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activities they pertain to(until the disturbance is reclaimed). Federal regulations at 30 CFR <br /> 817.11, signs and markers, are much more explicit on this subject than Colorado Rule 4.02.3, <br /> perimeter markers. Jason had discussed this with Dan Hernandez (Senior Environmental <br /> Protection Specialist) who also interpreted the rule to mean that signs and markers should remain <br /> in place until bond release. <br /> Scott posed the question of if he could mark the entire permit boundary rather than disturbance <br /> boundaries. This would help him because his surface disturbances change annually. Jason and I <br /> had not heard of an underground mine doing this before. Jason will discuss this potential option <br /> with Dan Hernandez and get back to Scott. <br /> We also discussed exploration rules. Jason clarified that the Division only permits exploration <br /> outside approved permit areas. Any activities inside the permit area are not considered <br /> "exploration." <br /> Photographs taken: <br /> Figure 1: Mine ID sign Figure 2: Return shaft 4 <br /> Figure 3: Sealed return shaft 3 Figure 4: Process Pond 2 <br /> 3 <br />