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Corey Heaps <br />CAM - Colorado, LLC <br />November 30, 2010 <br />Wexford Capital LLC <br />Page 2 <br />d. On the Organizational Chart, permit page 2.03 -15, it shows Wexford Capital LP. Should <br />this be Wexford Capital LLC? If so please correct permit page 2.03 -15. Otherwise <br />Wexford Capital LLC is not listed on the Organizational Chart, page 2.03 -15. <br />e. In AVS, it shows that Wexford Capital LLC has four Managing Members: Artis Investors <br />LLC (Class A), Artis Investors LLC (Class B), Callidus Investors LLC and Taurus <br />Investors LLC. Is this still correct? <br />f. Henry Scholder, Vice President, dated 1/3/2005 is listed in AVS but he is not listed on <br />permit page 2.03 -19. Please either have AVS updated to show Henry Scholder is no <br />longer an officer or update permit page 2.03 -19 to show he is an officer. <br />Solitair LLC <br />g. The following three officers are Iisted in AVS but not on permit page 2.03 -20. Please <br />either have AVS updated to show the officers have been End Dated or update permit <br />page 2.03 -20 to show they are officers of the company. <br />Kenneth A Rubin Vice President 1/27/1998 <br />Frederick B Simon President 4/22/1998 <br />Mark D Zand Vice President 4/3/2003 <br />Wexford Spectrum Advisors LLC <br />h. Arthur Amron, Member, dated 1/3/2000 is listed in AVS but he is not listed on permit <br />page 2.03 -28. Please either have AVS updated to show Arthur Amron is no longer a <br />member or update permit page 2.03 -28 to show he is a member. <br />Rule 2.04.3 Site Description and Land Use Information <br />2. The evaporation pond/land farm Iocations and land fill locations in the industrial portion of <br />the proposed permit area would be disturbed by proposed operational and reclamation <br />operations. There does not appear to be a clearly defined plan regarding how the industrial <br />waste materials that are disturbed by loadout development would be stored and stabilized <br />during site construction and operations, nor how the materials would be placed and <br />stabilized under the final reclamation plan. There are generalized references to importing <br />material for use as a cover soil /growth medium for final reclamation, but no detailed plans. <br />These issues will need to be addressed in appropriate sections of the application. Given <br />that these industrial wastes have been subject to remediation and disposal requirements <br />under the jurisdiction of the Colorado Department of Public Health and Environment <br />Hazardous Materials and Waste Management Division (CDPHE/HMWMD), DBMS will <br />