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Daniel |.Hernandez <br />Senior Environmental Protection Specialist <br />Colorado Division of Reclamation, Mining and Safety <br />1n1n Sherman St, Room 215 <br />Denver, CC 80203 <br />New Phone Number: 303'8ee'35e7 ext812e <br />Fox: 303-e32-e106 <br />From: Hernandez, Daniel <br />Sent: Wednesday, December 01, 2010 10:00 AM <br />Cc: Ka|denbach,Tom <br />Subject: RE: Perimeter Disturbance Markers Policy <br />You bring upa very good point, and one that vve discussed at length vvDSM. Here is why our policy was ultimately <br />worded to require that disturbed area perimeter markers at underground mines be maintained through Phase III bond <br />The State of Colorado did not create its own set of regulatory preambles to its rules regarding signs and <br />markers. As such, the federal preambles on DSM's signs and markers rules became, by default, the state's <br />preambles mn the state's signs and markers rules. <br />30 CFR 816.11(a)(3) states "Signs and markers required under this part shall be made of durable material". <br />Colorado's equivalent of this federal is 4.02.1(3), which states "Signs and markers required by 4.02 shall be made <br />of durable material". <br />w 3OCFR8I6.II(b) states "Signs and markers shall be maintained during the conduct 4f all activities b» which they <br />pertain". Colorado's equivalent of this rule is 4.02.4, which states "Signs and markers shall be maintained during <br />the conduct of all activities to which they pertain". <br />!1 11111 <br />