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<br />The Division has identified four approaches for operators: <br />3. File a financial warranty that will ensure baddllling of the pit to cover the exposed groundwater to a <br />depth of two feat above the static ground water level or, <br />2. Obtain a court approved augmentation plan prior to exposing ground water or, <br />3. Me a financial warranty to cover the cost of installing a day liner or slurry wall that meats the <br />Division of Water Resources requirements for preventing ground water exposure or, <br />4. Obtain approval from the Division of Water Resources'that admowledges compliance with the SEG's <br />requirements pursuant to S 37-90.137(11). ' . <br />The Division will work with operators on an Indlvldual boils a they move to implement one of these plans. It <br />is likely that,options 1 and 3 will require the submittal of a technical revision or an amendment to the existlrig <br />permit depending on the nature of the current mining and reclamation plan and the proposed doges. <br />Increased financial warrantk4 a a result of these modifications, may be posted In a phased manner not to <br />exceed three years. Amendments or revisions currently under review will be required to be approved by <br />April 30, 2011 and may use the phased Mendel warranty approach deicribed above. Now applicitions going <br />forward or presently under review by the Division will be required to most the requirements of one of the <br />optWm 1.4 at the time of application-approval. Failure of afficted operators to initiate.contact with the <br />Division ind &M. compliance as described above could result in an enforcement action bainj Issued by.the <br />Division. :. <br />If you have.apy questions, please contact Tony Waldron at 1103-866-3567, extension 8150. <br />cc: Permit Id Site Name