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boundary, and also stating that information, plans, and commitments within various sections <br />of the tab may have been partly or wholly replaced by corresponding revised sections <br />included within Volume 14 (Permit Revision No. 2, Reduced Permit Area). The insert should <br />include a statement indicating that, in instances where plans and commitments in Volume 14 <br />differ from those in corresponding sections of Volumes 1 through 13, the Volume 14 version <br />will take precedence. Note, it will be critical that Volume 14 is updated in the future, when <br />revisions that modify plans addressed within Volume 14 are submitted. <br />2.05.4(2)(c) <br />2. On page 2.05.3 -1 of the PR -2 application volume, the narrative discussion of permanent roads <br />should include reference to South Road B, for clarification. Suggested wording would be: <br />There are two (2) roads within the new permit area that are approved for <br />permanent retention —Access Road C and Light -Use South Road (including the <br />South Road B segment that forks off the main South Road and provides access to <br />Pond 008). <br />Please amend the narrative as warranted. <br />3. The listing of permanent channels on page 2.03 -1 of the PR -2 application volume omits <br />Channel SIIPM -13. Also, the statement that "These channels will become permanent features <br />in the future" could result in confusion, since the channels were proposed and approved as <br />permanent channels, and have been approved as components of the postmining topography <br />within Phase 1 Bond Release SL -4. Please include reference to SIIPM-13 in the bulleted <br />list, and delete the statement indicating that the channels would become permanent <br />features in the future (since they are already approved as permanent). <br />2.05.4(2)(e) <br />4. On page 2.05.4.2 of the PR -2 application volume, there is a subsection titled "Revegetation <br />Monitoring ". The narrative within the section does not actually address interim revegetation <br />monitoring, but rather includes one brief paragraph and a separate sentence at the end of the <br />subsection that pertain to methods for demonstrating revegetation success for bond release, and <br />an additional paragraph that pertains to revegetation chronology. Quantitative interim <br />revegetation monitoring at Seneca 11 has been phased out, as the emphasis has shifted to <br />sampling for demonstrations of success for Phase 11 and Phase III bond release. The <br />revegetation monitoring section of the permit application package was updated with TR -50 in <br />2009, to reflect this shift in emphasis. The "Revegetation Monitoring" subsection heading in <br />the PR -2 volume should be deleted, along with the confusingly written 1 St paragraph of the <br />subsection and the unnecessary final sentence of the subsection. The second paragraph of the <br />subsection should be retained, under a subsection heading "Revegetation Chronology ". Please <br />amend the narrative as warranted. <br />2 <br />