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C-1981-008 <br />PR-06 PAR <br />22-Jan-2010 <br />Page 26 of 26 <br />72. The currently approved version of Map 2.05.3(3)-9 identifies two stockpiles immediately <br />north of the BB Road Detour and approximately 400 feet east of 2700 Road. On the <br />revised version, the outlines of these stockpiles are still visible, but the labels (Excess <br />Small Rock and Topsoil for Road Detour) have been removed. A comparison with the <br />Disturbed Area boundary illustrated on other permit maps, e.g. Map 2.05.2-1, leads us to <br />believe that these stockpiles are outside of the currently approved disturbance area. They <br />are, however, located within the permit boundary. <br />Please revise the Disturbed Area as for this portion of the permit area to include the <br />stockpile locations, being sure to include sufficient area for access to the stockpiles. <br />In addition, please provide us with the acreage of the total disturbed areas for (each <br />of) the NH 1 and NH 2 mines. <br />73. Also on revised Map 2.05.3(3)-9, the BE Detour Road stationing has been removed from <br />the Plan View. Please restore the detour stationing to the plan view. <br />74. We have the following comments regarding revised Map 2.05.3(3)-16 - County Roads <br />Restored Plan/Profile: Culvert pipe locations are not shown in the plan view; 5`h Street <br />(West 5`h Road, per the County agreement) is shown traversing the area currently <br />occupied by "Mount Nucla"; contour lines in this area should be blue rather than red; the <br />Legend is missing a symbol for Reclaimed Roads; and the track constructed to provide <br />permanent access to the CCC Ditch box is not shown. There is no bar scale. Please <br />review the map in light of these comments and revise as appropriate. <br />This concludes the Division's preliminary adequacy review of the PR-06 application. Please do <br />not hesitate to contact us with any questions that may arise as you prepare your responses to <br />these items. <br />Sincerely, <br /> <br />Marcia L. Talvitie, P.E. <br />Environmental Protection Specialist <br />Attachment - (1) <br />cc: Greg Lewicki & Associates <br />Sandy Brown, DRMS