exhibit T DMO Environmental Protection Plan: <br />Section 1, (b) notes stonuwater structures that must meet the Requirements of Rule 7.3.1(3). Please pixrvide <br />details of stormwater diversion benns that meet the requirements. <br />Engineer certifications of these designs are included on pages 7 and 8 of this response and Maps <br />C-2 and C-2(b) enclosed. <br />Section 1, (c): Please provide data that the 55 gallon barrel is sufficient to meet the requirements of Rule <br />7.3.1(3). <br />Recognition of the need for full containment of the loading area and ore bins, and inadequacy of <br />tarp placement over the bins has led Nuvemco to revise the estimate for total containment to <br />6,400 gallons as described in engineer certification on page 8 of this response. <br />DBMS will not allow waters collected &ont the ore bin area to be used for any purpose other than dust control <br />on the ore bins. Any waters collected will be contaminated from the uranium ores stored there. Use of such <br />water may very well spread contamination of radioactive materials and other undesirable constituents for wham <br />the operator would held responsible. <br />Nuvemco recognizes the only use for water runoff from the ore loading and bin area is for dust <br />suppression in that area and will contain all such water in that area and in adjacent tanks. <br />15
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